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COMPLIANCE INFO_PRE 2019
EnvironmentalHealth
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2300 - Underground Storage Tank Program
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PR0231883
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COMPLIANCE INFO_PRE 2019
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Entry Properties
Last modified
1/31/2022 1:50:51 PM
Creation date
11/8/2018 10:23:58 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2300 - Underground Storage Tank Program
File Section
COMPLIANCE INFO
FileName_PostFix
PRE 2019
RECORD_ID
PR0231883
PE
2351
FACILITY_ID
FA0002111
FACILITY_NAME
BEN HOLT SHELL
STREET_NUMBER
3011
Direction
W
STREET_NAME
BENJAMIN HOLT
STREET_TYPE
DR
City
STOCKTON
Zip
95219
APN
10018010
CURRENT_STATUS
02
SITE_LOCATION
3011 W BENJAMIN HOLT DR
P_LOCATION
01
P_DISTRICT
002
QC Status
Approved
Scanner
SJGOV\kblackwell
Supplemental fields
FilePath
\MIGRATIONS3\B\BENJAMIN HOLT\3011\PR0231883\COMPLIANCE INFO.pdf
QuestysFileName
COMPLIANCE INFO
QuestysRecordDate
12/28/2011 8:00:00 AM
QuestysRecordID
103229
QuestysRecordType
12
QuestysStateID
1
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EHD - Public
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i <br /> 1 20. As used herein, "Covered Parties"means Defendants, collectively and individually, and <br /> 2 the other entities to whom this Final Judgment is applicable pursuant to Paragraph 2 above. <br /> 3 21. As used herein, "Covered Matters"means any claims under Chapters 6.5, 6.7 and 6.95 of <br /> 4 Division 20 of the California Health& Safety Code and related regulations (except as provided <br /> 5 below)for civil or administrative liability against any Defendant as an owner or operator of the <br /> 6 Released Facilities for acts, omissions;or events on or pertaining to the Released Facilities during <br /> 7 periods of ownership or operation by any Defendant up to the effective date of this Final <br /> 8 Judgment; any such claims under state, county or local ordinances or under permits issued by the <br /> 9 State or any County related to the installation, operation, modification,repair or removal of a <br /> 10 UST or the management of hazardous wastes or materials; and any such claims under the <br /> 11 California Business and Professions Code that are derived from any of those requirements. The <br /> 12 "Covered Matters"include all such violations;provided, however,that the "Covered Matters" <br /> 13 specifically exclude any claims under Paragraphs l l.aaa., and l l.bbb. of the Complaint which <br /> 14 were not known by Plaintiff as of the date of entry of this Final Judgment, and provided further <br /> 15 that Defendants preserve any and all defenses to such claims, including but not limited to <br /> 16 defenses based on statutes of limitation. For purposes of the exclusion in the previous sentence, <br /> 17 11 Plaintiff will be deemed to have known of a claim under Paragraph l l.aaa., or l 1.bbb. of the <br /> 18 Complaint prior to the date of entry of this Final Judgment if, at any time prior to the date of entry <br /> 19 of the Final Judgment, either(a)the CUPA or the relevant regulatory authority was on notice of a <br /> 20 release, spill, leak or discharge at the service station facility in question, or(b)the CUPA or the <br /> 21 relevant regulatory authority had opened an environmental case at the service station facility in <br /> 22 question. As used herein, "Covered Matters" shall not preclude after the date of entry of this <br /> 23 Final Judgment the issuance of any requirement or order that Defendants shall investigate and/or <br /> 24 remediate a release, spill, leak, or discharge, or investigate a suspected release, spill, leak, or <br /> 25 discharge at any of the Released Facilities; and this Final Judgment shall not constrain claims, <br /> 26 causes of action, enforcement or corrective action orders that have been or may be filed or issued <br /> 27 for any violation of a requirement concerning the investigation and/or remediation of a release or <br /> 28 suspected release at any of the Released Facilities. <br /> 16 <br /> Final Judgment and Injunction <br />
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