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SITE INFORMATION AND CORRESPONDENCE_FILE 1
EnvironmentalHealth
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3500 - Local Oversight Program
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SITE INFORMATION AND CORRESPONDENCE_FILE 1
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Last modified
2/7/2020 8:28:26 AM
Creation date
10/23/2018 4:12:36 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
3500 - Local Oversight Program
File Section
SITE INFORMATION AND CORRESPONDENCE
FileName_PostFix
FILE 1
RECORD_ID
PR0543845
PE
3526
FACILITY_ID
FA0005867
FACILITY_NAME
STOCKTON METRO AIRPORT*
STREET_NUMBER
5000
Direction
S
STREET_NAME
AIRPORT
STREET_TYPE
WAY
City
STOCKTON
Zip
95206
APN
17726034
CURRENT_STATUS
02
SITE_LOCATION
5000 S AIRPORT WAY
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
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EHD - Public
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ApWm......... Jet Center <br /> j�. DR <br /> AFT <br /> A petroleum release is identified as an"unauthorized release"in t <br /> Storage of Hazardous Substances which was effective January 1,'1 <br /> before.;Spanos' operations Ceased: <br /> 5 Tie Oanos operations in Site 1845 ceased on May 14, 1987. ; <br /> rot r t then been passed, Spenos cannot be held``re p�� <br /> cl r^ sts based on alleged releases of petroleum pr�rct rr <br /> ter `l eretio <br /> on, since petroleum was excluded from e <br /> � �t�rxt s n� <br /> substances. See, I~ We n <br /> sr�pr . <br /> The pends`Jet tenter can + held responsible...fcr leanup cots based <br /> the unauthorized release of petroleum hydrocarbenced at the <br /> #irk of removal Of the underground storage tanits wry the Spanos Jet <br /> Center last operated, (See above noted definition of unauthorized release, <br /> responsible pity identification, and authority o hold responsible parte <br /> accountable for the cleanup of contamination prier to California law). <br /> According to the letter from Environmental Health to the landor ,ner, <br /> Stockton Metropolitan Airport, knowledge of the alleged cont rrrinadon <br /> erste in 1988. Since almost eight years have elapsed since the enol of <br /> the Spans operation and at least semen ,years have elapsed since <br /> knowledge of the contamination was apparent, any attempts to hold <br /> Spanos responsible for releases of petroleum would also be barred by <br /> several applicable statues of limitation* <br /> There are no known instar ' with which statute of limitatiarr`has been <br /> aoplited to show that a responsible party, properly identified, was not held <br /> responsible for the clean-up of petroleum hydrocarbon contamination to <br /> an underground storage tank. <br /> 7. 7'tre o rtamination a Site 1845, if any, is a nuts nce r ftrclt'rney �Md, <br /> bttf dnl ao the landowner. <br /> Thew pe'trciec. n ttyrocarbon contamination wrath h4 limen <br /> herr �dergr��nd IS tanks which Sprtcs apt r . <br /> artisanca but is an unauthorised release fro%nt u <br /> tank and hence is referenced in legislation outlrn d abp a"�t�, <br /> rct only the landowner, but the tank owner arta tar f c�p��e�': <br /> aurtr definition of a responsible party. <br /> April 20, 1995 Correspondence <br /> PHSIEHD does not assign a lrnancial percentage to the liability of a respoible <br /> party. Also, PHSIE Ili does `not recognize lease agreerrtents with regard to <br /> respons bifityy legislated by underground storagd tank`law. <br />
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