conirnent, CARE continues to urge the Board to mandate groundwater monitoring at CCDD sitesto ensure that aggregated fill material does not affect vital groundwater resources now or in thefuture, and, to ensure that if a release occurs, it can be identified and addressed efficiently beforeaffecting private or public wells.
415 ILCS 5 5/2(b).
‘s has a third reason for asserting that proactive groundwater monitoring should be
required.
The inventory of these enforcement cases is attached to these comments and labeled as
CARE Public Comment Exhibit Tw...
Allowed
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