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a <br /> H. Derrick Peterson • - 2 - • 14 February 2002 �• <br /> 5. The Work Plan does not include a discussion of protective measures for the borehole or <br /> uncompleted well. Kearney is placing the well on an adjacent landowner's property and <br /> should have protocol for the protection of the borehole or uncompleted well in the event <br /> that it is left unattended. <br /> 6. The Work Plan provides a brief discussion of well development activities but does not <br /> include recording the measurements. Kearney must complete well development logs and <br /> submit the logs with the well installation report. <br /> 7. The Work Plan states Kearney will not sample the new well for at least two weeks after <br /> well development. Board staff believes 48 hours is a sufficient amount of time between <br /> well development and sampling the well. <br /> Board staff does not typically review reports that are submitted in draft form and are not signed <br /> and wet stamped by a California registered professional. All reports submitted to the Regional <br /> Board must be final copies and as required by the California Business and Professions Code <br /> Sections 6735, 7835, and 7835.1, all reports shall be prepared by a registered professional or <br /> their subordinate and signed by the registered professional. <br /> By 8 March 2002,please submit a work plan that incorporates the above and attached <br /> comments. If you have any questions, you may contact me at(916)255-3119 or by email at <br /> lewisd(a)rb5 s.swrcb.ca.gov. . <br /> DEVRA LEWIS <br /> Environmental Scientist <br /> Attachment <br /> cc: Mr. Doug O'Neal,Department of Toxic Substances Control, Sacramento <br /> Mr. Harlin Knoll, San Joaquin County Health Department, Stockton <br /> Mr. Albert Mariani, Dyson,Kissner,Moran Corp.,New York,New York <br /> Mr. Peter Quinlan, Dudek&Associates, Encinitas, California <br />