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SITE INFORMATION AND CORRESPONDENCE_1985-1997
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PR0522692
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SITE INFORMATION AND CORRESPONDENCE_1985-1997
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Last modified
4/2/2020 2:47:19 PM
Creation date
4/2/2020 2:16:02 PM
Metadata
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Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
FileName_PostFix
1985-1997
RECORD_ID
PR0522692
PE
2957
FACILITY_ID
FA0015465
FACILITY_NAME
FORMER MONTGOMERY WARDS AUTO SRV CTR
STREET_NUMBER
5400
STREET_NAME
PACIFIC
STREET_TYPE
AVE
City
STOCKTON
Zip
95207
APN
10227008
CURRENT_STATUS
01
SITE_LOCATION
5400 PACIFIC AVE
P_LOCATION
01
P_DISTRICT
002
QC Status
Approved
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EHD - Public
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• Unocal Corporation • <br /> Diversified Businesses <br /> 2000 Crow Canyon Place,Suite 400 <br /> San Ramon,California 94583 <br /> Telephone(510)867-0760 <br /> Facsimile(510)277-2309 <br /> UNOCAL 76 <br /> February 12, 1997 <br /> Mike htfurna <br /> San Joaquin County <br /> West Region Environmental Health Division <br /> Environmental Remediation Services <br /> P.O. Box 388 - - <br /> 304 E.Weber Ave.,Third Floor <br /> Stockton, CA. 95201-0388 <br /> UNOCAL SERVICE STATION# 5098 <br /> 5606 Pacific Avenue <br /> Stockton, Ca. <br /> Dear Mr. Inf ima: <br /> A meeting was held on December 12, 1996 your offices in Stockton to discuss this site. In <br /> attendance were yourself and Margret Lagorio of San Joaquin County, Erin Garner of Pacific <br /> Environmental Group, and Tina Berry and myself of Unocal. Several options for this site were <br /> discussed ranging from remediation,well replacement, or additional soil borings to annual <br /> monitoring or appealing the site to the State Board for closure. Unocal was to present a work plan <br /> describing their decision on which approach to take by the middle of February, 1997. <br /> It was my understanding from the meeting that you would not object to two years of annual <br /> monitoring,at the end of which one of the other options would have to be implemented. This is <br /> Unocal's preferred approach at this time. The monitoring should be conducted when groundwater <br /> is at its lowest. From the monitoring data, it appears this would be in September. This plan will <br /> not be implemented until we hear from your agency. Currently, quarterly monitoring and sampling <br /> is being conducted on wells MW-11 and MW-12 with the others sampled annually. This proposed <br /> scope of work should not require a formal work plan. <br /> On another matter,I spoke with Steve Price of Environmental Audit about sharing the costs <br /> associated with monitoring and sampling a well on the Delta College property. He indicated the <br /> additional costs would be in the$80.00 dollar range. I indicated that due to the administrative <br /> costs associated with creating a cost sharing agreement between our two corporations that Unocal <br /> would prefer to decline to share costs at this time. <br /> If you have any questions or concerns,please call me at(510)277-2334. <br /> Since <br /> Robert A. Boust <br />
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