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« y <br /> Dan Kirk <br /> Page 2 <br /> The wells that can be considered for reduction of sampling frequency are those that <br /> provide duplicate or similar information from an adjacent well, or those where <br /> contaminant concentrations can be inferred from nearby wells during the time it is not <br /> being sampled. <br /> If Shell Oil would like to modify the groundwater monitoring at this site, please submit a <br /> modified groundwater sampling plan that addresses the issues mentioned above to <br /> PHS/EHD for review and concurrence. <br /> Please continue to provide PHS/EHD with a status report of the soil vapor extraction <br /> system on a quarterly basis. <br /> If you have any questions or if you would like to discuss this letter in more detail, please <br /> contact Linda Turkatte, REHS, of my staff at (209) 468-0339. <br /> Jogi Khanna, M.D., M.P.H. <br /> Health Offi <br /> L r e" f�. CotuleR�HS,, Program Manager <br /> nvironmental Health Division <br /> LA C/Itchart620.com <br /> c: CVRWQCB-Beth Thayer <br /> c: Aegis Environmental-Laura Odenthal <br /> 1050 Melody Lane, Suite 160 <br /> Roseville, CA 95678 <br />