Comment EI-32815
Received or sent (printed as 4/29/2022)
Adam Assenza, Thank you for inviting EPA to attend the March 30, 2022 public meeting on the proposed PIRATE project. STB provided updates on the range of alternatives, proximity to former Williams AFB cleanup sites, the initiation of ongoing air quality analysis, and a commitment to Sec 106 compliance with cultural resources. The USAF also participated on the call, stated they will continue informal coordination with STB, and committed to providing the digital locations of cleanup site monitor wells to inform STB’s proposed build alternatives. As we described in our pre-scoping letter from January 12, 2022, if there are any outstanding site cleanup questions or concerns relating to the various cleanup sites and institutional controls on the former Williams Air Force Base, please contact Carolyn d’Almeida, the Remedial Project Manager for these sites. https://cumulis.epa.gov/supercpad/cursites/csitinfo.cfm?id=0900890 Best,
Submitted by: Zac Appleton · EPA · San Fransisco, CA
The Board publishes this comment in its environmental-comment table for this proceeding. It is quoted here as printed; nothing is inferred from it, and it states the commenter's own position in their own words, not this record's.
Permanent address docketyard.org/d/FD-36501/comment/EI-32815
File docketyard.org/document/a029ca4a27571fcfd1d25522de91941d8be2a628e666b38cb10def5e12edbc0d.pdf · back to the docket sheet