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-2 <br />Please provide the dates or period of time over which <br />this transport and/or disposal occurred. <br />Please describe any past or current contractual ar- <br />rangement between the former or current owners of the <br />Equinoa Property and the Johns Manville Company. <br />Please describe any past or current contractual ar- <br />rangement between the former or current owner of the <br />Equinoa Property and C. G. Gall Trucking Company. <br />Please provide any information or knowledge you may have <br />concerning the disposal of asbestos-bearing wastes at <br />the Equinoa Property. <br />Please provide copies of all documents related to asbestos <br />waste disposal practices, including but not limited to: <br />invoices, contracts, accounts receivable, trip tickets, <br />weight certificates. <br />Provide the names of: a) the persons who prepared the <br />responses to each of the above questions and, b) the <br />persons who provided information for the preparation of <br />the responses to the above questions. <br />Your response to this request for information must be sent <br />to EPA at the above address within fifteen (15) calendar days of <br />your receipt of this letter. Under Section 104 (e)(5) of CERCLA <br />as amended, 42 U.S.C. 9604(e)(5), failure to comply with this re- <br />quest may result in an Order requiring compliance or a civil ac- <br />tion for appropriate relief, including penalties. Failure to <br />comply with this request may also result in a civil enforcement <br />action against you by EPA. <br />EPA regulations governing confidentiality of business in- <br />formation are set forth in Part 2, Subpart B of Title 40 of the <br />Code of Federal Regulations. For any portion of the information <br />submitted which is entitled to confidential treatment, a con- <br />fidentiality claim may be asserted in accordance with 40 C.F.R. <br />Section 2.203. If such a claim is asserted, the information will <br />be disclosed only to the extent and by means of the procedures <br />specified in 40 C.F.R. Part 2, Subpart B. EPA will construe the <br />failure to furnish a confidentiality claim with response to this <br />letter as a waiver of that claim, and information may be made <br />available to the public by EPA without further notice.