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I William J. Hunter <br /> Page 2 <br /> A corrective action plan must be based on knowing the lateral and vertical extent <br /> of the contamination. Until this is known the most cost effective alternative <br /> cannot be determined. <br /> The statement in the PHS/EHD letter dated October 21, 1997, about <br /> jeopardizing the responsible parties ability to receive reimbursement for the <br /> remediation required later should not be considered a "veiled threat". PHS/EHD <br /> is concerned that responsible parties be able to be reimbursed for all <br /> remediation costs. If PHS/EHD were to approve the current remediation <br /> proposal and then a deeper source of contamination was found, any additional <br /> required remediation may not be reimbursed by the State Water Resources <br /> Control Board Cleanup Fund because a Corrective Action Plan had already been <br /> approved and enacted. <br /> In addition, there is not a confined aquifer at this site. The work required to <br /> determine the vertical extent of contamination to 40 feet should not spread <br /> contamination deeper. <br /> PHS/EHD will extend the work plan submittal date to February 1, 1998. <br /> If you have any questions contact me at (20 9) 468-3449. <br /> Donna Heran, RENS, Director <br /> Environmental Health Division <br /> Margaret Lagorio, Supervising REHS <br /> Site Mitigation Unit <br /> c: Manuel & Mary Sanchez <br /> CVRWQCB - Pat Anderson <br /> SWRCB Cleanup Fund - Jim Munch <br /> SWRCB - Alan Patton ! <br /> i <br /> . I <br /> I' <br />