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COMPLIANCE INFO_PRE 2019
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2200 - Hazardous Waste Program
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PR0536074
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COMPLIANCE INFO_PRE 2019
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Last modified
11/19/2019 5:02:47 PM
Creation date
11/19/2019 3:34:47 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
PRE 2019
RECORD_ID
PR0536074
PE
2247
FACILITY_ID
FA0001105
FACILITY_NAME
RITE AID #5996
STREET_NUMBER
1050
Direction
N
STREET_NAME
WILSON
STREET_TYPE
WAY
City
STOCKTON
Zip
95205
APN
11735003
CURRENT_STATUS
01
SITE_LOCATION
1050 N WILSON WAY
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
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EHD - Public
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t <br />3 <br />4 <br />6 <br />7 <br />g <br />9 <br />10 <br />11 <br />12 <br />13 <br />14 <br />15 <br />16 <br />IRI <br />l8 <br />19 <br />20 <br />21 <br />22 <br />24 <br />26 <br />27 <br />regarding compliance with any provision in this Final Judgment or the laws or regulations cited in <br />this Final Judgment or cited in the Complaint, including, but not limited to, res judicata. <br />7.5 The provisions of Paragraph 7.1 are effective on the date of entry of the Final <br />Judgment. The continuing effect of Paragraph 7.1 is expressly conditioned on Defendant's full <br />payment of the amounts due under this Final Judgment. <br />7.6 Paragraph 7.1 does not limit the ability of the People to enforce the terms of this <br />Final Judgment. <br />7.7 Defendant covenants not to pursue any civil or administrative claims against the <br />People or against any agency of the State of California or any CUPA, Participating Agency or <br />local agency, any county in the State of California or against any of their officers, employees, <br />representatives, agents or attorneys, arising out of or related to any Covered Matter; provided, <br />however, that if any of the foregoing entities initiate claims against Defendant, Defendant <br />reserves any and all rights, claims, demands and defenses against such entities. <br />7.8 Any event that is beyond the control of Defendant and that prevents it from timely <br />performing any obligation under Paragraphs 4 and 5 of this Final Judgment, despite its best <br />efforts to fulfill that obligation, is a "force majeure" event. The requirement that Defendant <br />exercise its "best efforts to fulfill the obligation" includes the requirement that Defendant use its <br />best efforts to anticipate any potential force majeure event and use best efforts to address the <br />effects of any potential force majeure event (1) as it is occurring, and (2) following the force <br />majeure event, such that the delay is minimized to the greatest extent possible. "Force majeure" <br />does not include financial inability to fund or complete the obligation. <br />8. NOTICE <br />All submissions and notices required by this Final Judgment shall be sent to: <br />For the People: <br />David J. trey <br />Supervising Deputy District Attorney <br />Office of the District Attorney of San Joaquin County <br />222 E. Weber Ave., Room 202 <br />Stockton, CA 95202 <br />David.Irey@sjcda.org <br />11 <br />STIPULATION FOR ENTRY OF FINAL JUDGMENT AND PERMANENT INJUNCTION <br />
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