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f; <br /> continuing or next phase of investigation, method of cleanup proposed or implemented schedules <br /> for the completion of the investigation of the site and remediation. <br /> PHS/EHD requires compliance with the reporting requirements stated in this section of the <br /> California Code of Regulations. Each quarterly monitoring report shall have a portion devoted <br /> to discussing the next phase of the investigation or -the next phase of remediation. Failure to <br /> comply with this code section will demonstrate that due diligence is not being maintained and . <br /> may jeopardize your eligibility for reimbursement from the State Water Resources Control Board <br /> Cleanup Fund Program. <br /> _ 1 <br /> The next scope of work should provide a time table and methodology which will address further <br /> investigation into the extent of the groundwater plumes at 424 N. Van Buren and 423 N. { <br /> Madison, removal of contaminated soil which was left in place at the time of the tank removals <br /> at both sites and/or the installation of a groundwater treatment system at both sites. <br /> At this time, there is evidence that the plume at'.:424 N. Van Buren may be commingled or has <br /> the potential of becoming commingled with the plume at a site located across Van Buren Street <br /> from the Chase site. This is the Crystal.Creamery site located at 404 W. Fremont Street. Due <br /> to the proximity of these two plumes it is important_to realize that efforts to perform remediation <br /> at one site may affect the plume at the other site. Therefore, it may be necessary to develop an <br /> investigation and remediation plan that addresses both plumes as one. <br /> Please call Steven Sasson at (209) 468-3459 for;further information. <br /> Donna Heran, REHS, Director <br /> Environmental Health Division <br /> S*naon, Senior REHS Diane M.. Hinson, REHS <br /> Site Mitigation Unit Supervisor <br /> SS ' <br /> cc: Lois Frantz, RESNA <br /> cc: Elizabeth Thayer, RWQCB UST section', <br /> cc: Richard Konig, Richard W. Konig, Inc. <br /> cc: Steve Jerkins, Crystal Creamery' <br /> cc: Richard Premzic, Wallace Kuhl 'Associates <br /> cc: Barbara Anderson, SWRCB <br /> i <br /> P <br />