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~ ` • `• ' <br /> <br />BMRI San Luis <br />Monitor Well M-4R <br />11/12/99 <br />Page 2 <br />Although. BMRI voices these concerns and questions, we.wish to cooperate wi1Qt the <br />Division and NRSC regazding'4iis issue. Should the Division feel that'such cohVersion is " <br />appropriate, BMRI feels that the list of compliance constituents should be reduced to <br />those which reflects a monitoring regime that accurately tracks those chemicals BMRI <br />used in the area of monitoring well M-4R and eliminate those which could be af'f'ected by <br />aquifer stressing and natural variations. Therefore, the list of compliance constituents <br />should bc: reduce to only cyanide since this was the primary chemical used within the <br />vicinity of monitoring well M-4R. In addition, BMRI would recommend that the <br />appropriations from the well should be limited to industrial use. <br />~ In closing; if Mr. Zumwalt or myself can of any assistance, please contact either of us. <br />Sin r``el,,~~, .. <br />~Q~! <br />"Bill Lyle, <br />Director of Env. Affairs <br />U.S. Operations <br />Cc: Jim ]Yleitz <br />l~,,c.-~ :.~Q,t:.... <br />dTf%" <br />~. Y V/P <br />^~ n <br />~~ l' <br />li~ , <br />