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1 DEBRA S. SUMMERS, ESQ. #98261 <br /> VIVIAN M. CLAUSING, ESQ. #131489 <br /> , ., 2 WILSON, SONSINI, GOODRICH & ROSATI <br /> Professional Corporation <br /> 3 Two Palo Alta Square <br /> Palo Alto, California 94306 <br /> 4 Telephone: (415) 493-9300 <br /> 5 Attorneys for Petitioner <br /> COLOR SPOT, INC. <br /> 6 <br /> 7 <br /> 8 STATE WATER RESOURCES CONTROL BOARD <br /> 9 <br /> 10 COLOR SPOT, INC:. , ) DECLARATION OF KEVIN <br /> } HILDEBRAND <br /> 11 Petitioner, <br /> 12 Vs. } <br /> 13 COUNTY OF SAN JOAQUINPUBLIC } <br /> HEALTH SERVICES, ENVIRONMENTAL <br /> 14 DEPARTMENT, <br /> 15 Respondent. <br /> 16 <br /> 17 I., KEVIN HILDEBRAND, declare that if calledto testify, <br /> 18 could testify competently to the following. <br /> 19 1.. My name is Kevin Hildebrand, and I am General .Manager <br /> 20 for Color Spot, Inc. , whose address is 5400 E. Harney Lane, -Lodi, <br /> 21 California ("Lodi Facility") . I have worked at the Lodi Facility <br /> 22 for 6 years. I am readily familiar with the operations at the <br /> 23 Lodi Facility. <br /> 24 2. To the best of my knowledge, no compounds containing <br /> 25 benzene or toluene were ever used at the Lodi. Facility. <br /> 26 3. To the best of my knowledge., diesel fuel was the only <br /> 27 substance ever stored in the 4,000 gallon tank at the facility. <br /> 28 No gasoline was ever used on the site or stared in the tank. <br />