From: Noble, Ron [rnoble@fowlerwhite.com] Sent: Friday, May 07, 2010 11:43 AM To: Kothur, Bheem; 'Dee Miller' Cc: Dregne, James; Tripp, Anthony; Posner, Augusta; Noble, Ron Subject: RE: Scanned from MFP-05124238 05/05/2010 13:33 Hi Bheem: Thanks for following up and providing the citations you referenced below. After reviewing this information, we just want to confirm again that FRS' sole method of leak detection and release detection will consist of visual inspections with appropriate records of same to comply with the Rules you referenced. Thanks again for all of your assistance on this project. Ron Ron H. Noble Fowler White Boggs P.A. 501 E. Kennedy Blvd, Suite 1700 Tampa, Florida 33602 Direct: 813 222 1175 Fax: 813 229 8313 rnoble@fowlerwhite.com -----Original Message----- From: Kothur, Bheem [mailto:Bheem.Kothur@dep.state.fl.us] Sent: Thursday, May 06, 2010 8:58 AM To: Noble, Ron; 'Dee Miller' Cc: Dregne, James; Tripp, Anthony; Posner, Augusta Subject: FW: Scanned from MFP-05124238 05/05/2010 13:33 Hi Ron, We are in receipt of the above Attached letter from you, reviewed and have the following clarification and response: These conditions are established from 40 CFR 279.54 (a) Management Units, and Units subject to regulation under Part 264 or 265 of this chapter. Please refer to 40 CFR 264.193 - Containment and detection of releases and specifically 264.193(c)(3) OR 265.193(c)(3) These are Standard construction and operating conditions. These conditions are written to all our TSDs. If you need any further information, please let me know and I hope this clarifies to your letter and response. Thanks. Bheem -----Original Message----- From: TOS_SHW6 [mailto:DWM_Scan@dep.state.fl.us] Sent: Wednesday, May 05, 2010 1:34 PM To: Kothur, Bheem Subject: Scanned from MFP-05124238 05/05/2010 13:33 Scanned from MFP-05124238. Date: 05/05/2010 13:33 Pages:2 Resolution:200x200 DPI ---------------------------------------- ------------------------------------------------------------------------------ ----------------------------- Disclaimer under IRS Circular 230: Unless expressly stated otherwise in this transmission, nothing contained in this message is intended or written to be used, nor may it be relied upon or used, (1) by any taxpayer for the purpose of avoiding penalties that may be imposed on the taxpayer under the Internal Revenue Code of 1986, as amended and/or (2) by any person to support the promotion or marketing of or to recommend any Federal tax transaction(s) or matter(s) addressed in this message. If you desire a formal opinion on a particular tax matter for the purpose of avoiding the imposition of any penalties, we will discuss the additional Treasury requirements that must be met and whether it is possible to meet those requirements under the circumstances, as well as the anticipated time and additional fees involved. ------------------------------------------------------------------------------ ----------------------------- Confidentiality Disclaimer: This e-mail message and any attachments are private communication sent by a law firm, Fowler White Boggs P.A., and may contain confidential, legally privileged information meant solely for the intended recipient. If you are not the intended recipient, you are hereby notified that any use, dissemination, distribution or copying of this communication is strictly prohibited. Please notify the sender immediately by replying to this message, then delete the e-mail and any attachments from your system. Thank you.