The ampm ASAP Grab and Go offers Chase Center guests access to pre-packaged snacks, candy and beverages with the same convenience expected from ampm stores. Salty snacks, sweet treats, soft drinks, beer, wine, and cookies all available in a quick grab and go format.
Skip lines and checkout wait times thanks to the new cashierless checkout technology powered by Verizon 5G. Just tap, swipe or insert your credit card to enter the store. Grab the items you want. Then simply walk through the exit gate and the items are automatically charged to your card. Digital receipts are optional and delivered straight to your mobile device.
A perfect pit stop for game-breaks or intermissions. Get in, get out and back to the action. It's "Too Much Good Stuff" at the speed of 5G!
Produced by the French nonprofit Short Édition, the devices are akin to vending machines, but instead of dropping a snack, they print out brief stories, poems and essays on rolls of receipt paper. Stocked with eco-friendly paper, the machines are both cost free for users and (importantly, these days!) touch free.
R330.8 Grab bar general requirements. Wherefacilities are designated for use by adult family home clients, grab bars forwater closets, bathtubs, and shower stalls shall be installed according to thissection.
R330.8.2 Grab bar installation. Grab bars shallhave a spacing of 1 1/2 inch between the wall and the bar. Projecting objects,control valves and bathtub or shower stall enclosure features above, below andat the ends of the grab bar shall have a clear space of 1 1/2 inch to the grabbar.
Grab bars shall have a structural strength of 250 poundsapplied at any point on the grab bar, fastener, mounting device or supportingstructural member. Grab bars shall not be supported directly by any residentialgrade fiberglass bathing or showering unit. Acrylic bars found in bathing unitsshall be removed.
R330.8.3 Grab bars at water closets. Water closetsshall have grab bars mounted on both sides. Grab bars can be a combination offixed position and swing-up bars. Grab bars shall meet the requirements ofSection R330.8. Grab bars shall mount between 33 inches and 36 inches abovefloor grade. Centerline distance between grab bars, regardless of type used,shall be between 25 inches minimum and 30 inches maximum.
R330.8.4.1 Vertical grab bars. Vertical grab barsshall be a minimum of 18 inches long and installed at the control end wall andhead end wall. Grab bars shall mount within 4 inches of the exterior of thebathtub edge or within 4 inches within the bathtub. The bottom end of the barshall start between 36 inches and 42 inches above floor grade.
R330.8.4.2 Horizontal grab bars. Horizontal grabbars shall be provided at the control end, head end, and the back wall withinthe bathtub area. Grab bars shall be mounted between 33 inches and 36 inchesabove floor grade. Control end and head end grab bars shall be 24 inchesminimum in length. Back wall grab bar shall be 36 inches minimum inlength.
Shower stalls with permanent built-in seats are not required to have vertical or horizontal grab bars at the seat end wall. A vertical floor to ceiling grab bar shall be installed within 4 inches of the exterior of the shower aligned with the nose of the built-in seat.
R330.8.5.1 Vertical grab bars. Vertical grab barsshall be 18 inches minimum in length and installed at the control end wall andhead end wall. Vertical bars shall be mounted within 4 inches of the exteriorof the shower stall or within 4 inches inside the shower stall. The bottom endof vertical bars mount between 36 inches and 42 inches above floorgrade.
R330.8.5.2 Horizontal grab bars. Horizontal grabbars shall be installed on all sides of the shower stall mounted between 33inches and 36 inches above the floor grade. Horizontal grab bars shall be amaximum of 6 inches from adjacent walls. Horizontal grab bars shall notinterfere with shower control valves.
On November 4, 2019, US Environmental Protection Agency (EPA) released its long-awaited response to the DC Circuit's two decisions remanding portions of the Coal Ash Rule. United Solid Waste Activities Group v. Environmental Protection Agency (D.C. Cir. 2018) (the USWAG case) and Waterkeeper Alliance, Inc., et al. v. EPA (D.C. Cir. 2018) (the Waterkeeper case). EPA called its proposed new rulemaking a "Holistic Approach to Closure." By contrast, an attorney for Earthjustice called it a "grab bag of loopholes." Either way, the new proposed rule is not likely to do a whole lot to appease the critics of EPA's handling of the Coal Ash Rule or its approach to environmental regulation generally.
EPA's response to the remand in the Waterkeeper case was more complex. The plaintiffs in the Waterkeeper case had objected to EPA's date of October 31, 2020 for utilities to cease placement of CCR into surface impoundments that fail the Rule's various location restrictions (e.g., impoundments that are in contact within the underlying aquifer). EPA responded by moving the date up several months to August 31, 2020. EPA reasoned that utilities which operated surface impoundments would have understood from the USWAG decision which impoundments would be subject to closure. Using 22.5 months as the fastest "technically feasible timeframe needed to construct alternate capacity and for CCR surface impoundments to cease receipt of waste," EPA added that 22.5 months to the date of the DC Circuit's mandate in the USWAG case (October 15, 2018) to arrive at the August 31, 2020 date.
At the same time, EPA stated that what it intended was for impoundments that failed the location restrictions to stop receiving waste and to begin closure "as soon as technically feasible." EPA stated that it could not "impose more protective measures than can be technically feasibly implemented as the law cannot compel the impossible." EPA then provided an extensive analysis of technically feasible approaches utilities might take to cease receipt of waste and initiate closure. Because a utility cannot close an impoundment until the impoundment stops receiving waste, and because alternative disposal capacity is needed before an impoundment can stop receiving waste, EPA devoted considerable attention to methods for developing alternative capacity and the timeframes needed to do so:
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