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PR0516935
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Last modified
2/21/2020 4:23:10 PM
Creation date
2/21/2020 1:37:55 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
COMPLIANCE INFO
RECORD_ID
PR0516935
PE
2960
FACILITY_ID
FA0012937
FACILITY_NAME
MONIER LIFETILE LLC
STREET_NUMBER
9508
Direction
S
STREET_NAME
HARLAN
STREET_TYPE
RD
City
FRENCH CAMP
Zip
95231
APN
19321003
CURRENT_STATUS
01
SITE_LOCATION
9508 S HARLAN RD
P_LOCATION
99
P_DISTRICT
005
QC Status
Approved
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California ReLyional Water Quality Control Board , <br /> Central Valley Region ` <br /> Robert Schneider, Chair <br /> Alan C.Lloyd,Ph.D. Arnold <br /> Agency Secretary Sacramento Main Office D `� �� Schwarzenegger <br /> 11020 Sun Center Drive#200,Rancho Cordova,California 9567 16j E I `� Governor <br /> Phone(916)464-3291 •FAX(916)464-4645 <br /> http://www.waterboards.ca.gov/centralvalley ADR _ 7005 <br /> NOTICE OF VIOLATION Ef`N1n0NMEiVI HEALIh <br /> PERMIT/SERVICES <br /> 7 April 2005 CERTIFIED MAIL <br /> 7004 2890 0002 3253 4599 <br /> Norman Klingman <br /> Monier Lifetile <br /> 9508 South Harlan <br /> French Camp, CA 95231 <br /> INADEQUATE ANNUAL REPORT SUBMITTAL FOR MONIER LIFETILE, <br /> WDID 5S39I000382, SAN JOAQUIN COUNTY <br /> We have reviewed your Storm Water Annual Reports for Monier Lifetile facility in Stockton, to <br /> evaluate compliance with the Industrial Activities Storm Water General Permit (Storm Water Permit), <br /> Order No. 97-03-DWQ (NPDES No. CAS000001). Based on our review of the annual reports, it <br /> appears that Monier Lifetile is not in compliance with the Storm Water Permit. We have noted the <br /> following violations: <br /> • Storm water sample results exceeded US EPA benchmark values for pH, Total Suspended Solids <br /> (TSS), Specific Conductance (SC), Oil & Grease (O & G), Iron (Fe), Zinc (Zn), and Copper <br /> (Cu). You must survey your facility to identify sources of these exceedencaes. Once the survey <br /> is complete you must review the effectiveness of current Best Management Practices (BMPs) <br /> and either improve your existing BMPs or implement new BMPs to reduce or eliminate the <br /> discharge of pollutants. <br /> • The Storm Water Permit requires collection of storm water samples from all discharge locations <br /> for 2-storm events. However, review of the records indicates that storm water samples were not <br /> collected every year as well as they were not collected from all discharge locations. Your <br /> Monitoring Program will need to be modified accordingly. <br /> • The Storm Water Permit requires storm water samples to be analyzed for additional parameters <br /> depending on the type of business.activities (SIC Codes 3272) as identified in Table D of the <br /> pennit as well as any toxic pollutants that are likely to be present in storm water discharge. <br /> Based on the available information, it appears that storm water samples were not analyzed for all <br /> necessary parameters such as Copper(Cu) and Zinc (Zn). Your Monitoring Program will need <br /> to be modified to include all necessary additional parameters. <br /> California Environmental Protection Agency <br /> ea Recycled Paper <br />
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