On behalf of the Association of State and Territorial Solid Waste Management Officials (ASTSWMO), I would like to submit the following comments and concerns on the proposed rule for Financial Responsibility Requirements Under CERCLA §108(b) for Classes of Facilities in the Hardrock Mining Industry (the proposed rule), published in the Federal Register on January 11, 2017.
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ASTSWMO Comments on Proposed CERCLA 108(b) Rule
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