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Mailing address: <br /> P.O. Box 3048 <br /> Portland.Oregon 97208 <br /> Location: <br /> 111900 North Edgewater Street <br /> Portland,Oregon 97203 <br /> (503)288-8394 Telex 36.0955 <br /> NlcC(�RNIICK `ii__� I3.AXTER <br /> CREOSOTING CO. WOOD DESERVES <br /> PROSE V <br /> D <br /> October 9 , 1987 <br /> oul 1 �g8f� <br /> Dr. James T. Allen , Ph.D ENVIROMENTAL HEALTH <br /> Designated State Representative FERMIT/SERVICES <br /> Department of Health Services Toxic Substances <br /> Control Division <br /> 4250 Power Inn Road <br /> Sacramento, California 95826 <br /> Dear Dr. Allen: <br /> McCormick & Baxter received your letter of September <br /> 30 , 1987 , with attachments on October 5 , 1987 . As your <br /> letter required, our consultant , Wayne Pearce of CH2M-Hill <br /> contacted your technical staff by phone (Mr, Jim Tjosvold) <br /> on October 6 , 1987 , to make initial arrangements for a <br /> meeting to discuss and resolve the issues raised in that <br /> letter . I understand that Mr. Jeff Van Slooten of your <br /> staff will not be available for a meeting until November. <br /> In order to expedite resolution of the few remaining areas <br /> of concern regarding our revised Workplan submitted July <br /> 31 , 19871 I have directed CH2M-Hill to prepare a technical <br /> response to the comments provided in the attachments to <br /> our September 30 letter. <br /> So that you may know our intended position, it is my <br /> understanding that we will modify our Workplan to be <br /> consistent with the Regional Water Quality Control Board' s <br /> comments of September 2 , 1987. <br /> In regards to DOHS' s comments dated September 21, 1987, <br /> it is my understanding we will modify our Workplan to be <br /> consistent with comment numbers 16, 24, 193- 343, 37 , 39 and <br /> 40 . Comments 6 , 7 , 9, and 53 require no additional action <br /> on our part . <br /> In order to resolve DOHS' s comment #14, we will propose to <br /> discontinue using formerly approved methods GC/FID and <br /> CPAR, replacing them with EPA methods 610 and 604 <br />