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3500 - Local Oversight Program
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PR0543791
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
10/1/2018 2:25:50 AM
Creation date
9/28/2018 11:45:46 AM
Metadata
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Template:
EHD - Public
ProgramCode
3500 - Local Oversight Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0543791
PE
3526
FACILITY_ID
FA0003592
FACILITY_NAME
Aries Tek, LLC
STREET_NUMBER
2050
Direction
E
STREET_NAME
FREMONT
STREET_TYPE
St
City
Stockton
Zip
95205
CURRENT_STATUS
02
SITE_LOCATION
2050 E Fremont St
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
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EHD - Public
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Gabriel is very competent and will be able to address your concerns. <br /> Gabe plans to contact you later today. <br /> If you need any other assistance, please do not hesitate to contact me . <br /> Vicki McCartney, Senior REHS <br /> San Joaquin County <br /> Environmental Health Department <br /> 1868 East Hazelton Avenue <br /> Stockton, California 95205 <br /> Phone: (209) 468-9852 <br /> Email: vmccartney4sicehd .com <br /> From : Condon, Cori@Waterboards [mailto :Cori.CondonCalwaterboards.ca .gov] <br /> Sent: Tuesday, May 12, 2015 11 :06 AM <br /> To: Vicki McCartney [EF{] <br /> Cc: Barton, Jim@Waterboards <br /> Subject: Apache Plastics, 2050 E. Fremont, Stockton <br /> Hi Vicki, <br /> I am working on a Notice of Intent submitted by Advanced GeoEnvironmental, Inc. (AGE), for injection of hydrogen <br /> peroxide at the former Apache Plastics, 2050 East Fremont Street in Stockton. In addition to the monitoring required in <br /> the Monitoring and Reporting Program, associated with the General Permit for in-situ treatment, I am hoping we can <br /> coordinate on some additional routine monitoring at this Site. <br /> My understanding from talking with Daniel Villanueva with AGE is that this is one of Angelica's sites that you may be <br /> working on in her absence. If this is not true please just let me know. <br /> If you are able to work on this case, and have the time to evaluate the monitoring program, I would like to request they <br /> perform semi-annual monitoring, including, at a minimum: <br /> wells MW-10, MW-14, MW-15, MW-18, MW-19 and MW-20 for the following analytes: 1,2-DCA, TAME and TBA. These <br /> constituents have historically been detected in groundwater at this Site and as thousands of gallons of liquid hydrogen <br /> peroxide are proposed to be added to the groundwater, I am concerned the pollution may be pushed around, leading to <br /> potential migration of the plume . <br /> I understand monitoring at this site has been sporadic because the consultant states available budgets from the CUF <br /> were utilized to implement a pilot study and there was not sufficient budget provided to monitor. I told Daniel that <br /> insufficient funding from the CUF is not justification for not conducting necessary monitoring. <br /> I hope things are going well for you . Please let me know if we can coordinate on this or if I should possibly approach this <br /> in a different manner. <br /> Thank you, <br /> Cori Condon, PG, CHg <br /> Senior Engineering Geologist <br /> Underground Tank Program <br /> 3 <br />
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