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AFFIDAVIT <br /> "EXHIBIT B" <br /> 2 <br /> ' <br /> 3 Your affiant is currently employed by the San Joaquin <br /> 4 County District Attorney' s office as an investigator and is <br /> 5 currently assigned to the Environmental Prosecutions Unit. <br /> 6 Your affiant has been a peace officer for over 11 years . Your <br /> 7 affiant has attended a 40 hour course in hazardous waste <br /> 8 investigation sponsored by the California Hazardous Materials <br /> - <br /> 9 Investigators Association. Your affiant has participated in <br /> 10 no less than 6 on site inspections of hazardous waste <br /> 11 generator, transport or storage facilities . Your affiant has <br /> 12 investigated no less than 30 cases of alleged illegal <br /> transportation and/or disposal of hazardous materials . Your <br /> 13 <br /> 14 affiant has participated in the execution of over 20 search <br /> 15 warrants . Your affiant is aware that illegal storage, <br /> 16 treatment or disposal of hazardous waste are felonies pursuant <br /> 17 to Health and Safety Code section 25189 . 5 . Disposal of waste <br /> 18 oil is covered by Health and Safety Code section 25250, et. <br /> 19 seq. Aerosol cans are covered in Health and Safety Code <br /> 20 section 66261 . 2 . <br /> 21 On July 13, 1992 , your affiant conducted an inspection of <br /> 22 the defendants property along with representatives of the San <br /> 23 Joaquin County Public Health Department and the Air Pollution <br /> 24 Control District. During the inspection, I observed a 55 <br /> 25 gallon drum that contained approxiametly 10 gallons of liquid. <br /> 26 Mr. Herman Meyer, attorney for the defendant and the <br /> 27 defendant, Bill Lane, informed your affiant that the material <br /> 28 was waste oil from a tractor that was on Mr. Lanes ' property. <br /> 1 <br />