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brays, Senior IEHS <br /> April 18,'1995 <br /> PageTwo <br /> . ghat notices and/or other documents are lecrally required to be given to A. G. <br /> Spaxos Jet Cartier, and have they been given? <br /> 3. A; to Spanos let Center's use of site expired on Iay 14, 19 . Hour does the <br /> Petrol e LTndergroun+d Storage Tank Cleanup legislation,which becar e effective October 2,. <br /> 199>P rt to be jir%sdictonal over prior, terminated uses? <br /> 4. Five to e. y Dave elapsed'oetvveeri the discovery of the "uitttlorized <br /> releases'`and the present. �uat is the effect of the passage of so maty years witlotat actign'� <br /> In the March 8; 1994 better to D I�eA ngelis, a reference is made to an "Underground...nderground Storage <br /> Tank unauthorized release( ealc)1Contaminated Site Report" filed pursuant to Section 25295 <br /> of the Health and ecy Code and a disclosure of hazardous waste'discharge made ptirsuant:to <br /> Section 25 80.2 ofthe same code. Please provide me with a copy ofeach of those documents...: <br /> Additio ally,the letter refers to "dischargers" in its reference to Section 25299.x;7 (HSS). As the <br /> erin "dischargers'" does-:trot appear in that Section and the term does not seem to be otherwise <br /> d lied in the code. please explain its meaning, <br /> With respect to your larch 24-1995, letter to Rich Wilson, please nate that A. G. Spanos Jet <br /> Center does not consider itself liable to reimburse for costs incurred in a project for which no <br /> liability has been demonstrated and in circumstances where due process has not been afforded. <br /> Because many of my questions involve legal issues, I have copied Mr. Michael McGrew of the <br /> County Counsel's office,who was present at the April 12, 1995 meeting. <br /> Sincerely, <br /> William E. Barbour <br /> Corporate Counsel <br /> �d��fcan <br /> cc: Steve Cohen <br /> �.ch�zlsc�ta <br /> l at7 De.Azt alis <br /> l i hae1 NmcGrevv <br />