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Victor&Erlinda Hernandez -2- <br /> i <br /> It is unclear why Mr. Hernandez would be required to pay tank fees and penalties if the USTs were indeed <br /> "decommissioned"(see footnote 3 for the definition of properly decommissioned tanks). <br /> Additionally, documents(i.e., the UST Fee Worksheets)only indicates the OUST was discovered during <br /> an inspection, which was unknown to owner and was not required to pay additional back fees and <br /> penalties for this tank(according to SJCEHD letters 4/27/99 and 7/30/99 . :There was n <br /> P ( g o evidence <br /> provided as to when the other three USTs were discovered. <br /> j <br /> Therefore,it appears that claimant's USTs remained un-permitted until the Removal Permit was obtained <br /> in 1998, and unless claimant can provide evidence that the USTs were permitted(see footnote 1)or <br /> properly decommissioned(see.footnote 3)then claimant maybe ineligible to participate in the Fund due . <br /> to Regulation(see footnotes 2). <br /> NOTE: Failure to respond to this request within thirty(30)calendar.days from the date of this letter* <br /> may <br /> result in an ineligibility determination of your claim. <br /> If you have any questions,please contact meat(916)341-5761. <br /> Sincerely, <br /> Barbara Rempel <br /> Claims Review Unit <br /> Underground Storage Tank Cleanup Fund <br /> cc: Mr. Gordon Boggs Ms.Margaret Lagorio <br /> RWQCB,Reg..5 -Sacramento San Joaquin County EHD <br /> 11020 Sun Center Drive P.O. Box 2009 <br /> ` Rancho Cordova, CA 95670 Stockton, CA 95201 <br /> Donna Sexton <br /> Advanced GeoEnvironmentai; Lac: <br /> 837 Shaw Road . <br /> Stockton, CA 95215 <br /> California En vironmentalProtection Agency <br /> P.a Reeyc%dPaper <br />