Laserfiche WebLink
0 211519 5 2 <br /> Listed below are the key items of concern by EHD and their recommended <br /> course of action and compliance date(s): <br /> 1. EHD questions Weston's analytical testing capabilities; regulatory guidelines <br /> for detection limits are not always incorporated in Weston reports. EHD <br /> feels the district might be better served by using an independent lab for <br /> analytical testing and reporting. Currently, Weston uses their own lab to test <br /> for constituents in samples prepared by a Weston investigation. <br /> 2. EHD requests that all analytical data resulting from activities at the Lodi <br /> yard, from 1986 to date, be compiled and submitted to them for their review <br /> immediately. <br /> 3. EHD requests that a corrective action plan for soil contamination at the Lodi <br /> yard be prepared and submitted by April 15, 1995. <br /> 4. EHD requests that groundwater monitoring and sampling for the three (3) <br /> monitoring wells at the Stockton yard be initiated by March 31, 1995. <br /> 5. EHD requests that all analytical data resulting from activities at the Stockton <br /> yard, from 1987 to date, be compiled and submitted to them for their review <br /> immediately. <br /> 6. EHD requests that a corrective action plan for soil contamination at the <br /> Stockton yard be prepared and submitted by May 15, 1995. <br /> Most of the work requested needs to be performed by outside professionals or <br /> consultants. I am prepared to help facilitate the compilation of records and data <br /> from the Lodi and Stockton yards from records retained by the district. The <br /> data/information collected may have to be developed into a formal report prior to <br /> submission to EHD, which could be performed by outside consultants. The <br /> development of corrective action plans for the Lodi and Stockton yards would <br /> have to be created by outside consultants. Water monitoring and testing would <br /> also have to be performed by outside consultants and laboratories. <br /> After evaluating the above listed items, and my discussions with EHD, Weston, <br /> and the Califomia Regional Water Quality Control Board, I feel that we should <br /> take appropriate action to accommodate all of the requests made by EHD at this <br /> time. <br /> Additionally, there are several actions we can take to facilitate the cleanup of <br /> the two sites and reduce our liability with the existing UST's. <br />