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COMPLIANCE INFO PRE 2016
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2300 - Underground Storage Tank Program
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PR0502778
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COMPLIANCE INFO PRE 2016
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Entry Properties
Last modified
1/11/2024 1:51:37 PM
Creation date
11/7/2018 9:59:35 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2300 - Underground Storage Tank Program
File Section
COMPLIANCE INFO
FileName_PostFix
PRE 2016
RECORD_ID
PR0502778
PE
2361
FACILITY_ID
FA0005570
FACILITY_NAME
R & L DIESEL
STREET_NUMBER
2417
STREET_NAME
WEST
STREET_TYPE
LN
City
STOCKTON
Zip
95205
APN
11709007
CURRENT_STATUS
02
SITE_LOCATION
2417 WEST LN
P_LOCATION
99
P_DISTRICT
002
QC Status
Approved
Scanner
SJGOV\rtan
Supplemental fields
FilePath
\MIGRATIONS\W\WEST\2417\PR0502778\COMPLIANCE INFO PRE 2016 .PDF
QuestysFileName
COMPLIANCE INFO PRE 2016
QuestysRecordDate
11/30/2016 12:08:30 AM
QuestysRecordID
3266472
QuestysRecordType
12
QuestysStateID
1
Tags
EHD - Public
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01/20/2004 13:26 2095224227 GEOLOCa1cAL IEUHNiva �Hu� <br /> yralog4a[Ttrkxlfr lnc. Page 3 <br /> Environmental Review <br /> Project#1143.5 <br /> January 12,2002 <br /> Site Visit: <br /> A site visit was done on January 8, 2004 and the following were observed: <br /> • Buildings house equipment, parts storage, trucks, and truck parts and maintenance areas. <br /> • Nearly all of the Property is covered with concrete or asphalt. Many scars and some staining <br /> were observed. It is not known if chemicals have penetrated beyond its surface and such <br /> work is beyond the scope of this review. <br /> • An old house is present and was not inspected. It is reported to be used for storage. It <br /> appears to be in very poor condition. <br /> • A transformer was observed on the property adjoining the Subject Property on three of its <br /> sides and fronting on West Avenue. No staining was noted on it, the pole it is on or the <br /> ground under it. <br /> • The new steam cleaning location and its treatment system includes two ASTs, drums and a <br /> metal bier. These are not under overhead protection and if their lids are not tightly in place <br /> they are susceptible to rainwater and thus overflow. This should be attended to. At the <br /> south end of this area is a large tank used for "cooking" parts in order to clean them. This <br /> drains to the steam cleaning area and is processed through the treatment system. Treated <br /> water from the Treatment System goes to the city sewer and sludge is returned to the steam <br /> cleaning area. The diesel AST is at the southwest corner of this area. This does not have <br /> protection from impact provided around it and this should be added. <br /> • The area of the dynamometer includes an AST connected to it from just beyond its west <br /> enclosure wall. Mr. Rokoszewski stated that it is no longer in use. This should be removed. <br /> A plugged storm drain adjoins the area where the UST sits_ This does not appear to be <br /> operational. Power is supplied to the dynamometer by way of a conduit north of it and <br /> under steel plates. Another storm drain exists in this area. <br /> • Mr. Rokoszewski states that all storm drains drain to the cities storm drain system. In <br /> addition to the storm drains mentioned above are several in the yard area. <br /> • 55-gallon drums and smaller drums of grease and other chemicals used in the business <br /> operations are in various buildings.These are under over head protection. <br /> Review Conclusion: <br /> Based on our review of this document and our discussion with Mr. Rokoszewski, and with the <br /> provision that the information provided in reports and interviews was accurate and <br /> representative of site conditions, GTI has made the suggestions noted in bold above. The <br /> condition of the soils beneath the Subject Property cannot be wade without further work. <br /> Probably most notable is the absence of the closures for the UST filled in place and the cleanup <br /> of the former pit in the steam cleaning area. <br /> We appreciate this opportunity to serve Union Safe Aepost Bank for their environmental needs. <br /> If you have any questions or if we can be of further assistance, please do not hesitate to contact <br /> our office at 209-522-4119. <br /> Respectfully sub 'tted, <br /> Cher Kablanow <br />
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