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N <br /> Page 1 of 1 <br /> Lori Duncan [EH] <br /> f <br /> From: Randy Kirby [RKirby@clearwatergroup.com] <br /> Sent: Tuesday, July 05, 2011 6: 13 PM <br /> To: dcharter@waterboards.ca.gov <br /> Cc : Lori Duncan [EH]; jbarton@waterboards.ca .gov; OJacobs@clearwatergroup.com; jimjacobs@ebsinfo.com <br /> Subject: USTCF Claim No. 11828 , ZB178 - Barnes Trucking Facility, 1817 S Fresno Ave, Stockton , CA - Approved <br /> 2011 -2012 Budget <br /> David Charter <br /> Senior Engineering Geologist <br /> SWRCB/Cleanup Fund <br /> P.O. Box 944212 <br /> Sacramento, CA 95814 <br /> Voice: (916) 341 -5652 <br /> Dear Mr. Charter: <br /> The California Underground California Underground Storage Tank Cleanup Fund (USTCF) listed a total budget for the <br /> 2011 -2012 fiscal year of $ 10,000 for this category CAP/REM site. Clearwater is requesting a possible revision of the <br /> approved budget, based on the following criteria: <br /> 1) Clearwater has been installing the infrastructure to perform an injection on site. Clearwater bid the work at <br /> $3005000 in 2011 -2012 to put the site on track to reach closure by the Fall of 2012. <br /> 2) The $ 10,000 approved budget leaves Clearwater with no remediation money for the 2011 -2012 fiscal year to <br /> achieve tasks critical to the timeline of this goal. <br /> 3) The budget as approved will not permit remediation activities to proceed at the site as proposed in the Corrective <br /> Action Plan (CAP) and Remedial Action Plan (RAP) approved by the Central Valley Regional Water Quality <br /> Control Board and the San Joaquin County Environmental Health Department (SJCEHD). <br /> 4) Immediate implications of the approved budget would include: <br /> a) Deferral of the injection work until the next fiscal year; <br /> b) Cancellation of active permits approved for remedial activities; <br /> c) Forfeiture of fees paid to keep permits active and site space available for equipment staging; <br /> d) Duplication of costs to reapply for the same permits at a later date; and <br /> e) Reducing the number of wells sampled and moving the site monitoring activities from a semi-annual to a <br /> yearly schedule. <br /> If the site were moved to an O&M category, reinstallation of the iSOC devices, which had been removed in <br /> anticipation of injection activities, could be done . <br /> Clearwater would appreciate your feedback. <br /> Please feel free to contact me at (510) 307-9943 ext 229. <br /> Sincerely, <br /> Randy E. Kirby, PG <br /> Senior Geologist <br /> Clearwater Group <br /> Environmental Services <br /> 229 Tewksbury Avenue <br /> Point Richmond, California 94801 <br /> Tel: 510-307-9943 ext 229 <br /> Fax: 510-232-2823 <br /> www.clei ; watergrouo.conl <br /> 7/6/2011 <br />