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PUBLIC HEALTH SERVI 'S NtE COPY <br /> X <br /> SAN JOAQUIN COUNTY <br /> ENVIRONMENTAL HEALTH DIVISION <br /> Karen Furst, M.D., M.P.H., Health Officer <br /> 304 East Weber Avenue, Third Floor • Stockton, CA 95202 <br /> 2091468-3420 <br /> HEATHER O'BRIEN <br /> COMMERCIAL NET LEASE REALTY SERVICES INC <br /> 450 S ORANGE AVE STE 900 <br /> ORLANDO FLA 32801-3336 <br /> RE: Farm UST @ Dividend Property Site Code :PR#0516241 <br /> Michael's Craft Store (proposed) <br /> 13170 W. Grandine Rd <br /> Tracy, CA.,95736 <br /> San Joaquin County Public Health Services,Environmental Health Division (PHS-EID) has <br /> reviewed the recent submittals regarding the monitoring well (MW-1) still present on the Dividend <br /> site. Your latest correspondence dated June 2,2000 stated that you were "not looking for a dosure letter <br /> from SJCEHD' (PHS-E HD), but you would like `a letter whish stats that SJCEHD drams not nequire any <br /> father anion to be taken on the property in ar a�a=with the prior mmarranation from the UST(undergrourul <br /> storage tank)» <br /> You have informed PHS-EHD that the UST referred to was a 500-gallon `farm'UST. This type and <br /> size of UST is exempt from California Underground Storage Tank Regulations,which provide PHS- <br /> EHD with regulatory authority for overseeing UST closures. As such,the removal of this UST did <br /> not require a permit from, approval by, or oversight from PHS-EHD. <br /> California Health and Safety Code Section 101480 provides PHS-EHD with authority to enter into <br /> remedial action agreements with responsible parties for simple waste sites. When requested by <br /> responsible parties,PHS-EHD can use this authority to provide regulatory closure on exempt UST <br /> sites. The remedial action agreement should occur prior to fieldwork and sample collection so that <br /> PHS-EHD has the opportunity to provide oversight of the information gathered to justify closure. <br /> MW-1 was installed under PHS-EHD permit along with other monitoring wells to investigate <br /> contamination issues at the Dividend Property. The Central Valley Regional Water Quality Control <br /> Board (CVRWQC B) was the regulatory agency for the Dividend Property and provided a "No <br /> Further Action" letter for the petroleum pipeline leaks in 1996. The Dividend Property monitoring <br /> wells,except MW1,were destroyed. Unfortunately MW1 was not destroyed and the UST <br /> contamination and related remediation (over-excavation) was not addressed. <br /> Since PHS-EHD did not enter into a remedial action agreement for this site and did not provide <br /> oversight of the site investigation, we would not provide a closure letter or use regulatory language <br /> such as "no further action required" for this site. PHS-EHD has no comment or regulatory <br /> authority on this site at this time, except that MW1 must be destroyed under our permit and <br /> inspection if it is no longer going to be used. <br /> A Division of San Joaquin County Health Care Services <br />