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E • <br /> ;;".NTE OF CALIFORNIA- Environmental Protection Agency PETE WILSON, Governor <br /> .dALIFORNIA REGIONAL WATER QUALITY CONTROL BOARD �Fd� <br /> CENTRAL VALLEY REGION — <br /> a <br /> 3443 Routier Road, Suite A � <br /> Sacramento, CA 95827-3098 <br /> PHONE: (916) 255.3000 <br /> FAX: (916) 255-3015 RECEIVED <br /> F F A 2 4 99� <br /> 19 February 1993 FNVIRIANWTAT F <br /> ���Mlfi�§�R�ll��� <br /> Mssrs. Daryl , Larry, and Mark Geweke <br /> 1045 S. Cherokee Lane <br /> Lodi , CA 95241 <br /> MEETING, PROPOSED RESCISSION OF CLEANUP AND ABATEMENT ORDER (C&A) NO. 90-702 <br /> AND ISSUANCE OF REVISED CLEANUP AND ABATEMENT ORDER, 15 SOUTH CHEROKEE LANE, <br /> LODI, SAN JOAQUIN COUNTY <br /> On 18 February 1993, we met with Jeff Werner to discuss the draft C&A we sent <br /> you on 11 February 1993. Enclosed are a memorandum summarizing the meeting, <br /> an attendance list, and a memorandum containing staff comments on the site and <br /> the Final Remediation Plan. <br /> We have proposed the new C&A to provide you with a reasonable time schedule to <br /> complete your investigation and to remediate your site. Because the Problem <br /> Assessment Report, Final Remediation Plan, and the Quarterly Monitoring <br /> Reports submitted by your consultants are incomplete, you are out of <br /> compliance with the existing C&A. <br /> Mr. Werner stated that he attended the meeting as your representative. <br /> However, there is no authorization from you stating that he is acting on your <br /> behalf. By 8 March 1993, please provide us with a written statement <br /> authorizing Mr. Werner to act as your representative, to attend meetings, and <br /> to sign the authorization letters which will be required by the revised C&A. <br /> During the meeting we agreed to modify the dates for report submittal and <br /> completion of work stages proposed in the draft C&A (page 2 of the meeting <br /> memo) . <br /> The existing Monitoring and Report Program No. 90-702 failed to provide for <br /> adequate sampling of all wells and based on Geweke's lack of compliance with <br /> the existing monitoring schedule, Board staff proposed, in the draft C&A, that <br /> all wells be sampled quarterly. However, Mr. Werner objected to the proposed <br /> monitoring schedule due to its cost, but was not prepared to provide rationale <br /> for modifications to the schedule based on water quality issues. We agreed to <br /> allow Mr. Werner time to provide a modified monitoring program for <br /> consideration by 23 February 1993. Upon review of the information, we can <br /> modify the monitoring schedule as appropriate. <br /> ��5 <br />