Laserfiche WebLink
OSA A5'IE <br />June 17, 1998 <br />Mr. Bill Armstrong, P.E. <br />Minnesota Pollution Control Agency <br />S00 Lafayette Road <br />St. Paul, MN 55155 <br />Mr, Dave Lucas. <br />Sherburne County <br />P.Q, Box 320 <br />Elk River, MN 55330 <br />Mr. Steve Rohlf <br />City of Elk River <br />P.O. Box 490 <br />EIk River, MN 55330 <br />RE: Ekk River Landfill -Request for Permit Modification <br />,Dear Gentlemen: <br />825 East Second Street <br />131ue Earth, Minnesota 56013 <br />(5tl7) 526-2194 <br />(btl7) 526-2195 FaK <br />I am writing on behalf of Elk River Landfill to respond to your June 8, 19981etter 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, 19981etter, have been addressed in a revised Application <br />for Petmit Modification, which was submitsed 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 dlseuss your concerns. It <br />is our understanding that ali items, with one exception nafed 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 she revised Application for 1'errnit Modification, dated <br />June 1998 foe 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 welts are required beyond the property boundary, a variance from <br />the solid Vlraste Management Rules will be required." <br />From canversadons and meetings with the MpCA, we believe Comment #14 was meant to have <br />said the following; <br />