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PR0545338
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
2/12/2020 10:01:28 AM
Creation date
2/12/2020 8:21:48 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
3500 - Local Oversight Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0545338
PE
3528
FACILITY_ID
FA0003803
FACILITY_NAME
KETTLEMAN CHEVRON
STREET_NUMBER
601
Direction
E
STREET_NAME
KETTLEMAN
STREET_TYPE
LN
City
LODI
Zip
95240
APN
04728006
CURRENT_STATUS
02
SITE_LOCATION
601 E KETTLEMAN LN
P_LOCATION
02
P_DISTRICT
004
QC Status
Approved
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Unocal orporation (}� <br /> ,.�. 2000 Cro N Canyon Place,: -,400 <br /> PO.Box 155 <br /> San Ramon,California 94583 <br /> 867-0760 <br /> E��VIRO "ENTAL HEALTH Facsimil (hne 510)}277-2309 <br /> PIERIMIT SERVICE <br /> 93 Ji, <br /> ViO � <br /> July 2, 1993 <br /> Northern Region Mr. Crordon Lee Boggs <br /> Corporate Environmental Cent Valley RWQCB <br /> Remediation&Technology <br /> 3443 outier Road, Suite A <br /> Sacramento, CA 95827-3098 <br /> Unocil Service Station No. 6015 <br /> 601 Kettleman Way <br /> Lodi, CA <br /> Dear Mr. Boggs: <br /> This letter is written to request your assistance in arranging a meeting between Mr. Harlin Knoll <br /> of the San Joaquin County Public Health Services, Ms. Elizabeth Thayer of the Central Valley <br /> RWQCB, Unocal and Kaprealian Engineering, Inc. toreview fate and transport modeling results <br /> for the subject site. We have made two formal requests for such a meeting (see attached April <br /> 13th and May 6th letters) and have received assurances that a meeting could take place. We <br /> are still waiting to hear from the regulatory parties for the timing of a meeting. <br /> We believe the attached letters summarize our remedi tion efforts at the site and our studies on <br /> the potential for any residual hydrocarbons to adversel affect the health and safety of any <br /> surrounding receptor. It is our understanding that San Joaquin County is reluctant to close the <br /> site without Central Valley RWQCB input. We feel this reasonable and have requested both <br /> regulatory bodies attend the meeting. We feel that there are many other sites in the Central <br /> Valley where site remediation should be of a much greater concern. <br /> We understand that property transfer is not of great interest to the Board; however, the current, <br /> situation is impeding the transfer of property to a dealer who wishes to continue the operation <br /> of the service station. Unocal has legal obligations to the former dealer, generally referred to as <br /> PMPA obligations, to allow the dealer to purchase the site and continue operating his business. <br /> We would like to complete this transaction before legaL actions occur which could involve the <br /> RWQCB. <br /> Your assistance in this matter would be greatly apprec ated. <br /> Sincerely yours <br /> Rick D. Sisk <br /> Mang ger, Remediation Projects <br />
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