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ARCHIVED REPORTS XR0001346
EnvironmentalHealth
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BENJAMIN HOLT
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3500 - Local Oversight Program
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PR0544111
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ARCHIVED REPORTS XR0001346
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Entry Properties
Last modified
2/7/2019 3:33:06 PM
Creation date
2/7/2019 2:43:34 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
3500 - Local Oversight Program
File Section
ARCHIVED REPORTS
FileName_PostFix
XR0001346
RECORD_ID
PR0544111
PE
3528
FACILITY_ID
FA0003625
FACILITY_NAME
ARCO STATION #83560*
STREET_NUMBER
2908
Direction
W
STREET_NAME
BENJAMIN HOLT
STREET_TYPE
DR
City
STOCKTON
Zip
95207
APN
09763032
CURRENT_STATUS
02
SITE_LOCATION
2908 W BENJAMIN HOLT DR
P_LOCATION
01
P_DISTRICT
002
QC Status
Approved
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EHD - Public
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ENVIRONMENTAL HEALTH DEPARTMENT <br /> SAKI JOAQUIN COUNTY <br /> U/rir Sirpery++oi a <br /> _ L"3 donna K Heran,R E H 5 ma <br /> Carl Bar n,R E N S <br /> on � ;`� " ` � D,reclo, 304 East Weber Avenue,Third Floor 8 <br /> All � <br /> Olson,R E N S Stockton California 95202-2708 Mike Huggins,R E H S R D I <br /> ❑QllgIaS W W115011,R 1;11 S <br /> • co o- Y Program Mcru,nkL', Telephone (209) 468-3420 Marpret Lagoria.R L I I S <br /> C,Fo' t Lourle A Cotulla,R E H 5 Rolwrt McClclion R L 14 S <br /> Program Ma,rasri Fax (20�)4()�-Ol 38 Mark Barccllos,R R II S <br /> EVIR 0 7 2005 <br /> DARIN ROUSE PAUL SUPPLE <br /> CHEVRON PRODUCTS COMPANY ATLANTIC RICHFIELD COMPANY <br /> PO BOX 6004 BLDG V PO BOX 6549 <br /> SAN RAMON CA 94583 MORAGA CA 94570 <br /> (CopyI <br /> I <br /> RE Chevron #9-4275 and ARCO #2133 <br /> 2905 and 2908 Ben Holt Drive <br /> Stockton CA 95207 <br /> The above referenced contaminated underground storage tank sites have applied to the <br /> California State Water Resources Control Board (SWRCB)Clean lip Fund for designation as <br /> a co-mingled plume The claim reference number for this application is CP0034 Per the <br /> conditions of the application, the claimants are required to have entered Into a written <br /> agreement to provide for a coordinated corrective action, and are to proceed with that action <br /> as soon as practicable <br /> • San Joaquin County Environmental Health Department (SJCIEHD) has reviewed the <br /> respective files for these two sites and found that neither site has completed definition of their <br /> respective contaminant plumes Neither site has conducted a vertical Investigation of the <br /> groundwater contamination Despite repeated directives by this agency to do so, Chevron <br /> has declined to investigate the lateral extent of the groundwater contamination reported over <br /> the years in monitoring wells MW-4 and MW-3 Review of soil analytical data from the <br /> Chevron site indicates widespread contamination onsite, residing primarily from 15 to at least <br /> 31 feet below surface grade (bsg) The maximum depth of soil contamination assessed at <br /> this site has been in soil boring (VDSB-1),the only one extending to 45 feet bsg <br /> Hydrocarbon contamination in soil samples collected from VDSB-1 at 31 5 feet and deeper <br /> was not detectable, however, soil samples collected at 35 and 31 feet bsg from monitoring <br /> wells MWA and MW-2 respectively did report detections of petroleum hydrocarbon <br /> contamination Review of soil analytical data from the ARCO site indicates that vertical <br /> definition of the soil contamination was not completed As previously noted,the vertical <br /> extent of Impacted groundwater on the site has not been assessed CPT data collected <br /> offsite indicates the vertical extent of impacted groundwater in that area to be between 40 <br /> and 68 feet bsg, but the area assessed has not been demonstrated to be in the predominant <br /> contaminant migration pathway from either site <br /> ARCO #2133 conducted Interim remediation by groundwater extraction, and has been <br /> conducting air sparging since 1995 A conditionally approved draft final remediation plan <br /> submitted on behalf of ARCO to conduct soil vapor extraction was Implemented, but could <br /> not be continued due to rising groundwater levels Chevron #9-4275 has been conducting <br /> air sparging under a conditionally approved corrective action plan (CAP)that was never fully <br /> Implemented As with the ARCO site, rising groundwater levels made soil vapor extraction of <br /> S the contaminated soil intervals impossible. Please demonstrate that air sparging without <br /> benefit of soil vapor extraction Is providing a beneficial result and is not merely spreading and <br /> diluting the plume of impacted groundwater <br />
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