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SITE INFORMATION AND CORRESPONDENCE_FILE 2
EnvironmentalHealth
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3500 - Local Oversight Program
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PR0545003
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SITE INFORMATION AND CORRESPONDENCE_FILE 2
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Last modified
11/27/2019 11:04:58 AM
Creation date
11/27/2019 10:58:23 AM
Metadata
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Template:
EHD - Public
ProgramCode
3500 - Local Oversight Program
File Section
SITE INFORMATION AND CORRESPONDENCE
FileName_PostFix
FILE 2
RECORD_ID
PR0545003
PE
3526
FACILITY_ID
FA0002324
FACILITY_NAME
Pacific Service Station
STREET_NUMBER
6131
STREET_NAME
PACIFIC
STREET_TYPE
AVE
City
STOCKTON
Zip
95207
APN
09746418
CURRENT_STATUS
02
SITE_LOCATION
6131 PACIFIC AVE
P_LOCATION
01
P_DISTRICT
002
QC Status
Approved
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EHD - Public
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6131 Pacific, Stockton Page 2 of 4 <br /> I appreciate your detailed response here and clarification as to why you are requesting <br /> this test. I was not aware the vent lines were exposed, and my understanding from our <br /> consultant was that no UST lines were exposed during our work. <br /> It appears there was some misunderstanding/interpretation of why you were requesting <br /> this test, and as it was relayed to me, this test would be a requirement for all work <br /> "performed near a UST system" to check to see if any compromise occurred to the <br /> system. Thus, my questions concerning drilling or other activities near or around UST <br /> systems which we perform on a somewhat regular basis. <br /> So, to clarify, the owner will have to perform a pressure test for secondary containment <br /> for all of the UST system, or only a portion of the system? <br /> Also, if this test is performed and witnessed, would this test meet his annual testing such <br /> that he would not have to retest again until the following year? This is an expensive test, <br /> the owner claims this will hurt him financially, particularly if he needs to complete it twice <br /> for this year. <br /> Finally, if my understanding is correct, your permit system will be changed somewhat in <br /> that where ever any work exposes the UST system, your agency will be notified through <br /> Margaret's group. This will be very helpful, as already indicated previously, we were not <br /> aware of the need of a permit though your agency. <br /> Again, thanks for your response. <br /> 9&nks <br /> Denis L.Brown <br /> Project Manager <br /> Shell Oil Products US <br /> 20945S. Wilmington Ave. <br /> Carson, CA 90810-1039 <br /> 707-865-0251 <br /> 7o7-290-91o1 (cell) <br /> 707-865-2542(faX) <br /> -----Original Message----- <br /> From: Kasey Foley [EH] [mailto:KFoley@sjcehd.com] <br /> Sent: Wednesday, December 06, 2006 8:45 AM <br /> To: Brown, Denis L SOPUS-OP-COR-H <br /> Cc: Margaret Lagorio [EH]; Raymond von Flue [EH] <br /> Subject: FW: 6131 Pacific, Stockton <br /> Dear Mr. Brown, <br /> I will attempt to provide answers to the questions you presented to Mr. von Flue. <br /> First, let me say that our agency is charged with enforcing Title 23 of the California Code of <br /> Regulations and the California Health and Safety Code (HSC)as it relates to compliance with the <br /> the underground storage tank(UST) law. As the enforcement agency, we are allowed by law(HSC <br /> 25289)to request any monitoring or testing of UST's if we believe it is necessary. <br /> 1 1 is n AAK <br />
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