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Mr. Andrew Smith • -2 - 27 February 2004 <br /> determined that a NPDES General Order would be most cost effective, an acknowledgment of the State <br /> Implementation Policy sampling that is required for the General Order requested, a discussion of <br /> whether granular activated carbon and SunSolve are sufficient to treat the concentrations of fuel <br /> oxygenates recorded in the proposed extraction well, or the rationale for the proposed extraction rate. <br /> Based on the inadequate information, Regional Board staff has concerns about the adequacy of the <br /> system to remove all pollutants to the levels required for discharge to a surface water. You need to <br /> submit the application fee, Form 200, and all necessary information for us to prepare a Notice of <br /> Applicability. <br /> California Water Code Section 13267 authorizes the Regional Board to require submission of technical <br /> reports under specified circumstances. Pursuant to Water Code Section 13267 and in accordance with the <br /> information in this letter, by 26 March 2004, you are required to submit Form 200, the application fee, <br /> and all necessary information required for the General Order. <br /> Failure to submit this information as required could subject you to administrative civil liability or other <br /> enforcement action in accordance with California Water Code Section 13268. <br /> If you have any questions regarding this requirement or need additional information, you may contact <br /> Dg <br /> vvra_Lewis at(916) 464-4719. <br /> THOMAS R. PINKOS <br /> Executive Officer <br /> cc: Ms. Frances McChesney, Esq., Office of the Chief Counsel, Sacramento <br /> Ms. Margaret Lagorio, San Joaquin County Environmental Health Department, Stockton <br /> Mr. Daniel Kalmbach, Advanced GeoEnvironmental, Inc., Stockton <br />