PCHB05015220

PCHBPollution Control Hearings Board of the State of Washington

]5 ACC & CASE v. Dept. of Ecology & Port of Seattle ]8 February 22, 2002 DECLARATION OF GREGWINGARD - 1 Smith&kowney,p.l.l.c. 2317 EastJohnStreet Seattle,Washington98112 (206)860-2883 AR 015221 I, Greg Wingard, declare as follows: 1. The following is based on personal knowledge to which I am competent to testify before the Board. A copy of my resume is attached to this statement as Exhibit A. 2. I have worked extensively on issues related to the SeaTac International Airport's NPDES permit since 1994 in my capacity as a consultant, at various times, to CASE, the City of6 Des Moines, the Airport Communities Coalition, and individual area residents, and in my capacity as the Executive Director of Waste Action Project. This work has included reviewing NPDES permit applications, working on NPDES permit appeals, reviewing of discharge monitoring reports from 1994 to present, participating in site inspections, including inspection of the airport's listed NPDES permitted outfalls, site sampling activities, and photographing of the site. I have reviewed Discharge Monitoring Reports for Sea-Tac International Airport related to permit #WA-002465-1 from 1994, to December of 2001, annual stormwater reports for the airport from 1996 to 2001, and construction related sampling data from 1998 to October of 2001. My review of documents included the Port of Seattle's 1996 Section 404 application, which was later withdrawn in 1998, as well as the existing Section 401 certification-related materials. 3. As an environmental consultant for the past 18 years and in my capacity as20 Executive Director of Waste Action…
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