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I <br /> 1 <br /> 45 East Harding <br /> Page 2 l <br /> i <br /> � c <br /> PHS/EHD does not concur that the work plan submitted contains sufficient detail to i 1 <br /> comply with the December 1, 1994 PHS/EHD directive to submit a corrective action <br /> plan in conformity with the California Code of Regulations, Title 23, Division 3, Chapter <br /> 16, Section 2425. PHS/EHD has repeatedly informed you that once soil and <br /> groundwater contamination has been defined that a report summarizing the j <br /> investigation (problem assessment report) and evaluating remedial alternatives should <br /> be submitted. Over the last several years, investigation of the extent of soil and <br /> groundwater contamination has occurred, with boundaries essentially defined. Yet, a I <br /> corrective action plan evaluating remedial alternatives and assessing the residual soil <br /> and groundwater contamination has not been prepared. Please be aware that an <br /> important aspect of a corrective action plan is the assessment of the impacts which' <br /> includes the potential effects of residual soil contamination on groundwater. <br /> A corrective action plan should be submitted by March 31, 1995. Should acorrective <br /> action plan not be submitted, please be informed that PHS/EHD may initiate' <br /> enforcement actions in order to gain compliance. <br /> fl <br /> If you have any questions or wish to schedule a meeting, please contact Mary Meays <br /> at (209) 468-0337. <br /> Donna Heran, Director REHS <br /> Environmental Health Division <br /> Mary Meays, Senior REHS Diane. M. inson, REHS <br /> Site Mitigation Unit Supervisor <br /> MM\45HARDING\A <br /> �I <br /> cc: Elizabeth Thayer, CVRWQCB <br /> cc: Carolyn Lawrence <br /> cc: Michael F. Babitzke aj <br /> cc: Bette Owen, Chevron ` <br /> ,i <br /> li <br /> i <br /> i <br /> i <br />