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12, MW -13, MW -17, MW -18, MW -31, and MW -32), and in addition the RSWA will monitor a <br />• series of groundwater monitoring wells, including the groundwater monitoring well installed <br />near the property boundary of the Ivy landfill on the property currently owned by the Batton <br />Plaintiffs (subject to the conditions discussed below) plus the additional groundwater monitoring <br />wells whose number and location(s) are to be determined by the consultants for the Parties in <br />accordance with the provisions of this Agreement set forth below. The RSWA will install such <br />wells on properties beyond the property boundaries of the Ivy landfill, assuming access is <br />granted to the RSWA by the property owner for the purposes set forth herein, at locations to be <br />agreed upon by consultants for the RSWA and the Plaintiffs. The groundwater monitoring wells <br />that are located beyond the boundaries of the Ivy landfill and that are selected by the consultants <br />for the Parties shall be monitored throughout the Ivy landfill's post closure care monitoring <br />period required by the applicable VSWMR, which for purposes of this Agreement shall be no <br />• less than thirty (30) years after the closure of the final MSW or CDD waste disposal cell on the <br />• <br />Ivy landfill property. The Batton well and the additional groundwater monitoring wells <br />described in Section B hereof will be sampled at the frequency required of the groundwater <br />monitoring compliance network in the applicable VSWMR and the facility's permit. It is <br />anticipated that MW -18 will be abandoned during the construction of proposed Cell 5. DEQ will <br />determine the number and location of any additional groundwater monitoring compliance <br />network wells it deems necessary to replace MW -18 in the groundwater compliance network in <br />accordance with the VSWMR. The Parties understand that the number and location of <br />groundwater monitoring wells that currently comprise the groundwater monitoring compliance <br />network may be modified in the future by DEQ, consequently the foregoing identified wells that <br />currently constitute the groundwater monitoring compliance network may change, however, the <br />13 <br />