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^ Y <br /> 1 13 — 13a above. <br /> 2 C. Violation of Health and Safety Code section 25500 et seq., as described in paragraph <br /> 3 14— 14e above. <br /> 4 PRAYER <br /> 5 WHEREFORE,Plaintiff prays that: <br /> 6 1. Defendants be permanently restrained and enjoined from engaging in or performing, <br /> 7 directly or indirectly, any and all of the following acts: <br /> 8 a. Engaging in any acts in violation of Health and Safety Code section 25280 et seq., <br /> 9 including but not limited to: <br /> 10 1. Violation of California Code of Regulations section 2711(b); <br /> 11 2. Violation of Health and Safety Code section 25292.2(a); <br /> 12 3. Violation of California Code of Regulations section 2636(f)(4); <br /> 13 4. Violation of California Code of Regulations section 2638(a); <br /> 14 5. Violation of California Code of Regulations section 2637(x); <br /> 15 6. Violation of California Code of Regulations section 2636(f)(1); <br /> 16 7. Violation of California Code of Regulations section 2630(d); <br /> 17 8. Violation of California Code of Regulations section 2632(d); <br /> 18 9. Violation of California Code of Regulations section 2712(b); <br /> 19 10. Failure to obtain a permit or authorization from the appropriate permitting <br /> 20 agencies prior to repairing an underground storage tank system at 515 W. <br /> 21 11TH STREET,TRACY, CALIFORNIA; <br /> 22 11. Failure to notify the appropriate authority prior to changing monitoring <br /> 23 procedures, such as replacing the leak sensor detection equipment and/or <br /> 24 monitoring system so as to ensure that only leak detection equipment <br /> 25 approved by the California State Water Resources Control Board was <br /> 26 installed, <br /> 27 b. Engaging in any acts in violation of Health and Safety Code section 25100 et seq., <br /> 28 including but not limited to: <br /> Complaint for Injunction,Civil Penalties and Other Relief Page 7 <br />