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s <br /> ,Ir�,�,, NEUMILLER & BEARDSLEE 3�=G �{ - r._ <br /> eA PROFESSIONAL CORPORATION•ATTORNEYS&COUNSELORS ESTABLISHED 1903 <br /> c►c� 3�T 3� 1 ; 36 <br /> 64921-19564 <br /> STOCKFON OFFICE: <br /> 509 W.WEBER AvE. <br /> STOCKfON,CA October 27 , 1995 <br /> 95203-3166 <br /> (209)948-8200 <br /> (209)948-4910 FAX <br /> MAILING ADDRESS: <br /> P.O.Box 20 Mr. George Lockwood <br /> STOCKFON,CA <br /> 95201-3020 SWRCB-UST Clean Up Fund Program <br /> Suite 130 <br /> MODESTO 2014 T Street <br /> (209)577- <br /> (209)577-44910910 FAx Sacramento, California 94244-2120 <br /> Re: Mike & Sharon Olivarez/Claim No. 003492 <br /> Dear Mr. Lockwood: <br /> Mr. Ronald Rowe of the San Joaquin County Public Health <br /> Services/Environmental Health Division (PHS/EHD) , has <br /> asked us to proceed diligently with soil and groundwater <br /> investigation efforts ongoing at 300 S. California Street, <br /> Stockton. Because bids were obtain for the Preliminary <br /> Site Assessment, we believe three bids are unnecessary for <br /> this phase as the project remains in the investigation, <br /> and not remedial, phase. (Clearwater Group Inc. won the <br /> bid in January 1995) . <br /> We are on a tight time schedule since Mr. Rowe wants a <br /> summary report for the approved work by January 1, 1996 . <br /> In an effort to comply with his request and to maximize <br /> eligibility of this claim, enclosed please find Clearwater <br /> Group, Inc. 's Cost Estimate for implementation of the <br /> Workplan for Disposal of Stockpiled Soil, Backfilling <br /> Excavation and Additional Site Assessment dated August 1, <br /> 1995 and the Addendum to the Workplan dated October 20, <br /> 1995 . As you can see, the initial workplan included a <br /> feasibility study to determine whether further soil <br /> excavation would be a cost effective interim remedial <br /> option. In Mr. Rowe's request for addendum, he summarily <br /> rejected this option and thus backfilling activities are <br /> now warranted. Mr. Rowe orally approved the Workplan's <br /> Addendum on October 26, 1995 . <br /> Because we have been asked by PHS/EHD to proceed with the <br /> investigation efforts for the site without delaying to <br /> obtain additional consultant bids, and because we believe <br /> the costs appear to be reasonable and necessary, we <br /> respectfully request that as the administrator of the <br /> USTCUF you grant our client a waiver of the three bid <br /> 45630-1 <br />