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REVISED MONITORING AND REP r mING PROGRAM ORDER NO. R5-2008-r" -7- <br />HJ BAKER & BRO. INC., MARTIN G. ,ATING PARTNERSHIP, THE PORT a .)CKTON, <br />AND METROPOLITAN STEVEDORE <br />MOLTEN SULFUR PROCESSING PLANTS <br />SAN JOAQUIN COUNTY <br />For a corporation: by a principal executive officer of at least the level of senior <br />vice-president. <br />For a partnership or sole proprietorship: by a general partner or the proprietor. <br />A duly authorized representative of a person designated in a or b above if: <br />The authorization is made in writing by a person described in a or b of this <br />provision; <br />The authorization specifies either an individual or a position having <br />responsibility for the overall operation of the regulated facility or activity, su <br />as the position of plant manager, superintendent, or position of equivalent <br />responsibility. A duly authorized representative may thus be either a na <br />individual or any individual occupying a named position; and <br />The written authorization is submitted to the Central Valley Water Board. <br />For any monitoring report, a penalty of perjury statement must be signed by Martin, Baker, <br />Port, and Metropolitan: <br />"I certify under penalty of law that I have personally examined and am familiar with the informatio <br />submitted in this document and all attachments and that, based on my inquiry of those individual --, c_.... <br />immediately responsible for obtaining the information, I believe that the information is t • :,C1 <br />accurate, and complete. I am aware that there are significant penalties for submitting f. <br />information, including the possibility of fine and imprisonment." <br />As required by the California Business and Professions Code Sections 6735, 7835, and 7835.1, <br />all Groundwater Monitoring Reports must be prepared under the direct supervision of a <br />Registered Engineer or Geologist and must be signed and stamped by the registered <br />professional. <br />Any transmittal letter or report that does not comply with the required format will be rejected and <br />the Discharger, Martin, Baker, and/or the Port as applicable will be deemed to be in <br />noncompliance with the revised MRP. Reports must include the information listed below in <br />addition to the results of monitoring required by the revised MRP.