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Environmental Health Department <br /> SANo10AQUIN <br /> —COUNTY— <br /> Complaint Record Daily Time and Activity Summary from 6/21/2013 to <br /> 6/21/2020 for C00042729 located at <br /> 25195 E RIVER RD <br /> Activity ate Recorded by <br /> 02/23/2017 Reviewed an email received on 2-21-2017 from Pete (President Escalon PE 2200 MANZO <br /> 12 min Sportsman's Club, 209-480-8411) , he wanted to know the following: "I wanted SC 544 <br /> some clarifications regarding the last abatement order dated Feb 1 2017. Do the <br /> corrective actions cited pertain directly to the property of ESC.? Is SJCEHD <br /> claiming that"Hazardous Waste"exists on ESC property ? If so who,how, and <br /> when was that determination made. ?Who/what would be a"appropriate lead <br /> agency"to oversee abatement? I provided five years of shot reclamation/mining <br /> records to you on 1-27-17 as requested. Do these records not satisfy SJCEHD.? <br /> If not what disposal records are required." <br /> Emailed Pete back indicating the following: 'The violations cited on the notice to <br /> abate, do pertain to your property and to your impact on other surrounding <br /> properties. Environmental health is the lead agency to oversee the initial <br /> abatement, any additional cleanup may be forwarded to the DTSC or the Water <br /> Board, if needed. Lead exhibits characteristics of toxicity and is hazardous, as <br /> defined by the Title 22 regulations CCR 66261.24. Per my notice to abate, "The <br /> disposal of any hazardous waste, or the causing thereof, is prohibited when the <br /> disposal is at a facility which is not permitted or authorized for hazardous waste <br /> disposal. [HSC 25189.5 (a).] Please be aware that all hazardous waste shall be <br /> disposed of under appropriate hazardous waste manifesting procedure[HSC <br /> 25160 (b)(3)]. Make a hazardous waste determination for all waste materials and <br /> dispose per the Title 22 regulations. Mitigate all impacts of this offiste hazardous <br /> waste disposal, prevent all future offsite lead migration, and provide proof of <br /> correction to the EHD." Also, during my initial site visit, it was indicated that no <br /> lead mining takes place inside the trap trench below the targets and during the <br /> visit, lead was observed in and around that area. With regards to your lead <br /> reclamation records, please provide a statement/record from your reclamation <br /> company indicating whether or not their routine mining operation encompassed <br /> the interior of the target pit area. Please don't hesitate to contact me if you have <br /> any further questions." <br /> 02/24/2017 Reviewed a voice message from Walt received on 2-23-2017 and from today, he PE 2200 MANZO <br /> 42 min indicated to call him on his cell at 209-481-2342. Discussed with Muni, who called SC 007 <br /> Walt and scheduled an office meeting on 2-27-2017 at 1 pm. <br /> Discussion with Muni regarding Walt's complaint that his phone calls were not <br /> returned. Discussed the meeting and the recent events. <br /> Emailed Walt with SSJID, in response to his phone calls from the 2-23-2017 and <br /> from today. Let him know that I will be able to be present at the 2-27-2017 meeting <br /> at 1 am. <br /> Called Leona Winters 916-255-6679, she she will be emailing me the voluntary <br /> clean up agreement, which she said the Irrigation District/Gun Range should fill <br /> out and email back to her directly if the clean up oversight is beyond EHD's ability <br /> at this time. <br /> 02/27/2017 Meeting preparation and a meeting with SSJCD representatives to discuss the PE 2200 MANZO <br /> 72 min proposed clean up action and the voluntary clean up agreement. SC 007 <br /> 03/01/2017 Email an phone communication with Pete with Escalon Club. PE 2200 MANZO <br /> 18 min SC 544 <br /> Page 5 of 8 <br />