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Response <br /> CountermeasuresNEWMONT .r the Cresson Project <br /> NORTH AN,FPICA <br /> Sustainability& ExternalRelations <br /> 2.2 Professional Engineers Certification <br /> I, Michael Kraeski, P.E., hereby attest that I am familiar with the CC&V Facility and I also understand the Rules and <br /> Regulations promulgated under 40 CFR Part 112 Oil Pollution Prevention and how they apply. On July 17, 2002, <br /> EPA published a final rule that amended the SPCC regulations(67FR 47042), which became effective on August 16, <br /> 2002.The final rule included compliance dates in §112.3 for preparing, amending,and implementing SPCC Plans. <br /> The original compliance dates were amended on January 9, 2003(68 FIR 1348), again on April 17, 2003(68 FIR <br /> 18890), a third time on August 11, 2004(69 FIR 48794), a fourth time on February 17,2006(71 FIR 8462),and a fifth <br /> time on May 16, 2007(72 FR 27443).These extensions provided additional time for the regulated community to <br /> understand the 2002 SPCC amendments(67 FIR 47042),the clarifications developed by EPA during the course of <br /> litigation settlement proceedings(69 FIR 29728),and alleviated the need for individual extension requests.On June <br /> 19, 2009, EPA published in the Federal Register a SPCC compliance date extension for all facilities until November <br /> 10, 2010. Facilities must amend or prepare,and implement SPCC Plans by the compliance date in accordance with <br /> revisions to the SPCC rule promulgated since 2002.This SPCC document was written to comply with the spirit of <br /> applicable requirements(as amended) by the November 10, 2010 deadline. <br /> I personally visited the site on November 19`h and 201h 2018 for the purposes of gathering information in order to <br /> prepare the Updated CC&V SPCC Plan. <br /> The SPCC Plan has been prepared in accordance with good engineering practice, including considerations given for <br /> applicable industry standards as well as the requirements of 40 CFR Part 112. Procedures for inspecting and testing <br /> the tanks and containers have been established and are herein incorporated. Based on my professional <br /> engineering judgment,this SPCC Plan is adequate for the CC&V Facility. <br /> This certification in no way relieves the owner or operator of the facility of his/her duty to prepare and fully <br /> implement this SPCC plan in accordance with the requirements of 40 CFR Part 112.This plan is valid only to the <br /> extent that the facility owner or operator maintains,tests,and inspects equipment,containment, and other <br /> devices as prescribed in this Plan. <br /> Michael Kraeski, Professional Engineer(P.E.)(Colorado Registration Number 28360) <br /> Date: 31 December 2018 <br /> �PpQ R EG/sT <br /> co�O••• F. •�Fo <br /> 28360 <br /> ss/0 N At E.�v <br /> Seal: <br /> - --------- _ -- ----------- ---- ___ _._.._ m... - <br /> Department THIS DOCUMENT IS UNCONTROLLED IN HARDCOPY FORMAT Doc Id:NA-CCV-SER-PLAN- <br /> 1930 <br />