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FILE CDP' <br /> ENVIRONMENTAL HEALTH DEPARTMENT <br /> SAN JOAQUIN COUNTY <br /> Unii Supervisors <br /> Donna K.Heran,R_E.H.S. <br /> 304 East Weber Avenue, Third Floor Carl Borgman,R.E.H.S. <br /> Director Mike Huggins,R.E.H.S.,R.D.I. <br /> Al Olsen,R.E.H.S. Stockton, California 95202-2708 <br /> " Douglas W.Wilson,R.E.H.S. <br /> Program Manager Telephone: (209) 468-3420 Margaret Lagorio,R.E.H.S. <br /> F o a Laurie A.Cotulla,R.E.H.S. <br /> Program Manager Fax: (209) 464-0138 Robert McClellon,R.E.H.S. <br /> APR i7rl�ellos,R.E.H.S. <br /> TRUST OF MARY GARDELLA ESTATE OF JOE GARDELLA <br /> WINIFRED ALEXANDER DENNIS CASPE ESQ <br /> 525 2"D ST 2035 N PACIFIC AVE <br /> SANTA CRUZ CA 95060 SANTA CRUZ CA 95060 <br /> RE: STEFANOS GASOLINE <br /> 1419 E CHARTER WAY <br /> STOCKTON,CA 95205 <br /> You were originally directed to submit a work plan to define the lateral and vertical extent of the groundwater <br /> contamination plume by March 5,2003 by a letter dated January 27,2003 from San Joaquin County <br /> Environmental Health Division(EHD). This deadline was subsequently extended to March 28,2003 at the <br /> request of your consultant,Wright Environmental Services Inc. (Wright). rafter you failed to submit this work <br /> plan by the new deadline,you were notified in a letter dated April 2,2003 that formal enforcement action from <br /> San Joaquin County District Attorney Office may be requested if this work plan is not submitted to this office <br /> within 14 days. EHD has not received this work plan to date. <br /> In a telephone conversation on April 15,2003,Wright stated that they are unable to meet EHD directive to <br /> submit the work plan by the latest deadline for the following reasons: <br /> 1) The work plan is about 90%complete,and must first be reviewed and approved by your attorney. <br /> 2) Wright has not received authorization from you for the work plan. <br /> 3) Wright recommended a meeting with EHD staff to discuss the various items directed by EHD by the <br /> letter dated January 27,2003 prior to submitting the work plan. <br /> Review by your attorney and contractual agreements between you and your consultant are not adequate reasons <br /> to continue to fail to meet EHD directives. As a responsible party,you are responsible to meet EHD directives <br /> related to corrective action of underground storage tank leakage pursuant to California Code of Regulations, <br /> Division 3,Chapter 16,Article 11. You will be scheduled for an office hearing if this work plan is not <br /> submitted to this office by April 25,2003. <br /> EHD agreed with Wright's request for a meeting to discuss the scope of work directed in the January 27,2003 <br /> letter. However,this meeting should not impede the submission of the work plan. The work plan is for the <br /> purpose of delineating the vertical and lateral extent of the contamination plume,and should not be confused <br /> with other directives such as reinitiating collection of MW-2 groundwater samples,preparation of an interim <br /> remediation feasibility study report,and preparation of a site conceptual model as discussed in the letter. <br /> If you have any questions,please contact Jeffrey Wong at(209) 468-0335. <br /> Donna Heran,REHS,Director <br /> Jeffrey Wong,�Semn', HS Nuel C.Hen erson,Jr.,RG <br /> LOP/Site Mitigation Unit IV LOP/Site Mitigation,Unit N <br /> C: RWQCB,Central Valley Region--James Barton <br /> C: Wright Environmental Services,Inc.—John Lynch <br />