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WORK PLANS_FILE 1
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3500 - Local Oversight Program
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PR0545246
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WORK PLANS_FILE 1
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Last modified
1/30/2020 3:30:38 PM
Creation date
1/30/2020 1:51:42 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
3500 - Local Oversight Program
File Section
WORK PLANS
FileName_PostFix
FILE 1
RECORD_ID
PR0545246
PE
3528
FACILITY_ID
FA0003611
FACILITY_NAME
PARKWOODS GAS & FOOD
STREET_NUMBER
1612
Direction
W
STREET_NAME
HAMMER
STREET_TYPE
LN
City
STOCKTON
Zip
95209
APN
07728002
CURRENT_STATUS
02
SITE_LOCATION
1612 W HAMMER LN
P_LOCATION
01
P_DISTRICT
002
QC Status
Approved
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EHD - Public
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ENVIRONMENTAL HEALTH DEPARTMENT <br /> SAN JOAQUIN COUNTY <br /> �o .lam c G Unit Supervisors <br /> a. k ?, Donna K. Heran, R.E.H.S. Carl Bor an RE.H.S. <br /> y 304 East Weber Avenue Third Floor <br /> Director Mike Huggins R E H S., R.D.I. <br /> _ Al Olsen RE.H.S. : StOCktOn, Ca11fOrRla 9$202-270$. Douglas W. Wilson R.E.H.S. <br /> cy P Program Manager Telephone: (209) -468,-3420 _ Margaret Lagono, R.E.H.S. <br /> Laurie A. Cotulla, R.E:H.S. - <br /> Faxr (209) 4f4-0138 . RobertMecleuon, R.E.xs. <br /> -- - Program Mimager - Mark Baicellos, R.E.H.S. <br /> PAUL SUPPLE .JUN 2 1 2004 <br /> ARCO PRODUCTS COMPANY <br /> PO BOX 6549 <br /> MORAGA CA 95470 <br /> RE : Former ARCO #548 SITE CODE : 1127 <br /> 1612 Hammer Lane <br /> Stockton CA 95209 <br /> San Joaquin County Environmental Health Department (SJC/EHD) has reviewed the <br /> proposal "Modification of Remediation Activities" dated May 13, 2004 submitted on your <br /> behalf by URS Corporation (URS) and has the following comments. <br /> URS proposes to modify the remedial activities at your site by discontinuing operation of <br /> the soil vapor extraction/air sparge (SVE/AS) system for an unspecified period of time <br /> while evaluating trends in the concentrations of groundwater contamination reported at <br /> quarterly groundwater monitoring and sampling events. . URS supports this proposal by <br /> noting decreased system air influent concentrations between November 2003 and <br /> February 2004, and by decreasing trends in reported contaminant concentrations in the <br /> groundwater. <br /> SVE/AS was initiated at this site in September 2000. At that time, a final corrective <br /> action plan (CAP) had not been submitted . In conversation with your consultant, then <br /> Pinnacle, it was discussed that the system was considered to be an interim remediation <br /> strategy. SJC/EHD verbally informed Pinnacle in this conversation that a feasibility <br /> study comparing at least two clean up alternatives must be completed for this site, <br /> followed by a CAP . <br /> All of the monitoring wells at this site have screen intervals that are completely <br /> submerged, and have been so since approximately 1993. To obtain data on the quality - <br /> of the shallow groundwater, the vapor extraction wells that have water in them have <br /> been routinely sampled since December 2001 . However, due to the construction details <br /> of these wells, the groundwater samples collected from them have been grab samples, <br /> and therefore may not be representative of true groundwater conditions, especially <br /> considering that some of these wells are currently being used for remediation. In <br /> SJC/EHD correspondence dated June 18, 1998, you were directed to submit a work <br /> plan that included the installation of additional monitoring wells to monitor and sample - <br /> shallowest groundwater, and a proposal to investigate the vertical extent of <br /> contamination in both the soil and groundwater, among other directives . The <br /> August 10, 1998 work plan submitted by Pinnacle did not include proposals to address <br /> these two specific issues. <br />
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