the RCRA definitions of owner or operator to exclude those, suchas AKA, who innocently acquire the property after statutoryadoption and never operate it as a petroleum dispensing facility,what would the impact be on the USEPA approved Illinois programfor UST control or on the likelihood of clean-up of unusedunderground storage tanks.
Therefore, the Board orders the parties (and
invites the Petroleum Marketer’s Association) to file memorandaresponsive to the following questions:1.
When and by what action did AKA become an owner or operator
as those terms are defined in Subtitle I of RCRA? Becaus...
Allowed
scantmp5
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