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demonstration of when the site reaches this point is difficult and requires a certain <br /> degree of physical data. However, the immediate goal at this site is to begin the <br /> source reduction as soon as possible. <br /> Therefore, please proceed with implementing the scope of work that addresses <br /> the source area on the site. This must include the installation of remedial <br /> vapor extraction test wells and the performance of a pilot test. The installation <br /> of off-site definition wells must ultimately be conducted but financial resources should <br /> be focused on the initiation of source reduction as soon as feasible. Please propose <br /> a new time schedule to implement the work needed at this site, based on the <br /> above discussion, and submit to PHS-EHD by February 25, 1996. <br /> In addition, a survey of nearby wells within 2000 feet of the site must be performed, <br /> if this has not yet been done. Also, the site wells must be sampled for methyl tertiary <br /> butyl ether (MTBE), a gasoline additive. If this compound is not detected, <br /> subsequent sampling for it will not be required. <br /> If you have any questions or wish to discuss this letter in more detail, please contact <br /> Linda Turkatte, Senior REHS, at (209) 468-3441. <br /> Donna Heran, REHS, Director <br /> Environmental Health Division <br /> Linda Turkatte, Senior REHS Diane M. Hinson, REHS <br /> Site Mitigation Unit Supervisor <br /> LT <br /> c: CVRWQCB, Beth Thayer <br /> c: SWRCB Cleanup Fund, George Lockwood <br /> c: Mohammad Jameel <br /> c: Saleem Khan <br /> c: Cris Hamilton <br />