97-004596
Chester Nalls And Thelma Nalls vs.
Coastal Lumber Company And Department Of Environmental Protection
Status: Closed
Recommended Order on Wednesday, March 18, 1998.
Recommended Order on Wednesday, March 18, 1998.
1STATE OF FLORIDA
4DIVISION OF ADMINISTRATIVE HEARINGS
8CHESTER NALLS and THELMA NALLS, )
14)
15Petitioners, )
17)
18vs. ) Case No. 97-4596
23)
24COASTAL LUMBER COMPANY and )
29DEPARTMENT OF ENVIRONMENTAL )
33PROTECTION, )
35)
36Respondents. )
38_________________________________ )
40RECOMMENDED ORDER
42Pursuant to notice, Administrative Law Judge Don W. Davis,
51duly designated by the Division of Administrative Hearings, held
60a formal hearing in the above-styled case on February 9 and 10,
721998, in Tallahassee, Florida.
76APPEARANCES
77For Petitioners:
79Chester Nalls, pro se
83Thelma Nalls, pro se
87Post Office Box 396
91Havana, Florida 32333
94For Respondent Coastal Lumber Company:
99Paul H. Amundsen, Esquire
103Julia E. Smith, Esquire
107Amundsen and Moore
110Post Office Box 1759
114Tallahassee, Florida 32302
117For Respondent Department of Environmental Protection:
123Jeffrey Brown, Esquire
126Department of Environmental Protection
130Mail Station 35
1333900 Commonwealth Boulevard
136Tallahassee, Florida 32399-3000
139STATEMENT OF THE ISSUES
143Whether Respondent Coastal Lumber Company (Coastal) has
150provided reasonable assurances to Respondent Department of
157Environmental Protection (DEP) that it can comply with applicable
166provisions of Chapter 403, Florida Statutes, and related rules in
176the Florida Administrative Code regarding odor and visible
184emissions, and whether DEP should issue a Title V Air Operation
195Permit to Coastal Lumber.
199PRELIMINARY STATEMENT
201In June of 1996, Coastal timely filed with DEP an
211application for a Title V Air Operation Permit. On or about
222August 25, 1997, DEP issued a draft permit and a notice
233documenting its intent to issue the permit.
240On or about September 16, 1997, after learning of DEPs
250intention, Chester and Thelma Nalls (Petitioners) filed a
258petition at DEP challenging the issuance of the permit on the
269basis of smoke, noise, and acid and sulfur odors which
279Petitioners attributed to Coastal. The petition was forwarded to
288the Division of Administrative Hearings for conduct of formal
297administrative proceedings.
299On December 3, 1997, Coastal's motion to strike the
308allegations of noise as irrelevant to the issuance of a Title V
320air permit was granted. The matter was set for final hearing on
332February 9, 1998.
335At the final hearing, Petitioners presented the testimony of
344eight witnesses. Coastal presented the testimony of seven
352witnesses and introduced 20 exhibits. Coastal also submitted
360three depositions into evidence. DEP presented two witnesses and
369one exhibit.
371The transcript of the final hearing was filed with the
381Division of Administrative Hearings on February 27, 1998. The
390parties requested and were granted more than 10 days from the
401filing of the transcript within which to submit proposed
410recommended orders. Those post hearing submissions have been
418filed and reviewed in connection with the preparation of this
428recommended order.
430FINDINGS OF FACT
433Parties
4341. Petitioners live in Gadsden County, Florida. Their home
443is approximately a half a mile from Coastal's plywood plant in
454Havana, Florida.
4562. DEP is the agency that reviewed Coastal's application
465for a Title V Air Operation Permit and issued a draft permit and
478a notice of its intent to grant Coastals permit request.
4883. Coastal is the applicant for the proposed permit. Since
4981971, Coastal has operated a wood products facility off of U.S.
509Highway 27 North in Havana, Florida. Coastal has operated
518various sawmill and hardwood operations during its existence.
526However, the sawmill and hardwood activities ceased operation in
5351991 due to a shortage of logs in the area. Coastal began
547manufacturing plywood in 1980 and continues its plywood
555manufacturing activities today.
5584. Coastal employs approximately 250 people with shifts
566covering 24 hours a day, seven days a week, year round --
578including most holidays. The shifts rotate, so the same
587employees cover both day shifts and night shifts.
5955. The operations of the plant, including compliance with
604environmental standards, are the same at night and on weekends as
615they are during the daytime shifts.
6216. Coastal has operated the plant at normal capacity up to
632and during this proceeding with the exception of its peeler
642operations, which ceased operating on February 8, 1998, because
651of a lack of logs. However, all the other equipment was operated
663at its normal rate throughout the hearing.
670Manufacturing Plywood
6727. Logs arrive at Coastal and are separated by size and
683stored in log yards along the southern and southeastern portions
693of the mill property which is bordered by 159-A and U.S. 27
705North. Logs are later moved to a block conditioning area,
715stripped of their bark, and cut into eight-foot lengths. The
725eight-foot logs are then soaked in hot water for about eight
736hours to soften them. After that, the logs are placed in a lathe
749that spins the logs against a sharp knife and peels them into
761sheets of veneer. The sheets of veneer are placed on dryers for
773six to nine minutes to drive off moisture. Then, the dried
784sheets of veneer are layered with glue between layers of veneer
795and placed in a press for four to five minutes. The result is a
809sheet of plywood. The plywood is stacked according to its
819quality and some stacks are sealed by spraying the ends with
830canned spray paint.
8338. In a separate area, the cores of the logs are treate d
846and shaped to be used as landscaping material.
854Air Pollution Sources at the Plant
8609. Coastal has been operating under seven separate DEP
869operating permits. The Title V permit, mandated by the Clean Air
880Act Amendments of 1990 and the subject of this proceeding, will
891combine those seven operating permits into a single operating
900permit.
90110. The seven permits cover five boiler systems and seven
911dust control systems. Two boilers (numbers 1 and 2) have
921restrictions on particulate matter, nitrogen oxides, and visible
929emissions. Boiler number 3, with a wet scrubber, also has
940restrictions on particular matter, on nitrogen oxides, and on
949visible emissions. Boilers numbered 4 and 5 have visible
958emission limits. Three veneer dryers and two plywood presses are
968not permitted, but are proposed to be permitted to Coastal under
979the permit which is the subject of this proceeding.
988Boilers 3, 4, and 5, are operating and are used to generate steam
1001for the plant.
100411. The boilers are all fueled with wood wa ste such as bark
1017chips and saw dust generated at the plant. The boilers are
1028incapable of operating with a different type of fuel such as fuel
1040oil. Also, it would be inefficient for Coastal to use any other
1052type of fuel in the boilers because Coastal Lumber has an
1063abundance of wood waste.
106712. The dust control systems include two filters for sander
1077dust and four cyclones. A cyclone is a device which swirls dust
1089and air together eventually releasing the air out of the top and
1101letting the dust settle downward. The cyclones at the Coastal
1111facility do not have filters inside. Three of the cyclones are
1122not currently in use because they were used for the sawmill
1133operations or to load rail cars and, at present, Coastal uses
1144solely trucks. Coastal has included them in the application in
1154the event that rail loading again becomes feasible. The fourth
1164cyclone handles chips and sawdust collected throughout the plant.
117313. The veneer dryers and plywood presses emit steam mixed
1183with small quantities of pine oil naturally present in the wood
1194and are operating under a construction permit until covered under
1204the Title V permit.
120814. Coastal's Title V permit application does not
1216contemplate an increase in operations or capacity. Specifically,
1224Coastal could not change its permitted capacity without adding
1233new sources to its plant which would require additional permits.
124315. Coastal can operate its Havana plant in compliance with
1253the conditions in its draft Title V Permit.
1261Issues Raised by Petitioners
126516. Petitio ners raised two issues in challenging the
1274issuance of Coastal's Title V Air Operation Permit: sulfur or
1284acid odors, and "smoke" or excess visible emissions that they
1294attribute to the Coastal facility.
129917. According to Petitioners and some of their witnesses,
1308the odors are worse when it is humid or following a rain, at
1321night, and on weekends. Thick smoke experienced in the past by
1332Petitioner Chester Nalls as a result of open burning at Coastals
1343facility has ceased. Burning operations at present are only
1352those instances of permitted burning for reforestation purposes.
136018. Two of Petitioners' witnesses, however, Cathy Moore and
1369Sondra Rowan do not have any complaints about sulfur or acid
1380odors from the Coastal facility. Moore testified that she
1389occasionally smells a "treated wood smell" that she associates
1398with Coastal Lumber. Rowan described what she perceived to be
1408smoke from the facility, but has never had a problem with smoke
1420or odor on her property.
142519. Donald Daniels, a neighbor of Petitioner s, has
1434experienced a burning wood smell and a smell that he describes as
1446chemical. Sometimes, the smoke is like a fog and not
1456distinguishable from condensed steam. Ash has been deposited on
1465his truck.
146720. Nancy Lowe lives near the Coastal facility and claims
1477that her car is often coated with ash. But she was unable at
1490hearing to testify concerning the source of the ash. She has
1501experienced a smell that she cannot identify, which she believes
1511is created by Coastal since she associates that smell with smoke
1522that settles like a fog on her neighborhood.
153021. Norma Page described what she believed to be smoke, but
1541her testimony was unclear regarding where she observed the smoke.
1551Additionally, she was not sure that she could distinguish between
1561fog and smoke.
156422. Linda Pickles lives an equal distance from Coastals
1573facility and the Peavy and Son asphalt plant in Havana. She has
1585experienced smokey smells and sulfur smells, as well as the
1595deposit of an ash-like substance at her home. She did not
1606testify concerning the source of the substance.
161323. Although several types of odors --mainly wood odors--
1622are generated by Coastal's plywood manufacturing process, Coastal
1630does not generate any odors that could be described as acid or
1642sulfur odors.
164424. The log yard where Coastal stores harvested pine logs
1654has odors of cut pine logs. The block conditioning area where
1665logs are cut into eight-foot lengths and soaked in hot water has
1677additional odors of cut wood and wet wood.
168525. A small amount of caust ic or base is added to the water
1699occasionally to keep the pH of the water neutral because wood is
1711naturally acidic. Caustic generally tends to smell like soap or
1721bleach; however, no such odors were associated with the caustic
1731at Coastal Lumber.
173426. The area where the logs are peeled into thin veneer
1745sheets generates pine odors. The dryers used on the sheets of
1756veneer generate a smell described alternatively as a pine oil or
1767a cookie-baking scent. Where the gluing occurs there is a faint
1778odor similar to Elmer's glue.
178327. Additionally, an area near the boilers where sawdust
1792and bark are stored for fuel generates smells, but none that
1803would be objectionable. The area where the cores of the logs are
1815treated and sliced into landscaping timbers has a slight,
1824treated-wood odor. Also, where the plywood is color-coded by
1833painting the edges, there is a localized paint smell.
184229. Neither the boilers nor a re-circulating pond at the
1852Coastal facility are associated with any odors.
185930. From 1989 until the publication of the Notice of Intent
1870to issue the Title V permit, Coastal did not receive any
1881complaints about its Plywood Manufacturing facility in Havana,
1889Florida.
189031. None of the processes at the Coastal facility generate
1900sulfur or acid types of odors. Acid odors are usually associated
1911with chemicals that contain sulfur. Wood fuel, as is used in the
1923boilers, does not generally generate sulfur emissions.
193032. A facility such as the asphalt plant near Coastals
1940location burns fuel oil and could generate sulfur odors. The
1950asphalt plant is subject to the same emissions limitations as
1960Coastal.
196133. Frequent open burning of trash, including tires, by
1970other persons occurs near the Coastal facility and could produce
1980sulfur smells.
198234. None of the odors at the Coastal facility are likely to
1994mix with odors produced at other facilities in the area to create
2006objectionable odors. Nor would any of the odors or processes
2016within the plant combine to create chemical reactions leading to
2026objectionable odors.
202835. Coastal employees who offered testimony regarding odors
2036have a normal sense of smell. None of the Coastal employees who
2048have responded to the Petitioners complaints have been able to
2058detect the odor conditions described by Petitioners.
206536. No employees have complained of objectionable odors at
2074the plant. No employees have been made sick by or quit because
2086of odors at the plant within the last five years. Nor have any
2099workers' compensation claims been filed because of odors
2107generated by the plant.
211137. Contractors from Air Consulting and Engineering, Inc.,
2119hired by Coastal to conduct emissions testing at its facility,
2129and a consultant from Environmental Resources Management Group,
2137hired to study odors generated by the facility, have never
2147noticed objectionable odors at the Coastal facility.
215438. DEP inspectors have visited Coastal on rainy, humid
2163days when the odors would be expected to be at the worst and did
2177not detect objectionable odors. Also, DEP inspectors who
2185responded to Petitioners' complaints were unable to detect
2193significant levels of odors at Petitioners' residence.
220039. Coastal's operations are not offensive to neighboring
2208businesses and residences. A restaurant, located closer to
2216Coastal Lumber than Petitioners' residence, has not made any
2225complaints regarding odor.
222840. No credible evidence established that the odors
2236complained of by the Petitioners were produced by Coastal Lumber.
2246To the contrary, the evidence demonstrates that the odors may be
2257caused by one or more other sources in the vicinity.
226741. No evidence was presented to indicate that odors
2276emitted at the plant pose any danger to human health or welfare.
228842. Coastal Lumber's operations do not produce
2295objectionable odor.
229743. The main sources of visible emissions which would be
2307covered by the Title V permit are the three boilers used to
2319generate steam for the plant.
232444. "Excess emissions" occur when a boiler becomes "upset"
2333due to a malfunction of equipment or the startup or shutdown of
2345equipment. Such conditions account for occasional dark puffs
2353emitted by the boilers, but do not occur for long periods of
2365time. Under DEP rules and the draft permit conditions, excess
2375emissions may not exceed two hours in a twenty-four (24) hour
2386period. Coastal has complied with excess emissions limits in the
2396past and can comply with the draft permit conditions regarding
2406excess emissions.
240845. The boilers at Coastal Lumber are equipped with oxygen
2418sensors that regulate the rate of fuel coming into the boiler
2429before an upset condition occurs, thus, minimizing excess
2437emissions. Coastal Lumber has excess steam capacity so if a
2447boiler is not operating properly it will be shut down. A
2458computer also records the occurrence of upset conditions.
2466Because the sensors are sent to an outside facility to be
2477maintained and calibrated, Coastal employees can not change
2485sensor settings or information recorded by the computers.
249346. Under its current operating permits, Coastal is
2501required to conduct annual testing for visible emissions and has
2511been found in compliance every year. During that testing, the
2521plant operates under its normal procedures and at its normal
2531capacity.
253247. Under its current operating permits, Coastal has been
2541subject to inspections by DEP investigators, including weekend
2549inspections. Some of the visits are scheduled so that Coastal
2559knows the inspectors are coming, and others are not scheduled or
2570announced in advance.
257348. Contractors from Air Consulting and Engineering, Inc.,
2581hired by Coastal to conduct visible emissions test have always
2591found Coastal in compliance with visible emissions limits placed
2600on it. Air Consulting and Engineering, Inc.'s reports and test
2610results have always been accepted by DEP.
261749. DEP personnel have inspected the Coastal facility at
2626least ten (10) times between December of 1996 and the hearing on
2638February 9, 1998 -- eight of those inspections were made after
2649January 24, 1998. Those inspections included an unannounced
2657weekend inspection of the plant.
266250. Based on th e Title V Application and Coastal Lumber's
2673history of compliance with emissions limits, Coastal can comply
2682with DEP emissions regulations.
268651. No employees have been made sick by or quit because of
2698smoke at the plant. Nor have any workers' compensation claims
2708been filed because of smoke generated by the plant.
271752. Petitioners also complained of black smoke from
2725Coastal's log loaders. These diesel-fueled motor vehicles are
2733not subject to the Title V air permit.
274153. Coastal has responded promptly to complaints of
2749Petitioners and has made diligent efforts to locate excess
2758emissions from its plant, but Petitioners' complaints can not be
2768substantiated.
276954. In the absence of credible evidence that Coastal
2778exceeds DEP emissions limits or that emissions from Coastal are
2788harmful to human health or property, it is established that
2798Coastal can operate in compliance with DEP standards for visible
2808emissions.
2809CONCLUSIONS OF LAW
281255. The Division of Administrative Hearings has
2819jurisdiction of the parties and of the subject matter of this
2830proceeding. Section 120.57(1), Florida Statutes.
283556. DEP is the regulatory agency authorized by the State to
2846act as the permitting authority for Title V Air Operation
2856Permits, such as the permit at issue in this proceeding, pursuant
2867to Chapter 403, Florida Statutes, and Chapters 62-4, 62-210, and
287762-213, Florida Administrative Code.
288157. Coastal, as the applicant for a Title V Air Operation
2892Permit, carries the ultimate burden of persuasion of its
2901entitlement to the permit throughout the proceeding until final
2910agency action is taken. Florida Department of Transportation v.
2919J.W.C. , 396 So. 2d 778, 787-88 (Fla. 1st DCA 1981). Hence,
2930Coastal carries the burden of proving that "reasonable
2938assurances" have been provided that pollution standards can and
2947will be met.
295058. A "reasonable assurance" envisions "a substantial
2957likelihood" that a facility will comply with pollution limits.
2966See Metropolitan Dade County v. Coscan Florida, Inc. , 609 So. 2d
2977644, 648 (Fla. 3d DCA 1992). A reasonable assurance need not be
2989a guarantee. See Reina v. Southeast Oil Dev. Corp. , 97 ER FALR
3001173 (Dept. of Envtl. Protection 1997).
300759. Once an applicant preliminarily establishes reasonable
3014assurances through credible and credited evidence of entitlement
3022to the permit, only the establishment of "contrary evidence of
3032equivalent quality" to that presented by the permit applicant,
3041will support denial of the permit. J.W.C. , 396 So. 2d at 789.
305360. A Title V Air Operation Permit is required to conti nue
3065the operations at the Coastal facility. Coastal has provided
3074reasonable assurances that, under the terms of the Draft Permit,
3084the operation of the Coastal Lumber facility will comply with all
3095appropriate provisions of Chapter 62, Florida Administrative
3102Code, including both provisions prohibiting objectionable odors
3109and provisions pertaining to visible emissions the only issues
3119raised by Petitioners.
312261. The Coastal Lumber facility is subject to and must
3132comply with Section 62-296.320(2), Florida Administrative Code,
3139which prohibits "the discharge of air pollutants which cause or
3149contribute to an objectionable odor."
315462. Section 62-210(200), Florida Administrative Code,
3160defines objectionable odor as "any odor present in the outdoor
3170atmosphere which, by itself or in combination with other odors is
3181or may be harmful or injurious to human health or welfare, which
3193unreasonably interferes with the comfortable use and enjoyment of
3202life or property, or which creates a nuisance."
321063. Pursuant to the cond itions in Draft Permit
3219No. 0390009-002-AV, Section II, Coastal must comply with the FDEP
3229odor rule and visible emissions standards under
3236Section 62-296.320(4)(b), Florida Administrative Code, which
3242limit visible emissions to twenty (20) percent capacity.
325064. Based on the evidence presented at the hearing, Coastal
3260has provided reasonable assurances that the DEP odor rule and DEP
3271visible emissions standards will be met; therefore, Coastal
3279Lumber is entitled to a Title V Air Operation Permit.
3289RECOMMENDATION
3290Based on the foregoing Findings of Fact and Conclusions of
3300Law, it is RECOMMENDED that the Florida Department of
3309Environmental Protection enter a Final Order GRANTING Coastal's
3317Application for a Title V Air Operation Permit subject to the
3328conditions set forth in the Draft Permit.
3335DONE AND ENTERED this 18th day of March, 1998, in
3345Tallahassee, Leon County, Florida.
3349___________________________________
3350DON W. DAVIS
3353Administrative Law Judge
3356Division of Administ rative Hearings
3361The DeSoto Building
33641230 Apalachee Parkway
3367Tallahassee, Florida 32399-3060
3370(850) 488-9675 SUNCOM 278-9675
3374Fax Filing (850) 921-6847
3378Filed with the Clerk of the
3384Division of Administrative Hearings
3388this 18th day of March, 1998.
3394COPIES FURNISHED:
3396Paul H. Amundsen, Esquire
3400Julia E. Smith, Esquire
3404Amundsen and Moore
3407Post Office Box 1759
3411Tallahassee, Florida 32302
3414Jeffrey Brown, Esquire
3417Department of Environmental
3420Protection
3421Mail Station 35
34243900 Commonwealth Boulevard
3427Tallahassee, Florida 32399-3000
3430Chester Nalls
3432Thelma Nalls
3434Post Office Box 396
3438Havana, Florida 32333
3441Kathy Carter, Agency Clerk
3445Department of Environmental Protection
3449Mail Station 35
34523900 Commonwealth Boulevard
3455Tallahassee, Florida 32399-3000
3458F. Perry Odom, Esquire
3462Department of Environmental Protection
3466Mail Station 35
34693900 Commonwealth Boulevard
3472Tallahassee, Florida 32399-3000
3475Virginia B. Wetherell, Secretary
3479Department of Environmental Protection
3483Mail Station 35
34863900 Commonwealth Boulevard
3489Tallahassee, Florida 32399-3000
3492NOTICE OF RIGHT TO SUBMIT EXCEPTIONS
3498All parties have the right to submit written exceptions within
350815 days from the date of this Recommended Order. Any exceptions
3519to this Recommended Order should be filed with the agency that
3530will issue the Final Order in this case.
![](/images/view_pdf.png)
- Date
- Proceedings
- Date: 04/30/1998
- Proceedings: Final Order filed.
-
PDF:
- Date: 03/18/1998
- Proceedings: Recommended Order sent out. CASE CLOSED. Hearing held 02/09-10/98.
- Date: 03/09/1998
- Proceedings: Respondent Coastal Lumber Company`s Proposed Recommended Order; Disk filed.
- Date: 03/09/1998
- Proceedings: Department of Environmental Protection`s Proposed Recommended Order filed.
- Date: 03/04/1998
- Proceedings: (Petitioners) Proposed Recommended Order filed.
- Date: 02/27/1998
- Proceedings: (Volume 3) Transcript filed.
- Date: 02/26/1998
- Proceedings: (2 Volumes) Transcript filed.
- Date: 02/09/1998
- Proceedings: CASE STATUS: Hearing Held.
- Date: 02/09/1998
- Proceedings: Respondent Coastal Lumber Company`s Motion to Exclude Witnesses` Testimony (And Request for Oral Argument) filed.
- Date: 02/06/1998
- Proceedings: Respondent Coastal Lumber Company`s Notice of Filing Depositions; Deposition of Gregory Prows ; Deposition of Sidney J. Carter ; Deposition of Peter F. Burnette filed.
- Date: 02/03/1998
- Proceedings: Respondent Coastal Lumber Company`s Amended Notice of Taking Depositions filed.
- Date: 02/02/1998
- Proceedings: Letter to DWD from C. & T. Nalls Re: Witness testimony schedule filed.
- Date: 02/02/1998
- Proceedings: Respondents` Joint Prehearing Statement filed.
- Date: 01/30/1998
- Proceedings: Letter to DWD from J. Smith Re: Prehearing Statement filed.
- Date: 01/30/1998
- Proceedings: Respondent Coastal Lumber Company`s Notice of Cancellation of Deposition; Respondent Coastal Lumber Company`s Notice of Postponement of Depositions filed.
- Date: 01/30/1998
- Proceedings: Department`s Joinder With Respondent`s Prehearing Statement (filed via facisimile) filed.
- Date: 01/29/1998
- Proceedings: Respondent Coastal Lumber Company`s Notice of Postponement of Deposition filed.
- Date: 01/29/1998
- Proceedings: (Petitioner) Prehearing Stipulation filed.
- Date: 01/28/1998
- Proceedings: Respondent Coastal Lumber Company`s Notice of Postponement of Deposition filed.
- Date: 01/28/1998
- Proceedings: Respondent Coastal Lumber Company`s Notice of Filing; Affidavit of Service for G. Pickles, L. Pickles, S. Rowan, C. Moore, N. Page T. Whipple, R. Lowe, N. Lowe and D. Daniels filed.
- Date: 01/28/1998
- Proceedings: Respondent Coastal Lumber Company`s Notice of Cancelation of Deposition; Respondent Coastal Lumber Company`s Amended Notice of Taking Depositions on Thursday, January 29, 1997 (Reflecting New times and Locations for Certain Witnesses) filed.
- Date: 01/27/1998
- Proceedings: Respondent Coastal lumber Company`s second amended notice of taking depositions (reflecting a new date and time for the deposition of Thelma Nalls filed.
- Date: 01/26/1998
- Proceedings: Respondent Coastal Lumber Company`s Notice of Taking Depositions; Respondent Coastal Lumber Company`s Witness and Exhibit List filed.
- Date: 01/23/1998
- Proceedings: Respondent Coastal Lumber Company`s Notice of Taking Depositions filed.
- Date: 01/22/1998
- Proceedings: Respondent Coastal Lumber Company`s Notice of Postponement of Deposition filed.
- Date: 01/21/1998
- Proceedings: Respondent Coastal Lumber Company`s Notice of Taking Depositions filed.
- Date: 01/20/1998
- Proceedings: Letter to DWD from C. & T. Nalls Re: Witness list and requesting subpoenas filed.
- Date: 01/15/1998
- Proceedings: Respondent Coastal Lumber Company`s Amended Notice of Taking Depositions (Reflecting a New Date and Time for the Deposition of Thelma Nalls) filed.
- Date: 01/14/1998
- Proceedings: Letter to Amundsen & Moore from C. & T. Nalls Re: Taking depositions filed.
- Date: 01/07/1998
- Proceedings: Letter to C. Nalls & T. Nalls from P. Amundsen Re: Depositions filed.
- Date: 01/07/1998
- Proceedings: Respondent Coastal Lumber Company`s Notice of Taking Depositions filed.
- Date: 12/31/1997
- Proceedings: Respondent Coastal Lumber Company`s Notice of Service of Interrogatories on Petitioners Chester and Thelma Nalls filed.
- Date: 12/31/1997
- Proceedings: Respondent Coastal Lumber Company`s First Set of Interrogatories to Petitioners; Respondent Coastal Lumber Company`s First Request for Production of Documents filed.
- Date: 12/08/1997
- Proceedings: Letter to DWD from C. Nalls Re: Response to instructions received from Judge filed.
- Date: 12/03/1997
- Proceedings: Notice of Hearing sent out. (hearing set for 2/9/98; 10:00am; Tallahassee)
- Date: 12/03/1997
- Proceedings: Order sent out. (potential for dismissal of case is rescinded; respondent`s motion to strike allegations by petitioners which pertain to "noise" is granted)
- Date: 12/03/1997
- Proceedings: Order of Prehearing Instructions sent out.
- Date: 12/02/1997
- Proceedings: (DEP) Motion for Clarification on Order Granting Motion to Dismiss filed.
- Date: 12/02/1997
- Proceedings: (Coastal Lumber Co.) Notice of Non-Filing of Amended Petition filed.
- Date: 11/21/1997
- Proceedings: Letter to DWD from Chester Nalls (RE: response to Judge`s order of 11/27/97, tagged) filed.
- Date: 11/17/1997
- Proceedings: Order Granting Motion to Dismiss sent out. (petitioners to file amended petition by 11/26/97)
- Date: 11/14/1997
- Proceedings: Department`s Response to Coastal Lumber`s Motion to Dismiss and Motion to Strike filed.
- Date: 11/14/1997
- Proceedings: Department`s Notice of Filing Response by Petitioner filed.
- Date: 11/03/1997
- Proceedings: Coastal Lumber Company`s Memorandum of Law in Support of Its Motion to Strike and Motion to Dismiss; Coastal Lumber Company`s Motion to Dismiss, Motion to Strike and Request for Oral Argument filed.
- Date: 10/28/1997
- Proceedings: Notice of Appearance filed.
- Date: 10/28/1997
- Proceedings: Department`s Response to Initial Order (filed via facisimile) filed.
- Date: 10/20/1997
- Proceedings: Ltr. to DOAH from Chester Nalls re: Reply to Initial Order filed.
- Date: 10/14/1997
- Proceedings: Initial Order issued.
- Date: 10/10/1997
- Proceedings: Agency Action Letter (exhibits) filed.
- Date: 10/09/1997
- Proceedings: Request for Hearing, Letter form; Request for Assignment of Administrative Law Judge and Notice of Preservation of Record filed.