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J <br /> Neumiller & Beardslee <br /> A PROFESSIONAL CORPORATION MAILING AOORE5S: <br /> FOUNDED AS ATTORNEYS AND COUNSELORS P.O. DRAWER 20 <br /> STOCKTON. CALIFORNIA 98201-9979 <br /> ASHLEY 6 NEUMILLER TELEPHONE 12091 939-8200 <br /> JANUARY 1903 FIFTH FLOOR WATERFRONT OFFICE TOWER It <br /> S09 WEST WEBER AVENUE <br /> STOCKTON, CALIFORNIA 95202 <br /> May 25 , 1988 <br /> M1FO0 <br /> NS�Rv GAS N <br /> MR. ROBERT L. NIBLACK <br /> Regional Water Quality Control Board <br /> Central Valley Region <br /> 3433 Routier Road <br /> Sacramento, California 95827-3098 <br /> Re: Lincoln Properties, Ltd. /Ground <br /> Water . File No. 52640-13360 . <br /> Dear Bob: <br /> As per your telephone conversatiwithh Cynthia <br /> ouretmoreclients , <br /> engineers Inc. ("L-H") , <br /> Lincoln Properties , Ltd. , we are requesting that a letter be sent <br /> from Regional Water Quality Control Board ("RWQCB") to San Joaquin <br /> ("SJCEH") which addresses the proposed <br /> County Environmental Health <br /> nd soil sampling under the foundations <br /> monitoring well locations a <br /> of existing Finest Care and Village Cleaners . <br /> As you are now aware , SJCEH has recently revised its policy on <br /> the issuance of well drilling permits to strictly enforce the exist- <br /> ing County Well Ordinance. As applicable to the Lincoln Village <br /> Site, this Ordinance prohibits the installation of any well which <br /> is either within fifty (50) feet of a sewer line, within seventy- <br /> five (75) feet of an existing well, or within ten (10) feet of a <br /> property line. Under this policy, SJCEH had refused to issueRWQCB <br /> permit for the monitoring well specifically requested by <br /> theto be sited adjacent to the existing Lincoln Village Well #1 , On <br /> May 25 , 1988 , L-H received verbal approval for installation, appar- <br /> ently resulting from a call from you. <br /> The proposed soil samples to be collected from beneath the <br /> concrete foundations at the existing Village Cleaners and Finest <br /> Care Cleaners (located as requested by the RWQCB) are in violation <br /> of the fifty (50) foot setback requirement from existing sewer <br /> lines as required by the County' s Ordinance. Fortunately, the well <br /> problem has been resolved, but our engineers are still at a stand- <br /> still, because of the conflicting policies of two regulatory agen- <br /> cies regarding the proposed soil samples . This portion of L-H' s <br /> submitted and approved work plan and amendments cannot be completed <br /> without a letter from the RWQCB stating why the locations are vital <br />