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ARCHIVED REPORTS_XR0003135
EnvironmentalHealth
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PR0545307
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ARCHIVED REPORTS_XR0003135
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Last modified
2/11/2020 10:29:02 PM
Creation date
2/11/2020 9:01:55 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
3500 - Local Oversight Program
File Section
ARCHIVED REPORTS
FileName_PostFix
XR0003135
RECORD_ID
PR0545307
PE
3528
FACILITY_ID
FA0000932
FACILITY_NAME
DOMINO'S #8588
STREET_NUMBER
305
Direction
S
STREET_NAME
HUTCHINS
STREET_TYPE
ST
City
LODI
Zip
95240
APN
03319020
CURRENT_STATUS
02
SITE_LOCATION
305 S HUTCHINS ST
P_LOCATION
02
P_DISTRICT
004
QC Status
Approved
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SJGOV\sballwahn
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EHD - Public
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l 4 <br /> I City, CA 916081 (2) Dave Heimrxch, Texaco Oil Company, Environmental Services <br /> 2 Division, Sacramento, CA 916/361-0614, (3) representatives of Texaco Refining and <br /> 3 Marketing Inc, 10 Universal City Plaza, Universal City, CA 91608 <br /> 4 <br /> R_esponse to Interrogator. No 26 (27). <br /> 5 <br /> 6 Objection This Interrogatory is vague and ambiguous as to the meaning of the <br /> 7 term "reasons" The Interrogatory is also impermissibly compound C.C.P § 2030(c)(5) <br /> 8 Subject to and without waiver of the foregoing objections, Douglas responds to this <br /> 9 Interrogatory as follows Che underground storage tanks, pipes and tank systems were <br /> 10 installed to permit the operation of a retail gasoline station on the property <br /> 11 <br /> Response to Interrogatory No. 27 (28). <br /> 12 <br /> 13 Objection This Interrogatory is impermissibly compound. C C P. § 2030(c)(5) <br /> 14 Subject to and without waiver of the foregoing objections, Douglas responds to this <br /> • 15 Interrogatory as follows Between approximately June and October 1957 <br /> 16 Response to Interrogatory No 28 (29) <br /> ].7 <br /> Objection This Interrogatory is vague and ambiguous as to the meaning of the <br /> 18 <br /> phrase "actual location" The Interrogatory is also impermissibly compound. C C.P § <br /> 19 <br /> 20 2030(c)(5). Subject to and without waiver of the foregoing objections, Douglas responds <br /> 21 to this Interrogatory as follows Douglas is informed and believes that the underground <br /> 22 storage tanks and tank systems were located underground on the subject property as <br /> 23 shown on the Site Plan produced by TRMI in this action as document with Bate Stamp <br /> 24 <br /> No. 000448. <br /> 25 <br /> Response to Interrogatory No. 29 (30). <br /> 26 <br /> 27 Subject to and without waiver of the foregoing objections, Douglas responds to <br /> 28 this Interrogatory as follows. Three (3) 10,000 gallon underground storage tanks and one <br /> 117 <br /> 15 �` <br />
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