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I (m) Defendants are required to comply with the provision of Health and Safety Code <br /> 2 sections 25298, subdivision (a) and (c), and Title 23, California Code of Regulations, section <br /> 3 2670 subdivision <br /> (f), and 2672 (failure to properly close or cease operations of an UST system). � <br /> I <br /> 4 (n) Defendant Meyers Holding Co., LLC is required to permanently close and remove all <br /> 5 USTs and UST systems at the Covered Facility located at 3208 Highway 50, Meyers, County of <br /> i <br /> I <br /> 6 El Dorado, State of California on or before August 15, 2019. In closing and removing the USTs <br /> 7 and UST systems at this Covered Facility, Defendants shall comply with the provisions of <br /> 8 California Health and Safety Code, division 20, chapter 6.7, California Code of Regulations,title <br /> 9 22, sections 67383.1 —67383.5 (management of tanks), and California Code of Regulations, title <br /> 10 23, section 2610 et seq., including, but not limited, to California Code of Regulations, title 23, <br /> 11 sections 2670 and 2672(permanent closure requirements). The Covered Facility located at 3208 <br /> 12 Highway 50, Meyers, County of El Dorado, State of California may reopen only if the facility <br /> 13 complies with all applicable laws, statutes, regulations, and ordinances. <br /> 14 II. SPECIFIC INJUNCTIVE PROVISIONS <br /> 15 9. Notice of Judgment to Owner, Operator, Designated Operator, and Facility <br /> 16 Employees. Defendants shall deliver a copy of this Stipulation and Judgment to each owner, <br /> 17 operator, designated operator, and facility employee, at each of the Covered Facilities within 15 <br /> 18 calendar days of the entry of the Judgment for purposes of informing each owner, operator, <br /> 19 designated operator, and facility employee of the compliance obligations in the Stipulation and <br /> 20 Judgment. <br /> 21 10. Environmental Coordinator. Each Defendant that owns or operates a Covered <br /> 22 Facility shall designate a person or entity knowledgeable in the California environmental laws <br /> 23 that are the subject of this Stipulation and Judgment (Environmental Coordinator). The <br /> 24 Defendant shall promptly provide the Environmental Coordinator copies of all written violation <br /> 25 advisements, including but not limited to, Notices of Violation (NOVs), and inspection reports <br /> 26 issued or performed by a CUPA, regarding the Covered Facilities for five years from the date of <br /> 27 entry of the Judgment. The Environmental Coordinator's responsibility shall be to manage <br /> 28 Defendants' compliance with the injunctive terms in this Stipulation and Judgment. The <br /> 7 <br /> Stipulation for Entry of Final Consent Judgment(Case No.34-2014-00164107) <br />