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Analyses will be performed in accordance with most recent <br /> standard methods. <br /> DHS Comment: <br /> Page 4-10 Paragraph 4 . 1. 3 (Storm Water Sampling) : <br /> Revise sampling scheme to include sampling of any runoff <br /> which drains into ditches along Dawes, Carrol, Coolidge, <br /> and/or Wagner Avenue. <br /> Note- <br /> Analytical program for all storm water runoff samples must <br /> include determination of zinc concentrations. <br /> MCTC Response: <br /> Sampling for this rainy season has already been completed as <br /> indicated in the work plan. Samples were not collected from any <br /> runoff to the south or east of the site. The samples were also <br /> not analyzed for zinc concentrations. <br /> If the technical report which will be submitted by June 1, 1988 <br /> does not satisfy the NPDES permit issues, then these additional <br /> sampling suggestions can be considered for future work. <br /> DHS Comment: <br /> Page 5-2 Saturated Subsurface Soil and Groundwater Mitigation Objectives: <br /> Delete objective fl: The intent of remedial action is to <br /> eliminate any threat or potential threat to public health <br /> and the environment, and to comply with state laws regarding <br /> potential future beneficial use of the groundwater resource. <br /> MCTC Response: <br /> Objective No. 1 can be deleted. However it should be recognized <br /> that contaminant migration control is a feasible method of <br /> achieving the desired public health and environmental benefits. <br /> DHS Comment: <br /> Page 6-2 Second paragraph: <br /> It is premature to commit to the preparation of a negative <br /> declaration. Revise paragraph to specify that upon <br /> completion of the initial study (IS) and based on the IS, <br /> either a ne-ative declaration or an envi-on-mental impact <br /> report (EIR) will be prepared. <br /> N.CTC Response: <br /> The paragraph will be revised as suggested. <br /> 11654 8 <br />