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PR0522479
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
5/17/2019 2:14:40 PM
Creation date
5/17/2019 2:01:24 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0522479
PE
2957
FACILITY_ID
FA0015299
FACILITY_NAME
GEWEKE LAND DEVELOPMENT & MARKETING
STREET_NUMBER
16
Direction
S
STREET_NAME
CHEROKEE
STREET_TYPE
LN
City
LODI
Zip
95240
APN
04323013
CURRENT_STATUS
01
SITE_LOCATION
16 S CHEROKEE LN
P_DISTRICT
004
QC Status
Approved
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EHD - Public
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0 93 p y <br /> 0 STATE OF C.SLIFORNIA - Environmental Pro Agency PETE WILSON Governor <br /> CALIFORNIA REGIONAL WATER QUALITY CONTROL BOARD <br /> a <br /> , <br /> CENTRAL VALLEY REGION n1C 3443 Routier Road, Suite A ENVIRvMME-I� AL r EAl_T1ISacramento, CA 95827-3098 P RfN7 SERVICEPHONE: (916) 255-300010 <br /> FAX: (916) 255-3015 93 SEP 24 PM 2: 15 <br /> 21 September 1993 CERTIFIED MAIL <br /> P 318 540 682 <br /> Mr. Mark Geweke <br /> Geweke Land Development and Marketing <br /> 1045 S. Cherokee Lane <br /> Lodi, CA 95240 <br /> FINAL REMEDIAL PLAN (FRP), GEWEKE, 16 SOUTH CHEROKEE LANE, LODI, SAN <br /> JOAQUIN COUNTY <br /> I informed GeoAudit, your consultants, in June 1993, that Waste Discharge Requirements (WDRs) <br /> were necessary for the discharge of the bacteria medium to ground water; the letter from your <br /> attorney, James DeMera, regarding WDRs was not submitted until late August 1993. Patricia <br /> Leary, Board Engineer for issuing the WDRs, replied in a letter to Mr. DeMera, dated <br /> 15 September 1993 (copy enclosed). Ms. Leary's letter required submittal of a Report of Waste <br /> Discharge and fees in order that she may prepare WDRs. This discharge may fall under the <br /> General Permit for underground tanks, however, your failure to make timely application may result <br /> in missed deadlines and subject you to fines. <br /> Cleanup and Abatement Order (C&A) No. 93-701 requires that you initiate remediation startup <br /> activities by 15 October 1993 and begin remediation by 15 November 1993. You agreed to these <br /> dates. We are concerned that failure to meet these deadlines will indicate a return to the mode of <br /> operation which resulted in the first C&A and the reason we found it necessary to issue the current <br /> revised C&A. <br /> We have reviewed the FRP, dated 30 July 1993, prepared by GeoAudit, and found that it is <br /> incomplete. The recommended reporting format for all reports, including FRPs, was supplied to <br /> GeoAudit before the FRP was submitted. This is the second incomplete FRP submitted by <br /> GeoAudit; the first was in January 1992. The attached memorandum lists the information lacking in <br /> the FRP. Until the information has been submitted, reviewed and approved by Board staff, and you <br /> comply with the requirements of Ms. Leary's 15 September 1993 letter, remediation cannot begin. <br />
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