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e' "•ii.i <br /> State Water Resources Control Board <br /> Division of Clean Water Programs <br /> 2014 T Street•Sacramento,California 95914-(9[6)227-441t <br /> Mailing Address: P.O.Box 944252•Sacramento,California•94244-2124 <br /> Gray Davis <br /> Winston H.Hickox FAX(916)227-4530•Internet Address: hitp:I/wrvw.swrcb.ca.govl--cwphomerustcf Governor <br /> Secretaryfor <br /> Environmental f <br /> Protection <br /> JJJJJJ <br /> Russ Nelson <br /> Nelson Ready Mix Concrete &Rock Co., Inc. <br /> P O Box 29 <br /> Ripon, CA 95366 <br /> UNDERGROUND STORAGE TANK CLEANUP FUND PROGRAM, PROGRAM MANAGER <br /> DECISION FOR ELIGIBILITY DETERMINATION: CLAIM NUMBER 013010; FOR SITE <br /> ADDRESS: 22700 HWY 99 S, RIPON <br /> I have received your request for a Program Manager Decision. After review of the request and <br /> supporting arguments, I have decided to find in your favor and to accept the claim on the Priority List in <br /> Priority Class "C"with a deductible of$5,000. <br /> Compliance Review: After adoption of the Priority List, staff will review, verify, and process <br /> applications based on their priority and rank within a priority class. During this Compliance Review, <br /> staff may request additional information needed to verify eligibility. Once review of the application is <br /> complete and the claim is determined to be valid, a Letter of Commitment will be issued obligating funds <br /> toward the cleanup. After the compliance review, your claim may be rejected if division staff determine <br /> that you have not complied with regulations governing site cleanup, your have not supplied necessary <br /> information or documentation, or your claim application contains a material error. In such event, you <br /> will be issued a notice of intended removal from the priority list, informed of the basis for the proposed <br /> removal of your claim, and provided an opportunity to correct the condition that is the basis for the <br /> proposed removal. Your claim will be barred from further participation in the Fund, however, if the <br /> claim application contains a material error resulting from fraud or intentional or negligent <br /> misrepresentation. <br /> Record keeping: During your cleanup project you should keep complete and well organized records of <br /> all corrective action activity and payment transactions. If you are eventually issued a Letter of <br /> Commitment, you will be required to submit. (1) copies of detailed invoices for all corrective action <br /> activity performed (including subcontractor invoices), (2) copies of canceled checks used to pay for work <br /> shown on the invoices, (3)copies of technical documents (bids, narrative work description, reports), and <br /> (4) evidence that the claimant paid for the work performed(not paid by another party). These documents <br /> are necessary for reimbursement and failure to submit them could impact the amount of reimbursement <br /> made by the Fund. It is not necessary to submit these documents at this time; however, they will <br /> definitely he required prior to reimbursement. <br /> Com liance with Corrective Action Requirements: In order to be reimbursed for your eligible costs of <br /> cleanup incurred after December 2, 1991, you must have complied with corrective action requirements of <br /> Article 11, Chapter 16, Division 3, Title 23, California Code of Regulations. Article 11 categorized the <br /> corrective action process into phases. In addition, Article I 1 requires the responsible party to submit an <br /> investigative workplan/Corrective Action Plan (CAP) before performing any work. This phasing <br /> process and the workplan/CAP requirements were intended to: <br /> California Environmental Protection Agency <br /> 0 •Recycted Paper <br />