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SITE INFORMATION AND CORRESPONDENCE FILE 1
EnvironmentalHealth
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2900 - Site Mitigation Program
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SITE INFORMATION AND CORRESPONDENCE FILE 1
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Last modified
7/10/2019 11:46:55 AM
Creation date
7/10/2019 9:40:57 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
FileName_PostFix
FILE 1
RECORD_ID
PR0541077
PE
2960
FACILITY_ID
FA0023517
FACILITY_NAME
PS MARINA 5 / KING ISLAND RESORT
STREET_NUMBER
11530
Direction
W
STREET_NAME
EIGHT MILE
STREET_TYPE
RD
City
STOCKTON
Zip
95219
APN
07119006
CURRENT_STATUS
01
SITE_LOCATION
11530 W EIGHT MILE RD
P_LOCATION
01
QC Status
Approved
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EHD - Public
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PUBLIC HEALTH SER` ACES <br /> SAN JOAQUIN COUNTY <br /> ENVIRONMENTAL HEALTH DIVISION <br /> Ernest M. Fujimoto, M.D., M.P.H., Acting Health Officer <br /> 445 N. San Joaquin Street • P.O. Box 388 • Stockton, CA 95201-0388 <br /> (209) 468-3420 <br /> IVAR 10 1995 <br /> YVONNE MABEE <br /> P S MARINAS <br /> 14900 W HWY 12 <br /> LODI CA 95219 <br /> RE: KING ISLAND RESORT (\:/ SITE CODE: 1557 <br /> 11530 West Eight Mile Road <br /> 0 <br /> Stockton, CA. 95209 <br /> Recent correspondence submitted by Smith Environmental Technologies/Canonie Environmental Services Corp. <br /> on behalf of Westrec Marinas/King Island Resort (Westrec) requested a change in the monitoring requirements of <br /> the onsite wells. PHS-EHD may approve the request if the following concerns are adequately addressed first. <br /> In a phone conversation between Michael Infurna (PHS-EHD) and John Lane of Smith/Canonie on February 7, <br /> 1995, a concern for the status of MW4 and MW5 was discussed. Neither well produces enough water to meet <br /> minimum purge requirements for groundwater well sampling. MW4 is infiltrated with organic debris and <br /> produces only one (1) liter of water. This well is currently the only well with detectable petroleum <br /> contamination. Re-development or replacement were two of the options discussed and the general idea was to <br /> implement one of these plans or supply another for approval by PHS-EHD. Neither of the two original options <br /> were implemented nor has another option been suggested as requested by PHS-EHD. <br /> MW5 goes dry during purging and is also beginning to show signs of organic growth inside the casing. This <br /> well will require attention also in order to maintain minimum requirements as a monitoring well. PHS-EHD <br /> recommends re-developement and purging of large amounts of groundwater prior to the next sampling event. <br /> Monitoring wells that are unable to provide minimum purge requirements shall be adequately reworked or <br /> destroyed and replace under permit by PHS-EHD. <br /> Until these concerns are addressed, the sampling schedule established in PHS-EHD correspondence dated August <br /> 4, 1993 shall remain in effect with these exceptions; <br /> -MW4 is to be sampled quarterly starting no later than second quarter 1995 <br /> (2nd QTR/95, April, May, and June). <br /> -MW6 is to be sampled semi-annually starting 2nd QTR/95 <br /> Please direct your questions to Michael Infurna at (209) 468-3454. <br /> Donna Heran, REHS, Director <br /> XEnvirentalHealt ivisionrnfurna, Senior HS Diane M. Hinson, REAS <br /> Site Mitigation Unit Supervisor <br /> MI <br /> c: John Lane - Smith/Canonie, 1710 Main St., Escalon <br /> c: CVRWQCB - E. Thayer <br /> A Division of San ,lnagnin County Health Care Services <br />
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