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t <br /> h4 KLEINEELDER <br /> 1 <br /> 3 BACKGROUND <br /> DSS proposes to mine gravel at their Tracy facility, and is limited to mining above the <br /> groundwater table. Based upon a letter from PHS/EHD, DSS was requested to submit a <br /> groundwater-monitoring plan for the proposed gravel pit area for their review and approval. <br /> According to the PHS/EHD letter "The plan shall address overdraft, perched water, flow <br /> patterns, and possible changes to water quality." Kleinfelder contacted Mr. Ray Borges of the <br /> PHS/EHD for additional information. Mr. Borges indicated that three deep production/irrigation <br /> wells at and in the near vicinity of the DSS gravel pit could be used to assess groundwater <br /> elevation, flow and gradient and groundwater quality to comply with PHS/EHD request. <br /> Mr. Borges noted some concern over the validity of the proposed groundwater sounding data <br /> based on potential influence by the Delta Mendota Canal. The closest well (Well No. 3/Plate 1), <br /> according to Mr. Chad Dessert, of DSS Company, reportedly is about 350 feet east of the canal <br /> and the uppermost-screened interval is at a depth of approximately 240 feet. Static water level of <br /> groundwater was reported by DSS to be at an approximate depth of 145 feet below existing <br /> ground surface. Kleinfelder understands the Delta Mendota Canal is lined with concrete, but that <br /> t <br /> leakage from the canal may occur. However based upon the distance of the nearest well to the <br /> canal and the screened interval depth, it is Kleinfelder's opinion that the effects of leakage from <br /> the canal would not significantly affect the groundwater level in this well and would likely be <br /> r negligible if it did. However, future groundwater soundings and resulting flow and gradients <br /> should be assessed for any suspected anomalies, which may be caused by leakage from the Delta <br /> Mendota Canal. Mr. Borges from the PHS/EHD has additionally requested that the deep wells <br /> be monitored for general minerals on an annual basis. <br /> k <br /> The San Joaquin County Community Development Department Development Services Division <br /> i (CDD) has requested that the two shallow monitoring wells be installed to monitor potential <br /> perched water and/or seepage between the Delta Mendota Canal and a proposed settling basin <br /> located near the eastern border of the subject site. Quarterly groundwater-level monitoring of <br /> these two wells and annual reporting has been requested. Mr. Chad Dessert has requested that a <br /> N single domestic well in the vicinity of the site also be sampled. Based upon this request <br /> Kleinfelder submitted a workplan to DSS titled "Second Revised Proposal/Cost Estimate, <br /> Monitoring Well Installation and Groundwater Sampling and Analyses, Proposed DSS Gravel Pit <br /> (QX-96-1), Koster Road Facility, Tracy, California", dated September 27, 2000 (YPO-212). This <br /> report details Kleinfelder's findings based upon this workplan. <br /> 20-2245-36.E01/2011 R279 Page 3 of 10 <br /> Copyright 2001,Kleinfelder, Inc, March 14,2001 <br /> 1 <br />