Waste Management’s Intentions and Commitments. Enforceable: WM will comply with all applicable environmental requirements during implementation of this Project. WM will establish a record keeping system to ensure compliance, as well as accurate reporting of monitoring data from Section 2 and Tables 6 and 6A. As discussed in section 4.2 (Legal Implementing Mechanism) WM will submit an application to the VDEQ requesting the issuance of a FESOP. WM intends to provide accurate data for the proposed bioreactor landfill. This data should enable EPA and the State to develop or modify regulatory requirements for identified parameters, such as those identified in Table 6 and 6A of this FPA. Voluntary: WM is committed to working with federal, state, and local governments to demonstrate, with regulatory flexibility, how a bioreactor landfill can attain more desirable environmental results than a conventional landfill. WM intends to continue to provide resources to maintain the schedules set forth in this FPA. As discussed in section 4.2 (Legal Implementing Mechanism) EPA intends to propose and issue a site-specific rule, amending 40 CFR Part 258.28, that applies specifically to the the two sites. The State and other local governing regulatory agencies will assist the XL Project Team in understanding all applicable regulatory and/or permitting requirements for the Project, and evaluate any need for regulatory flexibility openly with the Team. USEPA and the other regulatory agencies will review and assess annual and periodic reports submitted by Waste Management. USEPA will review the Project to determine whether it results in superior environmental performance. The State and other local regulatory agencies will assist USEPA in reviewing the Project to determine whether it results in superior environmental performance.
Appears in 3 contracts
Samples: Final Project Agreement, Final Project Agreement, Final Project Agreement
Waste Management’s Intentions and Commitments. Enforceable: WM will comply with all applicable environmental requirements during implementation of this Project. WM will establish a record keeping system to ensure compliance, as well as accurate reporting of monitoring data from Section 2 and Tables 6 and 6A. Table 6. As discussed in section 4.2 (Legal Implementing Mechanism) WM will submit an application to the VDEQ requesting the issuance of a FESOP. WM intends to provide accurate data for the proposed bioreactor landfill. This data should enable EPA and the State to develop or modify regulatory requirements for identified parameters, such as those identified in Table 6 and 6A of this FPA. Voluntary: WM is committed to working with federal, state, and local governments to demonstrate, with regulatory flexibility, how a bioreactor landfill can attain more desirable environmental results than a conventional landfill. WM intends to continue to provide resources to maintain the schedules set forth in this FPA. As discussed in section 4.2 (Legal Implementing Mechanism) EPA intends to propose and issue a site-specific rule, amending 40 CFR Part 258.28, that applies specifically to the the two sites. The State and other local governing regulatory agencies will assist the XL Project Team in understanding all applicable regulatory and/or permitting requirements for the Project, and evaluate any need for regulatory flexibility openly with the Team. USEPA and the other regulatory agencies will review and assess annual and periodic reports submitted by Waste Management. USEPA will review the Project to determine whether it results in superior environmental performance. The State and other local regulatory agencies will assist USEPA in reviewing the Project to determine whether it results in superior environmental performance.
Appears in 1 contract
Samples: Final Project Agreement