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FILE COPY <br /> ENVIRONMENTAL HEALTH DEPARTMENT <br /> SAN JOAQUIN COUNTY <br /> �.•. �� Unit 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 Douglas W.Wilson,R.E.H.S. <br /> • cq.. a�P Program Manager Telephone: (209) 468-3420 Margaret Lagorio,R.E.H.S. <br /> 4'.i FOR Laurie A.Cotulla,R.E.H.S. <br /> Fax: (209) 464-0138 Robert McClellon,R.E.H.S. <br /> Program Manager Mark Bareellos,R.E.H.S. <br /> WILLIAM S PETERS FEB 2 7 2003 <br /> PETERS ENTERPRISES <br /> PO BOX 338 <br /> FRENCH CAMP CA 95231 <br /> RE: - Kwikee Foods SITE CODE: 1545 <br /> 2081 Country Club Blvd. RO#: 0000312 <br /> Stockton, CA., 95204 <br /> San Joaquin County Environmental Health Department (EHD) has received Site <br /> Conceptual Model and Fourth Quarter 2002 Report dated 17 December 2002, <br /> prepared by your consultant Upgradient Environmental Consultants (UEC), and <br /> is in the process of reviewing the document. <br /> Although much work and thought have obviously gone into preparing the site <br /> conceptual model (SCM), and many good points have been raised, EHD is not <br /> yet ready to concur with DEC's model and recommendations. EHD requires <br /> further study and model testing before issuing detailed comments. In addition, <br /> the responsible party for the 2103 Country Club Boulevard site is in the process <br /> of preparing a site conceptual model that includes your site and the site at 2151 <br /> County Club Boulevard. That SCM is anticipated to be ready approximately <br /> 30 April 2003. As the issue potentially involves commingled plumes, EHD <br /> believes the input of that model should also be considered before making a <br /> determination regarding future investigative and monitoring requirements for your <br /> site. <br /> Until EHD can complete the review of the pertinent SCMs and make the <br /> conclusions, EHD will not require any additional site investigation or sampling of <br /> monitoring wells KF-4, KF-6 or KF-7. Monitoring wells KF-1, KW-2, KF-3 and <br /> KF-5 should continue to be sampled and depth to ground water measurements <br /> should be collected from all wells during each quarterly monitoring event. EHD <br /> does not approve destruction of any monitoring wells at this time. <br /> EHD encourages cooperation with the responsible parties for the 2101 and 2151 <br /> Country Club Boulevard sites for timing monitoring events and data sharing. <br />