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3500 - Local Oversight Program
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PR0544196
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Last modified
2/27/2019 3:18:43 PM
Creation date
2/27/2019 1:43:23 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
3500 - Local Oversight Program
File Section
FIELD DOCUMENTS
RECORD_ID
PR0544196
PE
3528
FACILITY_ID
FA0006536
FACILITY_NAME
WELLS FARGO BANK PROPERTY
STREET_NUMBER
1034
STREET_NAME
CENTRAL
STREET_TYPE
AVE
City
TRACY
Zip
94805
APN
23517127
CURRENT_STATUS
02
SITE_LOCATION
1034 CENTRAL AVE
P_LOCATION
03
P_DISTRICT
005
QC Status
Approved
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Alternatively, if impediments are found at a depth of 4 to 4.5 feet bgs, then these findings should <br /> provide a basis that the third UST remains. Consequently, the UST should be removed or <br /> otherwise closed in an a manner accepted to WFB. <br /> Site Closure <br /> We are both eager to closeout the outstanding environmental matters on this site as soon as <br /> possible. As we understand, another groundwater monitoring well will be installed in the <br /> sidewalk near the street and between the two recently removed USTs due to the amount of <br /> contamination observed in the excavation. The installation will occur as soon as the City allows <br /> UNOCAL to close one lane of 11 th Street. Please notify me in advance of the installation of this <br /> well. As mentioned, the new tenant will occupy and begin renovation of the building early next <br /> year. Therefore, time is of the essence for the installation of the well. <br /> As we understand, the results of groundwater monitoring from this well will be combined with <br /> water quality data and other criteria to assess if the site qualifies for closure under the new "low <br /> risk" guidelines. Toward that end, downgadient impacts should also be evaluated. In addition, <br /> WFB has not been receiving some information pertinent to the environmental activities on this <br /> site. Further, WFB has not received any response to Lillick and Charles September 20, 1996 <br /> letter to UNOCAL (attached). WFB has asked me to secure all of this information on their <br /> behalf. I will provide all necessary copies to WFB and WFB attorneys. <br /> Therefore, I would like to receive the following information as a minimum: <br /> All Agency Correspondence <br /> Amended UST Closure Plan <br /> Permits on UST Closure and Groundwater Well Installation <br /> Quarterly Groundwater Monitoring Reports: 6195; 6196; and 9196. <br /> All Future Groundwater Monitoring Reports <br /> UST Closure Report <br /> Corrective Action Plan <br /> Site Closure Request and Report <br /> UST No Further Action Letter/No Further Action Letter on Site <br /> The Corrective Action Plan can satisfy the response to the Lillick & Charles letter provided it <br /> contains the minimum data and evaluation requirements as requested. We apologize if any of <br /> this information has been sent but was misplaced or lost. Please transmit all of the reqested <br /> information to me so that I can correct any deficiencies on our end and to maintain adequate <br /> channels of communication. I appreciate your cooperation and assistance in these matters. If <br /> you have any questions, please contact me. Thanks. <br /> i <br /> cc: Arthur Barbour, Wells Fargo Bank <br /> This facsimile transmission is intended only for use of the individual or entity to which it is addressed and may contain <br /> information that is privileged,confidential and exempt from disclosure under applicable law. If the reader of this message is not <br /> the intended recipient,or the employee or agent responsible for delivering the message to the intended recipient,you are hereby <br /> notified that any dissemination, distribution or copying of this communication is strictly prohibited. If you received this <br /> communication in error, please notify us immediately by telephone and return the original message to us at the above address <br /> via U.S. postal service. Thank you. <br />
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