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Ll <br />Mr. Stephen Chen MAR 0 b 1945 <br />Page 3 <br />9. Description of drainage controls and erosion control measures and design calculations <br />are not provided in sufficient detail as required by 14 CCR 18261(a)(7) to provide for <br />an accurate closure cost estimate. <br />10. Demonstration of financial responsibility to reflect revised closure costs (see comment <br />12) is required pursuant to 14 CCR 18267(c). <br />11. Cost estimates for closure and postclosure maintenance must be revised to reflect the <br />above comments and be itemized for the specific items listed in 14 CCR 18263 and <br />14 CCR 18266. <br />Please inform CIWMB within the nest three weeks, in writing, when you will resubmit your <br />closure and postclosure maintenance plans. In addition, please ensure that the plans are <br />submitted directly to the LEA, CIWMB, and Central Valley Regional Water Quality Control <br />Board. <br />If you have any questions concerning the Preliminary Plans, please contact me at (916) 255- <br />2343 or Tim Crist at (916) 255-2332. <br />Sincerely, <br />Scott Walker, Manager <br />Closure and Remediation Branch North Section <br />Permitting and Enforcement Division <br />cc: Mr. Al Olsen, San Joaquin County Solid Waste Local Enforcement Agency <br />Mr. William Marshall, Central Valley Regional Water Quality Control Board, <br />Sacramento <br />Ms. Liz Haven, State Water Resources Control Board <br />0 <br />