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MACEY 6 BRISCOE <br /> ATTORNEYS AT LAW <br /> TELEPHONE <br /> RICHARD E. MACEY ASSOCIATED IN THE PRACTICE OF LAW <br /> 12091 951-8227 <br /> LAWRENCE R. BRISCOE 4609 OU AIL LANES DRIVE. SUITE 4 <br /> JULIE M. MACEY FACSIMILE <br /> STOCKTO N, CALIFORNIA 9520 12091 474-686 <br /> H.C.H. January 11, 1990 <br /> Chevron USA, Inc. <br /> 2410 Camino Ramon <br /> San Ramon, California 94583 <br /> Attention: John Randall �Il law <br /> Re: Former Chevron Station No. 4054 V v <br /> 2103 Country Club Boulevard APR 16 1990 <br /> Stockton, California <br /> rNVIRONivtENTAL HEALTH <br /> BB&C - Lessor iERMITISERVICES <br /> Dear Mr. Randall: <br /> As you are aware I am the attorney representing the Lessor <br /> in the above designated matter. <br /> The above designated site has been the subject of an <br /> investigation by the San Joaquin County Local Health District and <br /> apparently the Regional Water Quality Control Board. Chevron has <br /> had numerous reports prepared since 1986 concerning this site. <br /> At present, no decision has been reached by the public <br /> authorities involved herein as to the exact condition of the <br /> site and what, if anything, should be done to remedy any waste <br /> problem, if such problem exists. <br /> It was anticipated that the public authorities would have <br /> made some decision by now, but none has been made. You <br /> courteously forwarded to me a most recent report from Pacific <br /> Environmental Group, Inc. , one dated January 10, 1989 , and a <br /> later analysis dated June 13 , 1989 . The June 13, 1989, report <br /> was in anticipation of certain work to be done. I have no <br /> record of whether anything further was done in relation to the <br /> June 13 , 1989 , report and would appreciate your letting me know <br /> if the matters referred to in that report were carried out. If <br /> they were, from whom may I obtain a copy of the report? <br /> In addition to the above, it appears that with Chevron <br /> taking the position they have in their August 9, 1989 , to Mr. <br /> Patrick Craig and their August 9, 1989 , letter to the Public <br /> Health Services of San Joaquin County it appears that it is <br /> inevitable unless the matter can be worked out between Chevron <br /> and BB&C, there would be some litigation between these parties. <br />