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Agmt13 Redwood City Partners, LLC Dewatering License
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Agmt13 Redwood City Partners, LLC Dewatering License
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Last modified
12/17/2013 9:59:45 AM
Creation date
12/17/2013 9:55:00 AM
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Agreement
Contractor Name
Redwood City Partners, LLC
PROJECT NAME
License for use of City poperty for Dewatering. relates to DDA 950 Middlefield Rd. Project.
RMP File Number
609
Date
12/12/2013
MO Ref
13-175
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F. Reporting Requirements <br /> Reporting requirements are included in the Monitoring and Reporting Program. The reporting <br /> requirements establish requirements for report submittal format. <br /> VII.RATIONALE FOR PROVISIONS <br /> A. Standard Provisions (Provision VI.A) <br /> Standard Provisions,which in accordance with 40 CFR 122.41and 122.42 apply to all NPDES <br /> discharges and must be included in every NPDES permit, are provided in Attachments D of this <br /> Order. 40 CFR 122.41(a)(1) and(b) through(n) establish conditions that apply to all state-issued <br /> NPDES permits. These conditions must be incorporated into the permits either expressly or by <br /> reference. 40 CFR 123.25(a)(12) allows the state to omit or modify conditions to impose more <br /> stringent requirements. In accordance with 40 CFR 123.25,this Order omits federal conditions <br /> that address enforcement authority specified in 40 CFR 122.41(j)(5) and(k)(2)because the CWC <br /> enforcement authority is more stringent. In lieu of these conditions, this Order incorporates by <br /> reference CWC section 13387(e). <br /> B. Monitoring and Reporting Program Requirements (Provision VI.B) <br /> The Discharger is required to monitor the permitted discharge in order to evaluate compliance <br /> with permit conditions. Monitoring requirements are contained in the Monitoring and Reporting <br /> Program(Attachment E), and Standard Provisions(Attachxnent D). This provision requires <br /> compliance with these documents and is authorized by 40 CFR 122.41(h) and(j), and CWC <br /> sections 13267 and 13383. <br /> C. Special Provisions (Provision VI.C) <br /> 1. Reopener Provisions. These reopener provisions are based on 40 CFR 122.63 and allow <br /> modification of this Order and its effluent limitations as necessary in response to updated <br /> WQOs, regulations, or other new relevant information that may be established in the future <br /> and other circumstances allowed by law. <br /> 2. Notice of Intent(NOI)Application.Provision VI.C.2,Notice of Intent(NOI)Application,is <br /> based on 40 CFR 122.28(b). <br /> 3. NOI Review. Provision VI.C.3,NOI Review, is based on 40 CFR 122.28(b). <br /> 4. Discharge Authorization.Provision VI.C.4,Discharge Authorization,is based on 40 CFR <br /> 122.28(b). <br /> 5. Non-Compliance is a Violation.Provision VI.C.S,Non-Compliance is a Violation, is based <br /> on 40 CFR 122.41(a). <br /> 6. Triggers. Dischargers authorized under this Order are expected to use BAT and treat their <br /> fuel or VOC pollutants to non-detectable levels. Some compounds other than pollutants with <br /> Attachment F—Fact Sheet F-28 <br /> For VOC and Fuel General NPDES Permit No.CAG912002 <br />
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