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W� KLEINFELDER <br /> soils may become impacted due to the petroleum constituents detected in groundwater at <br /> the MW-4 location near first encountered groundwater including zones in which <br /> groundwater may fluctuate seasonally. <br /> 11. One four point composite sample was analyzed from an approximately 75 yard stockpile <br /> d located at the subject site. Based on the analytical results it appears diesel and motor oil <br /> impacted soil remain in this stockpile <br /> i <br /> 6.2 RECOMMENDATIONS <br /> 1. Kleinfelder recommends shallow excavation of petroleum impacted soil in the washdown <br /> area followed by confirmation soil sampling. The approximately 75 yard soil stockpile <br /> located at the site should be disposed of according to local and federal regulations. <br /> Kleinfelder recommends removal of the excavated washdown area soil and the existing <br /> stockpile in a single disposal event. <br /> r <br /> 2. Previous remedial activities (excavation of petroleum impacted soil) has occurred at the <br /> subject site in the former UST area and a "No Further Action" letter was obtained from <br /> } the county. Field observations and soil sampling results in the vicinity of the UST shows <br /> that petroleum impacted soil remains at approximately depth of 25 to 45 feet in the <br /> eastern portion of the southern excavation. However, soil sampling results show a <br /> marked decrease in petroleum constituents at 40 feet bgs and none detected results at 50 <br /> feet bgs. Groundwater samples from monitoring wells in this area also were reported as <br /> non-detect for the requested petroleum constituents including oxygenates from first <br /> encountered grotmdwater. Based on these findings and the previous "No Further Action" <br /> letter by the county and that the county was aware contamination remained at <br /> approximately 30 feet bgs (UST area), Kleinfelder does not recommend further remedial <br /> efforts in this area. <br /> 3. Kleinfelder recommends that a copy of this report should be submitted to San Joaquin <br /> County Public Health Services Department, Environmental Health Division (PHS/EHD) <br /> and the State of California, Central Valley Regional Water Quality Control Board <br /> (RWQCB) for their review and comment. <br /> 4. The equipment decontamination rinseate, purge water and drilling returns (soil) currently <br /> stored on-site should be properly disposed of by the Client. Kleinfelder can assist the Client <br /> in that disposal at an additional charge if requested. <br /> This report, and the conclusions and recommendations presented in this Executive Summary, are <br /> subject to the "Limitations" presented in Chapter 7 of this report. Any other party (other than <br /> The San Joaquin County Mosquito & Vector Control District or regulatory agencies having <br /> 6 enforcement jurisdiction for this site) who would like to use this report shall notify Kleinfelder, <br /> Inc. of such intended use by executing the "Application for Authorization to Use" which is <br /> included as an appendix to this report. <br /> 36274/ST03R1919 Page 13 of 19 <br /> ,D 2004 Kleinfelder,Inc. January 5,2004 <br />