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NOV-UO-U4 JV:140 h(001-V 4Nl,V LaNaima tnv NN I-LUI r UuuUUc 1-11. <br /> Atlantic Richfield (bmpany • <br /> Kyle Christie 4 Centerpointe Dr., Suite 172 <br /> Environmental Business Manager La Palma, CA 90623.1066 <br /> Phone: 714-670.5303 <br /> Fax: 714-670-5195 <br /> E-mail: chriska@bp.com <br /> November 8,20 02 <br /> Mr. Bill Halvorson <br /> IY,rs. Lorraine Halvorson <br /> 1')040 Davis Road <br /> Stockton, CA 95209 <br /> Re- former ARCO facility#2168, 441 West Charter Way, Stockton, CA <br /> Uear Mr. and Mrs- Halvorson. <br /> Bill & I have discussed the redevelopment of the property where the former ARCO <br /> facility was located. My understanding of any planned redevelopment is that the <br /> redevelopment would require the destruction of some or all of the monitoring wells. <br /> Because the former ARCO facility is still a State Water Resources Control Board <br /> (SWRCB)open LUST project, Atlantic Richfield Company will be required to reinstall a <br /> monitoring well or wells on your property after the redevelopment of the property. This <br /> action of reinstalling the well or wells constitutes a portion of the Work as described in <br /> Section 1.2 of the April 5. 2000 access agreement. <br /> Please advise me as to your redevelopment plans and planned time schedule of the <br /> redevelopment so that I may work with your developer to coordinate which wells need to <br /> be removed, the removal of the existing well or wells, and the installation of the <br /> replacement wells. My previous experience suggest that it would be best to remove the <br /> wells prior to your developers construction activities and reinstall the new wells after the <br /> developer has asphalted the parking lot. <br /> I can be reached at 714-670-5303. 1 look forward to working with you on the <br /> redevelopment of your property. <br /> Sincerely,, <br /> Kyle Christie <br /> ❑p <br /> A BP affiliated company 0 <br />