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1265-1267 Country Club Blvd. Page 2 <br /> Groundwater samples taken from B-2 indicate that 150,000 ug/I (reported as 150 mg/1) of TPH-G and <br /> 13,000 ug/I of Benzene are present. Groundwater samples from B-3, approximately 50 feet further down- <br /> gradient on the site to the northeast, detected TPH-G at 23,000 ug/I and Benzene at 1,900 ug/I. Without a <br /> determination of the size, amount, and extent of the plumes, this site cannot qualify for closure/No Further <br /> Action under low risk guidelines. <br /> The British Petroleum (BP) site you mentioned is located west of your site and groundwater gradient <br /> information since 1990 indicates that your former Shell station was never truly down-gradient from it. In <br /> addition, groundwater contamination at the BP site has never been as high as levels recorded on this <br /> SHELL site. Since data collection began in 1990, the groundwater at the BP site has never been <br /> shallower than 20 feet below the surface. With this in mind, PHS-EHD has concerns over the relatively <br /> high levels of soil contamination still in place at 16 feet below the surface and the high levels of relatively <br /> fresh (Benzene) groundwater contamination noted from sample B-2. <br /> Both low risk (Lawrence Livermore study) and Risk Based Corrective Action (RBCA) guidelines require <br /> the site to be fully assessed (lateral and vertical delineated). Under Tier 1, RBCA-ASTM protocols, the <br /> user is to identify contaminant source(s), obvious environmental impacts, if any, the presence of <br /> potentially impacted humans and environmental resources, and potential significant transport pathways. <br /> The investigation that PHS-EHD required in correspondence dated July 25, 1996 was an attempt to guide <br /> and assist you in obtaining the minimum information needed that will allow your site to possibly qualify for <br /> an evaluation for site closure/No Further Action under guidelines currently established for low risk. <br /> This area of Stockton lies on the border between city and un-incorporated areas where private wells still <br /> exist. A receptor (potential transport pathways) survey that identifies wells and utility trenches is needed <br /> for this site. Wells within 2000 feet of the site may need to be sampled for petroleum constituents if a zero <br /> line of groundwater contamination is not determined. <br /> In order to verify existing site conditions, PHS-EHD recommends that soil and groundwater data be <br /> collected at the extreme west edge of your property to establish if migration from an off-site source is <br /> occurring. In addition, soil and groundwater analyses for the other edges of the SHELL site will need to be <br /> collected in order to determine the lateral extent of the plumes. The waste oil tank area should be tested <br /> for priority metals, (ICAP or AA for Cd, Cr(III &VI), Pb, Zn, and Ni), Oil and Grease (Series 5520 F, and/or <br /> C & D), Chlorinated Hydrocarbons (EPA 8010 for soil and 601/624 for water), and EPA 8270 for PCB, <br /> PCP, PNA, and Creosote in the soil, and in the groundwater if found in the soil. <br /> The work plan originally required by PHS-EHD was due on or before October 28, 1996. In order to allow <br /> you more time to prepare your proposal and include the items mentioned above, the revised due date is <br /> now December 9, 1996. The completed work plan and boring application with a $89 fee per parcel should <br /> be submitted by this date to avoid any formal actions for failure to comply. <br /> You may contact Michael Infurna Senior RENS, at(209) 468-3454 should you have any questions. <br /> Donna Heran, REHS, Director <br /> Environmental Health Division <br /> Michael Infurna Jr., :er,7,o RENS Margare Lagorio, REHS <br /> LOP/Site Mitigation Unit IV Supervisor <br /> MI/ <br /> c: CVRWQCB - E. Thayer <br /> c: SWRCB - Steve Marquez <br />