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SITE INFORMATION AND CORRESPONDENCE_FILE 2
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2900 - Site Mitigation Program
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PR0541913
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SITE INFORMATION AND CORRESPONDENCE_FILE 2
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Last modified
2/13/2020 5:17:53 PM
Creation date
2/13/2020 11:49:24 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
FileName_PostFix
FILE 2
RECORD_ID
PR0541913
PE
2960
FACILITY_ID
FA0024043
FACILITY_NAME
FRONTIER TRANSPORTATION FACILITY
STREET_NUMBER
425
STREET_NAME
LARCH
STREET_TYPE
RD
City
TRACY
Zip
95304
APN
21220009
CURRENT_STATUS
01
SITE_LOCATION
425 LARCH RD
P_LOCATION
03
QC Status
Approved
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EHD - Public
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Page 3 of 4 <br /> • Page 9 of the narrative-states that on August 15, 1996, two hand auger samples (S1 and S2)were <br /> collected, etc. The locations of S1 and S2 are not illustrated in Figures 3, 4, and 5. Please include <br /> these in the revised SCM. <br /> • Section 5.3 - 1 think you mean that the general vertical distribution of MTBE (not benzene) in soil is <br /> between 7 and 12 feet bgs. <br /> • Section 6.2 -the concentrations for benzene during the fourth quarter 2009 are incorrect. <br /> • Section 14.0 -the last sentence states that AA&A recommends continued quarterly groundwater <br /> monitoring. Please correct this to semi-annual monitoring. <br /> • Tables 1 and 4 -see attachment <br /> • Figures 4B, 5A, and 513 -see attachment <br /> I hope this is helpful. Please do not hesitate to contact me if you need additional information. <br /> Thank you. <br /> Vicki McCartney, Senior REHS <br /> San Joaquin County <br /> Environmental Health Department <br /> 600 East Main Street <br /> Stockton,California 95202 <br /> Phone: (209)468-9852 <br /> Fax: (209)468-3433 <br /> Email: vrnccartney(a,)sjcehd.com <br /> From: Gabriele Baader [mailto:gabi@amiadini.com] <br /> Sent: Wednesday, January 12, 20115:09 PM <br /> To: Vicki McCartney [EH] <br /> Cc: 'Ami Adini'; 'Larry' <br /> Subject: Frontier Transportation - 425 Larch Road -Tracy Status of Corrective Actions <br /> Dear Ms. McCartney, <br /> As stated in your email to Ami on January 10, 2011, earlier this year you denied the upload of four <br /> submittals to GeoTracker: <br /> Site Conceptual Model dated March 15, 2010 <br /> Groundwater Investigation Workplan dated March 10, 2010 <br /> Domestic Well Sampling Workplan dated March 9, 2010 <br /> Groundwater Monitoring Report—Fourth Quarter 2009 dated January 29, 2010 <br /> Since, the Groundwater Monitoring Report was revised, dated April 7, 2010, and was accepted on <br /> GeoTracker. <br /> We researched our records and found your reasons for denial for the Groundwater Investigation <br /> Workplan and the Domestic Well Sampling Workplan. However, because of a personnel change in <br /> our company and archived records,which can not be easily accessed at this time, we are missing <br /> the message from GeoTracker with reason for the Site Conceptual Model denial. <br /> Could you kindly forward this reason to us?We will revise all three submittal and upload to <br /> GeoTracker within the next two weeks. <br /> We sincerely apologize for this oversight and appreciate your patience in this matter. <br /> Thank you much! <br /> Kindest regards, <br /> 1/27/2011 <br />
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