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<br />1351 et sea., or the Clean Air Act, 42 U.S.C. Section 7401 et sea., or any similar state <br />law or local ordinance or an .other environmental law. Exce t as otherwise disclosed by • <br />Y P <br />Stipulating Respondent below, Stipulating Respondent also represents, to the best of <br />Stipulating Respondent's actual knowledge, that there aze no substances or conditions in <br />or on the Property which may support a claim or cause of action under RCRA, CERCLA <br />or any other federal, state or local environmental statutes, regulations, ordinances or other <br />environmental regulatory requirements and that no underground deposits which contain <br />hazazdous wastes or underground storage tanks, as defined in Minnesota Statutes, Section <br />116.46, subdivision 8, aze located on the Property; <br />a. Environmental studies undertaken by Sherman Associates, Inc., in the last two <br />years; and <br /> <br />10. <br />11. <br />12. <br />b. Environmental reports produced for JemJahs and its predecessor in title, which <br />• <br />reports have been provided to Sherman Associates, Inc.; <br />Stipulating Respondent represents that JemJahs has no actual knowledge of and has not <br />received notice of any suits, judgments or violations relating to or at the Property of any <br />zoning, building, fire, health, pollution, environmental protection or waste disposal <br />ordinance, ,code, law or regulation which has not been corrected; <br />Stipulating Respondent represents that, to the best of JemJah's actual knowledge, there <br />are no existing private covenants, conditions or restrictions with respect to the Property <br />except those of record against the title as of the date hereof; <br />Stipulating Respondent represents that, to the best of JemJah's actual knowledge, there <br />has been no labor or material furnished to the Property within the past 120 days for which <br />payment has not been made; <br />• <br />5 <br />