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Aggregate Industries - WCR, Inc. <br />Amendment No.l - Jetonimus Property <br />Petmit # M-1999-034 <br />I was recently contacted by Mr. Mazk Molen, who identified himself as the contracted sampler <br />for Aggregate Industries. It was clear that Mr. Molen was not Familiar with the completion <br />details of my well as he planned to bail the well for sampling. Clearly, this is an undesirable <br />action given the depth, casing diameter, and pumping equipment in the well. His proposed <br />methodology raises the question of the experience of the person collecting the sample and the <br />sampling protocols under which the activity is to be conducted. The U.S. EPA and the <br />environmental industry have established standazd operating procedures for field sampling <br />activities. These procedures aze intended to ensure consistency in the data collection activities in <br />order to produce comparable and representative quality data. It would be of great benefit to me <br />and in the best interests of the Division to request a copy of the field sampling procedures and <br />protocols under which the water quality sampling is to be conducted. Would you please make a <br />copy of that document available to me, so I may better understand the sampling procedures and <br />data collected. <br />Sincerely, - <br />Karen Topper and Ralf Topper <br />~- ~~~- <br />Cc: Mike Refer, Aggregate Industries <br />