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Thomas J. Nokes page 2 <br /> In the PHS/EHD August 1, 1995 letter you were directed to analyzeMW-3 for the presence of <br /> tetrachloroethene which was detected during the waste oil tank removal. The September 26, <br /> 1995 Quarterly Status Report does not indicate that this analysis was conducted <br /> on the <br /> groundwater sample from MW-3 taken on August 7, 1995. The proposed activities for next j <br /> quarter do not indicate that this well will be analyzed for tetrachloroethene. <br /> You were directed to submit a work plan to address the extent of soil and groundwater <br /> contamination at this site. The compliance date was September 15, 1995. You were granted an <br /> extension to October 15, 1995. <br /> At this time PHS/EHD is directing you to submit a work plan which complies with Section <br /> 2725(a) of Article 11 to collect data necessary to define the extent of contamination in soil and <br /> groundwater for both the nested gasoline tanks and the waste oil tank. The compliance date for <br /> initiation of a work plan to define the extent of soil and groundwater contamination is November <br /> 15, 1995. i <br /> For further information, please contact Steven Sasson at (209) 468-3459. <br /> Donna Heran, REHS, Director <br /> Environmental Health Division <br /> r <br /> 6 <br /> Steve Sasson, Senior REHS Diane M. Hinson, REHS <br /> Site Mitigation Unit Supervisor <br /> SS <br /> cc: Elizabeth Thayer, CVRWQCB <br /> cc: Annabel Mackey, SWRCB <br /> cc: Steven Carter, GeoStrategies, Inc. <br /> cc: Greg A. Gurss, GeoStrategies, Inc. <br />