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1UW1B199B <br /> YW !ESA AS <br /> 1:11825 East Second Street <br /> Blue Earth, Minnesota 56013 <br /> c. (507)526-2194 <br /> (507)526-2195 Fax <br /> 110 <br /> June 17, 1998 <br /> Mr. Bill Armstrong, P.E. <br /> Minnesota Pollution Control Agency <br /> 500 Lafayette Road <br /> St. Paul, MN 55155 <br /> Mr. Dave Lucas <br /> Sherburne County <br /> P.O. Box 320 <br /> Elk River, MN 55330 <br /> Mr. Steve Rohlf <br /> City of Elk River <br /> P.O. Box 490 <br /> Elk River, MN 55330 <br /> RE: Elk River Landfill - Request for Permit Modification <br /> Dear Gentlemen: <br /> • <br /> I am writing on behalf of Elk River Landfill to respond to your June 8, 1998 letter which <br /> contained comments on the April 1998, Application for Permit Modification, submitted by Wenck <br /> Associates, Inc. <br /> All comments contained in the June 8, 1998 letter, have been addressed in a revised Application <br /> for Permit Modification, which was submitted to your offices on June 9, 1998. In addition, these <br /> comment responses, as addressed in the revised Permit Modifications, follow agreements reached <br /> in earlier telephone conversations and meetings where we were able to discuss your concerns. It <br /> is our understanding that all items, with one exception noted below, have been addressed in a <br /> manner which enables continued protection of the existing waste deposit and meets and exceeds <br /> regulatory requirements. Please refer to the revised Application for Permit Modification, dated <br /> June 1998 for detailed information. <br /> Comment #14 seems to reflect a misunderstanding. Comment #14 currently states the following: <br /> "A 200 foot buffer area shall be maintained between the waste and the property line. If <br /> compliance boundary wells are required beyond the property boundary, a variance from <br /> the solid Waste Management Rules will be required." <br /> From conversations and meetings with the MPCA, we believe Comment #14 was meant to have <br /> • said the following: <br />