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James Giottinini <br /> Page 2 <br /> evaluation of prospective remediation alternatives indicate this <br /> goal to be technologically infeasible or economically <br /> unrealistic, the discharger may propose to restore the impacted <br /> waters of the State to standards established to protect the <br /> beneficial uses designated for the water. Enclosed for your <br /> information is a CVRWQCB Staff Report discussing water quality <br /> goals for this specific area. This document may be helpful in <br /> establishing appropriate cleanup levels for this site as required <br /> in the Corrective Action Regulations. 1 <br /> Feasibility studies may be needed to determine the effectiveness, I{ <br /> the total cost, and the expected length of remediation time for <br /> the particular remediation alternatives being considered for this <br /> site. This information should be used in the evaluation of the <br /> remediation technologies and should be included in the CAP. <br /> Please submit a comprehensive CAP, as described in the above <br /> noted Corrective Action Regulations, to PHS/EHD by March 28 , <br /> 1994 . <br /> If you have any questions or comments regarding this letter, <br /> please contact Linda Turkatte, Senior REHS, of my staff at (209) ' <br /> 468-3441. <br /> Jogi Khanna, M.D. , M.P.H. ` <br /> Health Officer II <br /> Donna Heran, REHS, Program Manager <br /> Environmental Health Division <br /> DH/lt <br /> enc. <br /> c: CVRWQCB-Beth Thayer <br /> c: COS City Manager-Duane Milnes <br /> c: COS Public Works-Jim Escobar <br /> c: COS Public Works-Stephen Chen <br /> c: COS Public Works-Sara Cortes <br /> c: RESNA Escalon-John Lane <br /> __ 1 <br />