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13-Resolution authorizing contract with Weaver Boos Consultants
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13-Resolution authorizing contract with Weaver Boos Consultants
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XMISAYlER <br />$oos <br />Y.i.c <br />SOSTTH~EST` <br />December 10, 2009 <br />Mr. Shawn Napier, P.E. <br />City of Paris <br />150 SE First Street <br />Paris, Texas 75460 <br />6420 SOUTHWEST BLVD, SUITE 206 <br />Clzicugo, IL <br />FORT WORTH, TEXAS 76109 <br />Spri,Tgrield, IL <br />PHONE: 817.735.9770 <br />Naperville, IL <br />FfIX: 817.735.9775 <br />Griffith, In' <br />www weaverboos.com <br />South Bend, IN <br />Denver, CO <br />St. Louis, MO <br />Colun:bus, OH <br />Beaverton, OR <br />Fort Worth, TX <br />Re: Proposal for MSD Consulting Services <br />Stillhouse Road Landfill, Paris, Texas <br />Dear Mr. Napier: <br />Per your request, Weaver Boos Consultants, LLC-Southwest (WBC) is providing the City <br />of Paris (City) with a proposal to complete a municipal setting designation (MSD) <br />application for the Stillhouse Road Landfill area. This area will include the landfill <br />property and all adjacent areas impacted by Stillhouse Road Landfill-source contaminants. <br />This proposal assumes the MSD area is within the City extraterritorial jurisdiction. As <br />part of the MSD application, the City would pass an ordinance or restrictive covenant that <br />prohibits the use of groundwater from beneath the designated area. In so doing, the need <br />for groundwater remediation or future monitoring is expected to be removed. This <br />proposal includes the following service tasks: <br />Task 1- Five Mile Water Well Search <br />WBC will obtain a five mile radius water well search as required by the TCEQ for MSD <br />applications. The results will become part of the MSD application. Any identified water <br />wells within the search radius will receive a TCEQ-required public notice letter. As part <br />of this task, WBC will obtain a copies of an MSD application for City ordinance text and <br />other reference purposes. According to TCEQ MSD requirements, if there is a potable- <br />sue groundwater well within 0.5 miles of the MSD boundary then the extent of any <br />gro0undwater contamination beyond that boundary must be determined and the <br />groundwater remediated in accordance with TCEQ requirements. If there is no <br />groundwater well within 0.5 miles of the MSD boundary, then the contamination will not <br />be assessed or remediated for potable purposes. <br />Task 2-Public Water Supply System Verification <br />WBC will obtain a letter from the Lamar County public water supply provider that <br />indicates public water supplies are available to land owners within 0.5 miles of the MSD <br />area - as required by the TCEQ for MSD applications. WBC will also obtain map-based <br />information regarding the water supply line locations. This information will become part <br />of the MSD application. <br />cl <br />~ J J <br />
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