Laserfiche WebLink
Mr. Robert McClellon <br /> December 8, 2008 <br /> Page 2 <br /> Figure 3 consists of an aerial photograph of the landfill and vicinity with adjacent <br /> land use labeled. <br /> Item #3) Recent landfill gas monitoring data. <br /> Response: Quarterly perimeter probe monitoring results for the year 2008 through November <br /> are provided as an attachment. No methane exceedences have been documented <br /> in any of the Title 27 perimeter monitoring probes during this period. <br /> Item #4) Spacing exemption/residence. <br /> Response: In the letter,you cited the request for exemption from the 1,000-foot minimum <br /> well spacing requirement for selected probe intervals ranging from 1,000 to 1,010 <br /> feet. You specifically expressed concern about the proximity of a residence along <br /> the east side of the landfill and adjacent to one of the four intervals in question. <br /> You requested additional information justifying the exemption, in consideration <br /> of this residence. <br /> SCS understands you have had subsequent communications with Lochlin Caffey <br /> of AWI about this matter, and that AWI has agreed to resolve the issue by <br /> installing an additional well near the subject residence. As such, a work plan to <br /> install an additional well is included in this revised perimeter probe network <br /> compliance review. <br /> The following is an updated version of the letter report previously submitted on September 12, <br /> 2008,revised to address the items listed previously and to include a work plan for the installation <br /> of a perimeter monitoring well. <br /> IIT <br />