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1 H. The term "Settling Dry Cleaning Defendants" collectively shall include <br /> Jack Alquist, individually and doing business as Lincoln Village Cleaners, formerly doing business <br /> 2 as Village Cleaners and Lincoln Village Cleaners, Inc.; Estate of Dwight Alquist, Deceased; <br /> Monroe Hess, Jr., individually and doing business as Finest Care Cleaners, formerly doing <br /> 3 business as Lincoln Center One-Hour Martinizing; Bennie Hein, individually and doing business <br /> as Norge Cleaners, formerly doing business as Norge Cleaning Village; Bonnie Crosby, <br /> 4 individually and doing business as Norge Cleaners, formerly doing business as Norge Cleaning <br /> Village; James A. Murray, Jr., individually and doing business as Finest Care Cleaners, formerly <br /> 5 doing business as Lincoln Center One-Hour Martinizing; Jeanne Hess, individually and doing <br /> business as Finest Care Cleaners, formerly doing business as Lincoln Center One-Hour <br /> 6 Martinizing; and Wilbert Moser, individually and doing business as Lincoln Village Cleaners. <br /> 7 I. The term "Settling Parties" shall mean the Settling Dry Cleaning <br /> Defendants, as defined in Paragraph G of Section IV of the Consent Decree;the County of San <br /> 8 Joaquin, California; and plaintiff LPL. <br /> 9 J. The term "Site" shall mean Lincoln Center, located in an unincorporated <br /> area of San Joaquin County near the City of Stockton, California, and the surrounding area where <br /> 10 Hazardous Substances, including perchloroethylene(PCE), trichlorethylene(TCE), and 1-2, <br /> dichloroethylene (DCE),have been released,have come to be located, or threaten to be released <br /> 11 from the Settling Dry Cleaning Defendants' facilities at Lincoln Center. <br /> 12 K. The term "Site Project Manager" shall mean the geohydrologic expert or <br /> experts appointed by the Settling Dry Cleaning Defendants with full authority to act as the <br /> 13 representative of the Settling Dry Cleaning Defendants for all technical aspects of the Work. <br /> 14 L. The term "Work" shall mean all activities prescribed by, or required to be <br /> performed pursuant to: (a)the Permanent Injunction or Consent Decree,non-exclusively <br /> 15 including all activities described in, required by, or necessary to implement the RAP, as defined in <br /> paragraph IV.G of the Consent Decree; (b)any agreement by the Settling Parties relating to or <br /> 16 arising out of the Hazardous Substance contamination at the Site or this Consent Decree; or(c) an <br /> Order obtained through the dispute resolution process set forth in Section= of this Consent <br /> 17 Decree to properly implement this Consent Decree or the Remedial Action Plan. <br /> 18 <br /> 19 III. SUMMARY OF COMMENTS RECEIVED & RESPONSES THERETO <br /> 20 Comment# 1: <br /> 21 Section Addressed: General Comment <br /> 22 Summary of Comment Received: <br /> 23 The Commenter,the California Department of Toxic Substance Control ("DTSC"), <br /> 24 a component department of the California Environmental Protection Agency ("Cal. EPA"), states <br /> 25 that DTSC intends to enforce the requirements of California Health and Safety Code Chapter 6.5 <br /> 26 (the California Hazardous Waste Control Act, commonly known as "Cal. RCRA") and Chapter 6.8 <br /> 27 (the California Hazardous Substances Account Act, commonly known as the "Cal. Superfund" <br /> 28 Act) and to seek reimbursement for the oversight of the Work conducted to assure compliance <br /> JOINT SUMMARY OF PUBLIC COMMENTS&RESPONSES REGARDING FIRST FINAL CONSENT DECREE -3- <br /> 0009203.10 10/03/94 dal 10:43 AM <br />