Comment submitted by ECI Consulting
AnonymousOpposeOther
Summary: The commenter argues that the EPA should not expand the proposed risk-based closure standards to include corrective action remedies, asserting that existing regulations already provide sufficient flexibility. They contend that the proposed approach lacks statutory authority, fails to protect the environment, and that the EPA should instead rely on its own established guidance rather than industry-provided frameworks.
See attached file(s)
Attachments
- Comment (DOCX)
- Comment (PDF)
- Attachment 1. Summary of Selected Remedies (DOCX)
- Attachment 1. Summary of Selected Remedies (PDF)
- 1988 CERCLA Guidance on Remedial Actions (PDF)
- Memo from Michael Cook, to Superfund National Policy Managers re: Use of Alternate Concentration Limits (CLs) in Superfund Cleanups (PDF)
- Guide for Developing Conceptual Models for Ecological Risk Assessments (PDF)
- RAGS Volume III Part A (PDF)