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6 Regulatory Approval and Permitting, and Public Involvement
Pages 66-70

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From page 66...
... The new AELs for workers and the community schedule for non-stockpile operations. will involve a new round of regulatory approvals or amendments to existing approvals and have the potential to give rise to additional regulatory- and public-involvement-related Worker Protection delays and costs in meeting the CWC deadlines.
From page 67...
... 4Other types of regulatory approvals are issued pursuant to removal and 6As described in Systems and Technologies for the Treatment of Nonremedial actions under the Comprehensive Environmental Response, Com- Stockpile Chemical Warfare Materiel (NRC, 2002) , the RCRA program pensation and Liability Act (CERCLA)
From page 68...
... former production facility RCRA permit regulators have urged the Product Manager for Non- modification application, March 2004, Attachment G3.10 Stockpile Chemical Materiel (PMNSCM) to examine the The purpose of the contingency plan is to minimize hazards feasibility of using an alarm level of 0.20 AEL for non- to human health or the environment from fires, explosions, stockpile operations, for consistency with stockpile opera- or unplanned releases of hazardous waste or hazardous waste tions.7 Non-stockpile operations in these states would then constituents.
From page 69...
... Further, these the RCRA contingency plan, specific criteria that would same workers understand both the benefits of and challenges activate the plan. These criteria should address MINICAMS posed by personal protective equipment (PPE)
From page 70...
... To dispose the outside experts indicate a certain level of monitoring is of recovered chemical materiel in a timely fashion, it is sufficient, the Army may decide to take local factors into prudent that the Army go to great lengths to ensure that the consideration. potentially impacted public is comfortable with Army efforts The non-stockpile program has good relations with the to mitigate the risks of exposure.


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