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Angelica Sandoval Marin [EH] <br /> From: Angelica Sandoval Marin [EH] <br /> Sent: Wednesday, July 30, 2014 4:29 PM <br /> To: 'sbittinger@stratusinc.net' <br /> Subject: RE: Quick-N-Save, 2057 South EI Dorado <br /> Scott, <br /> This email is in regard to the EHD directive letter dated 7/21/2014. After speaking with you on July 25, 2014, you <br /> indicated that you wanted some clarification regarding the directive letter that you received. You indicated that the <br /> Correction Action Plan (CAP) had been previously approved by Harlin Knoll which included soil vapor extraction <br /> remediation along with the groundwater extraction remediation. The Groundwater Remediation Work Plan and the <br /> Work Plan for the Additional Site Assessment and Remediation Pilot Testing were approved by Harlin and the additional <br /> work at the site was performed under permits. Unfortunately, these reports do not replace the CAP. Please refer to, <br /> Leaking Underground Fuel Tank Guidance Manual September 2012, for guidance and submit a CAP. As the <br /> infrastructure for the remediation system has been installed, alternative remedial technologies can be brief and need <br /> not be dealt with in depth. A brief technical justification for the proposed method and cost analysis should suffice. In <br /> addition, please include cleanup goals in the CAP; the EHD recommends they consist of reducing contaminant mass and <br /> concentrations significantly, to stabilize plume and dissolved concentrations at levels that will meet the LTCP criteria. A <br /> public notice regarding pending approval of the CAP must be posted at the site to provide opportunity for public <br /> participation in the approval process (Title 23 California Code of Regulations Chapter 16 section 2728) and the notice will <br /> be posted at the EHD. The EHD anticipates approval of the CAP at which point the interim remediation plan and cleanup <br /> goals will be approved as final. The current approved Groundwater Remediation Work Plan is approved as an interim <br /> remedial action pending approval of the CAP. <br /> As far as the conceptual site model (CSM), some components may have previously been submitted in other reports. If <br /> this is the case, reference the reports that have been previous submitted in the CSM and add any missing information <br /> incorporating recent soil and groundwater. <br /> Thanks <br /> Angelica Sandoval Marin <br /> Angelica Sandoval Marin, Senior REHS <br /> San Joaquin County, Environmental Health Department <br /> 1868 E. Hazelton, CA 95205 <br /> (209) 468-2807 desk <br /> (209) 468-0341 fax <br /> Email: amarin@sjcehd.com <br />