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COMPLIANCE INFO 2005 - 2009
EnvironmentalHealth
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2300 - Underground Storage Tank Program
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PR0231760
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COMPLIANCE INFO 2005 - 2009
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Last modified
9/18/2019 1:12:33 PM
Creation date
8/21/2019 2:53:19 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2300 - Underground Storage Tank Program
File Section
COMPLIANCE INFO
FileName_PostFix
2005 - 2009
RECORD_ID
PR0231760
PE
2351
FACILITY_ID
FA0003831
FACILITY_NAME
WATERLOO FOODMART
STREET_NUMBER
4315
Direction
E
STREET_NAME
WATERLOO
STREET_TYPE
RD
City
STOCKTON
Zip
95215-2305
APN
08710034
CURRENT_STATUS
01
SITE_LOCATION
4315 E WATERLOO RD
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
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EHD - Public
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v 1> <br /> I <br /> o C <br /> I consented to the entry of this Final Judgment and Injunction Pursuant to Stipulation("Final <br /> 2 Judgment")prior to the taking of any proof, and without trial or adjudication of any fact or law <br /> 3 herein; and the Court having considered the pleadings and such arguments as may be had, and <br /> 4 good cause appearing: <br /> 5 IT IS HEREBY ORDERED,ADJUDGED,AND DECREED as follows: <br /> 6 JURISDICTION <br /> 7 This action is brought under California law and this Court has jurisdiction of the subject <br /> 8 matter and Plaintiff and Defendants (collectively"the Parties"), <br /> 9 APPLICABILITY <br /> 10 1 Plaintiff alleges that on or before June 15, 2009, Defendants have committed violations of <br /> 11 requirements imposed by the California Health and Safety Code and related implementing <br /> 12 regulations that govern (a)the operation and maintenance of underground storage tanks("USTs") <br /> 13 and UST systems and (b)the handling of hazardous wastes and hazardous substances generated <br /> 14 by operation of USTs, UST systems, and motor vehicle maintenance, at Defendants' facilities in <br /> 15 the State of California. Defendants have not been required to answer Plaintiff's Complaint, but <br /> 16 deny the allegations in that Complaint, and state that they are committed to environmental <br /> 17 compliance and cooperation with Plaintiff, and therefore agree to take the actions set forth in this <br /> 18 Final Judgment. <br /> 19 2. The provisions_of this Final Judgment are applicable to Defendants Equilon Enterprises <br /> 20 LLC d/b/a Shell Oil Products US ("Bquilon"), a Delaware Limited Liability Company; Shell Oil <br /> 21 Company("Shell"), a Delaware Corporation; Shell Oil Products Company LLC ("SOPC"), a <br /> 22 Delaware Limited Liability Company; and TMR Company("TMR"), a Delaware Corporation <br /> 23 formerly known as Texaco Refining and Marketing,Inc.; and to each of their respective: a) <br /> 24 subsidiaries; b) corporate parents; c) affiliates; d)successors and assigns; e) officers, directors, <br /> 25 and successors and assigns of Defendants, subsidiaries, corporate parents, affiliates and parents of <br /> 26 affiliates. Independent contractors and subcontractors are not covered by this Final Judgment <br /> 27 except for past acts as expressly alleged in the Complaint which were performed at the direction <br /> 28 of Defendants. <br /> 2 <br /> Final Judgment and Injunction <br />
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