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COMPLIANCE INFO_PRE 2019
Environmental Health - Public
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2200 - Hazardous Waste Program
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PR0528987
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COMPLIANCE INFO_PRE 2019
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Last modified
2/7/2022 4:49:02 PM
Creation date
12/26/2018 9:23:32 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
PRE 2019
RECORD_ID
PR0528987
PE
2220
FACILITY_ID
FA0019051
FACILITY_NAME
TARGET T2347
STREET_NUMBER
16858
STREET_NAME
GOLDEN VALLEY
STREET_TYPE
PKWY
City
LATHROP
Zip
95330
APN
191-190-630-000
CURRENT_STATUS
01
SITE_LOCATION
16858 GOLDEN VALLEY PKWY
P_LOCATION
07
P_DISTRICT
003
QC Status
Approved
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SJGOV\kblackwell
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EHD - Public
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I <br />2 <br />3 <br />4 <br />5 <br />6 <br />7 <br />8 <br />9 <br />10 <br />11 <br />12 <br />13 <br />14 <br />15 <br />16 <br />17 <br />18 <br />19 <br />20 <br />21 <br />22 <br />23 <br />24 <br />25 <br />26 <br />27 <br />28 <br />throughout California, including one or more Covered Facility in each of the counties represented <br />by the Local Prosecutors herein. <br />7. Target is, and at all times relevant to the claims in this Complaint was, legally <br />responsible for compliance with the provisions of the California Health and Safety Code, <br />including, but not limited to, Chapters 6.5 and 6.95 of Division 20, and the corresponding <br />implementing regulations, in connection with Target's ownership and/or operation of the Covered <br />Facilities. <br />8. Target is a "person" as defined in California Health and Safety Code section 25118. <br />Target is a "business" as defined in California Health and Safety Code section 25501, subdivision <br />(d). <br />9. In this Complaint when reference is made to any act or omission of Target, such <br />allegations shall include the acts and omissions of owners, officers, directors, agents, employees, <br />contractors, vendors, affiliates, and/or representatives of Target while acting within the course . <br />and scope of their employment or agency on behalf of Target. <br />10. The identities of DOES 1-25 are unknown to Plaintiff at this time. At such time as <br />the identities of DOE defendants become known, Plaintiff will amend this Complaint <br />accordingly. DOES 1-25 are, and at all times relevant to the claims in this Complaint were, <br />legally responsible for compliance with the provisions of the California Health and Safety Code, <br />including, but not limited to, Chapters 6.5 and 6.95 of Division 20, and the corresponding <br />implementing regulations, in connection with the ownership and/or operation of the Covered <br />Facilities. Target and DOES 1-25 are collectively referred to herein as "Defendants." <br />11. At all times relevant hereto, DOES 1-10 were in a position of responsibility allowing <br />them to influence corporate policies or activities with respect to Target's compliance with <br />California environmental laws and regulations at the Covered Facilities, and had, by reason of <br />their position in the corporation, responsibility and authority either to prevent in the first instance, <br />or promptly to correct, the violations complained of herein, but failed to do so. In addition to any <br />direct personal liability of these individuals, DOES 1-10 also are personally liable under the <br />First Amended Complaint for <br />3 <br />ad Permanent Injunctiio <br />Case No. RG09457686 <br />Relief <br />
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