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Mr. Frank Girardi <br /> Environmental Health Department <br /> San Joaquin County <br /> February 27, 2007 <br /> Page 2 <br /> However, as part of that transaction, MCD committed to complete the required <br /> provisions of a Voluntary Cleanup Agreement (V A) with the California Department <br /> of Toxic Substances Control (DTSC) for assessment and cleanup of structures and soil <br /> on both properties. Attached is a copy of the VCA.. <br /> Stockton Box Company (SBC), American orest Products Company (AFPC), <br /> and American Moulding and Millwork Company AMMO) operated industrial facilities <br /> associated with wood products manufacturing ftom about 1920 to about 1993 at <br /> 1800 North Marshal Avenue and 2801 West Lane. Several USTs were installed, <br /> operated, and closed by these operators during that period including the two USTs that <br /> are not yet closed (USTs 18820002 and 1882005 at 1800 North Marshal Avenue (not <br /> 2801 West Lane). On behalf of AFPC, URS, the environmental consultant, has been <br /> conducting groundwater assessment and monitori g at 1800 North Marshal Lane with <br /> oversight by EHD. <br /> As such, the responsible parties for these USTs are AMMC, which filed for <br /> bankruptcy in 2005, and AFPC, who is currently assessing groundwater at 1800 North <br /> Marshal Avenue for cleanup and closure. <br /> Despite the fact that MCD is not the respor sible party for UST <br /> assessment/cleanup, MCD is committed to address the near-surface soil cleanup <br /> necessary for DTSC's certification of the two pare is for future development, including <br /> the near-surface soils in the vicinity of the USTs al 1800 North Marshal Avenue. The <br /> VCA requires that MCD cleanup soils to meet heath-risk based cleanup objectives <br /> and/or"appropriate and relevant alternative requirements" (ARARs). MCD can <br /> address EHD numerical ARARs, if EHD provides DTSC with a technical justification <br /> for their applicability to the site at 1800 North Marshal Avenue by contacting; <br /> Thomas E. Berg, P. G. <br /> California Department of Toxic Substances Control <br /> Fresno Responsible Party Unit <br /> 1515 Tollhouse Road <br /> Clovis, California 93611 <br /> To summarize, the limit of MCD's responsibility is described in the attached <br /> VCA. MCD will not be responding directly to the EHD on future requests related to <br /> USTs at 1800 North Marshal Avenue and 2801 West Lane unless instructed to by <br />