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Substances Control Division, DOHS, the Deputy for the Environment, Safety, <br /> and Occupational Health, Office of the Assistant Secretary of the Army for <br /> Installations and Logistics, and the Executive Officer of RWQCB. <br /> 35.7.4 It is the intention of SHAD and DOHS and RWQCB that all dis- <br /> putes shall be resolved strictly in accordance with this Section; however, <br /> the use of informal dispute resolution is encouraged. In the event the <br /> Chief Deputy Director, the Deputy for the Environment, Safety, and <br /> Occupational Health, and the Executive Officer are unable to resolve a <br /> dispute, DOHS or RWQCB, as the case may be, retains all of its legal and <br /> equitable remedies to recover its costs. <br /> 36. PERMITS <br /> 36.1 The Parties recognize that under CERCLA Section 121(e) (1), 42 U.S.C. <br /> 9621(e) (1), no federal , state, or local permit shall be required for the <br /> portion of any removal or remedial action conducted entirely onsite, where <br /> such action is selected and carried out in compliance with 42 U.S.C. 9621. <br /> However, SHAD must satisfy all ARARs which would have been included in any <br /> such permit. <br /> 36.2 When SHAD proposes a response action to be conducted entirely onsite, <br /> which, in the absence of 42 U.S.C. 9621(e) (1), would require a federal , <br /> state, or local permit, SHAD, in consultation with EPA, DOHS, and RWQCB, <br /> shall include in the appropriate submittal : <br /> 36.2.1 Identification of each permit, including applicable standards <br /> and requirements, which would otherwise be required; and, <br /> 36.2.2 An explanation of how the response action will meet the stan- <br /> -55- <br />