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COMPLIANCE INFO_2019
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2300 - Underground Storage Tank Program
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PR0231706
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COMPLIANCE INFO_2019
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Entry Properties
Last modified
10/5/2022 4:02:03 PM
Creation date
9/10/2020 2:35:03 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2300 - Underground Storage Tank Program
File Section
COMPLIANCE INFO
FileName_PostFix
2019
RECORD_ID
PR0231706
PE
2361
FACILITY_ID
FA0000485
FACILITY_NAME
FLAG CITY CHEVRON
STREET_NUMBER
6421
STREET_NAME
CAPITOL
STREET_TYPE
AVE
City
LODI
Zip
95242
APN
05532024
CURRENT_STATUS
01
SITE_LOCATION
6421 CAPITOL AVE
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
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SJGOV\kblackwell
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EHD - Public
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I be employed by any facility or entity performing work or services for any facility beginning on <br /> 2 the Effective Date of the Stipulation and at any time thereafter in the State of California. <br /> 3 Notwithstanding the above, defendant Azad Amiri may consult to Stars Holding Co., LLC in all <br /> 4 matters related to, purchasing and leasing new facilities, selling and leasing facilities, accounting <br /> 5 for facilities, and construction of facilities, except that defendant Azad Amiri shall not act in any <br /> 6 capacity involving environmental compliance regarding any facility in the State of California. <br /> 7 Notwithstanding the above, defendant Sarbjit Kang may operate one facility in the State of <br /> 8 California as long as the facility has a designated Environmental Coordinator that complies with <br /> 9 paragraphs 10— 11 of the Stipulation and Judgment and the facility maintains compliance at all <br /> 10 times with the UST Laws. After five years from the date of entry of Judgment, defendant Sarbjit <br /> 11 Kang may own one or more facilities in the State of California as long as the facility has a <br /> 12 designated Environmental Coordinator to assure compliance with the UST Laws, and the facility <br /> 13 maintains compliance at all times with the UST Laws. If any facility owned or operated by <br /> 14 defendant Sarbjit Kang is in violation at any time of the UST Laws, after notice set forth in <br /> 15 paragraph 17, then defendant Sarbjit Kang is permanently enjoined from owning or operating any <br /> i <br /> 16 facility in the State of California. <br /> 17 MONETARY LIABILITY <br /> 18 14. The Stipulation and Judgment includes monetary penalties for violations of the <br /> 19 Health and Safety Code, division 20, chapter 6.7, and California Code of Regulations, title 23, <br /> 20 section 2610 et seq. in the amount of$1,000,000 in civil penalties and $3,250,000 in suspended <br /> 21 civil penalties, for a total of$4,250,000. <br /> 22 I. INITIAL CIVIL PENALTIES <br /> 23 15. Defendants shall pay $1,000,000 via cashier's check for civil penalties payable to the <br /> 24 State Water Pollution Cleanup and Abatement Account within 15 calendar days of the Effective <br /> 25 Date of the Stipulation. Defendants shall personally deliver or mail the $1,000,000 payment to <br /> 26 the State Water Resources Control Board, Division of Administrative Services, 10011 Street, <br /> 27 18th floor, P.O. Box 1888, Sacramento, CA 95812-1888, with a copy to David Boyers, State <br /> 28 Water Resources Control Board, Office of Enforcement, 801 K Street, Suite 2300, Sacramento <br /> 9 <br /> Final Consent Judgment(Case No.34-2014-00164107) <br />
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