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PUBLIC HEALTH SERVICES <br /> U I Ar c <br /> SAN JOAQUIN COUNTY <br /> Q: .a <br /> JOGI KHANNA M.D.,M.P.H. <br /> Health Officer <br /> P.O. Box 2009 • (1601 East Hazelton Avenue) 0 Stockton,CaMomia 95201 qty F oad <br /> (209) 468-3400 <br /> CATHERINE A GOTELLI (C(apy <br /> ADOLPH GOTELLI ESTATE ET AL <br /> 4831 BOND WAY AUN 19 1991 <br /> STOCKTON CA 95212 <br /> RE: Gotelli Trucking IN REPLY REFER TO SITE CODE: 2476 <br /> 1634 E. Channel <br /> Stockton, CA <br /> Public Health Services, Environmental Health Division (PHS/EHD) has <br /> reviewed the Work Plan for re-excavation of 1634 E. Channel, N.A. <br /> Gotelli Trucking, and recommends that you submit a Health and <br /> Safety Plan and larger more detailed diagram for that activity. <br /> Upon completion of the re-excavation, sidewall and bottom sampling, <br /> and the Title 22, Article it Hazardous Waste Determination, we will <br /> know whether the soil can be treated without Department of Health <br /> Services (DHS) involvement and the volume of soil to be remediated. <br /> With respect to the remediation proposal, PHS/EHD will initiate the <br /> 30-day public participation process to allow for comments from <br /> individuals who either work or reside in that area of the proposed <br /> remediation site. This process can begin once PHS/EHD has received <br /> an executive summary of the remediation process and a second copy <br /> is made available at the public library. During the 30-day public <br /> participation process, the following concerns can be addressed: <br /> 1. Ms. Jill Duerig (Alameda County Water District) indicated <br /> the project referred to by Dr. Cummings, lasted 1.5 <br /> years, much longer than the 90 days outlined in your <br /> proposal. PHS/EHD needs to know why this site will go so <br /> much faster. <br /> 2 . There is concern over how much soil will need to be <br /> removed in order to achieve non-detect (ND) at the proper <br /> detection limits, in the sidewall and bottom samples. <br /> This will be determined during the re-excavation and will <br /> provide an accurate measurement of the quantity of soils <br /> to be remediated. <br /> 3. The use of 6 mil plastic as a barrier or liner is viewed <br /> as insufficient. A minimum of 30 mil has been <br /> recommended. In addition, a buffer zone between the <br /> plastic and the contaminated soil should be established <br /> and maintained in order to avoid destruction of this <br /> plastic when rototilled. <br /> A Division of San Joaquin County Health Care Services �� <br />