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PR0505092
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
2/5/2019 4:57:53 PM
Creation date
2/5/2019 4:48:19 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0505092
PE
2960
FACILITY_ID
FA0006532
FACILITY_NAME
LYOTH LOADING STATION/CHEVRON
STREET_NUMBER
26501
Direction
S
STREET_NAME
BANTA
STREET_TYPE
RD
City
TRACY
Zip
95376
CURRENT_STATUS
01
SITE_LOCATION
26501 S BANTA RD
P_LOCATION
99
P_DISTRICT
005
QC Status
Approved
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PFR 19 '94 1541 AT&T FRX 9020FX —'P.1i3 <br /> .._.,, - <br /> - �. _ Chevron <br /> • Pr�s4ft^brand fax transmittal memo 7817 ;1 m sagas. <br /> b <br /> a.. <br /> OBPL Pfiona <br /> cbr Fax# M.INfN if tja t�M <br /> WW CIfa@6 Awmffi.Soft 4Q <br /> s rssam,rA&M4-1sn <br /> March 21, 1994 <br /> ypslyz� <br /> Mr.David E.Jenkins APR 2 0 1994 <br /> Associate Engineering Geologist <br /> California Regional water Quality Control Board ENVIRONMENTAL HEALTH <br /> Central Valley Region PERMIT/SERVICES <br /> 1443 Routier Road <br /> Sacramento,CA 95827-3098 <br /> WORK PLAN FOR ADDTI'TONAL SITE INVESTIGATION,CHEVRON <br /> PIPE LINE COMPANY, FORMER LYOTH S'T'ATION,CITY OF TRACY <br /> Dear Mr.Jenkins: <br /> This letter serves as Chevron Pipe Line Company's (CPL) response to comments noted in your <br /> letter of I1 February 1994. The responses, 1 through 6 are numbered in the same order as the <br /> comments in your letter. As you will remember, CPL asked for and received a two week <br /> extension to the 30 day deadline in your letter on 10 March, 1994_._We appreciate that flexibility. <br /> 1. A site remediation agreement was sent to Mr. Jeffory Scharff, W. Hoffman's legal <br /> counsel, on 31 January 1994 (Attachment). To data, this agreement has not been <br /> finalized; however, ongoing discussions between Mr. Scharff and CPL'S legal counsel, <br /> Kristdn Ghisletta are continuing. It is CPL's intention to proceed with an investigation of <br /> the limits and cause(s)of onsite petroleum hydrocarbon impact without being hindered by <br /> these discussions or the lack of a signed mitigation agreement. If the impacted soil and <br /> its current disposition are found to be our sole responsibility, CPL will remediate the site <br /> to the extent legally required and to that which is reasonable. <br /> On the basis of our discussions, RWQCB's interest in a site remediation agreement is <br /> directly related to the desire for the additional site investigation to start. It has been CPU, <br /> position and policy that a site remediation agreement be in-place prior to beginning the <br /> site investigation work. However, since CPI.,bas been somewhat remiss in pursuing this <br /> agreement, CPL will commit to initiating the site investigation work plan within 30 days <br /> of RWQCB's written approval of the changes discussed below. This will allow a short <br /> time to mobilize a contractor and work with W. Hoffman and his attorney on their issues <br /> of concern. <br />
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