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Mr. Padilla <br /> Page 4 <br /> specifications: <br /> 1. This was unclear as to the meaning. If "in order to" is <br /> inserted after "wastes" on the second line it may become <br /> clearer. <br /> 6. How often will the wells be monitored? <br /> 7. Is there a removal plan, when is this scheduled to occur? <br /> Does the RDSI specify a development plan or phases? <br /> 8. Is this the preferred procedure for destroying the wells? <br /> What types of wells are being discussed in this section? <br /> Please state the completion date for "well destruction" . <br /> Provisions: <br /> Closure/Postclosure: <br /> CIWMB staff have not received verification that the required <br /> financial assurance mechanism has been approved. When this <br /> occurs add a statement that the operator has certified: <br /> a. Preparation of an initial cost estimate for <br /> closure and fifteen years of postclosure <br /> maintenance. <br /> b. A financial mechanism from closure and post <br /> closure maintenance in accordance with Title 14, <br /> California Code of Regulations Section 18283 has <br /> been established. <br /> C. The funding of the financial mechanism is in <br /> accordance with Title 14, Section 18282 has been <br /> established. <br /> 2 . The operator has submitted copies of a preliminary plan for <br /> the closure and postclosure maintenance of the landfill to <br /> the LEA, the Regional Water Quality Control Board, and CIWMB <br /> for approval. The preliminary plan must be approved within <br /> a year from the date the SWFP was accepted, or the facility <br /> will have to cease operation. <br /> 3 . This paragraph can be deleted. <br /> Self-Monitoring <br /> 1. Please specify the date annual reports should be submitted <br /> by. Is an annual submittal of monitoring reports <br /> sufficient? Generally quarterly reports are required. <br />