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Wells Fargo Bank <br /> Real Estate Technical Services Group <br /> 2835 Mitchell Drive,Suite 100 Walnut Creek,California 94598 510-942-4239 FAX 510-943-6950 <br /> November 16, 1995 <br /> Mr.John E. Qvale Lois E. Gold, Attorney at Law <br /> UNOCAL CORPORATION - —UNOCAL CORPORATION- '� s <br /> Unocal Real Estate Division Legal Department <br /> 1201 West 5th Street 1201 West5th Street,Room 1135 <br /> Post Office Box 7600 Los Angeles, CA 90017 <br /> Los Angeles, CA 90051 <br /> SUBJECT: Soil and Groundwater Assessment Report <br /> 1034 Central Avenue <br /> Tracy, California <br /> Dear Mr. Qvale and Ms. Gold: <br /> I have reviewed the revised draft report and submittal letter on the subject property prepared by <br /> Pacific Environmental Group, dated October 25, 1995. 1 find the revised report acceptable with the <br /> following comments. <br /> 1. Wells Fargo Bank believes it is necessary tc conduct an ALTA survey on the property to <br /> confirm the property boundaries, to overlay the existing sampling and well points and to confirm <br /> the location of the abandon tanks relative to the property boundaries. This can be performed in the <br /> next phase of work. <br /> 2. Wells Fargo Bank believes it is necessary to place a well downgradient of well U-1 and U-2 in <br /> order to assess off-site impacts. The current well locations do not define the lateral extent of the <br /> contamination. This can also be performed in the next phase of the work. <br /> 3. Abandoning the underground tanks in place is not acceptable. Wells Fargo Bank desires <br /> UNOCAL to proceed immediately to prepare and implement removal of the USTs concurrent with <br /> the San Joaquin County Environmental Health Division's review of the report. <br /> 4. Wells Fargo Bank requests that UNOCAL ask the agency to complete review of the report and <br /> submittal of additional assessment activities within 30 days to prevent further delays in marketing <br /> the property. <br />