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mGHA VCIVIL ENGINEERING,LAND PLANNING,SURVEYING <br /> s yFebruary 26, 2013 <br /> o- <br /> <T�NG ENGAN"� abackusta'�sicehd.com <br /> (209)468-2986 <br /> Garrett Backus, Senior REHS <br /> San Joaquin County <br /> Environmental Health Department—CUPA <br /> 1868 East Hazelton Road <br /> Stockton, CA 95205 <br /> RE: Response to Comments— UST Install and Retrofit Applications <br /> Costco Gasoline - Fuel Additive Program <br /> 1630 East Hammer Lane, Stockton, California 95210 <br /> Costco Loc. No. 38/Our Job No. 10199 <br /> Dear Garrett: <br /> Pursuant to comments received from your office regarding the fuel additive installation at the Lodi Costco <br /> Gasoline, we have revised the plans and technical documents for the above-referenced project. <br /> Enclosed are the following documents for your review and approval: <br /> 1. One (1) copy of the January 22, 2013 e-mail from Aris Cacapit of your office <br /> 2. One (1)copy of the January 23, 2013 e-mail from Raymond von Flue of your office <br /> 3. One (1) revised and signed Monitoring Plan—Tank 4, Lubrizol (with attachment) <br /> 4. One (1) revised and signed San Joaquin County Environmental Health Department Service <br /> Request Form (Service Code: 198/ PE: 2308) <br /> 5. One (1) revised and signed San Joaquin County Environmental Health Department Service <br /> Request Form (Service Code: 031 / PE: 2303) <br /> 6. One (1) copy of the Manufacturer's Affirmative Statement of Compatibility prepared by <br /> Blueline Technologies dated February 7, 2013 <br /> 7. One(1)copy of the Containment Solutions Monitoring Fluid Fill Kit installation guide <br /> 8. One (1)copy of the Containment Solutions Double-Wall Tank Sump Installation Instructions <br /> 9. Six (6) signed and revised sets of Sheets T-1, T-2, T-3, T-5 prepared by <br /> Barghausen Consulting Engineers, Inc., dated February 25, 2013 [three (3) wet-signed and <br /> three(3)copies of wet-signed] <br /> The following outline provides each of the January 22, 2013 comments in italics exactly as written, along <br /> with a narrative response describing how each comment was addressed: <br /> 1. Monitoring Plan must indicate in section X. that the spill container for the manuel transfer <br /> pump operation must describe the means in which it will be kept empty per CCR2635(b)(1). <br /> (For Garrett, Thuy, &Aris) <br /> Response: Enclosed is a copy of the revised Monitoring Plan, which includes an attachment <br /> describing the procedures for cleaning the manual transfer spill container in the case of an <br /> unauthorized release. <br /> 18215 72ND AVENUE SOUTH KENT,WA 98032 (425)251-6222 (425)251-8782 FAX <br /> BRANCH OFFICES ♦ OLYMPIA,WA ♦ CONCORD,CA ♦ TEMECULA,CA <br /> www.barghausen.com <br />