The EPA is requesting information from Rochester Public Utilities regarding its Silver Lake Generating Station in Rochester, Minnesota. The EPA is making this request under the Clean Air Act to evaluate the facility's compliance with the Act. Rochester Public Utilities must submit the requested information within 45 days, following the instructions in Appendices B and C. Any confidential business information claims must meet the assertion and substantiation requirements in Appendix A.
This document provides information about the Central Intelligence Agency's (CIA) Freedom of Information Act (FOIA) annual report for fiscal year 2017. It includes the point of contact for the report, how to make a FOIA request to the CIA, definitions of key terms, descriptions of the types of information exempted from disclosure including intelligence sources and methods, statistics on the number of FOIA requests received and processed, how long requests took to process, the number of times various exemptions were cited, and details of administrative appeals.
This document opposes the plaintiffs' emergency application to enforce the court's temporary restraining order regarding the preservation of evidence in Jewel v. NSA. It argues that immediately halting the destruction of all Section 702 materials as ordered would have significant operational impacts for NSA and force it out of compliance with FISC-approved minimization procedures. It also argues that the TRO did not expressly apply to Section 702 materials, and that it is unlikely plaintiffs' communications were acquired under Section 702 since it only authorizes targeted foreign surveillance. Preserving all Section 702 data would distort the government's preservation obligations in this case.
The document discusses the United States v. David Nosal case regarding an ex-employee who accessed his former employer's computer system to download confidential information. Specifically:
1) The case centered around whether Nosal exceeded his authorized access under the Computer Fraud and Abuse Act (CFAA) by downloading information for personal use in violation of company policy.
2) The majority opinion held that violating a private computer use policy is not sufficient for criminal liability under the CFAA, while the dissent argued Nosal clearly knew the information could only be used for business purposes.
3) There are differing interpretations among circuit courts on what constitutes "authorization" and "exceeds authorized access" under the CFAA. The
This document provides instructions and information for completing Standard Form 180, Request Pertaining to Military Records. It explains that the form is used to request information from military records and certain identifying information is needed to locate records. It outlines where to mail the form depending on the type of record requested and provides definitions to help complete the form.
According To An Article On The BESTCASE Website – Supreme Court Approves Amen...tonyturnerlaw
The U.S. Supreme Court approved amendments to the Federal Rules of Bankruptcy Procedure that are expected to take effect on December 1, 2018. Many of the amendments are technical in nature and are intended to update bankruptcy rules related to electronic filing, appeals, judgments, and other procedural matters. Key changes include mandating electronic filing for attorneys, updating rules related to home equity loans and fees/expenses, expanding the definition of entry of judgment, and addressing bankruptcy court jurisdiction over final judgments.
- The document is a letter providing documentation about the Hutchinson Effect to Andrew. It includes notes from investigations by John Hutchison and communications with US organizations.
- The breakthrough came when contact was made with Los Alamos National Laboratory, who revealed John Alexander's involvement. The US Army Intelligence department had previously denied all information.
- John Hutchison was angry upon discovering that George Hathaway, who had assisted him early on, was being paid by Colonel Alexander.
This letter from the U.S. Attorney's Office requests to admit evidence of uncharged acts by the defendants in a criminal case involving computer hacking and harassment. The defendants, Felix Roque (the mayor of West New York) and his son Joseph Roque, are charged with conspiring to disrupt a website critical of Felix's administration through hacking into email and social media accounts. The prosecution seeks to introduce evidence that after obtaining information from the hacked accounts, Felix contacted individuals associated with the website to harass and intimidate them, as this evidence directly proves the charged conspiracy and harassment offenses.
This document provides information about the Central Intelligence Agency's (CIA) Freedom of Information Act (FOIA) annual report for fiscal year 2017. It includes the point of contact for the report, how to make a FOIA request to the CIA, definitions of key terms, descriptions of the types of information exempted from disclosure including intelligence sources and methods, statistics on the number of FOIA requests received and processed, how long requests took to process, the number of times various exemptions were cited, and details of administrative appeals.
This document opposes the plaintiffs' emergency application to enforce the court's temporary restraining order regarding the preservation of evidence in Jewel v. NSA. It argues that immediately halting the destruction of all Section 702 materials as ordered would have significant operational impacts for NSA and force it out of compliance with FISC-approved minimization procedures. It also argues that the TRO did not expressly apply to Section 702 materials, and that it is unlikely plaintiffs' communications were acquired under Section 702 since it only authorizes targeted foreign surveillance. Preserving all Section 702 data would distort the government's preservation obligations in this case.
The document discusses the United States v. David Nosal case regarding an ex-employee who accessed his former employer's computer system to download confidential information. Specifically:
1) The case centered around whether Nosal exceeded his authorized access under the Computer Fraud and Abuse Act (CFAA) by downloading information for personal use in violation of company policy.
2) The majority opinion held that violating a private computer use policy is not sufficient for criminal liability under the CFAA, while the dissent argued Nosal clearly knew the information could only be used for business purposes.
3) There are differing interpretations among circuit courts on what constitutes "authorization" and "exceeds authorized access" under the CFAA. The
This document provides instructions and information for completing Standard Form 180, Request Pertaining to Military Records. It explains that the form is used to request information from military records and certain identifying information is needed to locate records. It outlines where to mail the form depending on the type of record requested and provides definitions to help complete the form.
According To An Article On The BESTCASE Website – Supreme Court Approves Amen...tonyturnerlaw
The U.S. Supreme Court approved amendments to the Federal Rules of Bankruptcy Procedure that are expected to take effect on December 1, 2018. Many of the amendments are technical in nature and are intended to update bankruptcy rules related to electronic filing, appeals, judgments, and other procedural matters. Key changes include mandating electronic filing for attorneys, updating rules related to home equity loans and fees/expenses, expanding the definition of entry of judgment, and addressing bankruptcy court jurisdiction over final judgments.
- The document is a letter providing documentation about the Hutchinson Effect to Andrew. It includes notes from investigations by John Hutchison and communications with US organizations.
- The breakthrough came when contact was made with Los Alamos National Laboratory, who revealed John Alexander's involvement. The US Army Intelligence department had previously denied all information.
- John Hutchison was angry upon discovering that George Hathaway, who had assisted him early on, was being paid by Colonel Alexander.
This letter from the U.S. Attorney's Office requests to admit evidence of uncharged acts by the defendants in a criminal case involving computer hacking and harassment. The defendants, Felix Roque (the mayor of West New York) and his son Joseph Roque, are charged with conspiring to disrupt a website critical of Felix's administration through hacking into email and social media accounts. The prosecution seeks to introduce evidence that after obtaining information from the hacked accounts, Felix contacted individuals associated with the website to harass and intimidate them, as this evidence directly proves the charged conspiracy and harassment offenses.
This document contains several classified advertisements and public notices. The classified advertisements include listings for cockapoo puppies for sale, a Derutz lawn mower for sale, German shepherd puppies for sale, and someone wanting to buy a used plastic 90 degree slide. The public notices include an assignment of mortgage for a property located at 11968 Highway 63 NE Rochester, MN 55906 and a notice of foreclosure for a mortgage dated June 13, 2008 between Christine G. Kern and First Alliance Credit Union.
This document contains classified advertisements from a newspaper. It includes ads selling various items under $200 such as a 15 gallon sprayer for $150, insulation batts for $20, and a 1912 stoneware crock for $85. It also contains pet ads such as Australian Shepherd puppies and toy poodle puppies. Additionally, the document contains a public notice about a postponed foreclosure sale occurring on September 28, 2012 for a property located in Rochester, Minnesota.
Public meetings, foreclosures and other legal notices for March 23, 2012Post-Bulletin Co.
This document is a legal notice for a mortgage foreclosure sale. It provides details about the property such as the legal description, address, and identification number. It lists the original mortgage amount, date, and the mortgagors. The amount claimed to be due on the mortgage is stated. The notice specifies that the property will be sold at a public auction on a given date and time to pay off the debt unless redeemed. It provides information on the rights to verify the debt and redeem the property within a certain timeframe.
The document discusses the benefits of exercise for mental health. Regular physical activity can help reduce anxiety and depression and improve mood and cognitive functioning. Exercise causes chemical changes in the brain that may help boost feelings of calmness, happiness and focus.
This classified advertisement section from a local newspaper contains various listings of items for sale, services offered, real estate listings, and public notices. Some of the highlights include:
- Several homes, condos, and apartments listed for rent or sale in and around Rochester, Minnesota, ranging in price from $725-1250 per month.
- Numerous garage sales advertised for that week, with listings of items being sold including furniture, clothing, decorations, books, toys, and more.
- Miscellaneous items for sale posted by individuals, such as a slot machine, pinball machine, humidifier, dining room table, and men's clothing.
- Farmland and acreage properties listed for
The Minnesota Public Utilities Commission issued a revised information request to New Era Wind Farm, the new name for a wind project in Goodhue County.
The document discusses several factors to consider when choosing a federal vs state forum for a class action lawsuit. It addresses appealability of certification decisions, approval requirements for pre-certification dismissals, how trials are conducted regarding case processing speed and jury practices, and settlement approval processes. It also summarizes amendments to the Federal Rules of Civil Procedure governing electronic discovery, including initial disclosures, discovery conferences, and limitations on accessing inaccessible data.
The Council on Environmental Quality (CEQ) Annual FOIA Report for fiscal year 2008 provides information on FOIA requests received and processed. It summarizes that CEQ received 35 requests and processed 50 total requests, with 5 pending at the end of the fiscal year. Most requests were partially granted or denied based on FOIA exemptions. CEQ also received 3 administrative appeals and processed all 3, with none pending. Exemption 5 was cited most frequently for withholding information from both requests and appeals.
This letter responds to a Freedom of Information Act request regarding communications about an EPA memorandum on climate change. It explains that the request requires consultation with other agencies and evaluation of deliberative communications that may be exempt. It requests more information from the requester to justify a fee waiver, specifically identifying the government operations/activities, how disclosure would contribute to public understanding, and how it would significantly contribute to public understanding. The requester is given 60 days to respond before a final decision is made.
Investigative Consumer Report Presentation Jun 09 07 Versionrileyparker
1. Background checks help employers reduce risks like negligent hiring lawsuits and workplace violence by verifying applicant information. However, employers must comply with laws like the Fair Credit Reporting Act.
2. When using consumer reporting agencies to conduct background checks, employers must provide required notices and disclosures to applicants, obtain written consent, and allow for applicant review of adverse findings.
3. Inaccurate or incomplete background checks can lead to legal liability for both employers and consumer reporting agencies if they do not follow reasonable procedures to ensure accurate reporting.
I presented comprehensive e-discovery webinar with Eric Mandel, national e-discovery counsel and leader of the information law practice group at Zelle Hofmann Voelbel & Mason LLP.
Here are a selection of the slides that I created for the presentation
The document provides instructions for completing FAA Form 8710-1, which is used to apply for airman certificates and ratings. It explains what information is required in each block of the application, including name, social security number, date of birth, place of birth, address, citizenship, English proficiency, physical description, and medical certification. It notes that the information collected is used to determine eligibility and becomes part of the FAA's system of records for airmen.
This document summarizes key topics in electronic discovery (e-discovery) including: the types of electronically stored information (ESI) that now exists; how e-discovery rules and case law have evolved to address ESI; common e-discovery issues like litigation holds, accessibility tiers, and sanctions; and ethical implications for attorneys regarding e-discovery competency and diligence. Recent cases demonstrate courts' increasing willingness to impose severe sanctions like adverse inferences, monetary penalties, default judgments, or case dismissal for failure to properly preserve ESI or comply with discovery orders.
Hydraulic Fracturing Chemicals and Mixtures; Advance Notice of Proposed Rulem...Marcellus Drilling News
A notice from the federal EPA that they intend to craft new regulations requiring something already being done voluntarily--reporting of the chemicals used during hydraulic fracturing for every well drilled in the U.S. The new rule is a naked attempt at regulating oil and gas drilling in the U.s. by the federal government--something specifically left to the individual states to regulate under the U.S. Constitution. It is just one of the many attempts at violating the Constitution made by the EPA under the odious Obama administration.
The document summarizes Indiana's public access laws regarding government meetings and records. It discusses the creation of the Public Access Counselor's office to provide guidance on the Open Door Law and Access to Public Records Act. It outlines requirements for public notices, meetings, executive sessions, records requests and responses, and exceptions. Remedies for noncompliance include complaints, lawsuits, and potential fines.
This document discusses the duty of candor and inequitable conduct in patent prosecution. It notes that inequitable conduct can arise from failure to disclose material information or submitting false information with intent to deceive the patent office. The standard for materiality is whether a reasonable examiner would consider the information important. Intent to deceive does not require subjective intent. Inequitable conduct can lead to patent invalidity or unenforceability. The document provides tips for prosecution such as memorializing all disclosures, assigning related applications to the same attorney, and giving clients instructions regarding candor duties.
The document discusses the need for secure email in business and legal communications. It notes that while email is widely used, messages can be intercepted, putting private information at risk. It then summarizes several laws and regulations across different industries that require protecting sensitive data sent via email, such as financial privacy laws and healthcare privacy laws. Encrypting emails can help businesses meet these legal requirements while also providing security and documentation of messages.
This document contains several classified advertisements and public notices. The classified advertisements include listings for cockapoo puppies for sale, a Derutz lawn mower for sale, German shepherd puppies for sale, and someone wanting to buy a used plastic 90 degree slide. The public notices include an assignment of mortgage for a property located at 11968 Highway 63 NE Rochester, MN 55906 and a notice of foreclosure for a mortgage dated June 13, 2008 between Christine G. Kern and First Alliance Credit Union.
This document contains classified advertisements from a newspaper. It includes ads selling various items under $200 such as a 15 gallon sprayer for $150, insulation batts for $20, and a 1912 stoneware crock for $85. It also contains pet ads such as Australian Shepherd puppies and toy poodle puppies. Additionally, the document contains a public notice about a postponed foreclosure sale occurring on September 28, 2012 for a property located in Rochester, Minnesota.
Public meetings, foreclosures and other legal notices for March 23, 2012Post-Bulletin Co.
This document is a legal notice for a mortgage foreclosure sale. It provides details about the property such as the legal description, address, and identification number. It lists the original mortgage amount, date, and the mortgagors. The amount claimed to be due on the mortgage is stated. The notice specifies that the property will be sold at a public auction on a given date and time to pay off the debt unless redeemed. It provides information on the rights to verify the debt and redeem the property within a certain timeframe.
The document discusses the benefits of exercise for mental health. Regular physical activity can help reduce anxiety and depression and improve mood and cognitive functioning. Exercise causes chemical changes in the brain that may help boost feelings of calmness, happiness and focus.
This classified advertisement section from a local newspaper contains various listings of items for sale, services offered, real estate listings, and public notices. Some of the highlights include:
- Several homes, condos, and apartments listed for rent or sale in and around Rochester, Minnesota, ranging in price from $725-1250 per month.
- Numerous garage sales advertised for that week, with listings of items being sold including furniture, clothing, decorations, books, toys, and more.
- Miscellaneous items for sale posted by individuals, such as a slot machine, pinball machine, humidifier, dining room table, and men's clothing.
- Farmland and acreage properties listed for
The Minnesota Public Utilities Commission issued a revised information request to New Era Wind Farm, the new name for a wind project in Goodhue County.
The document discusses several factors to consider when choosing a federal vs state forum for a class action lawsuit. It addresses appealability of certification decisions, approval requirements for pre-certification dismissals, how trials are conducted regarding case processing speed and jury practices, and settlement approval processes. It also summarizes amendments to the Federal Rules of Civil Procedure governing electronic discovery, including initial disclosures, discovery conferences, and limitations on accessing inaccessible data.
The Council on Environmental Quality (CEQ) Annual FOIA Report for fiscal year 2008 provides information on FOIA requests received and processed. It summarizes that CEQ received 35 requests and processed 50 total requests, with 5 pending at the end of the fiscal year. Most requests were partially granted or denied based on FOIA exemptions. CEQ also received 3 administrative appeals and processed all 3, with none pending. Exemption 5 was cited most frequently for withholding information from both requests and appeals.
This letter responds to a Freedom of Information Act request regarding communications about an EPA memorandum on climate change. It explains that the request requires consultation with other agencies and evaluation of deliberative communications that may be exempt. It requests more information from the requester to justify a fee waiver, specifically identifying the government operations/activities, how disclosure would contribute to public understanding, and how it would significantly contribute to public understanding. The requester is given 60 days to respond before a final decision is made.
Investigative Consumer Report Presentation Jun 09 07 Versionrileyparker
1. Background checks help employers reduce risks like negligent hiring lawsuits and workplace violence by verifying applicant information. However, employers must comply with laws like the Fair Credit Reporting Act.
2. When using consumer reporting agencies to conduct background checks, employers must provide required notices and disclosures to applicants, obtain written consent, and allow for applicant review of adverse findings.
3. Inaccurate or incomplete background checks can lead to legal liability for both employers and consumer reporting agencies if they do not follow reasonable procedures to ensure accurate reporting.
I presented comprehensive e-discovery webinar with Eric Mandel, national e-discovery counsel and leader of the information law practice group at Zelle Hofmann Voelbel & Mason LLP.
Here are a selection of the slides that I created for the presentation
The document provides instructions for completing FAA Form 8710-1, which is used to apply for airman certificates and ratings. It explains what information is required in each block of the application, including name, social security number, date of birth, place of birth, address, citizenship, English proficiency, physical description, and medical certification. It notes that the information collected is used to determine eligibility and becomes part of the FAA's system of records for airmen.
This document summarizes key topics in electronic discovery (e-discovery) including: the types of electronically stored information (ESI) that now exists; how e-discovery rules and case law have evolved to address ESI; common e-discovery issues like litigation holds, accessibility tiers, and sanctions; and ethical implications for attorneys regarding e-discovery competency and diligence. Recent cases demonstrate courts' increasing willingness to impose severe sanctions like adverse inferences, monetary penalties, default judgments, or case dismissal for failure to properly preserve ESI or comply with discovery orders.
Hydraulic Fracturing Chemicals and Mixtures; Advance Notice of Proposed Rulem...Marcellus Drilling News
A notice from the federal EPA that they intend to craft new regulations requiring something already being done voluntarily--reporting of the chemicals used during hydraulic fracturing for every well drilled in the U.S. The new rule is a naked attempt at regulating oil and gas drilling in the U.s. by the federal government--something specifically left to the individual states to regulate under the U.S. Constitution. It is just one of the many attempts at violating the Constitution made by the EPA under the odious Obama administration.
The document summarizes Indiana's public access laws regarding government meetings and records. It discusses the creation of the Public Access Counselor's office to provide guidance on the Open Door Law and Access to Public Records Act. It outlines requirements for public notices, meetings, executive sessions, records requests and responses, and exceptions. Remedies for noncompliance include complaints, lawsuits, and potential fines.
This document discusses the duty of candor and inequitable conduct in patent prosecution. It notes that inequitable conduct can arise from failure to disclose material information or submitting false information with intent to deceive the patent office. The standard for materiality is whether a reasonable examiner would consider the information important. Intent to deceive does not require subjective intent. Inequitable conduct can lead to patent invalidity or unenforceability. The document provides tips for prosecution such as memorializing all disclosures, assigning related applications to the same attorney, and giving clients instructions regarding candor duties.
The document discusses the need for secure email in business and legal communications. It notes that while email is widely used, messages can be intercepted, putting private information at risk. It then summarizes several laws and regulations across different industries that require protecting sensitive data sent via email, such as financial privacy laws and healthcare privacy laws. Encrypting emails can help businesses meet these legal requirements while also providing security and documentation of messages.
Lewis Barbe vs. US - Freedom of Information ActLewis Barbe
This court case helped establish the Freedom of Information Act. Specifically, it ruled that the Secretary of Labor must provide training materials like manuals, slides and films to Lewis Barbe that were used to train OSHA inspectors. This established that agencies must make certain records publicly available, including policies, interpretations, opinions and staff manuals. It exempts private or sensitive personal information. The act aims to create transparency around government activities.
Apple lega process guidelines - These Guidelines are provided for use by law enforcement or other government entities in the
U.S. when seeking information from Apple Inc. (“Apple”) about users of Apple’s products and
services, or from Apple devices. Apple will update these Guidelines as necessary. This version
was released on September 17, 2014.
EPA Proposed Amendments to Air Regulations for the Oil and Natural Gas Indust...Marcellus Drilling News
A full copy of the proposed new rule changes EPA is proposing to prevent air pollution from hydraulic fracturing used in the oil and gas industry. The new rule changes seek to reduce the level of volatile organic compounds the EPA says are escaping into the air around drilling operations--from well pads, compressor plants, pipelines and other industry-related activities.
Electronic Document Retention And Legal HoldsJohn Jablonski
Overview of the duty to preserve records, the Seven Steps of a legal hold business process and basic evidence for the admissibility of electronic evidence (aka ESI)
Pennsylvania OOR Appeal 1-2023 - Final Determination Ax318960
FOIA and RTKL regulations allow for agency provision of records which are in no way responsive to the requests being made. Said allowance enables agencies to circumvent proper process and protocol and negates the transparency that these laws were created to achieve.
This document provides details of a mortgage foreclosure filing for a property located at 429 20th St SW in Rochester, MN. The mortgage servicer is PHH Mortgage Corporation and the document provides the legal description and property identification number for the foreclosed property. It also lists the date and place where the initial foreclosure filing and subsequent loan modification agreement were recorded.
Matthew Ryan Judy, a level three sex offender, is being released from prison on January 3, 2013. He was convicted of criminal sexual conduct for sexually assaulting a 15-year-old female victim through force and coercion. Upon his release, the Rochester Police Department is notifying the community per Minnesota law due to his high risk level of reoffending. His new address will be in the 4500 block of Glen Lane Northwest in Rochester. Community members are advised to be aware but not to threaten or harass the offender.
This document contains various announcements from a newspaper, including wedding announcements for Katie Lauritzen and Tanner Prestegard who are getting married in July 2013, a birth announcement for Solana Maria Valdez born in August 2012, and anniversary announcements for Larry and Jeanine Baringer's 60th anniversary and Delbert and Donna Mandelko's 60th anniversary. It also includes various birthday announcements.
This document summarizes a mortgage foreclosure notice. It provides details about the property being foreclosed such as the address, legal description, and tax identification number. It also includes information about the original mortgage such as the date, amount, and involved parties. The notice specifies the date, time and location of the foreclosure sale, as well as the requirements for the mortgagor to vacate the property if not redeemed.
Wabasha County Government Study Commission final reportPost-Bulletin Co.
The document discusses the benefits of exercise for mental health. Regular physical activity can help reduce anxiety and depression and improve mood and cognitive functioning. Exercise causes chemical changes in the brain that may help protect against mental illness and improve symptoms.
This document contains 6 mortgage foreclosure notices. Each notice summarizes a mortgage default and announces an upcoming foreclosure auction. The summaries include the names of the mortgagors and mortgagee, dates of the mortgage and default, amounts owed, and time/place of upcoming auction. Each notice is 3 sentences or less in length as required by law.
This classified ad section includes:
1) A notice for an annual gun show happening on January 12th and 13th in Mayo Civic Auditorium with hours and contact information.
2) An ad listing AKC registered pointing Lab puppies that would make nice Christmas gifts for $300.
3) An ad listing German Shepherd puppies that are AKC registered with excellent temperaments from US/German bloodlines for a genetic guarantee.
Citizens group Friends of Wabasha appeals a Wabasha City Planning Commission decision to grant a conditional-use permit to Superior Sand Systems for a loading facility in Wabasha.
This document contains three foreclosure notices. Each notice summarizes a mortgage: the original mortgage amount, the mortgagor(s), the property address, and the amount claimed due. Each notice states that the mortgage will be foreclosed and the property sold at a sheriff's sale on a specified date to pay the debt, with the property subject to a six month redemption period. The notices provide information on vacating the property if it is owner-occupied and the legal time period for the mortgagor to redeem the property from foreclosure.
The document appears to be a listing of company stock information from the NYSE MKT stock exchange, including the company name, current and 52-week high/low stock prices, dividend yield if any, last closing price and change from the previous day, and year-to-date percentage change. Over 100 company listings are provided in a table format with company details.
This document provides notice of a mortgage foreclosure sale for a property located at 603 11th Avenue Northeast in Rochester, Minnesota. The sale will take place on January 10, 2013 at 10:00am at the Sheriff's Main Office. The document lists details of the original mortgage such as the mortgagor, mortgagee, date of the mortgage, and legal description of the property. It also provides notice of the rights of the mortgagor to redeem or verify the debt under law.
This document summarizes a request for proposals from seven Minnesota service cooperatives for the administration of account-based employee benefit plans on a statewide basis. It lists the types of benefit plans and services being requested, including stop loss insurance, provider networks, wellness programs, disease management, and others. Proposers must submit a single proposal and pricing structure to serve all participating service cooperatives. Letters of intent to propose are due April 1st, 2013 and final proposals are due April 22nd, 2013.
This document consists of classified advertisements for vehicles for sale from Tom Heffernan Ford dealership in Lake City, MN. It includes over 15 vehicles ranging from trucks to cars priced between $1,000-$30,000. It also includes advertisements seeking vehicle purchases and listings for upcoming auction and estate sales in the area.
This document contains notices of mortgage foreclosure sales for three different properties. The first notice provides details of the property address, names of parties involved, amount due, and date, time and location of the foreclosure sale. The second and third notices follow the same format and provide equivalent details for two additional properties facing foreclosure.
This document is a legal notice of mortgage foreclosure for property located at 1026 Southeast 7th Avenue in Rochester, Minnesota. It provides details of the original mortgage such as the date of the mortgage, names of the mortgagor and mortgagee, recording information, and amounts of the original principal and amount due. It also specifies that the mortgagor's right to redeem the property is 6 months from the foreclosure sale date unless reduced to 5 weeks by judicial order. The document states that the mortgagee complied with all notice requirements and no other legal actions have been taken to recover the debt.
This document is a classified advertisement section from a newspaper. It features numerous vehicle advertisements from Tom Heffernan Ford dealership, including cars, trucks, SUVs and other vehicles for sale. It also includes advertisements for other items like motorcycles, RVs, golf carts and more. Contact information is provided for the dealership.
This document is a business and service directory from a local newspaper. It lists various local businesses under categories like siding and windows, painting, ski and sports, restaurants, and taxidermy. It also includes classified ads for things like rental properties, puppies and kittens for sale, and auctions. The directory provides contact information like phone numbers, websites and addresses for each business or classified listing.
1) This document contains notices of mortgage foreclosure sales for three different properties in Minnesota. It provides details like the legal descriptions of the properties, amounts due, names of the banks involved, and dates and times of the scheduled foreclosure sales.
2) It also contains a notice about a postponed foreclosure sale for one of the properties, changing the sale date from December 14, 2012 to January 23, 2013.
3) The document provides information for homeowners about their rights to redeem or vacate the foreclosed properties. It encourages parties to divorces to consider alternative dispute resolution.
The document discusses the benefits of exercise for mental health. Regular physical activity can help reduce anxiety and depression and improve mood and cognitive functioning. Exercise causes chemical changes in the brain that may help protect against mental illness and improve symptoms.
UiPath Test Automation using UiPath Test Suite series, part 5DianaGray10
Welcome to UiPath Test Automation using UiPath Test Suite series part 5. In this session, we will cover CI/CD with devops.
Topics covered:
CI/CD with in UiPath
End-to-end overview of CI/CD pipeline with Azure devops
Speaker:
Lyndsey Byblow, Test Suite Sales Engineer @ UiPath, Inc.
Introducing Milvus Lite: Easy-to-Install, Easy-to-Use vector database for you...Zilliz
Join us to introduce Milvus Lite, a vector database that can run on notebooks and laptops, share the same API with Milvus, and integrate with every popular GenAI framework. This webinar is perfect for developers seeking easy-to-use, well-integrated vector databases for their GenAI apps.
20 Comprehensive Checklist of Designing and Developing a WebsitePixlogix Infotech
Dive into the world of Website Designing and Developing with Pixlogix! Looking to create a stunning online presence? Look no further! Our comprehensive checklist covers everything you need to know to craft a website that stands out. From user-friendly design to seamless functionality, we've got you covered. Don't miss out on this invaluable resource! Check out our checklist now at Pixlogix and start your journey towards a captivating online presence today.
Encryption in Microsoft 365 - ExpertsLive Netherlands 2024Albert Hoitingh
In this session I delve into the encryption technology used in Microsoft 365 and Microsoft Purview. Including the concepts of Customer Key and Double Key Encryption.
Climate Impact of Software Testing at Nordic Testing DaysKari Kakkonen
My slides at Nordic Testing Days 6.6.2024
Climate impact / sustainability of software testing discussed on the talk. ICT and testing must carry their part of global responsibility to help with the climat warming. We can minimize the carbon footprint but we can also have a carbon handprint, a positive impact on the climate. Quality characteristics can be added with sustainability, and then measured continuously. Test environments can be used less, and in smaller scale and on demand. Test techniques can be used in optimizing or minimizing number of tests. Test automation can be used to speed up testing.
In his public lecture, Christian Timmerer provides insights into the fascinating history of video streaming, starting from its humble beginnings before YouTube to the groundbreaking technologies that now dominate platforms like Netflix and ORF ON. Timmerer also presents provocative contributions of his own that have significantly influenced the industry. He concludes by looking at future challenges and invites the audience to join in a discussion.
Building RAG with self-deployed Milvus vector database and Snowpark Container...Zilliz
This talk will give hands-on advice on building RAG applications with an open-source Milvus database deployed as a docker container. We will also introduce the integration of Milvus with Snowpark Container Services.
TrustArc Webinar - 2024 Global Privacy SurveyTrustArc
How does your privacy program stack up against your peers? What challenges are privacy teams tackling and prioritizing in 2024?
In the fifth annual Global Privacy Benchmarks Survey, we asked over 1,800 global privacy professionals and business executives to share their perspectives on the current state of privacy inside and outside of their organizations. This year’s report focused on emerging areas of importance for privacy and compliance professionals, including considerations and implications of Artificial Intelligence (AI) technologies, building brand trust, and different approaches for achieving higher privacy competence scores.
See how organizational priorities and strategic approaches to data security and privacy are evolving around the globe.
This webinar will review:
- The top 10 privacy insights from the fifth annual Global Privacy Benchmarks Survey
- The top challenges for privacy leaders, practitioners, and organizations in 2024
- Key themes to consider in developing and maintaining your privacy program
Let's Integrate MuleSoft RPA, COMPOSER, APM with AWS IDP along with Slackshyamraj55
Discover the seamless integration of RPA (Robotic Process Automation), COMPOSER, and APM with AWS IDP enhanced with Slack notifications. Explore how these technologies converge to streamline workflows, optimize performance, and ensure secure access, all while leveraging the power of AWS IDP and real-time communication via Slack notifications.
UiPath Test Automation using UiPath Test Suite series, part 6DianaGray10
Welcome to UiPath Test Automation using UiPath Test Suite series part 6. In this session, we will cover Test Automation with generative AI and Open AI.
UiPath Test Automation with generative AI and Open AI webinar offers an in-depth exploration of leveraging cutting-edge technologies for test automation within the UiPath platform. Attendees will delve into the integration of generative AI, a test automation solution, with Open AI advanced natural language processing capabilities.
Throughout the session, participants will discover how this synergy empowers testers to automate repetitive tasks, enhance testing accuracy, and expedite the software testing life cycle. Topics covered include the seamless integration process, practical use cases, and the benefits of harnessing AI-driven automation for UiPath testing initiatives. By attending this webinar, testers, and automation professionals can gain valuable insights into harnessing the power of AI to optimize their test automation workflows within the UiPath ecosystem, ultimately driving efficiency and quality in software development processes.
What will you get from this session?
1. Insights into integrating generative AI.
2. Understanding how this integration enhances test automation within the UiPath platform
3. Practical demonstrations
4. Exploration of real-world use cases illustrating the benefits of AI-driven test automation for UiPath
Topics covered:
What is generative AI
Test Automation with generative AI and Open AI.
UiPath integration with generative AI
Speaker:
Deepak Rai, Automation Practice Lead, Boundaryless Group and UiPath MVP
“An Outlook of the Ongoing and Future Relationship between Blockchain Technologies and Process-aware Information Systems.” Invited talk at the joint workshop on Blockchain for Information Systems (BC4IS) and Blockchain for Trusted Data Sharing (B4TDS), co-located with with the 36th International Conference on Advanced Information Systems Engineering (CAiSE), 3 June 2024, Limassol, Cyprus.
Threats to mobile devices are more prevalent and increasing in scope and complexity. Users of mobile devices desire to take full advantage of the features
available on those devices, but many of the features provide convenience and capability but sacrifice security. This best practices guide outlines steps the users can take to better protect personal devices and information.
Enchancing adoption of Open Source Libraries. A case study on Albumentations.AIVladimir Iglovikov, Ph.D.
Presented by Vladimir Iglovikov:
- https://www.linkedin.com/in/iglovikov/
- https://x.com/viglovikov
- https://www.instagram.com/ternaus/
This presentation delves into the journey of Albumentations.ai, a highly successful open-source library for data augmentation.
Created out of a necessity for superior performance in Kaggle competitions, Albumentations has grown to become a widely used tool among data scientists and machine learning practitioners.
This case study covers various aspects, including:
People: The contributors and community that have supported Albumentations.
Metrics: The success indicators such as downloads, daily active users, GitHub stars, and financial contributions.
Challenges: The hurdles in monetizing open-source projects and measuring user engagement.
Development Practices: Best practices for creating, maintaining, and scaling open-source libraries, including code hygiene, CI/CD, and fast iteration.
Community Building: Strategies for making adoption easy, iterating quickly, and fostering a vibrant, engaged community.
Marketing: Both online and offline marketing tactics, focusing on real, impactful interactions and collaborations.
Mental Health: Maintaining balance and not feeling pressured by user demands.
Key insights include the importance of automation, making the adoption process seamless, and leveraging offline interactions for marketing. The presentation also emphasizes the need for continuous small improvements and building a friendly, inclusive community that contributes to the project's growth.
Vladimir Iglovikov brings his extensive experience as a Kaggle Grandmaster, ex-Staff ML Engineer at Lyft, sharing valuable lessons and practical advice for anyone looking to enhance the adoption of their open-source projects.
Explore more about Albumentations and join the community at:
GitHub: https://github.com/albumentations-team/albumentations
Website: https://albumentations.ai/
LinkedIn: https://www.linkedin.com/company/100504475
Twitter: https://x.com/albumentations
GraphSummit Singapore | The Future of Agility: Supercharging Digital Transfor...Neo4j
Leonard Jayamohan, Partner & Generative AI Lead, Deloitte
This keynote will reveal how Deloitte leverages Neo4j’s graph power for groundbreaking digital twin solutions, achieving a staggering 100x performance boost. Discover the essential role knowledge graphs play in successful generative AI implementations. Plus, get an exclusive look at an innovative Neo4j + Generative AI solution Deloitte is developing in-house.
GraphSummit Singapore | The Future of Agility: Supercharging Digital Transfor...
EPA letter
1. C
UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
REGION 5
IN THE MATTER OF:
Rochester Public Utilities
4000 East River Road Northeast
Rochester, Minnesota 55906-28 13
ATTENTION:
Larry Koshire. Plant Manager
Request to Provide Information Pursuant to the Clean Air Act
The U.S. Environmental Protection Agency is requesting Rochester Public Utilities to
submit specific information for its Silver Lake Generating Station in Rochester, Minnesota.
Appendix C specifies the information that you must submit pertaining to your generating station.
Appendix B contains instructions and definitions that you should use to provide the requested
information. Please send a response to EPA within forty-five (45) calendar days (unless
otherwise specified in Appendix C) after you receive this request.
EPA is issuing this information request under section 114(a) of the Clean Air Act (the
Act), 42 U.S.C. § 7414(a). Section 114(a) authorizes the Administrator of EPA to require the
submission of information. EPA is requesting this information to evaluate the compliance status
of your emission source with the Clean Air Act.
Please send all required information to:
Compliance Tracker, AE-17J
Air Enforcement and Compliance Assurance Branch
U.S. Environmental Protection Agency - Region 5
77 West Jackson Boulevard
Chicago, Illinois 60604
Under 40 C.F.R. Part 2, Subpart B, you may assert a claim of business confidentiality for
any portion of the submitted information. You must the page, paragraph, and sentence
2. when identifying the information subject to your claim. Appendix A specifies the assertion and
substantiation requirements for business confidentiality claims.
Rochester Public Utilities must submit all requested information under an authorized
signature with the following certification:
I certify under penalty of law that I have examined and am familiar with the
information in the enclosed documents, including all attachments. Based on my
inquiry of those individuals with primary responsibility for obtaining the
information, I certify that the statements and information are, to the best of my
knowledge and belief, true and complete. I am aware that there are significant
penalties for knowingly submitting false statements and information, including
the possibility of fines or imprisonment pursuant to section 113(c)(2) of the Act,
and 18 U.S.C. 1001 and HAL
EPA may use any information submitted in response to this request in an administrative,
civil, or criminal action.
This request is not subject to the Paperwork Reduction Act, 44 U.S.C. § 3501 et §çg.,
because it seeks collection of information from specific individuals or entities as part of an
administrative action or investigation. To aid in our electronic recordkeeping efforts, EPA
prefers that you provide all documents responsive to this request in an electronic format in
accordance with 1 through 6, below. These submissions are in lieu of hard copy. However, if
you prefer, you may submit the documents in only hard copy.
1. Provide all responsive documents in Portable Document Format (PDF) or similar format,
unless othenvise requested in specific questions. If the PDFs are scanned images,
perform at least Optical Character Recognition (OCR) for "image over text" to allow the
document to be searchable. Submitters providing secured PDFs should also provide
unsecured versions for EPA use in repurposing text.
2. When specific questions request data in electronic spreadsheet form, provide the data and
corresponding information in editable Excel or Lotus format, and not in image format. If
Excel or Lotus formats are not available, then the format should allow for data to be used
in calculations by a standard spreadsheet program such as Excel or Lotus.
3. 3. Provide submission on physical media such as compact disc, flash drive or other similar
item.
4. Provide a table of contents for each compact disk or flash drive containing electronic
documents submitted in response to our request so that each document can be accurately
identified in relation to your response to a specific question. We recommend the use of
file folders organized by question number. In addition, each compact disk or flash drive
should be labeled appropriately (e.g., Company Name, Disk I of 4 for Information
Request Response, Date of Response).
5. Documents claimed as confidential business information (CBI) must be submitted on
separate disks/drives apart from the non-confidential information. This will facilitate
appropriate records management and appropriate handling and protection of the CBJ.
Please also mark each page that is confidential business information as such.
6. Certify that the attached files have been scanned for viruses and indicate what program
was used.
Please be aware that failure to comply fully with this request for information may subject
Rochester Public Utilities to an enforcement action under section 113 of the Act, 42 U.S.C. §
7413. Fee] free to direct any questions about this request for information to George Czerniak at
(312) 886-6789.
Date Chefll Li Net/ton'
Dfect.ef
Air and Radiation Division
4. Appendix A
Confidential Business Information (CBI)
Assertion and Substantiation Requirements
A. Assertion Requirements
You may assert a business confidentiality claim covering all or part of the information
requested in the attached letter, as provided in 40 C.F.R. § 2.203(b). T6make a confidentiality
claim, submit the requested information and indicate that you are making a claim of
confidentiality. Any document over which you make a claim of confidentiality should be
marked by attaching a cover sheet stamped or typed with a legend to indicate the intent to claim
confidentiality. The stamped or typed legend, or other suitable form of notice, should employ
language such as "trade secret" or "proprietary" or "company confidential" and indicate a date if
any when the information should no longer be treated as confidential. Information covered by
such a claim will be disclosed by the U.S. Environmental Protection Agency only to the extent
permitted and by means of the procedures set forth by Section 114(c) of the Clean Air Act (the
Act), and 40 C.F.R. Part 2. Allegedly confidential portions of otherwise non-confidential
documents should be clearly identified. EPA will construe the failure to furnish a confidentiality
claim with your response to the attached letter as a waiver of that claim, and the information may
be made available to the public without further notice to you.
Please segregate persomiel, medical and similar files from your responses and include
that information on separate sheet(s) marked as "Personal Privacy Information" given that
disclosure of such information to the general public may constitute an invasion of privacy.
B. Substantiation Requirements
All confidentiality claims are subject to EPA verification and must be made in
accordance with 40 C.F.R. § 2.208 which provides in part that you satisfactorily show that you
have taken reasonable measures to protect the confidentiality of the information and that you
intend to continue to do so; and that the information is not and has not been reasonably
obtainable by legitimate means without your consent.
Pursuant to 40 C.F.R. Part 2, Subpart B, EPA may at any time send you a letter asking
you to substantiate fully your CBI claim. If you receive such a letter, you must provide EPA
with a response within the number of days set forth in the EPA request letter. Failure to submit
your comments within that time would be regarded as a waiver of your confidentiality claim or
claims, and EPA may release the information. If you receive such a letter, EPA will ask you to
specify which portions of the information you consider confidential. You must be specific by
page, paragraph, and sentence when identifying the information subject to your claim.
Any information not specifically identified as subject to a confidentiality claim may be disclosed
to the requestor without further notice to you. For each item or class of information that you
5. identify as being subject to CIII, you must answer the following questions, giving as much detail
as possible:
1. For what period of time do you request that the information be maintained as
confidential, e.g., until a certain date, until the occurrence of a specified event, or
permanently? If the occurrence of a specific event will eliminate the need for
confidentiality, please specify that event.
2. Information submitted to EPA becomes stale over time. Why should the
information you claim as confidential be protected for the time period specified in
your answer to question #1?
3. What measures have you taken to protect the information claimed as confidential?
Have you disclosed the information to anyone other than a governmental body or
someone who is bound by an agreement not to disclose the information further?
If so, why should the information still be considered confidential?
4. Is the information contained in any publicly available material such as the
Internet, publicly available databases, prothotional publications, aimual reports, or
articles? Is there any means by which a member of the public could obtain access
to the information? Is the information of a kind that you would customarily not
release to the public?
5. Has any governmental body made a detennination as to the confidentiality of the
information? If so, please attach a copy of the determination.
6. For each category of information claimed as confidential, explain with specificity
why release of the information is likely to cause substantial harm to your
competitive position. Explain the specific nature of those harmful effects, why
they should be viewed as substantial, and the causal relationship between
disclosure and such harmful effects. How could your competitors make use of
this information to your detriment?
7. Do you assert that the information is submitted on a voluntary or a mandatory
basis? Please explain the reason for your assertion. If you assert that the
information is voluntarily submitted information, explain whether and why
disclosure of the information would tend to lessen the availability to EPA of
similar information in the future.
8. Any other issue you deem relevant.
Please note that emission data provided under Section 114 of the Act, 42 U.S.C. § 7414,
is not entitled to confidential treatment under 40 C.F.R. Part 2. "Emission data" means, with
6. reference to any source of emission of any substance into the air-
Information necessary to determine the identity, amount, frequency,
concentration, or other characteristics (to the extent related to air quality) of any
emission which has been emitted by the source (or of any pollutant resulting from
any emission by the source), or any combination of the foregoing;
Information necessary to determine the identity, amount, frequency,
concentration, or other characteristics (to the extent related to air quality) of the
emissions which, under an applicable standard or limitation, the source was
authorized to emit (including, to the extent necessary for such purposes, a
description of the manner and rate of operation of the source); and
A general description of the location andlor nature of the source to the extent necessary to
identify the source and to distinguish it from other sources (including, to the extent
necessary for such purposes, a description of the device, installation, or operation
constituting the source).
40 C.F.R. 2.30 l(a)(2)(i)(A). (B) and (C).
Emission data includes, but is not limited to, service records stating the amount of refrigerant
added to a unit or reclaimed from a unit.
If you receive a request for a substantiation letter from the EPA, you bear the burden of
substantiating your confidentiality claim. Conclusory allegations will be given little or no weight
in the determination. In substantiating your CBI claim(s), you must bracket all text so claimed
and mark it "CR1." Information so designated will be disclosed by EPA only to the extent
allowed by, and by means of the procedures set forth in, 40 C.F.R. Part 2, Subpart B. If you fail
to claim the information as confidential, it may be made available to the public without further
notice to you.
7. Appendix B
When providing the information requested in Appendix C, use the following instructions and
definitions.
INSTRUCTIONS
I. Provide a separate narrative response to each question and subpart of a question set forth
in the Information Request.
2. Precede each answer with the number of the question to which it corresponds and at the
end of each answer identify the person(s) that provided information that was used or
considered in responding to that question, as well as each person that was consulted in the
preparation of that response.
3. Indicate on each document produced in response to this Information Request, or in some
other reasonable manner, the number of the question to which it corresponds.
4. When a response is provided in the form of a number, specify the units of measure of the
number in a precise manner.
5. Where documents or information necessary for a response are neither in your possession
nor available to you, indicate in your response why such documents or information is not
available or in your possession and identifly any source that either possesses or is likely to
possess such information.
DEFINITIONS
All terms used in this Request for Information will have their ordinary meaning unless
such terms are defined in the Act, 42 U.S.C. 7401 et. 40 C.F.R. Part 52 (which
incorporates the Federally-Approved Stated Implementation Plan), or other clean Air Act
implementing regulations. Reference is made to the EPA regulatory provisions only; however,
you should apply the applicable Federally-approved state provisions when appropriate.
Definitional clarification is specified below.
1. The term "capital expenditure," "capital appropriation," or "capital project" means a
monetary expenditure on depreciable equipment, including any costs to design, engineer,
transport, and install said equipment.
2. The terms "document" and "documents" shall mean any object that records, stores, or
presents information, and includes writings, memoranda, records, or information of any
kind, formal or informal, whether wholly or partially handwritten or typed, whether in
computer format, memory, or storage device, or in hardcopy, including any form or
format of these. If in computer format or memory, each such document shall be provided
in translation to a form useable and readable by EPA, with all necessary documentation
and support. All documents in hard copy should also include attachments to or
enclosures with any document.
8. 3. The term "appropriation request" shall mean the document used by plant personnel in
seeking management approval for planned expenditures at the facility. These documents
are also known as authorizations for expenditure, capital requests or other, similar names.
4. The terms "relate(cl) to" (or any form thereof) shall mean constituting, reflecting,
representing, supporting, contradicting, referring to, stating, describing, recording, noting,
embodying, containing, mentioning, studying, analyzing, discussing, evaluating or
relevant to.
5. The term "present" shall mean the date this request was received.
6. The term "Rochester Public Utilities" shall mean Rochester Public Utilities and all
subsidiaries and related entities.
9. Appendix C
Provide the following information using the instructions and definitions provided in Appendix B
for the Silver Lake Generating Station:
For each coal-fired boiler at this facility submit:
a. the emission unit identification number;
b. the date or year commercial operation began;
c. the original design and current maximum generating capacity (MWg/MWn);
d. the original design and current maximum heat input capacity (mmBtulhr);
e. the original design and current maximum steam flow output capacity (lbs
steamlhr);
f the current operating status of each unit and the applicable date or year for any
retired or inactive unit;
g. current fuel(s) being fired;
h. type of particulate emissions control and year installed;
i. type of sulfur dioxide emissions control and year installed;
j. type of nitrogen oxides emissions control and year installed.
2. For any unit at which the heat input, steam flow or generating capacity increased from the
original design provide the dates such increases occurred and what physical or
operational changes occurred resulting in such increases.
3. For all currently active coal-fired generating units at this facility, provide the following
on a monthly and annual basis from January 1, 1980, to the date of this request. To the
extent available, please provide in computer readable format, such as a Microsoft Excel
spreadsheet or other accessible format:
a. total gross and net generation (MW-hr);
b. average heat rate (BTU/KW-hr);
c. fuel usage (tons);
d. average coal heat content (BTU/lb);
e. total hours under load;
f. percent sulfur; and
g. the peak hourly generation (MWg) actually achieved during each month.
4. For each currently active coal-fired generating unit at this facility, provide a list of all
projects of an amount greater than $100,000 approved or completed between January 1,
1992, and the date of this request. For each such project, identify the work performed,
the date (month and year) the work was completed or projected to be completed, the
project work order number, the dollar amount approved, and the dollar amount expended.
5. For each currently active coal-fired generating unit at this facility, identify the date(s) the
following càmponents were replaced or modified (or partially replaced or modified):
burners, pulverizers, cyclones, generating tubes, economizers, reheaters, superheaters,
water walls, and air heaters for each operating unit. For any replacement or modification
of an amount greater than $100,000 listed pursuant to this paragraph, provide a copy of
the appropriation requests, work approvals, outage reports, work orders, and designs
specifications, and meeting minutes or summaries before the City Council or utility
10. superintendant discussing or considering replacement of any of the above components.
For individual projects and replacements/modifications responsive to both questions 4
and 5. please provide the information requested in each question.
6. Provide an electronic (Microsoft Excel compatible) copy of the Generating Availability
Data System (GAD5) data (or equivalent) for the period from 1985 to present identifying
all boiler and turbine-related forced, maintenance, and planned outages and curtailments
for all currently active coal-fired generating units.
7. Provide outage summary reports (or similar documents with a summary of work
completed during the outage) for all outages lasting greater than 15-calendar days from
January 1, 1992, to the date of this request.
8. Provide copies of all Quarterly Excess Emission Reports from January 1, 2005, through
the date of this request.
9. Provide copies of the summary results pages of all stack tests for particulate matter
[including particulate matter (PM), PM10 and PM25), sulfur dioxide, sulfuric acid mist
(S03/H2S04). nitrogen oxides, mercury, lead and hydrogen chloride for the period
January 1, 1987, to present for all currently active coal-fired generating units.
10. Provide a copy of annual emissions inventory data for each boiler since January 1, 1987.
11. Provide copies of all Prevention of Significant Deterioration (PSD) and Non-Attainment
New Source Review (NA-NSR) permits received and permit applications submitted for
the period January 1, 1987, to present.
12. Provide copies of all documents, including, but not limited to, reports, correspondence,
memoranda, and phone discussion summaries related to Clean Air Act PSD. NSR, and
New Source Performance Standards applicability for any projects undertaken between
1980 and the present.
13. Provide copies of all studies, evaluations, assessments, and reports, including, but not
limited to life extension, life optimization, or reliability enhancement reports, related to
extending the life of or increasing the reliability or availability of any generating unit
since January 1, 1985.
14. Provide copies of original design and current boiler cross-sectional diagrams.
15. Provide a copy of the plant layout identifying all major buildings and equipment.
16. Provide copies of all load capacity test data and test reports for each operating unit since
January 1, 1985.
17. Provide copies of all reported generating capability and coal usage and quality for each
unit for each year from 1985 to present, reported to any federal (e.g., Department of
Energy), State (e.g., State Public Utilities Commission) or local governmental body.
11. 18. Provide any and all engineering analyses, studies, reports or other documents related to
the consideration of and/or planned installation of pollution controls on any coal fired
unit, including but not limited to, projected installation timeframes, capital and operation
and maintenance cost estimates, cost-effectiveness analyses, expected removal
efficiencies, and outlet emission rates.
1 9. Provide the current projected capital outlay plan or any other document(s) that sets forth
or identifies the operational or equipment changes or the projected capital expenditures
that the Facility will be making in the next five years (or any other planning period used)
at the facility. In addition, provide capital planning documents (i.e., five year plans and
all other comparable documents) for the period from January 1, 1992, to the present date,
inclusive.
20. Provide any and all documents from January 1,2000, to present that discuss the
application of current and potential future regulatory requirements, including, but not
limited to, Best Available Retrofit Technology, Clean Air Mercury Rule or state mercury
rule, Transport Rule, State Implementation Plan, National Emissions Standards of
Hazardous Air Pollutant (NESHAP) for Industrial Boilers, or NESHAP for Utilities if
applicable, that may apply and how the company plans to comply with such
requirements, including but not limited to projected emission control installations, and
dates for each unit.
21. Provide a description of any planned additiona' generating capacity instaflations,
acquisitions or power purchase agreements projected within the next 5 years, including
fuel type, capacity, and projected installation date. Provide copies of all documents
discussing or describing such planned generation capacity from January 1, 2000, to
present.
22. Provide current projected retirement dates for all units. Provide copies of all documents
discussing planned, proposed, or projected retirement dates for all units from January 1,
2000, to present.
23. Provide a list of the entities that have owned the facility since January 1, 1980.
24. Provide the name and address of the party who should receive official correspondence on
behalf of the facility concerning this matter.
12. CERTIFICATE OF MAIL[NG
I. Betty Williams, certify that I sent a Request to Provide Information Pursuant to the
Clean Air Act by Certified Mail, Return Receipt Requested, to:
Larry Koshire, Manager
Rochester Public Utilities
4000 East River Road Northeast
Rochester, Mimiesota 55906-28 13
I also certify that I sent a copy of the Request to Provide Information Pursuant to the
Clean Air Act by First-Class Mail to:
Jeff T. Connell, Manager
Air Quality Division
Minnesota Pollution Control Agency
520 Lafayette Road North
St. Paul, Minnesota 55 155-4194
2010.
Betty Willi s
Administrative Program Assistant
AECAS/AECAB/PAS
Certified Mail Receipt Number: