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FIELD DOCUMENTS AND WORK PLANS 1990
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FIELD DOCUMENTS AND WORK PLANS 1990
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Last modified
2/22/2019 6:00:31 PM
Creation date
2/22/2019 2:39:19 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
FIELD DOCUMENTS
FileName_PostFix
AND WORK PLANS 1990
RECORD_ID
PR0009002
PE
2960
FACILITY_ID
FA0004040
FACILITY_NAME
SPX COOLING TECHNOLOGIES INC
STREET_NUMBER
200
Direction
N
STREET_NAME
WAGNER
STREET_TYPE
AVE
City
STOCKTON
Zip
95215
APN
14331007
CURRENT_STATUS
01
SITE_LOCATION
200 N WAGNER AVE
P_LOCATION
99
P_DISTRICT
002
QC Status
Approved
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TMorelli
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EHD - Public
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BLACK & VEATCH <br /> ENGINEERS-ARCHITECTS TEL. (913) 339-2000 <br /> 1500 MEADOW LAKE PARKWAY <br /> MAILING ADDRESS P.O.BOX NO.8405 <br /> KANSAS CITY, MISSOURI 64114 <br /> Marley Cooling Tower Company B&V Project 11654.610 <br /> Stockton, California Facility January 31, 1990 <br /> Remedial Action Plan <br /> Mr. Jim Austreng <br /> Department of Health Services <br /> Toxic Substances Control Division <br /> 10151 Croydon Way <br /> Sacramento, California 95827 <br /> Dear Mr. Austreng: <br /> On behalf of the Marley Cooling Tower Company, I have enclosed three copies <br /> of the draft Remedial Action Plan (RAP) for the Marley Cooling Tower <br /> Company (MCTC) site in Stockton, California. I have also enclosed two <br /> computer diskettes with directory listings which contain the text for the <br /> RAP sections. The diskette files are in IBM Displaywrite 3 format. <br /> The RAP has been prepared based on the current Remedial Investigation/ <br /> Feasibility Study (RI/FS) . Revisions and supplements to the RI/FS will be <br /> prepared in the near future. These revisions and supplements may suggest <br /> that modifications are appropriate for the draft RAP. Such modifications <br /> will be submitted with the RI/FS revisions. <br /> Please note that the Schedule Section of the RAP (Section 8) is incomplete. <br /> Two optional approaches are feasible in completing the schedule for design <br /> and implementation of the remedial actions. The first option is based on <br /> meeting the target dates suggested in the Remedial Action Order. The <br /> resulting schedule is shown in the attached Figure 1. Please note that to <br /> meet the dates suggested in the Remedial Action Order, MCTC must begin <br /> design related activities prior to finalization of the RAP. If the final <br /> RAP stipulates actions that are different than those currently recommended, <br /> MCTC's ability to meet the schedule will be affected. <br /> The second option entails MCTC starting design and preparation of <br /> supporting documents after the final RAP is published. The projected <br /> completion dates for design and remedy implementation are shown in Figure <br /> 2. <br /> I look forward to discussing the RAP and recommended alternatives with you <br /> at your earliest convenience. Marley personnel and I are available to <br />
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