Laserfiche WebLink
Mr. Mike Cyrocki <br /> Page 2 <br /> Agency (EPA) health-based criteria should be employed. Use of <br /> the EPA IRIS (Integrated Risk Information System) data base is <br /> recommended. "Target Concentrations" should only be derived when <br /> neither DHS nor U.S. EPA health-based criteria are available. <br /> Section 5. 4 . 3 <br /> Potential exposures attributed to the North Balloon Air Stripper <br /> should be estimated. <br /> Section 5. 4 . 6 <br /> The second sentence in this section should read "The developer <br /> has sated that ground water will not be utilized for domestic, <br /> irrigation, or recreational purposes. " If the developer cannot <br /> comply with this requirement, other exposure pathways associated <br /> with ground water use must be analyzed. <br /> Based on our review, we believe that this work plan is adequate <br /> if our comments are addressed and incorporated into the final <br /> work plan. <br /> If you have further questions regarding our comments on the work <br /> plan, please contact me at (916) 324-2434 . <br /> Sincerely, <br /> �J lt/l4 Z) <br /> Barbara D. Marcotte <br /> Technical Services Unit <br /> cc: See next page <br /> 419x9 <br /> E�v�c�oNM�sEav cE'-jN <br /> PE.RNU <br />