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Kim Schwab <br /> January 28, 1992 <br /> Page 3 <br /> and postclosure maintenance. Board staff recommends the operator <br /> provide a bar-chart graphically depicting detailed monthly <br /> activities relative to a starting time. " <br /> Response: <br /> The revised closure plan contains a bar-chart showing a monthly <br /> schedule corresponding to preclosure and closure activities. <br /> However, postclosure activities will depend on the results of <br /> quarterly inspections, so a monthly schedule cannot be included for <br /> the postclosure period. <br /> Comment 6: <br /> "Section I-7.0 must address the requirement for a sign to be placed <br /> indicating where the closure and postclosure maintenance plans are <br /> kept and can be viewed by the public pursuant to 14 CCR 17767(d) . <br /> The Site Security element must also state that the newspaper <br /> notification will be published 30 days prior to closure (14 CCR <br /> 17767(a) ) . - <br /> Response: <br /> Section 7.0, Site Security, of the Final Closure Plan has been <br /> revised to address this comment. <br /> Comment 7: <br /> "Section I-6.0 states that existing gas probes will not be <br /> incorporated into the postclosure monitoring plan. More <br /> information is needed as to how the probes will be decommissioned <br /> and disposed in accordance 14 CCR 17772. 11 <br /> Response: <br /> Section 15.0 of the Final Closure Plan provides details regarding <br /> decommissioning of existing probes. In addition, The Landfill Gas <br /> Monitoring Well Installation Report has been included as Appendix <br /> F for additional documentation. <br /> Comments 8-12: <br /> These comments are mainly regarding the Construction Quality <br /> Assurance Plan and the requirements for construction of final <br /> cover. <br />