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COMPLIANCE INFO_2008
EnvironmentalHealth
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2300 - Underground Storage Tank Program
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PR0505264
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COMPLIANCE INFO_2008
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Last modified
7/28/2021 1:45:25 PM
Creation date
6/23/2020 6:57:01 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2300 - Underground Storage Tank Program
File Section
COMPLIANCE INFO
FileName_PostFix
2008
RECORD_ID
PR0505264
PE
2361
FACILITY_ID
FA0006672
FACILITY_NAME
FLYING J TRAVEL PLAZA #618*
STREET_NUMBER
1501
Direction
N
STREET_NAME
JACK TONE
STREET_TYPE
RD
City
RIPON
Zip
95366
APN
22811017
CURRENT_STATUS
01
SITE_LOCATION
1501 N JACK TONE RD
P_LOCATION
05
P_DISTRICT
004
QC Status
Approved
Scanner
KBlackwell
Supplemental fields
FilePath
\MIGRATIONS\J\JACK TONE\1501\PR0505264\FINAL JUDGMENT ON CONSENT 09-29-08.PDF
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EHD - Public
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1 27. TERMINATION OF CONSENT JUDGMENT <br /> 2 At any time after this Consent Judgment has been in effect for five(5) years, and after <br /> 3 Flying J has paid any and all amounts due under the Consent Judgment, Flying J may file a <br /> 4 motion requesting that the Court order that the permanent injunctive provisions of Paragraphs <br /> 5 4.1. through 4.8. shall have no prospective force or effect based on Flying J's demonstrated <br /> 6 history of compliance with the Consent Judgment. If the People agree that Flying J has <br /> 7 substantially complied with the obligations set forth in Paragraphs 4.1. through 4.8,the People <br /> 8 will file a statement of non-opposition to Flying J's motion. If the People disagree and <br /> 9 believe that Flying J has not substantially complied with the obligations set forth in <br /> 10 Paragraphs 4.1. through 4.8, the People will file an opposition setting forth the People's <br /> 11 reasoning and will recommend that the Consent Judgment, including the injunctive <br /> 12 provisions,remain in effect. Within thirty(30) days of Flying J's motion, the People will file <br /> 13 either a statement of non-opposition, or an opposition, and within forty-five(45)days,Flying <br /> 14 J may file a reply. The Court will terminate the injunctive provisions of Paragraphs 4.1. <br /> 15 through 4.8.,provided that Flying J demonstrates that it has substantially complied with the <br /> 16 obligations set forth in those Paragraphs. <br /> 17 IT IS SO STIPULATED. <br /> 18 FOR THE PEOPLE: <br /> 19 Dated: _,2008 EDMUND G.BROWN JR., <br /> Attorney General of the State of California <br /> 20 J. MATTHEW RODRIQUEZ <br /> Chief Assistant Attorney General <br /> 21 KEN ALEX <br /> Senior Assistant Attorney General <br /> 22 "w e <br /> 23 t <br /> 24 ; NILL L. RICHARDS <br /> Deputy Attorney General <br /> 25 Attorneys for Plaintiff, <br /> People of the State of California <br /> 26 <br /> 27 <br /> 28 <br /> CONSENT JUDGMENT <br /> 21 <br />
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