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FIELD DOCUMENTS AND WORK PLANS 1991
Environmental Health - Public
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FIELD DOCUMENTS AND WORK PLANS 1991
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Last modified
2/22/2019 10:06:16 PM
Creation date
2/22/2019 2:41:49 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
FIELD DOCUMENTS
FileName_PostFix
AND WORK PLANS 1991
RECORD_ID
PR0009002
PE
2960
FACILITY_ID
FA0004040
FACILITY_NAME
SPX COOLING TECHNOLOGIES INC
STREET_NUMBER
200
Direction
N
STREET_NAME
WAGNER
STREET_TYPE
AVE
City
STOCKTON
Zip
95215
APN
14331007
CURRENT_STATUS
01
SITE_LOCATION
200 N WAGNER AVE
P_LOCATION
99
P_DISTRICT
002
QC Status
Approved
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. 0 <br /> THE MARLEY COOLING TOWER COMPANY <br /> 5800 Foxridge Drive/P.O. Box 2912/Mission, Kansas 66201 <br /> Telephone: (913)362-1818/Fax: (913)362-1787 THOMAS P. KROEHLE <br /> VIA FEDERAL EXPRESS President <br /> October 7 , 1991 <br /> California Environmental Protection Agency <br /> Department of Toxic Substances Control (Reg. 1) <br /> 10151 Croydon Way, Suite 3 <br /> Sacramento California 95827-2106 <br /> $L L I �Q' <br /> Attn: Anthony J. Landis OCT 11 1991 <br /> Chief, Site Mitigation Branch <br /> ENVIRONMENTAL HEALTH <br /> Ref : The Marley Cooling Tower Company PERMIT/SERVICES <br /> Remedy Implementation - Stockton <br /> Request for Extension of Time <br /> Dear Mr. Landis: <br /> Your letter, dated September 19, 1991, responding to The Marley <br /> Cooling Tower Company' s request for an extension of time, was <br /> received last week and referred to my attention. <br /> I was surprised and disappointed to learn that you had turned <br /> down our request for modest additional time before we start up <br /> the full groundwater pumping system. <br /> As you know, Marley has been extracting and treating water from <br /> the aquifer below its facility on an almost continuous basis <br /> since 1987 . Although our pumping has not been at the full <br /> design rate of 500 qpm, and the extraction has been limited to <br /> a few geographic zones, our actions have nonetheless <br /> constituted a voluntary "early start" toward achievement of our <br /> aquifer restoration objective. Indeed, our groundwater <br /> consultants tell me that our prompt response has greatly helped <br /> in the control of the existing aquifer conditions. Despite <br /> these voluntary efforts, you now advise us you intend to punish <br /> the company for a few weeks slippage in the schedule to upgrade <br /> the pumping system even though the delays are caused by reasons <br /> beyond our reasonable control. <br /> I am personally requesting the Department to reconsider its <br /> decision. Our need for the new schedule is based on the <br /> following conditions: <br /> MARLED <br /> the <br /> COOLING TOWER <br /> company <br />
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