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ARCHIVED REPORTS_XR0005752
EnvironmentalHealth
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EHD Program Facility Records by Street Name
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99 (STATE ROUTE 99)
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6100
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2900 - Site Mitigation Program
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PR0515353
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ARCHIVED REPORTS_XR0005752
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Last modified
11/19/2024 1:50:33 PM
Creation date
4/1/2020 2:50:41 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
ARCHIVED REPORTS
FileName_PostFix
XR0005752
RECORD_ID
PR0515353
PE
2950
FACILITY_ID
FA0012099
FACILITY_NAME
ARCO STATION #595
STREET_NUMBER
6100
Direction
N
STREET_NAME
STATE ROUTE 99
City
STOCKTON
Zip
95209
CURRENT_STATUS
01
SITE_LOCATION
6100 N HWY 99
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
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EHD - Public
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11 I 1 <br /> page 2, 6100 N Hwy 99 <br /> The monitoring wells were developed and sampled on June 16, 2000 Results of the analyses of <br /> the collected samples indicate that groundwater beneath this site has been impacted by <br /> petroleum hydrocarbons and fuel oxygenating compounds All four monitoring wells had total <br /> petroleum hydrocarbons as gas, benzene and MtBE at maximum quantities of 8,910 micrograms <br /> per liter(µg11), 2,310 µgll and 3,200 µg/l, respectively In addition, MW-4 had tertiary butyl alcohol <br /> at 807 µg/l, tertiary amyl methyl ether at 4 48 µg11 and 1,2-dichloroethane at 84 4 µg11 MW-2 and <br /> MW-3 had 1,2-dichloroethane at 38 8 µg11 and 70 2 µg11 respectively <br /> Routine quarterly groundwater monitoring must be initiated at this site, and must continue until <br /> directed otherwise from PHSIEHD PHSIEHD has not approved the use of a no-purge method of <br /> groundwater sampling at this site Both the California State Water Resources Control Board, as <br /> referenced in the Leaking Underground Fuel Tank (LUFT) Field Manual, and the United States <br /> Environmental Protection Agency (EPA) recommend that monitoring wells are purged until a <br /> minimum of three well volumes are removed, or until measured parameters of pH, temperature <br /> and conductivity of the discharged water stabilize to +/- 10% over two successive well volumes <br /> There is a domestic well on the property that is used to provide water to the business on site <br /> This well is located approximately 15 feet from MW-3 This domestic well must be sampled and <br /> analyzed for petroleum hydrocarbons and fuel oxygenates as soon as possible, and should be <br /> placed on the routine quarterly monitoring schedule Analysis for all oxygenates, 1,2- <br /> dichloroethane and ethylene dibromide must be completed by EPA Method 8260 <br /> SECOR included in this"Site Assessment Report" a well survey covering a half mile radius area <br /> surrounding the subject site The submitted survey documented only five wells within the search <br /> area, and noted that none of these wells are municipal wells This well survey is very incomplete <br /> There is no public water distribution to areas along the Highway 99 East Frontage Road All <br /> occupied parcels along this corridor-and to the east of this area, the subject site included, are <br /> supplied by private domestic or agricultural wells Some of these wells may be very old, and <br /> records or permits are not available for them A physical search of the target area must be <br /> conducted to locate all domestic, municipal, agricultural, industrial or other wells that may be <br /> influencing, or influenced by, the subject site's contaminant plume <br /> Reports of findings are due to PHSIEHD within 60 days following the completion of each phase of <br /> work at a site The above referenced report was overdue Please have your reports submitted to <br /> PHSIEHD in a timely manner in the future <br /> Prepare a work plan to continue the investigation of the vertical and lateral extent of the <br /> documented contamination at this site and submit it to PHSIEHD by December 1, 2000 Depth <br /> discrete samples will be required to define the vertical extent of the contaminant plume at depths <br /> below the screen intervals of the current onsite monitoring wells Deep, discretely screen <br /> monitoring wells will be required The lateral extent of the contaminant plume should be <br /> determined as soon as possible, and, if MtBE is found to be migrating off site, measures should <br /> be taken to contain the plume If you have any questions call Lori Duncan at (209)468-0337 <br /> Donna Heran, REHS, Director <br /> Environmental Health Division <br /> Lori Duncan, Senior REHS Dot Lofstrom, RG <br /> LOP/Site Mitigation Unit IV Engineering Geologist <br /> cc Marty Hartzell, CVRWQCB <br /> Rusty Benkosky, SECOR <br />
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