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HAROLD AND DENA KNOWLES <br /> PAGE 2 <br /> direction. <br /> The contamination to the west of soil borings SB23, TB5 and TB4 and monitoring wells MW#1 and <br /> MW#6 has not yet been defined. A soil boring in this area should also be Included in the next <br /> phase of field work. <br /> Please submit a revised site map showing the locations of the additional soil borings to <br /> PHSIEHD by January 9, 1995. <br /> The additional monitoring wells proposed in the report are warranted. If the same C-57 license <br /> contractor is used for the drilling, the on site work and any work in the City of Stockton right of way <br /> would not require a new permit. The additional encroachment permits issued by the City of Stockton <br /> will need to be submitted, however. <br /> If a new contractor is used for the drilling or if additional properties are to be drilled on, additional <br /> permits for the work will need to be obtained from this office. Please submit any additional <br /> documentation to satisfy permitting requirements the next phase of field work to PHSIEHD by <br /> January 9, 1995. <br /> The report did not include a time schedule for the submittal of the soil and groundwater disposal plan <br /> or for the implementation of the feasibility studies. Therefore, please submit a soil and groundwater <br /> disposal plan to PHSIEHD by January 9, 1995. In addition, any needed feasibility studies <br /> should be completed by the end of the first quarter of 1995. <br /> If you have any questions or wish to discuss this letter in more detail, please contact Linda Turkatte, <br /> Senior REHS, at (209) 468-3441. <br /> Donna Heran, REHS, Director <br /> Environmental Health Division <br /> Linda Turkatte, Senior REHS Diane M. Hinson, REHS <br /> Site Mitigation Unit Supervisor <br /> LT <br /> cc list next page <br />