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�_..E <br /> i -PUBLIC'HEALTH SERVICES Pq�iN <br /> SAN JOAQUIN COUNTY <br /> ENVIRONMENTAL HEALTH DIVISION <br /> Ernest M. Fujimoto, M.D., M.P.H., Acting Health Of Fer D <br /> 304 E.Weber Ave., 3rd Floor • P. O. Box 388 • Stockton, CA 952 -0 8® P <br /> 209/468-3420 ��'J Foa' <br /> MALED OCT 1 81995 <br /> THOMAS J NOKES <br /> 1650 PARK ST <br /> ALAMEDA CA 94501 <br /> RE: DISCOVERY CHEVROLET SITE CODE: 2595 <br /> 1615 WEST ELEVENTH STREET <br /> TRACY CA 95376 <br /> This letter shall summarize the October 6, 1995 meeting attended by Michelle Nokes <br /> representing the responsible parry for Discovery Chevrolet, Steve Carter of GeoStrategies Inc., <br /> and Steven Sasson, Senior Registered Environmental Health Specialist representing San Joaquin <br /> County Public Health Services Environmental Health Division (PHS/EHD). <br /> During the meeting we discussed the over excavation of the former tank excavation as proposed <br /> by Ms. Nokes and Mr. Carter. The over excavation has been presented in the September 26, <br /> 1995 Quarterly Monitoring Report and was discussed between Mr. Sasson and Ms. Nokes during <br /> a September 7, 1995 telephone conversation. <br /> Pursuant to Article 11, Chapter 16, Division 3, Title 23 of the California Code of Regulations, <br /> also known as the Corrective Action Regulations Section 2725, the responsible party shall collect <br /> the data necessary to assess the nature and vertical and lateral extent of the release to determine <br /> a cost effective-method of clean up. Using the data obtained during the investigation, the <br /> responsible parry shall propose a Corrective Action Plan. The Corrective Action Plan shall <br /> include an assessment of the contamination, a feasibility study to evaluate alternatives for <br /> mitigating the adverse effects of the release, and applicable cleanup levels. In addition, as stated <br /> under section 2722 interim remedial actions such as excavation and disposal of contaminated soil <br /> must comply with any conditions set by the regulatory agency. <br /> Currently the lateral and vertical extent of documented soil and groundwater contamination has <br /> not been defined. As stated to you in the meeting, PHS/EHD will not approve interim remedial <br /> action until the extent of contamination has been defined. PHS/EHD requires a feasibility study <br /> prior to initiating any corrective action. The purpose of the feasibility study is to assure that <br /> State Water Resources Control Board (SWRCB) reimbursement fund money is spent effectively <br /> and efficiently. <br /> PHS/EHD will not prevent you from initiating an interim corrective action which does not <br /> comply fully with the Correction Action Regulations and PHS/EHD directives. However, <br /> compliance with the Corrective Action Regulations and PHS/EHD directives is essential for <br /> reimbursement by the SWRCB reimbursement fund. <br /> A Division of San Joaquin County Health Care Services <br />