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Jeff Kasper - 2 - 5 November 2008 <br />on page 1 of the MRP for information on the determination of the background <br />concentrations. <br />Sections 1.1 and 4.1.1 of the SAP contain information that is unrelated to any technical <br />aspects of sampling and analysis. This information would be more appropriately <br />addressed in a letter signed by an authorized representative of H.J. Baker. Therefore, <br />please move the information in sections 1.1 and 4.1.1 to a transmittal letter, signed by <br />H.J. Baker, which accompanies the Final SAP. <br />As required by the MRP, the Discharger's certification statements must be submitted <br />with any plan or report. Please refer to the section titled Report Contents and Report <br />Submittal Dates on pages 6-7 of the MRP for the requirement. Therefore with the Final <br />SAP, please include certification statements that have been signed by the <br />representatives of the Port of Stockton, H.J. Baker & Bro., Martin Operating <br />Partnership, and Metropolitan Stevedore. <br />Staff looks forward to working with the Discharger on this project. Should you have questions, <br />please contact me at mboydwaterboards.ca.gov or (916) 464-4676. <br />Mary Boyd <br />Water Resource Control Engineer <br />Compliance and Enforcement <br />Title 27 and Non 15 Programs <br />cc: Margaret Lagorio, San Joaquin County Environmental Health Dept, Stockton <br />Peter Weiler, ERS Corporation, Walnut Creek <br />Bill Jennings, California Sporting-Fishing Protection Alliance, Stockton <br />Ken Berry, California Citizens for Environmental Justice, Jackson <br />MLB/VV\San Joaquin \Review of Group SAP 31Sept2008 doc