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.s L� LICK & CHARLi -LLP <br /> Attorneys at Law <br /> Two Embarcadero Center Cables UUJCKCH5 <br /> San Francisco.CA 94111-3996 <br /> -.41.5-984,8M Telex TILT 184983 <br /> September 20, 1996 <br /> Writers lairect Dial Number Feaitniie <br /> 415.421.4799 <br /> (415) 984-8322 <br /> ..;, Brendan M. Dixon <br /> UNOCAL CORPORATION <br /> Legal Department <br /> 376 So. Valencia Avenue <br /> Brea, CA 92621 <br /> Re: Former UNOCAL Site 0123 <br /> Tracy, CA <br /> Petroleum Hydrocarbon Contamination <br /> Dear Mr. Dixon: <br /> The purpose of this letter is to summarize our understanding of the remediation <br /> at the above property, and to communicate to you the concerns of our client, Wells <br /> Fargo Bank, regarding the property. <br /> We understand that UNOCAL has applied for permits to remove the <br /> Underground Storage Tanks ("USTs"). It is expected that the City of Tracy will issue <br /> these in the near future and that the tanks will be removed in October. We request <br /> notification of the date scheduled for the UST removal so that the Bank's environmental <br /> consultant, Thomas Stoflet, can attend. <br /> We also understand that UNOCAL intends to ask for closure once the UST's are <br /> removed. The Bank is concerned about the presence in ground water of chlorinated <br /> organics, which were uemeCted in all threes wells during i ie last testing round in <br /> December 1995. We understand that UNOCAL's procedure is to analyze samples for <br /> chlorinated organics every six months, and that the samples taken this month were <br /> tested for those contaminants. We need from UNOCAL or its consultants an analysis of <br /> the significance of the presence of these substances in the ground water, whether <br /> further remediation will be required and whether site closure will be granted while these <br /> substances are still present in detectable amounts. This can be done in the next <br /> monitoring report to be prepared by MPDS. In addition, the Bank needs to receive an <br /> analysis and interpretation of all of the data (including the presence of petroleum <br /> hydrocarbons) and conclusions and recommendations regarding the potential for off-site <br /> migration. I realize these issues would have to be addressed in any request for site <br /> 53674.1 <br /> San Francisco • Lona Beach • New jersey <br />