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COMPLIANCE INFO_2021
EnvironmentalHealth
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1900 - Hazardous Materials Program
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PR0519565
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COMPLIANCE INFO_2021
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Entry Properties
Last modified
11/20/2024 9:21:35 AM
Creation date
12/22/2021 3:14:44 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
1900 - Hazardous Materials Program
File Section
COMPLIANCE INFO
FileName_PostFix
2021
RECORD_ID
PR0519565
PE
1921
FACILITY_ID
FA0000091
FACILITY_NAME
H&S Energy Products,#3038
STREET_NUMBER
14000
Direction
E
STREET_NAME
STATE ROUTE 88
City
LOCKEFORD
Zip
95237
CURRENT_STATUS
01
SITE_LOCATION
14000 E HWY 88
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
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EHD - Public
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0I <br />County; District Susan J. Krones, District Attorney of Lake County; Michael N. Feuer, City Attorney <br />City of Los Angeles; Todd Spitzer, District Attorney of Orange County; Morgan Gire, District <br />Attorney of Placer County; Anne Marie Schubert, District Attorney of Sacramento County; Jason <br />Anderson, District Attorney of San Bernardino County; Summer Stephan, District Attorney of San <br />511 Diego County; Chesa Boudin, District Attorney of San Francisco County; Tori Verber Salazar, <br />10 <br />Ill <br />1 <br />District Attorney of San Joaquin County; Jeffrey F. Rosen, District Attorney of Santa Clara County; <br />Stephanie A. Bridgett, District Attorney of Shasta County; Jill R. Ravitch, District Attorney of <br />Sonoma County; Amanda L. Hopper, District Attorney of Sutter County; Matt Rogers, District <br />Attorney of Tehama County; Jeff W. Reisig, District Attorney of Yolo County; and Clinton J. Curry, <br />District Attorney of Yuba County; and Hassan & Sons, Inc., a California Corporation; H&S Energy, <br />LLC, a California Limited Liability Company and H&S Energy Products, LLC, a California Limited <br />Liability Company, formally known as Colonial Energy, LLC; (collectively referred to herein as <br />13 "Defendants") appearing through their attorney Mark B. Gilmartin, Esquire, have entered into a <br />14 Stipulation for this Final Judgment and Permanent Injunction ("Stipulation") and have thereby agreed <br />15 to entry of this Final Judgment and Permanent Injunction ("Final Judgment") without the taking of <br />16 proof and without the Stipulated Final Judgment constituting evidence of an admission by any party <br />17 regarding any issue of fact or Iaw alleged in the Complaint, and Defendants having waived the right <br />18 to appeal, and good cause appearing, <br />19 IT IS HEREBY ORDERED, ADJUDGED, AND DECREED THAT; <br />JURISDICTION AND VENUE <br />2111 1. The Parties generally appearing before the Superior Court of California, County of <br />Solano, have subject matter jurisdiction over the matters alleged in this action and personal <br />2311 Jurisdiction over the Parties to this Final Judgment, and the Superior Court for the County of Solano <br />is the proper venue for this action. <br />DEFINITIONS <br />2. Except where otherwise expressly defined in this Final Judgment, the definitions set <br />forth in the following statutory schemes and all regulations issued pursuant thereto, shall apply to the <br />2811 technical terms used herein: (a) the Underground Storage of Hazardous Substances Law (California <br />2 <br />Hassan & Sons, Inc., et al. [Proposedl Final Judgment and Permanent Injunction <br />
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