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FYI: Reminders regarding Suzuki's draft permit: <br />1) Suzuki shall report flow daily. <br />2) Suzuki's Authorized Representative shall sign all reports including but not limited to Periodic <br />Compliance Reports (PCR), Slug Control Plans, Flow Measurement Plans, and corrective actions <br />in response to permit violations. <br />3) When collecting composite samples, samples must be obtained over a 24 hour period or for the <br />duration of discharge within the 24 hour sampling period including, if applicable, multiple batches. <br />4) Samples shall be obtained through a flow -proportional sampling technique. If Suzuki can <br />demonstrate that time -proportional sampling is as representative as flow -proportional sampling, <br />then a time -proportional sample may be collected. If Suzuki chooses to demonstrate that time - <br />proportional sampling is accurate they must do so within 120 days of the effective date of this <br />permit or they shall commence flow -proportional sampling at that time. Please see Part II(B)(1) of <br />your wastewater discharge permit for details. <br />5) To be submitted with the PCR, the Certified Operator shall sign one of the following statements: <br />"Pretreatment Standards and Requirements are being met on a consistent basis" or "Pretreatment <br />Standards and Requirements are not being met on a consistent basis. Additional operation and/or <br />additional pretreatment is required to meet the Pretreatment Standards and Requirements". <br />6) Only the Authorized Representative shall be required to sign the certification statement found in <br />Part III (A)(4) of this draft permit. <br />7) Section Part 1V (13)(15) has been added in order to clarify the requirements concerning the <br />Authorized Representative. <br />8) For all required oral notifications call: 574-277-8515 and dial zero (0) to reach an operator. See <br />Part 111(1) of your permit for details. <br />9) With each permit renewal, Suzuki is required to sample for TTOs at least twice before submitting <br />a new Toxic Organic Management Plan (TOMP). <br />Page I. of 46 <br />