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COMPLIANCE INFO_PRE 2019
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PR0521335
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COMPLIANCE INFO_PRE 2019
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Entry Properties
Last modified
1/9/2019 11:38:01 AM
Creation date
11/1/2018 11:02:31 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO_PRE 2019
FileName_PostFix
PRE 2019
RECORD_ID
PR0521335
PE
2227
FACILITY_ID
FA0003749
FACILITY_NAME
SJ REGIONAL TRANSIT
STREET_NUMBER
1533
Direction
E
STREET_NAME
LINDSAY
STREET_TYPE
ST
City
STOCKTON
Zip
952054498
APN
15302004
CURRENT_STATUS
02
SITE_LOCATION
1533 E LINDSAY ST
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
Scanner
SJGOV\rtan
Supplemental fields
FilePath
\MIGRATIONS\L\LINDSAY\1533\PR0521335\COMPLIANCE INFO 2000-2009.PDF
QuestysFileName
COMPLIANCE INFO 2000-2009
QuestysRecordDate
3/24/2016 5:51:06 PM
QuestysRecordID
3038131
QuestysRecordType
12
QuestysStateID
1
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EHD - Public
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TRE CONSULTING,INC <br /> Central Valley:6333 Pacific Ave <br /> #286 <br /> Stockton,CA 95207 <br /> Bay Area:345 Donegal Way <br /> Martinez,CA 94553 <br /> Phone:204601-7048 <br /> Fax:925-932-8634 <br /> Email:TRECONSULTINGQcomcast. <br /> net <br /> Transmitted Via Electronic Mail. Facsimile (209) 464-0138 and US Mail <br /> Ms. Kasey Foley, REHS 10/15/06 <br /> Program Coordinator <br /> 304 E. Weber Avenue, <br /> Third Floor <br /> Stockton CA 95202 <br /> RE: Interview Request With the San Joaquin County Environmental Health <br /> Department and File Reviews For: Phase 1 ESA for 1710 East Freemont Street, <br /> • Stockton, CA <br /> Dear Ms. Foley: <br /> On or about October 11, 2006, TRE Consulting, Inc(TRE)was notified by Mr. <br /> Mark Fairbanks, the Transportation Superintendent of the San Joaquin Regional Transit <br /> District(RTD)that pursuant to his telephone conversation with you on that day, the San <br /> Joaquin County Environmental Health Department(SJCEHD) does have a file on the <br /> above referenced site. Mr. Fairbanks also added that in his telephone conversation with <br /> you, on behalf of the SJCEHD, you had stated the following: <br /> • Based on your review of the "All Appropriate Inquiries (AAI)", 40 CFR, section <br /> 312.30, you do not believe that it is necessary for TRE Consulting, Inc as the <br /> Registered Environmental Assessor(REA#06898)for this project to conduct an <br /> interview with the SJCEHD. Instead you believe that the review of the file that <br /> you are currently holding on this site is sufficient. <br /> • In addition, Mr. Fairbanks indicated that you mentioned to him that the SJCEHD <br /> inspectors(Ms. Michelle Sterni Le and Mr. John Jackson: it is TRE's <br /> understanding that Mr. Jackson still works for the SJCEHD) that made the <br /> representations to TRE/RTD and launched an investigation on or about March <br /> 12, 20041 no longer work for the Hazardous Waste Management Program of the <br /> SJCEHD. Hence they are not available for an interview. <br /> • Mr. Fairbanks also indicated that you mentioned that beyond the contents of the <br /> file that the SJCEHD is keeping on this site, you do not believe the SJCEHD has <br /> any additional comments to provide for the requested interview. <br /> As the Registered California Environmental Assessor(REA 1 #06898) in charge of <br /> developing and certifying that the subject Phase I ESA is in complete compliance with <br /> the AAI as set forth in 40 CFR and ASTM Ell 52-00 (as collectively contained in ASTM E <br /> 152-05), TRE believes that it is absolutely critical that all AAI requirements are adhered <br /> to in whole and no stone is left unturned. Hence, TRE must reiterate its request for <br /> 1. regarding the anonymously reported allegations of buried drums of hazardous <br /> materials/wastes at the above referenced property. <br /> 2. TRE was present and assisted the RTD in responding to the SJCEHD's investigation <br /> during a March 2004 series of investigations and inspections of the SJCEHD facilities. <br />
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