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COMPLIANCE INFO_FILE 1 2003-2006
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PR0522357
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COMPLIANCE INFO_FILE 1 2003-2006
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Last modified
6/9/2020 5:27:37 PM
Creation date
6/3/2020 9:14:27 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
FILE 1 2003-2006
RECORD_ID
PR0522357
PE
2220
FACILITY_ID
FA0014885
FACILITY_NAME
MARINA WEST MARINE SERVICE
STREET_NUMBER
6651
STREET_NAME
EMBARCADERO
STREET_TYPE
DR
City
STOCKTON
Zip
95219
APN
09814007
CURRENT_STATUS
02
SITE_LOCATION
6651 EMBARCADERO DR
P_LOCATION
01
P_DISTRICT
002
QC Status
Approved
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SJGOV\rtan
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\MIGRATIONS\HW\HW_2220_PR0522357_6651 EMBARCADERO_FILE 1 2003-2006.tif
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EHD - Public
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I commence an action in the name of the People. <br /> 2 3. Pursuant to section 3494 of the Code of Civil Procedure,.the District Attorney is <br /> 3 authorized to commence an action in the name of the People. <br /> 4 4. Pursuant to Business and Professions Code § 17204 and § 17206, the District <br /> 5 Attorney of San Joaquin County is authorized to bring this action in the name of the People. <br /> 6 5. Pursuant to Fish and Game Code sections 5650 and 5650.1(d), the District Attorney <br /> 7 of San Joaquin County is authorized to bring this action in the name of the People. <br /> 8 DEFENDANTS <br /> 9 6. Defendant, CHRIS McDOUGALL,doing business as Marina West Marine <br /> 10 Services, was, at the times herein mentioned, the owner and operator of a business engaged in the <br /> 11 maintenance and painting of boats located at 6651 Embarcadero Drive, Stockton, San Joaquin <br /> 12 County, California. <br /> 13 7. Defendant, MARINA WEST MARINE SERVICES, was, at the times herein <br /> 14 mentioned, the owner and operator of a business engaged in the maintenance and painting of boats <br /> 15 located at 6651 Embarcadero Drive, Stockton, San Joaquin County, California. <br /> 16 8. Defendants DOES 1 through 50 are connected and responsible for the acts <br /> 17 complained of below. Their real names are unknown at this time, and the People will amend this <br /> 18 complaint at a later date when the true identities of DOES 1 through 50 are discovered. <br /> 19 9. All Defendants at all times acted as agents of one another. With regard to the conduct <br /> 20 and omissions alleged in this complaint, each of the Defendants ratified the actions of the other <br /> 21 Defendants. <br /> 22 10. Whenever in this complaint reference is made to any act of Defendants, such <br /> 23 allegations shall be deemed to mean that Defendants and their officers, agents,employees, or <br /> 24 representatives, did or authorized acts while actively engaged in the management, direction, or <br /> 25 control of the affairs of said Defendants, and while acting within the course and scope of their duties. <br /> 26 <br /> 27 <br /> 28 2 <br />
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