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bp , <br /> Ii7.i N <br /> Scott T. Hooton �j*,k,, i ,.Yi.. 1r'1C'86P oii Company <br /> Portfolio Manager ry tt p ppy i Midwest Environmental Services <br /> iJ 1 JUN 28 PH.12. 3A 3,Suite rNet <br /> Renton,WA 98055 <br /> Switchboard:425/251.0667 <br /> Central Fax:425/251-0736 <br /> June 25, 2001 s '' ' <br /> Mr. Michael Infurna'. ' <br /> San Joaquin County Public Health Services <br /> Environmental Health Division <br /> 304 East Weber Avenue, Third Floor <br /> PO Box 388 <br /> Stockton, CA 95201-0388 <br /> Re: Former BP Oil Site No. 11192 <br /> 1403 Country Club Boulevard <br /> Direct:425/251-0689 Stockton, CA <br /> Cell:206/335-0689 <br /> hootonst@bp.com <br /> www.bp.com Dear Mr. Infurna: <br /> This letter confirms our telephone conversation this morning regarding the above- <br /> captioned matter. <br /> I explained that the State Water Resources Control Board, Underground Storage Tank <br /> Cleanup Fund (Fund) returned'13P's Reimbursement Request-N6 4"because the'site was- <br /> found to be out of compliance by the San Joaquin County Public Health Services (PHS). <br /> The compliance issue(s) stem from a"Work Plan for Subsurface Investigation" submitted <br /> by Gettler-Ryan, Inc on behalf of Tosco. <br /> Reimbursement Request No. 4 was made for activities performed on behalf of BP,which <br /> predate or are otherwise unrelated to the Gettler-Ryan Workplan. Since the Gettler-Ryan <br /> Workplan is the noncompliance issue cited by PHS as the basis for rejecting <br /> Reimbursement Request No. 4,BP requests that PHS contact Fund personnel so that <br /> monies requested in Reimbursement Request No. 4 may be released to BP. To the extent <br /> permissible by Fund guidelines, I understand that PHS is favourably disposed to this <br /> request. Please contact Ms. Cristina Ochoa (916/341-5816) or Ms. Cristina Ochoa <br /> .(916/341-5836);referencing Claim 002413 so that the monies associated with . <br /> Reimbursement Request No. 4 can be disbursed. <br /> BP understands that Tosco is working towards a resolution of all compliance issues raised <br /> by PHS. While I am encouraged by the reported progress evident during recent weeks; BP <br /> also understands that fund personnel will contact PHS whenever a future reimbursement <br /> request is filed. It will be necessary for Tosco to file as a copayee under Claim 002413 with <br /> BP in order to recoup costs associated with the implementation of the Gettler-Ryan <br /> Workplan, as well as subsequent activities. I trust that this will provide an appropriate <br />