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SITE INFORMATION AND CORRESPONDENCE FILE 1
Environmental Health - Public
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EHD Program Facility Records by Street Name
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DR MARTIN LUTHER KING JR
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749
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3500 - Local Oversight Program
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PR0544218
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SITE INFORMATION AND CORRESPONDENCE FILE 1
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Last modified
3/5/2019 9:38:38 AM
Creation date
3/5/2019 9:12:42 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
3500 - Local Oversight Program
File Section
SITE INFORMATION AND CORRESPONDENCE
FileName_PostFix
FILE 1
RECORD_ID
PR0544218
PE
3526
FACILITY_ID
FA0003870
FACILITY_NAME
SRH FOOD & GAS
STREET_NUMBER
749
Direction
E
STREET_NAME
DR MARTIN LUTHER KING JR
STREET_TYPE
BLVD
City
STOCKTON
Zip
95206
APN
14734309
CURRENT_STATUS
02
SITE_LOCATION
749 E DR MARTIN LUTHER KING JR BLVD
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
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EHD - Public
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i <br /> i <br /> well and borings to different locations whenever Pep Boys want to change the use of the lot. <br /> There is a reason why the wells and boring will be placed at their particular locations, based upon <br /> good engineering principals, and these principals will not change with the intended use of the <br /> parking lot. <br /> The maximum of twenty four hours for storage of drums and containers on the property <br /> seems a bit short, how about a period of forty eight hours. I really don't foresee a problem here, <br /> but there may be a reason that the storage vessels could not be removed in that short a time <br /> frame. <br /> In paragraph 7. I would suggest the substitution of the phrase . .. . . . and shall abandon <br /> and/or close the Borings, at its sole costs and expense, as soon as possible based upon applicable <br /> engineering standards or as directed by the County. " <br /> As you can see in the enclosed letter from John Cussen, the amount of one million dollars <br /> in general liability has proved more than adequate for operations of this nature in the past and it <br /> would be difficult to require an additional two million dollar coverage as requested in paragraph <br /> 10. Again, if you can convince the County that the amount of three million is required due to <br /> special circumstances, and this amount may be funded by the Underground Storage Tank Cleanup <br /> Fund, we would attempt to obtain that amount. <br /> Darpetro does not waive any and all statutes of limitation or claim of laches. We are <br /> directed by law to investigate, and if needed, remediate Pep Boys' property. We are not required <br /> to waive any protection under California law as requested in paragraph 11 . <br /> Darpetro does not agree to pay Pep Boys a license fee for the investigation and <br /> remediation of Pep Boys' property. We are required to do so by law, and will not pay for a <br /> license to do what the law requires of us. <br /> All obligations of Darpetro hereunder shall be guaranteed by Darpetro. There is nothing <br /> in the law that would require a guarantee by anyone but the corporation responsible for the <br /> investigation and possible remediation of any contamination discovered . If you have authority to <br /> support your request please inform me of same. <br /> I submit the above for your consideration. <br /> Sincerely, O) <br /> c���/l s� <br /> Howard W. Shook <br /> General Counsel <br /> cc: Roger Liston <br /> cc : Steven Sasson, Public Health Services <br /> 9510.011 <br />
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