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1984_1113_packet
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1984_1113_packet
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12/20/2011 1:18:18 PM
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Contingency Plan, & Emergency Procedures <br />joi <br />The MPCA regulations are very thorough regarding actions to take <br />beifoirie, during and af'ter an emergiencysi I do not, at this time, <br />see any need, for local adidiftilons to these plans and procedures. <br />4. Manifest Systlem, Record Keeping a Reporting <br />regulations These <br />o very complete as both MPCA and x <br />have y stringent CI keeping -�, Ig requirements. e 1* <br />also a <br />Oi <br />waste (illegally dumpied,) is, received or found on the property, <br />Essentially it reqwxes 10mmedilate reporting <br />Apparently N?CA then assists in propler disposal. <br />s <br />Again, these MP1CA regulations are very thorough. While we <br />not have the Code of Federal, Regulations, Tile 40 (EPA Regulations) <br />there is little doubt that they would change any of the strict <br />Minnesota I <br />to be order. <br />6. Financial Requirements <br />I do not, feeil, qualifiedi tio comment on this completeness of <br />covers ,section but "it 612 pages - a s <br />w Management <br />If the, drumi are storeld <br />,,+rl number limited <br />forcing, proper <br />elements,, slow]Lng down the decaying process and potential for leaks, <br />Lieaks inside are usuailly easier o contain and clean <br />gallon We are also concerned with the availability of recovery drums. <br />These are oversized (88 gallon) drums into which a leaking 55 <br />
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