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MACEY & BRISCOE <br /> ATTORNEYS AT LAW <br /> RICHARD E. MACEY ASSOCIATED IN THE PRACTICE OF LAW TELEPHONE <br /> LAWRENCE R. BRISCOE (209) 951-8227 <br /> JULIE M. MACEY 4609 QUAIL LAKES DRIVE, SUITE 4 <br /> FACSIMILE <br /> STOC KTO N, CALIFORNIA 95207 (209) 47a-6867 <br /> December 18, 1989 <br /> Public Health Services <br /> San Joaquin County <br /> Environmental Health Division <br /> 1601 E. Hazelton Avenue <br /> Stockton, California 95201 <br /> Attention: Laurie A. Cotulla, REHS <br /> Program Manager <br /> Re: Site Code: 1780 <br /> Chevron USA <br /> 2103 Country Club Blvd. , Stockton, CA <br /> Dear Ms. Cotulla: <br /> This office represents BB&C the owners of the above <br /> designated property who leased said property to Chevron USA in <br /> 1964 . <br /> Chevron continued to operate this property as a gasoline <br /> station through at least January of 1987 . <br /> It is the position of my clients that Chevron is the <br /> responsible party as it is obvious that there was evidence of <br /> petroleum contamination in the soils and in the ground water <br /> prior to the termination of their Lease and the removal of the <br /> tanks, which was not accomplished until 1989 . <br /> It is requested by the owners of the subject real property <br /> that Chevron remain the responsible party for the above <br /> referenced site. <br /> It would be appreciated if this office could be kept advised <br /> of all future developments and proceedings in this matter. <br /> Thanking you for your courtesy and attention in this matter. <br /> Sincerely, <br /> MACEY & BRISCOE <br /> Richard E. Macey <br /> Attorney at Law <br /> REM: ;g RECEIVED <br /> DEC 2 0 Z-A <br /> ENVIRONMENTAL H[h_TH <br /> PERM ScRVICL-; <br />