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Shell Station page 2 <br /> 2575 Country Club Blvd . , Stockton <br /> In addition , the CVRWQCB is in agreement with EHD that halting the approved <br /> remediation for the past 6 months and proposing to continue to NOT perform the <br /> remedial action until a NPDES permit is obtained is not acceptable . Shell should <br /> consider altering the treatment system for the extracted water so no residual <br /> contamination will be discharged to the city sewer system . <br /> Waste discharge requirements under a NPDES permit require the discharger to <br /> obtain approval from the agency responsible for the collection and conveyance <br /> facilities . This would be the City of Stockton . It is unlikely that discharge <br /> requirements for the storm water system will be different than those for the sewer <br /> system . <br /> If, after restarting the ground water extraction system , Shell considers this <br /> remedial action NOT to be the most cost-effective an6 practicable form of <br /> remediation for this site , Shell must submit a new RAP to EHD for evaluation and <br /> approval . <br /> Until a new RAP is approved by EHD , Shell is to continue to conduct the <br /> EHD previously approved remedial action and properly dispose of the <br /> extracted water. <br /> You may contact Michael Infurna at minfurna(dsicehd . com if you have any questions . <br /> You may also contact Mr. Infurna at (209) 468-3454 . <br /> Donna Heran , REHS, Director <br /> Environmental Health Division <br /> no RE <br /> Michael J . Infurna Jr. , Senior REHS Marg Lago , <br /> LOP / Site Mitigation Unit IV Supervisor <br /> MI/ <br /> c: CVRWQCB — James L. Barton , Sacramento. <br /> c: Cambria — Joe Neely, PO Box 259 , Sonoma , CA. 95476 <br /> c: SW RCB-CUF — Mark Owens , Sacramento. <br />