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Mr. Steve Sasson <br /> September 16, 1997 <br /> Page 2 <br /> Volatile organic compounds, other than those associated with petroleum hydrocarbons <br /> (ethylbenzene and xylenes) were not detected in any of the soil and grab groundwater <br /> samples. <br /> Based upon these results, it appears that former uses of the site as an automobile <br /> dealership and repair facility did not cause impacts to site subsurface soils or <br /> groundwater. <br /> As we discussed on the telephone today; Bank of America is selling this property to <br /> Bank of Stockton. Bank of Stockton is requesting a letter from your agency that no <br /> further action appears to be warranted on the property. You indicated that your <br /> agency does not normally issue letters for real estate transactions in which further <br /> assessment/remediation work is not required. but instead, reviews the information and <br /> does not respond. However, you requested that I send a copy of the report along <br /> with a cover letter requesting a closure letter, and that you would try to accommodate <br /> this request. <br /> Please consider this letter a formal request for closure. Please review the enclosed <br /> reports at your earliest convenience and contact me at (714) 260-5810 with any <br /> questions you may have. In addition, please advise if there is any additional <br /> information which you would require prior to issuing a closure letter. <br /> Thank you for your time and consideration. <br /> Very truly yours, <br /> BANK OF AMERICA ENVIRONMENTAL SERVICES <br /> lti� Ute- <br /> Donna M. DiRocco <br /> Environmental Analyst <br /> \DMD <br /> sasson.ltr <br /> Encl. <br /> cc w/out encl: John Dentoni, Bank of Stockton <br /> Carolyn Lown, BofA #3017 <br />