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DOWNEY <br /> BRAND <br /> 1EYMOUR - CTT to <br /> • • STEVEN H GOLDBERG <br /> ATTORNEYS AT LAW <br /> ESTABLISHED 1926 <br /> October 9, 1995 <br /> 555 CAPITOL.MALL <br /> 10TH FLOOR <br /> SACRAMENTO CA 95814-4686 <br /> TELEPHONE(916)441-0131 <br /> FAX(916)441-4021 VIA FEDERAL EXPRESS <br /> Michael Infurna, Senior REHS <br /> San Joaquin County Public Health Services <br /> Environmental Health Division <br /> 304 E Weber Avenue, 3rd Floor <br /> Stockton, CA 95201-0388 <br /> Re 4590, City Thrift & Loan Association <br /> Los Angeles, CA - In Receivership <br /> FDIC as Receiver, v Texaco et al <br /> 305 S Hutchins Avenue, Lodi, CA <br /> CMS I D No 932321201 <br /> Dear Mr. Infurna <br /> We have reviewed your letter to Tom Mason of the FDIC, dated October 4, <br /> 1995, concerning the Problem Assessment Report ("PAR") that was submitted <br /> to your office on or about May 5, 1995 We enclose herewith certain <br /> materials and information you requested and briefly respond to some of the <br /> comments set forth in your letter We will be prepared to discuss the matters <br /> raised in your letter in greater detail when we meet with you and Diane <br /> Hinson <br /> 1 MQs With Soil ,Iso-Concentration Lines <br /> Geocon, the FDIC's environmental consultant, expended considerable time and <br /> effort preparing the seven, very detailed site maps and cross-sections set forth <br /> in the PAR, at a significant cost to the FDIC The FDIC believes that those <br /> maps and cross-sections clearly delineate the zones of soil stratigraphy and <br /> findings of contamination at the site, and that maps with iso-concentration lines <br /> would add little, if anything, to this picture <br /> Nevertheless, the FDIC will arrange for the production of maps with iso- <br /> concentration lines, if you are certain that they will assist you in determining <br /> the source of the ground water contamination If, however, you are seeking <br /> the maps only because you prefer that method of data presentation to the <br />