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Page 4 of 10, number 7e provide "permitted disposal site". If unsure, provide hazardous waste <br /> and nonhazardous waste site. <br /> Number 8b, provide the Hauler Registration #. <br /> o Page 4 has been amended to include the waste disposal facility. Page 4 is <br /> attached. <br /> o The hauler registration has been updated as well (Registration #4050) <br /> Clarify all the participating party on the application. On the Site Health and Safety Plan, the field <br /> team members list Vacuum Truck Operator(AVWO) and the Recycling <br /> Hauler(West Coast Equipment). However, on page 4 of 10, the Tank/Piping Hauler is listed as <br /> RB Environmental. <br /> o The Site Health and Safety Plan has been corrected. A copy is attached. We do not <br /> plan to use AVWO and West Coast Equipment on the project. RB Environmental <br /> shall be the Tank/Piping hauler (Hauler Registration 3946). <br /> Provide the hazardous substance removal certification. <br /> o Contractor License details for RB Environmental is attached (including HAZ — <br /> Hazardous Substances Removal certification) are attached. <br /> Please let me know if you need anything more. <br /> Thanks, <br /> AdvancedGeo <br /> An Employee-Owned Company <br /> Robert Marty <br /> President <br /> REP,REPA,CESCL,CWMP,CESCO,CESCP <br /> AdvancedGeo, Inc. <br /> Environmental• Compliance•Industrial Hygiene• Geotechnical <br /> Phone: 800-511-9300 <br /> Fax: 888-445-8786 <br /> rmarty@advancedgeo.biz <br /> www.advancedgeo.biz <br /> "Working in Partnership with People, Business and the Environment" <br /> This email/fax message is for the sole use of the intended recipient(s)and may contain confidential and privileged information. <br /> Any unauthorized review,use,disclosure or distribution of this email/fax is prohibited.If you are not the intended recipient,please <br /> contact the sender by email/fax and destroy all paper and electronic copies of the original message. <br />