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Environmental Health - Public
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3500 - Local Oversight Program
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PR0544110
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
2/6/2019 5:09:00 PM
Creation date
2/6/2019 4:14:27 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
3500 - Local Oversight Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0544110
PE
3528
FACILITY_ID
FA0003712
FACILITY_NAME
CHEVRON STATION #94275*
STREET_NUMBER
2905
Direction
W
STREET_NAME
BENJAMIN HOLT
STREET_TYPE
DR
City
STOCKTON
Zip
95207
APN
09760004
CURRENT_STATUS
02
SITE_LOCATION
2905 W BENJAMIN HOLT DR
P_LOCATION
01
P_DISTRICT
002
QC Status
Approved
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PUBLIC TiEALTH SERVICES a�,N <br /> SAN JOAQUIN COUNTY <br /> r.� <br /> ENVIRONMENTAL HEALTH DIVISION <br /> Ernest M. Fujimoto, M. D., M.P.H., Acting Health Officer <br /> 304 E. Weber Ave., Third Floor • R O. Box 388 • Stockton, CA 95 <br /> 209/468-3420 <br /> BRETT HUNTER <br /> ENVIRONMENTAL ENGINEER MLEp JUL 1 O 1996 <br /> CHEVRON USA <br /> P O BOX 5004 <br /> SAN RAMON CA 94583-0804 <br /> RE: Lincoln Village Chevron Station #9-4275 SITE CODE: 1952 <br /> 2905 West Benjamin Holt Drive <br /> Stockton CA 95207 <br /> San Joaquin County Public Health Service, Environmental Health Division has reviewed the <br /> status of Chevron Station #9-4275 and has found the site to be out of compliance with the <br /> agreements made between PHS/EHD and Chevron and with the California Underground <br /> Storage Tank Regulations, California Code of Regulations, Title 23, Division 3, Chapter 16, <br /> Article 11 . Your response to the following regulatory directives will ensure your <br /> compliance and will halt any further enforcement actions. <br /> 1) Submit quarterly reports, that include groundwater monitoring results, for the Fourth <br /> Quarter 1995, First Quarter 1996 and Second Quarter 1996 by August 9, 1996. <br /> Please note that PHS/EHD has requested on numerous occasions the timely <br /> submittal of quarterly monitoring reports. <br /> 2) PHS/EHD has accepted many requests, for postponement of investigation and field <br /> studies necessary to evaluate corrective actions, that were documented in <br /> correspondence dated November 30, 1995. PHS/EHD stated therein that no <br /> additional unjustified extensions would be granted. During the December 8, 1995 <br /> meeting an agreed upon compliance schedule was established and documented in <br /> correspondence dated December 26, 1995. Please note that the schedule which <br /> you agreed upon has not been followed. <br /> PHS/EHD received a telephone call from you on April 19, 1996 indicating that you <br /> wanted to modify the compliance schedule, to coordinate site drilling with a <br /> proposed station remodel. PHS/EHD stated at that time that an update and request <br /> for schedule modification be submitted in writing. Further, PHS/EHD contacted you <br /> on May 23, 1996 to obtain an update and was informed that an update and request <br /> for a modification of the compliance schedule would be forwarded shortly. To date <br /> PHS/EHD has not received the promised update and request for modification of the <br /> compliance schedule which we established December 8, 1995. Submit an update <br /> and request for schedule modification immediately. <br /> 3) Besides installation of the vapor extraction and air sparge wells, permitting by the <br /> City of Stockton and San Joaquin Valley Air Pollution Control District are necessary <br /> prior to implementation of the interim remediation/feasibility testing. Also, there is <br /> usually some period of time during which the necessary equipment must be <br /> obtained. If in fact, drilling activities are initiated in October 1996, it is doubtful <br /> that the interim remediation work plan will be implemented in a timely manner, <br /> based on past Chevron performance. <br /> A Division of San Joaquin County Health Care Services <br />
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