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( ) It is stipulated as evidence, after the careful viewing <br /> of aerial photographs from the 19501s, 1960'x, 19701'x, <br /> 1980's and the 1990's that this portion of Whiskey <br /> Slough, where the vast majority of the landfill sits, has <br /> been filled and essentially denuded of riparian or <br /> wetland habitat since the 1950's and maybe much earlier. <br /> The District Attorney cannot speak for other agencies on <br /> whether or not this area is or was wetland, or is or was <br /> riparian habitat, however, this document may be used by <br /> Zuckerman-Mandeville, Inc. in combination with the aerial <br /> photographs at the San Joaquin County Surveyor's Office <br /> and any USGS topographical maps to serve an evidence of <br /> the site covered in this plea. <br /> It is further stipulated that no determination has been <br /> made with regard to the ponded areas and the vegetation <br /> that surrounds these ponded area that are directly <br /> adjacent to the landfill site. <br /> Again, the District Attorney cannot speak for agencies <br /> other than California Department of Fish and Game and San <br /> Joaquin County in reaching this agreement, however, the <br /> District Attorney recommends that this resolution <br /> encompass all litigation and administrative actions <br /> regarding the site as it currently exists in it's <br /> unlawful landfill condition as long as complete and <br /> proper "clean closure" is accomplished. <br /> ( ) Defendant is to obey all environmental laws, this <br /> includes proper health and safety procedures during <br /> clean-up and proper legal disposal of all hazardous and <br /> non-hazardous materials. <br /> ( ) Defendant shall be placed on three years informal <br /> probation, but it is hereby agreed upon that upon timely <br /> and proper completion of all of the above terms the <br /> People will support the Defendant's motion to shorten <br /> probation and apply to the Court to exponge all counts. <br />