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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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EHD - Public
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WELLS FARGO BANK <br /> RETECHS AU832411222 <br /> AUG 161994 <br /> Corporate Properties Group <br /> 111 Sutter Street, 22nd Floor •"lRGO n n r�f 1 ���K <br /> San Franosco, CA 941133 'JELLS f L <br /> (415) 396-3100 <br /> August 11, 1994 <br /> VIA: FAX and Certified Niall <br /> Ron E. Senner <br /> Senior Supervisor of Property <br /> UNOCAL REAL ESTATE DIVISION <br /> UNOCAL CORPORATION <br /> 2000 Crow Canyon Place, Suite 400 <br /> San Ramon, CA 94583 <br /> Re: Real Property at 1034 Central Avenue <br /> Tracy, California <br /> I <br /> Dear Ron, <br /> This letter is in regard to the contamination of the above-referenced property (the "Site") and <br /> your letters of July 19, 1994 and May 23, 1994. In addition, as you know, the San Joaquin <br /> County Public Health Services, Environmental Health Division ("County Environmental <br /> Services") has placed the Site in its Local Oversight Program, naming both Wells Fargo i <br /> Bank and Unocal as responsible parties. The notice from the County Environmental Services <br /> requires submission of a work plan to initiate soil andgroundwater investigation,prior to <br /> October 5, 1994. , <br /> It appears from your letters that you have taken the position that Unocal will not accept any <br /> responsibility for the subject contamination, or the cost of investigating such contamination, <br /> until it has been proven to your satisfaction that Unocal is the sole source of such <br /> contamination. We hope upon further review you will accept responsibility. <br /> It may be helpful to give you some additional information with regard to your three bases, <br /> outlined in your letter of May 23, 1994, for casting doubt on the responsibility of Unocal for <br /> the subject contamination. Your environmental engineer, Tim Howard, calls attention to <br /> certain information contained in the Environmental Assessment, and Addendum, ("Swift <br /> Printed on Recycled Paper <br />
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