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415.956.2828(t) Robert Dollar Building <br /> 415.956.6457(f) 31 1 California Street, IOth Fir. <br /> San Francisco CA 94104 <br /> 202.777.8950(t) Bowen Building <br /> 202.347.8429 (f) 875 15th Street,NW,Suite 725 <br /> ROGERS JOSEPH O'DONNELL www.rjo.com Washington DC 20005 <br /> Ren6e D.Wasserman <br /> 415.365.5322(d) <br /> rwasserman@rjo.com <br /> March 5, 2021 <br /> VIA E-MAIL <br /> eflorido@sjgov.org Privileged and Confidential <br /> Settlement Communications <br /> Elianna Florido, REHS <br /> San Joaquin County <br /> Environmental Health Dept. <br /> 1868 Hazelton Ave. <br /> Stockton, CA 95202 <br /> Re: Walgreens Return to Compliance Documentation—San Joaquin Co. <br /> re Walgreens Stores#2680, # 12549, and# 13984 <br /> Dear Ms. Florido: <br /> In accordance with our recent discussion with Ms. Henry, this is to confirm that <br /> the attached manifests dated January 15, 2021 and January 16, 2021 are the first uniform <br /> hazardous waste manifests that Walgreen Co.'s ("Walgreens") environmental contractor <br /> prepared and submitted, which identified on line 14 of the form, that it included the weight of the <br /> empty warfarin containers. <br /> Walgreens' environmental contractor previously did not list on line 14 of the <br /> manifest that the weight of the empty warfarin container was included; stating it was not <br /> included. However, we have confirmed with Walgreens' environmental contractor Clean Earth, <br /> that the profile that includes the weight of the warfarin containers on the uniform hazardous <br /> waste manifests was initiated for Walgreens in May of 2014 even though not so stated. <br /> We trust this is sufficient to close all the San Joaquin CUPA Notices of Violation <br /> and to acknowledge Walgreens' return to compliance. <br /> Very truly yours, <br /> Ren6e D. Wasserman <br /> RDW:sci <br /> Ends. <br /> 526843.1 <br /> A Professional Law Corporation <br />