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foabj <br /> P!, J <br /> GIBSON & GIBSON F V!, <br /> ATTORNEYS AT LAW FEB o 8 1993 <br /> 2027 GRAND CANAL BOULEVARD .AITH <br /> RICHARD J.GIBSON SUITE 35 ENViRONMENTAL HE <br /> RICHARD J.GIBSON,JR. STOCKTON, CALIFORNIA 95207 _S <br /> pERMIT/IS ERVIC, - <br /> P. O. BOX 1771 ZIP CODE 95204 <br /> TELEPHONE 12001 473-2962 <br /> FAX 12091 476-8647 <br /> February 5 , 1993 <br /> Public Health Services <br /> San Joaquin County <br /> Att: Douglas Wilson <br /> P. 0. Box 2009 <br /> Stockton, CA 95201 <br /> Dear Sir: <br /> Pursuant to our recent telephone conversation, please find <br /> enclosed a photostatic copy of a letter dated March 23, 1992 , <br /> addressed to Speedy Foods #2/AB Nawar, 8200 N. Highway 99 , <br /> Stockton, California 95212 . Also find enclosed a photostatic <br /> copy of Mr. Rauzi ' s letter to you undated setting out essentially <br /> what their position is . <br /> This property is owned by Frank Rauzi and his partner, Raymond <br /> Baglietto . Apparently what has happened is up until last year, <br /> Public Health Services have been billing Mr. Nawar, who is the <br /> tenant of Speedy Foods, which is located on the corner of Foppiano <br /> Lane and Highway 99 Frontage Road and he has been making the <br /> payments . It was not until last year, as I understand it, that he <br /> arbitrarily discontinued making the payments and the property <br /> owners Rauzi and Baglietto first became aware of the delinquency <br /> and the penalties attached thereto. The owners have no problem <br /> regarding the payment of the fees but because they were not advised <br /> of the delinquency and the penalties until after they were <br /> assessed, do not feel it appropriate that they be subject to <br /> liability therefore. <br /> After you and your supervisors have an opportunity to consider <br /> the matters herein contained, please advise. <br /> Very truly yours , <br /> RICHARD J. GIBSON <br /> RJG:BN <br /> cc Frank Rauzi <br />