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It is impossible that any of the referenced LUFT sites from GeoTracker, or non-point sources <br /> could affect groundwater under the subject property. There are no observable aboveground <br /> storage tanks, nor underground tank appurtenances immediately surrounding the property. <br /> Therefore, it may be considered highly unlikely that any tanks.'in this locale may affect the <br /> property ert because of the distances involved. <br /> The ASTM E-1527-00 Document referenced on Page 2 refers to de minimus environmental' <br /> conditions. De minimus conditions generally do not present a material risk to public health or <br /> to the environment and generally would not include an enforcement action if observed by the <br /> appropriate governmental agencies. Household hazardous materials may be considered de <br /> minimus concerns if there has been no spillage or dumping.. <br /> Typical household "hazardous materials".include gasoline, paint thinners, new and used motor <br /> oil, antifreeze, etc. Spillage or dumping of typical household hazardous substances were not. <br /> observed, particularly on the concrete-floored tack barn where these materials are stored. It is <br /> noted.in the Environmental Questionnaire that there was apparently never an underground or <br /> above ground fuel storage tank on the property for as long as the Morrissey's have owned the <br /> property, other than the on-site propane tank and septic tank. <br /> :Section 9-905.12 of San Joaquin County Development Title states "Corrective Action: If the <br /> report indicates there are-surface and subsurface contamination, corrective action shall be <br /> recommended in the report and concurred with by Environmental Health prior to the issuance <br /> of the building permit." Therefore, it is my professional opinion that no corrective action is <br /> required on the subject property. M <br /> The majority of the'subject property will continue to be productive farmland, and is <br /> surrounded by properties that engage in production agriculture. Consequences of this <br /> surrounding land use include: noise, dust, odors, insects, machinery, spray equipment, crop <br /> rr <br /> dusting aircraft, trucks,:exhaust and other environmental effects that may be offensive to some <br /> people. It is my opinion that bottled water should always be used for drinking and cooking 1 <br /> purposes in agricultural production regions. <br /> § 5.2 The Appendices, found in Section_ 7 incorporate all of the applicable information <br /> referenced in this Report. <br /> § 5.3 See below for signature and stamp. <br /> § 5.4 Mr. and Mrs. Morrissey are currently in the process of submitting the land use application, <br /> through her consultant..Jeff Sanguinetti of Sanguinetti & Associates. (209) 477-0899. <br /> § 5.5 As referenced above, the Appendices contain the documentation to support the applicable <br /> data and information found in this Report. `7 <br /> Page -8- <br /> Chesney Consulting <br />