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Doug Wilson <br />San Joaquin County <br />Environmental Health Division -2- May 20, 1999 <br />factors shown on the calculations are well within the parameters of this project. If you require <br />further clarification on this item, please let me know. <br />5. Monitoring and Response Plan is not in conformance with Section 2632(d) of the California <br />Underground Storage Tank Regulations. <br />Response: Please see the enclosed revised Monitoring and Response Plan. We have revised the <br />plan to include a site plan showing the locations of all of the monitoring devices and programmed <br />action by the automated monitoring system. We have also revised the written portion of the plan <br />indicating the name of the manager on duty with telephone number, as well as the name of the <br />party at the Atlantic Richfield Company Maintenance Department responsible for maintaining the <br />equipment. All other sections of the plan previously submitted do comply with the intent of the <br />California regulations regarding Monitoring and Response Plans. If you have any further <br />clarifications needed on the Monitoring and Response Plan, please contact me. <br />The above responses address all of the requirements necessary to comply with the plan check comments and <br />for your agency to issue an Installation Permit for this project. If you have any additional comments or <br />questions, please call me at your earliest convenience at (425) 656-7418. Thank you for your assistance on <br />this project. <br />iS <br />Ily, <br />en H. Kirk <br />esgn Engineer <br />SHK/jss <br />7063C.006 <br />enc: As Noted <br />cc: Bill Merchant, Atlantic Richfield Company <br />John Bliszcz, Atlantic Richfield Company <br />Jay S. Grubb, Barghausen Consulting Engineers, Inc. <br />Daniel B. Goalwin, Barghausen Consulting Engineers, Inc. <br />