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<br />evaluate analyses taken under adverse conditions (e.g. partial <br />samples or samples collected when indicator conditions such <br />as pH and conductivity were unstable - see Posey Comments #9 <br />and #10) by comparing them with historical data. <br />This item should be re-addressed. If BMG needs as$istance in <br />assessing the need for fluid characterization, the Division <br />will assist them is requested. <br />7. Comment answered. <br />8. Comment answered. <br />9. Comment partially answered. All analyses will be considered <br />to have been collected under proper conditions unless <br />otherwise noted. It is the responsibility of BMG #o indicate <br />the conditions of each sample to MLRD. I't is the <br />responsibility of BMG to note sampling deviations to the lab <br />if such deviations may affect lab results. Report of those <br />deviations is a part of the chain of custody, whether <br />identified in the chain of custody form or in materials <br />accompanying the chain of custody form and samples. BMG <br />should commit to this. <br />10. Comment answered. <br />11. Comment answered. <br />12. Comment answered. <br />13. Comment answered. <br />14. Comment answered. <br />15. Comment partially answered. Dr Hyatt's comments addresses, in <br />part, aeration during sampling. BMG should commit to <br />collecting the samples in ways that will minimize agitation <br />during collection. <br />16. Comment answered. <br />17. Comment answered. <br />18. Comment answered. <br />19. Comment answered. Regarding BMG's characterization of the <br />proposed task as an "additional source of unnecessary <br />paperwork," the Division is very willing to reduce paperwork <br />wherever possible. If any of the tasks addressed in this <br />sampling protocol are shown to be unnecessary, the Division <br />would like to know about them. <br />20. The Division understands that BMG will report routine analyses <br />of WAD cyanide, Total cyanide, and metals and calculate true <br />