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Mr. Andrew Witter <br />Mr. Brain Olson <br />Page 2 <br />January 11, 2010 <br />7. For the purpose of soil disposal or re -use, unrestricted soils are defined as soils with no detectable <br />field readings, no visual indications, no olfactory indications, no debris, and analytical results of non - <br />detect (method detection limit of 10 PPM). Soils that do not meet this definition may not be used as <br />at the discretion of the contractor or other project personnel. <br />8. The PBP does not provide review and /or approval for the discharge and /or treatment of ground <br />water, stormwater or any other dewatering action. <br />9. This DRAP approval is contingent on the Applicant obtaining all other MPCA, state, federal and <br />local government permit requirements. <br />Approval assumes that an implementation report will be provided to the MPCA summarizing the <br />voluntary cleanup work once completed. This report should include all necessary components as <br />described in part V of MPCA Guidance Document 5 -03, "Petroleum Brownfields Program Voluntary <br />Response Action Plan." If subsequently obtained information indicates that the proposed activities are <br />inappropriate or inadequate, the MPCA may request modifications in the proposed work. <br />If the implementation report will not be submitted within six months of the date of this letter, please <br />notify the MPCA Petroleum Brownfields Program project manager of the status of the development. The <br />Applicant's failure to submit the implementation report or to inform the MPCA of the status of the <br />development may result in the MPCA revoking the DRAP approval or pursuing additional actions as <br />appropriate to protect public health and the environment. <br />The responsibility for implementing the Petroleum Brownfields approved plan fully lies with the <br />Applicant. This letter does not apply to other types of contamination, if present, at the site. Approval of <br />this plan does not suggest that any of the costs incurred will be eligible for reimbursement from the <br />PetroBoard. Please be advised that the determination made in this letter is subject to the disclaimers <br />found in Attachment A. If you have any questions regarding this letter, please call Bassou Oulgout at <br />651- 757 -2632 or Mark Koplitz at 651- 757 -2502. <br />Sincerely, <br />Mark Koplitz <br />Project Leader <br />Petroleum and C used Landfill Section <br />Remediation Division <br />MK:tf <br />Enclosure <br />cc: George Beatty, Braun Intertec, St. Paul <br />f . <br />Bassou Oulgout <br />Hydrogeologist <br />Petroleum and Closed Landfill Section <br />Remediation Division <br />