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summarized in tabular form in the conclusion portions of this document. Please state the <br /> new cleanup standard concentrations in the conclusion portion of Table 4-3, and in the <br /> text in Sections 4.2.4 and 4.3.9. <br /> NEW SPECIFIC COMMENTS <br /> 1. Response to Specific Comment 7, Section 5.2.1 (dated December 8, 2003): The <br /> response to comment omits the language from Section 5.2.3 of the ESD which states that <br /> "Residual contamination includes TPH under Building 10 and TCE below Building 10 <br /> and in the vicinity of 5'^ Street between Buildings 10 and 26." This will help to clarify <br /> why DDJC proposes to collect soil gas samples between buildings 10 and 26 to better <br /> determine the concentrations of residual TCE at SWMU 20. Please add the language <br /> from Section 5.2.3 to the response. <br /> 2. Section 6.2.4, Page 6-5: The text states that "The grass area is inaccessible to grading <br /> equipment, and a warning sign will be installed to discourage dust-generating activities" <br /> in the area of DSERTS 67 that wasn't covered with gravel, and that this will protect <br /> human health, but it is unclear whether the uncovered area presents a threat to the <br /> environment. Please revise the section to include a statement about protection of the <br /> environment. <br /> 3 <br />