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Re: duderino post# 94875

Tuesday, 03/01/2011 10:45:44 PM

Tuesday, March 01, 2011 10:45:44 PM

Post# of 312015
I'm still not sure what it is you claim is misleading, but anyway....

Here is the requested link to the portion of my post that you quoted in limited part (i.e., the consent order):

http://www.sec.gov/Archives/edgar/data/1381105/000121390010005243/f8k121510ex99ii_jbi.htm

This is a more accurate quote from my post:

According to available public information, in particular the consent order, JBI is currently operating pursuant to the DEC consent order. As part of that order JBI was required to submit a NEW air permit application, as well as a solid waste permit application.



http://investorshub.advfn.com/boards/read_msg.aspx?message_id=60473069

The portion of my other post that you quoted in very limited part is more accurately quoted as follows:

The NY DEC approved commercial production pending issuance of requisite environmental permits.



http://investorshub.advfn.com/boards/read_msg.aspx?message_id=60472058

The link to the consent order posted above lays out the parameters of JBI's authorization from the DEC. Here is a quote to a relevant portion of that document:

The Respondent desires to enter into the within Order with the Department for the purpose of obtaining temporary authority to operate a solid waste management facility and continuing temporary authority to commercially operate one pyrolysis unit at the Facility, to construct an additional pyrolysis unit at the Facility; to sell fuel generated by the first unit; to apply for a Part 360 Permit; and for the implementation of a Schedule of Compliance to facilitate the permitting process and to address operational and record keeping requirements that may affect the operations and activities at the Site. . . .

The Department and Respondent agree that the goal of this Order is to establish the terms and conditions under which the Respondent will complete the permit application process and to allow Respondent to temporarily commercially continue operating one pyrolysis unit and sell the fuel product, pursuant to this Order on Consent pending issuance of those permits.



The only thing that isn't "pending" anymore, at least insofar as your link to the DEC website presents, is the original air permit application submitted by JBI last year. Unless you can explain why said suspension would for some reason trump the subsequently issued consent order, then there is no reason to believe that suspension of the old air permit application would "suspend" commercial production, as you again seem to very vaguely suggest without any elaboration.