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<br /> <br />BMG's responses to Dave Hyatt's Comments 1 through 3, and 5 through <br />21 are adequate. No further responses are needed. <br />BMG's response to Dave Hyatt's Comment 4 is addressed in the <br />Stipulations provided in the following section. <br />SUMMARY <br />I recommend <br />stipulations: <br />that TR-006 be approved with the following <br />STIPULATION 1. <br />Ordinarily dry monitoring stations that for any ~teason bear <br />fluid during a routine sampling event and for which it appears <br />an adequate volume of fluid cannot be obtained without <br />otherwise comprimising the sampling protocol shall be sampled <br />using the best available methods and not necessarily with <br />strict regard for the sampling protocol. Said sample shall be <br />treated in the field, using the best available methods, for <br />analysis of such materials as are deemed potentially most <br />threatening to the environment. Upon retrieving skid sample, <br />the operator or representative shall make a prudent effort to <br />obtain sufficient sample for proper analysis under the <br />sampling protocol. Provided sufficient sample for proper <br />analysis is obtained, the original may be discard@d. <br />STIPULATION 2. <br />Provided any analysis exceeds or otherwise fails to conform <br />with permit requirements, the Division shall be notified of <br />said analysis within 5 working days. <br />STIPULATION 3. <br />AlI adequacy responses, understandings, language changes, and <br />stipulations shall be incorporated in a revised edition of the <br />Technical Revision. Said edition shall be provided to the <br />Division within 30 days of receipt of this letter. <br />m:min\hhp\Tr006.app <br />