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components. No locations exceeding the 500 ppmv threshold were observed during our monitoring <br /> event. The maximum reading was 2.60 ppmv, which was well below the 500 ppmv limit(see Table 1 <br /> for component results). Therefore, all pressurized pipe located at the LFG BFS and collection system <br /> components were in compliance at the time of our testing. <br /> PROJECT SCHEDULE <br /> As required by the LMR and Federal NSPS guidelines, surface emissions monitoring is required to be <br /> performed on a quarterly basis. Therefore, in accordance with our approved Work Scope, the first <br /> quarter of 2026 (January through March) surface emissions testing needs to be performed by the <br /> end of March 2026. <br /> STANDARD PROVISIONS <br /> This report addresses the conditions of the subject site during the testing dates only. Accordingly, we <br /> assume no responsibility for any changes that may occur subsequent to our testing which could <br /> affect the surface emissions at the subject site or adjacent properties. <br /> North County Landfill-Fourth Quarter 2025 www.scsenaineers.com <br /> 4 <br />