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RECEIVEL <br />WILD, CARTER, TIPTON & OLIVER U U N 2 2 1992 <br />ATTORNEYS AT LAW ENVIRONMENTAL HEALTH <br />A Professional Corporation PERMIT/SERVICES <br />Founded in 1893 <br />246 WEST SHAW AVENUE <br />TELEPHONE FRESNO, CALIFORNIA 93704 <br />FACSIMILE <br />(209) 224-2131 e0. Box 16M (209) 224-8462 <br />FRESNO, CALIFORNIA 93755-6339 <br />M. L. EHRLICH OURFILENO. M-21852 <br />June 19, 1992 <br />Ms. Mary Meays <br />REHS, Program Manager <br />Environmental Health Division <br />SAN JOAQUIN COUNTY PUBLIC <br />HEALTH SERVICES <br />P. O. Box 2009 <br />Stockton, CA 95201 <br />r Re: second Quarter 1992'Monitoring-Report <br />Beacon Cardlock No.. 610 - Site: 1763:: <br />3300 Waterloo Road, Stockton, California 95205 <br />Dear Ms. Meays: <br />In response to your letter dated March 26, 1992 to my <br />clients, Quentin and Claire D. Kirsch, and to Ultramar, <br />Inc., the operator of the service station, and as a follow <br />up to my letter to you dated May 28, 1992, I regret to <br />inform you that my clients will not be able to comply with <br />your request to submit a work plan for the installation of <br />additional monitoring wells by June 22, 1992. <br />Although my clients had an agreement with Ultramar, <br />Inc., in which Ultramar would reimburse them for one-half <br />(1/2) of the quarterly monitoring expenses up to a total sum <br />of $2,000.00, the oil company, in response to the request to <br />submit a work plan for monitoring wells, has again stated <br />that, pursuant to the terms of the Lease, it has no <br />responsibility for any remediation activities nor is it <br />liable for any required monitoring, recording or remediation <br />at the site. <br />I am disappointed that the oil company has chosen to <br />take that position, because my clients, as owners of -the <br />site, have in no way controlled or had possession of the <br />