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SITE INFORMATION AND CORRESPONDENCE_1985-1997
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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
Fields
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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Ed Koberstein page 3 <br /> Current trends within the State Water Resources Control Board (SWRCB) indicate that <br /> only sites that have thoroughly investigated and fully assessed their site and have <br /> determined that active remediation is warranted, will receive reimbursement. With <br /> SWRCB policies towards reimbursement becoming more stringent, PHS-EHD <br /> recommends that you reevaluate your current proposal and include a deeper soil test <br /> as well as notations of your future plans towards groundwater remediation. <br /> PHS-EHD agrees that SVE testing is an acceptable procedure to investigate now , but <br /> cautions that by limiting your workplan to only addressing the soils to a maximum depth <br /> of 35 feet below ground surface, you may place yourself in a position that may not allow <br /> for approval of the Corrective Action Plan. In order to better evaluate SVE as a full <br /> remediation process, PHS-EHD recommends that you modify this work plan and <br /> include a deeper SVE test in this phase as well as your recommendations for future <br /> groundwater remedial activities. <br /> In all future reports please ensure that soil contamination data is recorded in mg/kg <br /> (ppm) units. Continue to report groundwater data in ug/I (ppb) units. Also, cross <br /> sections recently submitted had vertical depths listed in "feet above mean sea level". In <br /> order to avoid any confusion, depths for well details and cross sections should be <br /> referenced in "feet below ground surface." <br /> Please submit an addendum or revised work plan that addresses the concerns <br /> mentioned above. You may contact me at (209) 468-3454 should you have any <br /> questions or wish to discuss these matters. <br /> Donna Heran, REHS, Director <br /> Environmental Health Division <br /> Michael Infurna, Senior REHS Marga/ V aeLagorioAR;EZ�S <br /> LOP/Site Mitigation Unit IV Supervisor <br /> MI/ <br /> c: Environmental Audit Inc., - Wallid Kazi, R.G., Placentia, 92670 <br /> c: SWRCB - Steve Marquez, PO Box 944212, Sac, 94244-2120 <br />
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