Laserfiche WebLink
401 North San Joaquin <br /> Page 2 <br /> The evaluation of the remaining contamination should be revisited given these elevated <br /> volatile hydrocarbon detection limits. <br /> The drilling field work was initiated on August 8, 1996 without a PHS/EHD permit. A <br /> permit was subsequently obtained. Also, PHS/EHD has requested notification of field <br /> activities at least 48 hours prior to initiation and was not informed prior to the October 8, <br /> 1996 sampling event. Please note that confirmation groundwater sampling requires <br /> PHS/EHD inspection. . <br /> The.report indicated that soil spoils were still stored on site. The spoils require proper <br /> dissal and manifests must be submitted to PHS/EHD. - , <br /> The report indicated that the remaining soil contamination was not expected to impact <br /> groundwater due to a clay layer that was observed between 30 and 35 feet bgs. As <br /> PHS/EHD has indicated previously, once the extent of remaining soil and/or groundwater <br /> contamination is determined, a corrective action plan/closure report should be submitted, <br /> pursuant to Title 23, Division 3, Chapter 16, Article 11 of the California Underground <br /> Storage Tank Regulations. <br /> If you have any questions or comments, please contact Mary Meays at (209)468-0337. <br /> Donna Heran, RENS, Director <br /> Environmental Health Division <br /> Mary Me` s Senior REHS Ma�a orio, REHS <br /> Y 9 9 <br /> tA Site Mitigation Unit Supervisor <br /> I <br /> MM\401 SJ <br /> cc: Elizabeth Thayer, CVRWQCB <br /> Larry Harlin, CAPE Environmental, 3631 South Harbor Boulevard, Suite 130, <br /> Santa Ana CA 92704 <br />