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SU0006799_SSCRPT
EnvironmentalHealth
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SU0006799_SSCRPT
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Last modified
11/20/2024 8:59:18 AM
Creation date
9/6/2019 10:41:38 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2600 - Land Use Program
FileName_PostFix
SSCRPT
RECORD_ID
SU0006799
PE
2666
FACILITY_NAME
PA-0700489
STREET_NUMBER
31244
Direction
S
STREET_NAME
STATE ROUTE 33
City
TRACY
APN
25531020
ENTERED_DATE
10/25/2007 12:00:00 AM
SITE_LOCATION
31244 S HWY 33
RECEIVED_DATE
10/23/2007 12:00:00 AM
P_LOCATION
99
P_DISTRICT
005
QC Status
Approved
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SJGOV\wng
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\MIGRATIONS\K\KOSTER\31199 SEE 31244 HWY 33\PA-0700489\SU0006799\SSC RPT.PDF
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EHD - Public
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i <br /> L Phase I Environmental Site Assessment <br /> TRINKLE AND BOYS FLYING SERVICE <br /> L. 31244 South Highway 33 <br /> Tracy, California <br /> L <br /> 1.0. INTRODUCTION <br /> 6. Advanced GeoEnvironmental, Inc. (AGE) has been retained by Mr. Ron Barber of L & B <br /> Environmental on behalf of Mr. John Trinkle,to perform a Phase I Environmental Site Assessment <br /> (Phase 1)of the property located at 31244 South Highway 33,Tracy,California(the subject property <br /> ho or the property). American Society for Testing and Materials(ASTM) Standard E 1527-05 and the <br /> United States - Environmental Protection Agency (US-EPA) Standards and Practices for All <br /> Appropriate Inquiry (AAI; 40 CFR Part 312) were used as a guidelines for this investigation. The <br /> San Joaquin County Assessor's Office listed the parcel address as 31199 South Koster Road. <br /> I.I. SCOPE OF WORK <br /> The purpose of the Phase I was to identify and assess environmental characteristics of the subject <br /> in property.that could lead to liability in the event of ownership,that could have a potential impact on <br /> property value, or that could impact the present or future use of the subject property. <br /> bw The purpose of ASTM Practice E 1527-05 and US-EPA AAI is to define good commercial and <br /> customary practice for conducting an environmental site assessment of a parcel of commercial real <br /> bw estate with respect to the range of contaminants within the scope of Comprehensive Environmental <br /> Response Compensation and Liability Act(CERCLA)and petroleum products.As such,this practice <br /> is intended to permit a user (client) to satisfy one of the requirements to qualify for the innocent <br /> 60 landowner defense, contiguous property owner or bona fide prospective purchaser limitations on <br /> CERCLA liability: that is, the practices that constitute all appropriate inquiry into the previous <br /> ownership and use of the property consistent with good commercial and customary practice as <br /> o, defined in 42 USC 9601(35)(B). An evaluation of business environmental risk associated with a <br /> parcel of commercial real estate may necessitate investigation beyond that identified in this practice <br /> (based on ASTM Practice E 1527-05, Section 1.1.). <br /> r. <br /> The goal of ASTM Practice E 1527-05 is to identify"recognized environmental conditions",or the <br /> presence or likely presence of any hazardous substances or petroleum products on a property under <br />•• conditions that indicate an existing release, a past release, or a material threat of a release of <br /> hazardous substances or petroleum products into structures on a property or into the ground,ground <br /> water,or surface water of the property. Conditions that are determined to be de minimis,that do not <br /> in present a material risk to public health or the environment and generally would not be the subject <br /> of an enforcement action,are not recognized environmental conditions.The USEPA AAI generally <br /> conforms to these guidelines in regards to hazardous substances as defined under CERCLA. <br /> However, USEPA AAIB performed for EPA Brownfields Grant recipients must also include <br /> r Advanced GeoEnvironmental,Inc. <br /> r <br />
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