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2900 - Site Mitigation Program
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PR0529779
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
9/26/2018 11:38:00 AM
Creation date
9/26/2018 11:15:08 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0529779
PE
2960
FACILITY_ID
FA0019644
FACILITY_NAME
FORMER GENE GABBARD INC
STREET_NUMBER
640
Direction
N
STREET_NAME
EL DORADO
STREET_TYPE
ST
City
STOCKTON
Zip
95202
APN
13906004
CURRENT_STATUS
01
SITE_LOCATION
640 N EL DORADO ST
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
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Gene Gabbard, Inc -2` <br /> Claim No. 13324 <br /> Background <br /> A 250-gallon waste oil UST was located at the.site that is the subject.of this claim. In <br /> 1997, the claimant removed the UST, discovered petroleum contamination, and, in <br /> 1998, became a Fund claimant. The claimant has received reimbursement in the <br /> amount of$155,191..20 (after application of the deductible). In my previous decision, I <br /> determined that the extent of the petroleum contamination in the soil and groundwater <br /> beneath the site had been defined by December 2000, after the installation of eight soil <br /> gh.MW-4. By that date, laboratory analyses of <br /> borings and monitoring wells MW-1 throu <br /> samples collected from these borings and wells showed that the petroleum <br /> contamination associated with the waste oil UST was limited to the immediate vicinity of <br /> the UST, and only monitoring well MW-3, installed in the center of the former UST <br /> excavation, continued to detect petroleum contamination. <br /> PCE contamination is also present at the site.. Costs associated with the cleanup of <br /> PCE are riot eligible for reimbursement from the Fund. PCE has been identified in <br /> groundwater samples collected from all of the monitoring wells at the site, except MW-3. <br /> In a work plan for installation of additional monitoring wells, dated April 4, 2002, Ground <br /> Zero Analysis, Inc. (GZA);stated tja'at the purpose of installation of three additional <br /> monitoring wells (MW-5, MW-6; and MW-7)was "to further investigate the lateral extent <br /> of chlorinated solvents in the groundwater beneath the site." Similarly, subsequent work . <br /> plans called for the instaliation•of live more wells to further investigate the extent of PCE <br /> contamination. <br /> In the previously issued FDD, I concluded that the extent.of petroleum contamination <br /> associated with the waste oil UST-had been determined by December 2000, and, for <br /> corrective action costs incurred after December 2000, only costs.associated with MW-3 <br /> (petroleum product recovery and quarterly monitoring and reporting) would be eligible <br /> for reimbursement from the Fund: <br /> Discussion <br /> I have reconsidered my previous decision. In addition to the costs determined eligible in. <br /> the FDD, I now .find that quarterly monitoring and reporting costs associated with MW-1, <br /> MW-2, and MW-4 are eligible for reimbursement from the Fund. While petroleum <br /> product recovery is ongoing in MW-3, costs for continued monitoring and reporting for <br /> these other three wells located near the waste oil UST excavation pit are reasonable <br /> costs. Though petroleum has not been detected in MW-1, MW-2, and MW-4, <br /> monitoring of these.wells provides information concerning the extent of the petroleum <br /> contamination detected in MW-3. Costs associated with the investigation and cleanup <br /> of chlorinated solvents, including installation and operation of MW-5, MW-6, and MW-7, <br /> are not eligible for reimbursement. <br /> CalrformaEnviromwentalProlecliow Agency <br /> A <br /> �e�Recycled Paper '- - <br />
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