Laserfiche WebLink
September 26, 1988 Harding Lawson Associates <br /> 17060, 008. 03 <br /> Mr. Hal Miller <br /> The Southland Corporation <br /> Page 3 <br /> or TPH as gasoline in this well. These results, attached, <br /> appear to confirm the lack of detectable concentrations in <br /> ground water at the locations of our monitoring wells north <br /> of the convenience store. We believe that the zero line has <br /> been established, and therefore that no additional ground- <br /> water monitoring wells are required between MW-2 and MW-12 <br /> (see Plate 1) . <br /> The CVRWQCB should notify the San Joaquin Local Health <br /> District that the deep monitoring well can now be installed <br /> with the projected depth of 30 to 40 feet. With its comple- <br /> tion, we will be able to comply with the CVRWQCB require- <br /> ments for a problem assessment report, and begin to plan <br /> ground-water remediation before further migration of fuel <br /> constituents occurs. <br /> We recommend that The Southland Corporation submit this <br /> letter to the CVRWQCB. If the Board has any questions <br /> concerning early approval of our request for the deep well, <br /> an appointment should be made for The Southland Corporation, <br /> HLA, and the CVRWQCB to meet. <br /> If you have any questions concerning this letter, please <br /> call. <br /> Very truly yours, <br /> HARDING LAWSON ASSOCIATES <br /> Q ROF ESSlG4rq <br /> /tei en,J. Osborne Ex;. O /3i/91 <br /> Civil Engineer <br /> l OtcCHN/av <br /> SJO/ly 030428L 9rF0pU <br /> Attachments: Plates 1 and 2 <br /> Table 1 <br /> Med-Tox Laboratory Report <br />