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COMPLIANCE INFO 1987-2007
Environmental Health - Public
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2300 - Underground Storage Tank Program
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PR0502082
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COMPLIANCE INFO 1987-2007
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Last modified
4/1/2020 11:59:16 AM
Creation date
11/6/2018 11:24:00 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2300 - Underground Storage Tank Program
File Section
COMPLIANCE INFO
FileName_PostFix
1987-2007
RECORD_ID
PR0502082
PE
2381
FACILITY_ID
FA0005321
FACILITY_NAME
PORT OF STOCKTON
STREET_NUMBER
0
STREET_NAME
PORT
STREET_TYPE
RD
City
STOCKTON
Zip
95201
CURRENT_STATUS
02
SITE_LOCATION
PORT RD 21
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
Scanner
SJGOV\rtan
Supplemental fields
FilePath
\MIGRATIONS\P\PORT\0\PR0502082\COMPLIANCE INFO 1987-2007.PDF
QuestysFileName
COMPLIANCE INFO 1987-2007
QuestysRecordDate
8/23/2017 3:09:04 PM
QuestysRecordID
3602370
QuestysRecordType
12
QuestysStateID
1
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EHD - Public
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Ronald S. Valinotifk. S. <br /> ' June 8, 1988 <br /> Page 2 <br /> property was returned to the Port. " That is a misstatement of <br /> California law in that ownership of the tanks is most assuredly <br /> separate from that of the real property upon which they were <br /> located. The real property has always been owned by the Port; <br /> the tanks have never been owned by the Port. Please provide us <br /> with the authority on which your attorney relies in asserting <br /> that the Port is the legal owner of such tanks. <br /> If it is the position of the Health District that these tanks <br /> have been improperly abandoned, then the responsibility and legal <br /> liability for such abandonment rests first with Energy Petroleum <br /> and secondarily with the Bank of Stockton which "stepped into the <br /> shoes" of Energy Petroleum by making Tnonthly lease payments or, <br /> the property and by taking possession of the assets of Energy <br /> Petroleum, which assets included the underground storage tanks. <br /> As we have set forth in prior correspondence, the Health District <br /> has ample authority to order either Energy Petroleum or the Bank <br /> of Stockton to resolve this problem. Furthermore, case law is <br /> clear that the costs of complying with any such order by Energy <br /> Petroleum will be an administrative claim in bankruptcy entitled <br /> to priority over all other claims. <br /> Additionally, the Port is extremely disturbed that the Health <br /> District has repeatedly focused on the Port in respect to <br /> underground storage tanks which it does not own and for which <br /> there is no information indicating that there has been any <br /> unauthorized release, while at the same time has taken no action <br /> whatsoever against the Port's tenant, Industrial Services <br /> Corporation ("ISC") in respect to pits and tanks located on its <br /> leasehold and for which the Port has provided specific evidence <br /> of a release of hazardous substances. Based upon the Health <br /> District's position regarding Energy Petroleum's tanks, it <br /> appears that the Health District is willing to sit by and let <br /> responsible parties ignore their legal obligations while later <br /> asserting that the Port District has assumed that responsibility. <br /> If necessary, the Port of Stockton is prepared to initiate legal <br /> action for declaratory relief and issuance of a writ of mandate <br /> to the Health District to declare the legal obligations of the <br /> parties and to ensure that the Health District takes appropriate <br /> and legal action in respect to both the Energy Petroleum and ISC <br /> tanks. However, we are prepared to meet with you to seek an <br /> appropriate resolution of this matter to avoid the expense and <br /> time which litigation would necessarily entail . <br /> Please advise at your earliest convenience regarding what actions <br /> the Health District will be taking (i) against Energy Petroleum <br /> or the Bank of Stockton in respect to the underground storage <br /> tanks referred to in your May 27 letter and (ii) in respect to <br /> the ISC tanks. Both of these matters have been pending far too <br />
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