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J <br /> 7-Eleven #14117 page 3 <br /> 2725 Country Club Blvd., Stockton. <br /> Further analyses for these constituents at acceptable detection levels are J <br /> required as well as sampling for these constituents in existing and new <br /> monitoring wells should be conducted on a quarterly basis until it can be shown <br /> that the appropriate MCL or action levels have not been exceeded. Work plans <br /> submitted to EHD should include analyses for these constituents in the soil and <br /> all groundwater `grab' samples. Where laboratory analyses indicate that these <br /> constituents exceed MCLs or action levels, you should plan on conducting <br /> further investigation in those areas. <br /> Once the site has been fully assessed and a more complete geological model of <br /> this site can be presented, EHD will evaluate and comment on your remedial <br /> action plan. A sensitive receptor survey is required before you may proceed to <br /> the remedial phase for this site. <br /> Please continue to quarterly monitor and sample all wells associated with this <br /> site. EHD has not been advised of sampling events in the past. _Please contact <br /> Mr. Infurna and make your appointment for all field activities associated with <br /> monitoring and sampling of the wells. A 48-hour notice is appreciated. <br /> You should address your submittals and any concerns you have about this site <br /> to Michael Infurna, call him at (209) 468-3454, or you may use his electronic mail <br /> address, minfurna(a-sicehd.com. <br /> Donna Heran, REHS, Director <br /> Environmental Health Division <br /> Michael J. Infur a Jr. enior REHS Nuel C. Henderson, Jr. R. <br /> Unit IV <br /> Site Mitigation Unit 1V LOP / Site Mitigation <br /> LOP / 9 __. - -- - ------ _ ---- ------- - <br /> MI/ <br /> c: CVRWQCB — Marty Hartzell, Sacramento. <br /> c: Shaw Group — Shelby Lathrop, 4005 Port Chicago Hwy, Concord, 94520 <br /> c: SWRCB—Clean Up Fund - Mark Owens, Sacramento. <br />