Incorporated Attachments. Attachments A and B are incorporated by reference and are made fully a part of this Settlement Agreement as though set forth herein. IT IS SO STIPULATED5: 5 The final version of this document may include more than one page with the same page number to accommodate the various executing signatures. Xxxxx Xxxxxxxx, Assistant Executive Officer Date Colorado River Basin Regional Water Quality Control Board Prosecution Team Xxxxx Xxxxxxx, General Manager Date Palm Springs Aerial Tramway (This section intentionally left blank) PROPOSED ORDER HAVING CONSIDERED THE PARTIES’ STIPULATIONS, AS SET FORTH IN THE ATTACHED SETTLEMENT AGREEMENT, THE COLORADO RIVER BASIN REGIONAL WATER QUALITY CONTROL BOARD, FINDS THAT:
Incorporated Attachments. Attachment A (Specific Factors Reached Via Settlement) Attachment B (Penalty Methodology Spreadsheet) 1 Xxxx Xxxxxx will sign the Order on behalf of the Prosecution Team. Xx. Xxxxxx was a member of the Prosecution Team prior to entering her role as Executive Officer of the Regional Board. The signatory of the final Stipulated Order, if agreed upon by the Regional Water Board, will be determined by the Board. Xx. Xxxxxx will not act in an advisory capacity to the Regional Water Board in this matter. ATTACHMENT A Administrative Civil Liability Complaint No. R8-2017-0051 Enforcement Penalty Methodology Factors Reached via Settlement California Department of Transportation and Xxxxxxxx Contractors LP This document provides details to support the proposed Settlement Agreement and Stipulation for Entry of Order (Order) against the California Department of Transportation (“Caltrans”) and Xxxxxxxx Contractors LP (collectively “Settling Respondents”) in response to alleged violations for failing to comply with the State Water Resources Control Board (“State Board”) Order No. 2012- 0011-DWQ, NPDES Permit No. CAS000003, Waste Discharge Requirements for State of California Department of Transportation (“MS4 Permit”) and the State Board Order No. 2009- 0009-DWQ, NPDES Permit No. CAS000002, General Permit for Storm Water Discharges Associated with Construction and Land Disturbance Activities (“General Permit”). The State Board’s Water Quality Enforcement Policy (2009) (“Enforcement Policy”) establishes a methodology for determining administrative civil liability by addressing the factors that are required to be considered under California Water Code (“CWC”) section 13385(e). Each factor of a nine-step approach is discussed below, as is the basis of assessing the corresponding score according to the Enforcement Policy. Settling Respondents are alleged to have failed to comply with Section X, Section E.3 and E.6 of Attachment D of the General Permit as it relates to the Xxxxxx Interchange Improvements (WDID 8 36C366933). These alleged violations and the corresponding score for the one non-discharge violation and the one discharge violation alleged in the draft ACLC are presented below. This document reflects factors agreed to by the Prosecution Team and Settling Respondents after engaging in settlement negotiations. VIOLATION 1: FAILURE TO IMPLEMENT AN EFFECTIVE COMBINATION OF EROSION AND SEDIMENT CONTROLS
Incorporated Attachments. Attachment A - Federal Assistance Budget Information. Attachment B - Federal Assistance Reporting Checklist and Instructions. Attachment C - Special Terms and Conditions. Attachment D - Intellectual Property Provision Continued… CONTINUATION SHEET REFERENCE NO. OF DOCUMENT BEING CONTINUED PAGE OF DE-XX0000000 3 | 4 NAME OF OFFEROR OR CONTRACTOR XXXXXXX & XXXXXX MPOWER, INC. ITEM NO. (A) SUPPLIES/SERVICES (B) QUANTITY (C) UNIT (D) UNIT PRICE (E) AMOUNT (F) Attachment E - Statement of Substantial Involvement Attachment F - Milestones Attachment G - Point of Contact Sheet Pre-Award Costs: It is noted that pre-award cost have been approved and include cost incurred by the Recipient from 10/01/2012 through the effective award date of this cooperative agreement. Special Protected Data Statutes: This program is covered by a special protected data statute. The provisions of the statute provide for the protection from public disclosure, for a period of up to five (5) years from the development of the information, of data that would be trade secret, or commercial or financial information that is privileged or confidential, if the information had been obtained from a non-Federal party. Generally, the provision entitled, Rights in Data  Programs Covered Under Special Protected Data Statutes (10 CFR Part 600 Appendix A to Subpart D), would apply to an award made under this announcement. This provision will identify data or categories of data first produced in the performance of the award that will be made available to the public, notwithstanding the statutory authority to withhold data from public dissemination, and will also identify data that will be recognized by the parties as protected data.
Incorporated Attachments. Attachment A and Attachment B are incorporated by reference and are made fully a part of this Settlement Agreement as though set forth herein. IT IS SO STIPULATED1: Original Signed By 9/4/2018 Xxxxxx Xxxxxxxx, Assistant Executive Officer Date Central Valley Water Board Prosecution Team Original Signed By 9/5/2018 Xxxxx Xxxxxxx Date City Administrator 1 The final version of this document may include more than one page with the same page number to accommodate the various executing signatures.
Incorporated Attachments. Attachment A is incorporated by reference and is made fully a part of this Settlement Agreement as though set forth herein. ATTACHMENT A to Administrative Civil Liability Complaint No. R8-2017-0009 Specific Factors Considered for Civil Liability Lennar Homes of California, Inc. This document provides details to support the proposed Administrative Civil Liability Complaint No. R8-2017-0009 (Complaint) against Lennar Homes of California, Inc. (Discharger) in response to alleged violations of State Water Resources Control Board (State Board) Order No. 2009-0009-DWQ, NPDES Permit No. CAS000002, General Permit for Storm Water Discharges Associated with Construction and Land Disturbance Activities (General Permit). The alleged violations stem from inspections of the Discharger’s construction site located on Fairway Drive from XxXxxxxxxx Parkway to Van Buren Boulevard (8 33C373425). On November 21, 2016, Regional Board staff inspected and took photos of the Discharger’s construction site. Weather conditions at the time were partly cloudy and a rain event occurred the night before the inspection (November 20, 2016) and the morning of the inspection day. Due to the violations observed, a follow up inspection was performed and additional photos were taken on November 28, 2016. Weather conditions were partly cloudy and a rain event occurred two nights before the inspection (November 26, 2016). Each factor of the State Water Board’s Water Quality Enforcement Policy1 (Enforcement Policy), its corresponding score for the discharge violation, and the score for the four non- discharge violations alleged in the Complaint are presented below: Violations 1 through 5:
Incorporated Attachments. Attachment A is incorporated by reference. Stipulated Administrative Civil Liability Order No. R8-2024-0045 Western Riverside County Regional Wastewater Authority HAVING CONSIDERED THE PARTIES' STIPULATIONS, THE SANTA XXX REGIONAL WATER QUALITY CONTROL BOARD, BY AND THROUGH ITS ASSISTANT EXECUTIVE OFFICER, FINDS THAT:
Incorporated Attachments. Attachments A through E are incorporated by reference and are made fully a part of this Settlement Agreement as though set forth herein. Monterey Regional Water Pollution Control Agency Order No. R3-2016-0017 HAVING CONSIDERED THE PARTIES’ STIPULATIONS, AS SET FORTH IN THE ABOVE SETTLEMENT AGREEMENT, THE CENTRAL COAST REGIONAL WATER QUALITY CONTROL BOARD, BY AND THROUGH ITS EXECUTIVE OFFICER, FINDS THAT:
Incorporated Attachments. Bidders shall complete and include with their bids, the following forms available at xxx.xxx.
Incorporated Attachments. In addition, the Client shall be subject to all obligations set forth in addendums.
Incorporated Attachments. Subject to Recital 9 and Stipulations 13, and other terms and conditions and Stipulations of this Settlement Agreement, Attachments A through C are incorporated by reference and are made fully a part of this Settlement Agreement as though set forth herein. IT IS SO STIPULATED1: Original Singed by 1/26/2017 Xxxxxx Xxxxxxxx, Assistant Executive Officer Date Central Valley Water Board Prosecution Team Original Singed by 1/23/2017 Xxxxxxxxx Xxxxxxxxxx Date District Engineer Sacramento Area Sewer District (This section intentionally left blank) 1 The final version of this document may include more than one page with the same page number to accommodate the various executing signatures.