The Division of Waste Management has taken comments from a stakeholder stating that, for closure of a soil remediation permitted facility, having a closure/cleanup based on a non-detection level of soil contamination is unreasonable. Changing the closure/cleanup to a risk-based closure/cleanup requirement requires rule changes to modify certain closure/cleanup requirements applicable to the soil remediation permitting. This change will be protective of human health and the environment and will reduce costs to some stakeholders. This is a public hearing to receive comments on proposed amendments to Rule 15A NCAC 02T .1500 to meet requirements of G.S. 150B-21.2(e).
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