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PR0523386
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
2/8/2019 12:12:10 PM
Creation date
2/8/2019 11:33:18 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0523386
PE
2965
FACILITY_ID
FA0015803
FACILITY_NAME
RICHLAND PLANNED COMMUNITIES
STREET_NUMBER
1240
STREET_NAME
BOWMAN
STREET_TYPE
RD
City
STOCKTON
Zip
95202
CURRENT_STATUS
01
SITE_LOCATION
1240 BOWMAN RD
QC Status
Approved
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EHD - Public
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• • <br /> California Regional Water Quality Control Board - <br /> `/ Central Valley Region <br /> Robert Schneider,Chair <br /> Alan C.Lloyd Ph.D. Arnold Schwarzenegger <br /> AgencySecretary Sacramento Main Office Govemor <br /> Internet Address: http://www.swreb.cagov/—rwgcb5 <br /> 11020 Sun Center Drive,#200,Rancho Cordova,CA 95670,6114 <br /> Phone(916)464-3291 •FAX(916)4644780 <br /> LR65 <br /> 27 October 2005 rr <br /> Don Troppman <br /> Richland Planned Communities,Inc. <br /> 2220 Douglas Blvd., Suite 290 <br /> Roseville, CA 95661 j <br /> CONDITIONAL APPROVAL,EFFL UENT STORAGE AND DISPOSAL SITE <br /> HYDROGEOLOGICAL INVESTIGATION,LATHROP, SAN JOA QUIN COUNTY <br /> I have reviewed the Effluent Storage and Disposal Site Hydrologic Investigation Workplan,prepared by <br /> Eco:Logic dated 24 August 2005. The plan was prepared to characterize groundwater quality prior to <br /> application of wastewater to land. <br /> After reviewing the workplan, I have the following comments: <br /> — Section 2.1 discusses the possibility of using intrawell comparisons for purposes of regulatory <br /> compliance. Intrawell comparisons are best suited to areas where waste(or other activities that <br /> might degrade groundwater quality)has not been discharged and where naturally occurring <br /> geologic conditions cause natural variation. Intrawell comparisons may be appropriate but further <br /> investigation of historic activities may be required. <br /> — The workplan refers to application of wastewater to cropped land application areas,percolation <br /> basins, and storage sites. Because the workplan does not specify where those locations would be, <br /> the number or location of the monitoring wells proposed cannot be fully evaluated. In general, <br /> impoundments are required to have upgradient and downgradient monitoring wells; any site used <br /> for a percolation basin would also require upgradient and downgradient wells. Land application <br /> areas typically are not as closely monitored and a monitoring network over the larger area is <br /> generally acceptable. <br /> — In Section 3.5 the transition seal is described as a thickness of two to five feet. Considering the <br /> shallow nature of the wells, please limit the transition seal to approximately two feet thick to <br /> maximize the amount of cement annular seal that can be installed. (A transition seal two feet thick <br /> is presented in Figure 5, Typical Monitoring Well Construction). <br /> — Section 3.8 describes the well survey that will be performed. Please perform the survey so that the <br /> location and elevation data for all the site wells (new and existing) is available. Please present a <br /> summary table of the entire monitoring well network survey data in the well installation report. <br /> California Environmental Protection Agency <br /> Qa Recycled Paper <br />
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