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4o- <br /> PBLIP HEALTH SLR�CLS ,oP <br /> SAN JOAQVIN COCNTY <br /> a: <br /> JOGI KHA\NA J1.D.XP 1i <br /> He.d[hOfficer r P" <br /> 4�IFOR", <br /> P.O. Box 2009 • (1601 East Hazelton Avenue) • Stockton,California 95201- <br /> (209) 468-3400 <br /> OCT 2 8 1991 - _J 4 <br /> JEFF WERNER <br /> GEWEKE PROPERTIES <br /> 1045 S CHEROKEE LANE <br /> LODI CA 95241 <br /> RE: NOTICE OF VIOLATION: Cleanup and Abatement Order No. 90-702 for Geweke Car Capitol, 16 S. <br /> Cherokee Lane, Lodi, CA 95241 <br /> You are hereby notified that Geweke Properties is in violation of Cleanup and Abatement (C&A) Order No. <br /> 90-702. <br /> Cleanup and Abatement Order No. 90-702 required, in part, that Geweke Properties fulfill the following <br /> requirements. <br /> A. "3. Monitor the depth to groundwater, obtain water quality samples, and analyze the samples for <br /> total petroleum hydrocarbons, benzene, toluene, and xylenes in all existing and future monitoring <br /> wells on a quarterly basis. Submit quarterly groundwater monitoring reports until such time as the <br /> Executive Office determines that the reports are no longer necessary." <br /> On June 3, 1991, Public Health Services, Environmental Health Division (PHS/EHD) notified you <br /> that the quarterly report due to this office and due a California e�be �m WaterQuality t Control <br /> This <br /> Board (CVRWQCB) by April 15, 1991, was p <br /> report was never received. The Second Quarterly Report due on July 15, 1991 was included in the <br /> PES letter report dated July 1, 1991, and in the Problem Assessment Report (PAR) dated July 31, <br /> 1991, as approved in the June 3, 1991 PHS/EHD correspondence. <br /> The third quarterly report for 1991 was due October 15, 1991. Failure to submit quarterly reports <br /> as scheduled is a violation of the C&A and Geweke may be subject to fines under Sections 13350 <br /> of the Clifornia quarterly <br /> 2652()aof the Undeter Code. Failure to rground Tank Regulationstand subject to violation of the Section <br /> additional fines. <br /> B. In the C&A, the PAR due date was May 25, 1991, and the final remedial plan (FRP) due date was <br /> June 29, 1990. However, submittal of the PAR was extended to June 28, 1991, to allow Geweke <br /> to come into compliance. No new submittal date was set for the FRP. The PAR was submitted but <br /> the plume remains undefined to the west of MW-11. Therefore, Geweke is to install an additional <br /> monitoring well down gradient of MW-11 and subsequently, submit an FRP, including the results <br /> of the installation1RP due date, anythe new lcons consideration of fines will be based on thuary 2, 1992. Should Geweke e original FRP due dail to comply with te, <br /> January <br /> June 29, 1990. <br /> C. In the PES Environmental "Progress Report," dated July 1, 1991, PES states that "quarterly <br /> monitoring of all 14 wells is unnecessary to effectively monitor groundwater conditions at the site. <br /> Until any groundwater remediation system is operational,quarterly monitoring of the five perimeter <br /> wells (MW-6, MW-10,MW-11, MW-12 and MW-13) should be adequate to monitor for any plume <br /> migration." In a phone conversation with the CVRWQCB on August 13,1991,we agreed that it did <br /> A Division of tiara Joaquin County Health Care Scrviccs <br />