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r... <br /> Keith Howard - 2 - 4 April 1990 <br /> 2. The tirre perirds included in the Order are unreasonable; particularly in view of <br /> the fact that the Board took no action on this site for over three years. <br /> We believe the time schedule for compliance with the order is euth reasonable and <br /> achievable, provided your client acts a seditiously arid in good faith. Furthermore, <br /> we will not hold your client responsible for delays which they demonstrate are <br /> beyond their control. <br /> 3. Regional Board staff did not provide guidance on what the required reports should <br /> contain. - <br /> We have provided Geweke and their consultant with guidance documents which, if <br /> followed, would assure that proposed work plan would be acceptable (copies again <br /> enclosed). In our letter of 20 November 1989 we informed Geweke that the work plan <br /> should include installation of monitoring wells designed to define the full exteizt <br /> of contamination. ' 3LWeke was notified that failure to provide an adequate work plan <br /> could result in formal enforcement action. Your client responded to our request <br /> by submitting a work plan which proposed one additional monitoring well . Our stuff <br /> considered the plan inadequate because the proposed well was over- 150 feet away and <br /> crossgradient from an existing well which contained high levels of contaminants. <br /> 4. The requirement to implement a final remediation plan shuuld be postponed until <br /> she conclusion of the investigation. <br /> The order states that a final remediation plan is to be submitted upon netification <br /> by the Executive Officer that the extent of contamination has been adequately <br /> defined, but no later than 29 June 1990. The schedule for compliance is intended <br /> -- to encourage your client to complete the investigation in a timely manner. We <br /> believe that this requirement is necessary to prevent delays which could result from <br /> submittal of inadequate work plans and reports, As stated above, we will work with <br /> Geweke to avoid delays, such as site access problems, which are beyond their <br /> control. However, if Geweke fails to comply with the provisions of the order in <br /> a reasonable and timely manner, we will refer this matter to the Board for the <br /> imposition of civil or judicial liability, as provided by law. <br /> Please note that a problem assessment report is due by 25 May 1990. <br /> If you wish to schedule a meeting, please call Tom Peltier at (916) 361-5731. <br /> WILLIAM H. CROOKS <br /> Executive Officer <br /> cc: Ms. Betsy Jennings, Office of the Chief Counsel, Sacramento <br /> Ms. Laurie Cotulla, San Joaquin County Department of Public Health <br /> ,L. <br /> Services, Stockton <br />