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2. Commercial and Industrial Discharges -the "BOD" and "SS" <br />would be added to the "flow" as the basis for determining <br />charges for this user group. In lieu of the BOD and SS <br />requirement, Mr. Peters would accept a certification from a <br />registered civil engineer starting that at no time would any <br />of the commercial or industrial discharges exceed the <br />standards set in the pretreatment ordinance. <br />3. General compliance -all other state requirements for <br />revenue programs would be met. <br />We were very pleased with the results of the workshop and the <br />cooperation from the staff in Sacramento, however, as you can see, <br />the revenue program is the key issue to be resolved. Please let <br />me know if SAWPA can be of any assistance or if you feel that the <br />state's requirements cannot be met. <br />Sincerely, <br />Gordon S. Magnuson <br />C.C. Bernie Kersey/Duane Norton, <br />San Bernardino <br />GSM:rla:A:GM.LEJ <br />SANTA ANA WATERSHED PROJECT AUTHORITY <br />