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1460 <br /> Ce <br /> ............... <br /> rat...er <br /> ... <br /> .......... <br /> 4 .. <br /> .......... <br /> A Spanos'would be identified as a responsible party based on the <br /> definition of operator immediately before the discontinuation of underground <br /> storage tanks #1 4. <br /> V rztices anolrr dacuments are leg► lly required to #eiv <br /> �r Jet Cent and have they been 9rvert? <br /> There are r legal notices required in order to holds�� het� r <br /> r le; tor the investigation and remsdiatinn f +car r t� <br /> WOO=ted wig the operation of underground istorage f e <br /> e� rsement was sent as legal notification for cost recovery dieted <br /> with the implementation of the local oveprogram. This notice was <br /> seat to Spanos Jet Center by PHS/EHE rsight'on March , 19 a of <br /> which was previously forwarded to you. <br /> . AG <br /> ads het Center's use et the site expired an 0W 7 , �r <br /> does the Petroleum tJhd rgraund Stotioi Tank Cleanup legislation, which <br /> became effective October 2, 1989,' purport to be jurisdictional over prior, <br /> terminated uses? <br /> PHSIEHD has received correspondence dated May 5, 1995(encloses torn <br /> the Stockton Metropolitan Airport regarding the continued operon of the <br /> underground storage tanks through October 1989 when new fares -were <br /> inslled. The primary li��e evidently did expireon May 14, 1987; however <br /> the emended use of the tanks vasa crovered on a month to month basis by <br /> fart 11 of the lease agi., t <br /> The legislation which is referenced, the Petroleum Underground Storage <br /> Tank Cleanup, effective October 2, 1989, is codified in the H&SC Chapter <br /> 6.75 and relates to financial responsibility, corrective action rirements, <br /> and the establishment of the Underground Storage Tank G1e6nup Fund. <br /> `hs legislation in no way superseded the requirements ofd r 6.7 <br /> nioh was effective January 1, 1984 and releases prior to the effete date <br /> re evened under tl Code of Federal regulation 289.73 Cpl" . <br /> rsly closed IST systems (authority granted per Title otrtl t� <br /> Codei, <br /> Fie td eight hears have` elapsed betuverre <br /> "Zmauthonzed releases"and the present. Whst�� tl3e effebt ref tt�le eke <br /> so many years with, taction? <br /> As a responsible party, your responsibility is not defined by a directive from <br /> regulatory agency. Generally, contamination which is not rernediated <br /> ±ontin es to migrate through the subsurface soil until groundwater rs <br /> read at such time groundwater contamination occurs <br />