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COMPLIANCE INFO 1987 - 2005
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2300 - Underground Storage Tank Program
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PR0231706
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COMPLIANCE INFO 1987 - 2005
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Last modified
6/11/2019 9:52:01 AM
Creation date
4/10/2019 1:52:31 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2300 - Underground Storage Tank Program
File Section
COMPLIANCE INFO
FileName_PostFix
1987 - 2005
RECORD_ID
PR0231706
PE
2361
FACILITY_ID
FA0000485
FACILITY_NAME
FLAG CITY CHEVRON
STREET_NUMBER
6421
STREET_NAME
CAPITOL
STREET_TYPE
AVE
City
LODI
Zip
95242
APN
05532024
CURRENT_STATUS
01
SITE_LOCATION
6421 CAPITOL AVE
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
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EHD - Public
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PUBLIC 11EALTH SERV.CES 0.1 <br /> SAN JOAQUIN COUNTY =: <br /> ENVIRONMENTAL HEALTH DIVISION <br /> Ernest M. Fujimoto, M.D., M.P.H., Acting Health Officer <br /> 445 N. San Joaquin Street • P.O. Box 388 • Stockton, CA 95201-0388 c'�fFoa��P <br /> (209) 468-3420 <br /> FE8 U 9 W <br /> FLAG CITY INC WAYNE HOLLINGSWORTH <br /> CECIL DILLON AMADOR CORPORATION <br /> P O BOX 2180 5501 VALLEYBROOK DR <br /> LODI CA 95241-2180 P O BOX 667 <br /> BAKERSFIELD CA 93308 <br /> RE: Saddle City Chevron #90302 SITE CODE: 1706 <br /> 6421 W. Paddock Pl. <br /> Lodi, Ca 95242-9500 <br /> On January 26, 1994, the San Joaquin County Public Health Services, Environmental Health Division <br /> (PHS-EHD) Technical Review Committee (TRC) met to discuss the December 21, 1993 "Environmental <br /> Testing Project and Site Certification" report as submitted by Geological Technics Inc. In this report three <br /> (3) alternative approaches were offered and PHS-EHD evaluated each one. <br /> If site specific information warrants it, PHS-EHD can issue a letter stating soil contamination has been <br /> successfully remcdiated and remediation is ongoing for the remaining groundwater issue. Since this is not <br /> the case for this site, the TRC cannot recommend approval of either "Approach One" or "Approach Two" <br /> and will not issue an "interim site certification letter". <br /> The TRC has recommended that the five (5) underground tanks (UST) currently onsite be removed under <br /> permit by PHS-EHD. Since both the site and the tanks are noncompliant with current UST regulations, <br /> any delay in bringing both into compliance may jeopardize your ability to secure reimbursement under the <br /> UST Cleanup Fund at some future date. <br /> Intermittent monthly groundwater contamination may indicate only the beginning of a more serious <br /> problem and the TRC has indicated that an aggressive approach of removing the tanks and removing the <br /> existing contaminated soils is the acceptable approach for this site and the public health. <br /> In a meeting with Mr.Dillon, and Doug Wilson, Michael Infurna, Diane Hinson, Michael Huggins, and <br /> Alan Biedermann, all of PHS-EHD, held February 8, 1994 at PHS-EHD, a plan of action was decided <br /> upon to bring the site into compliance. <br /> Your contractor will apply for a tank closure/removal permit by submitting a completed closure plan by <br /> March 1, 1994. <br /> An investigation to define the "zero-line" of soil and groundwater contamination shall be conducted <br /> immediately. PHS-EHD will require three (3) additional soil borings to be placed to the north, east, and <br /> west of the existing tank pit. <br /> All soil borings are to be drilled utilizing continuous core sampling techniques and one boring is to be <br /> constructed into a monitoring well approximately thirty (30) feet to the northwest of Monitoring Well 3. <br /> The two remaining soil borings are to be located directly north and northeast of the tank pit. These two <br /> borings shall collect ground water samples in addition to the soil samples and all samples are to be <br /> analyzed for BTEX and TPH-G constituents by approved EPA methods. <br /> A Division of San,Joaquin County Health Care Services <br />
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