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SITE INFORMATION AND CORRESPONDENCE
Environmental Health - Public
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EIGHT MILE
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2900 - Site Mitigation Program
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PR0518132
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
7/10/2019 1:23:26 PM
Creation date
7/10/2019 11:39:29 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0518132
PE
2960
FACILITY_ID
FA0013716
FACILITY_NAME
H & H MARINA
STREET_NUMBER
15135
STREET_NAME
EIGHT MILE
STREET_TYPE
RD
City
STOCKTON
Zip
95219
APN
06908021
CURRENT_STATUS
01
SITE_LOCATION
15135 EIGHT MILE RD
P_LOCATION
01
QC Status
Approved
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California Fftional Water Quality Corbl Board <br /> Central Valley Region <br /> Katherine Hart, Chair 'y) <br /> Linda S. Adams 11020 Sun Center Drive#200, Rancho Cordova,California 95670-6114 Arnold <br /> Secretary for Phone(916)464-3291 •FAX(916)464-4645 Schwarzenegger <br /> Environmental http://www.waterboards.ca.gov/centralvalley Governor <br /> Protection <br /> 11 March 2010RECER V E <br /> MAR 1 5 2010 <br /> Mr. Gregory Torlai, Jr. V1RpN.�1E.NT HEALTH <br /> President, Bustez Enterprises, Inc. E��ER(�{1T�SERVICES <br /> 5851 Wolfinger Road <br /> Stockton, CA 95206 <br /> RESPONSE TO DRAFT CAO COMMENTS, H & H MARINA, 15135 EIGHT MILE ROAD, <br /> STOCKTON, SAN ,10AQUIN COUNTY <br /> Staff of the Regional Water Quality Control Board, Central Valley Region (Central Valley <br /> Water Board) reviewed 27 January 2010 Comments to Draft Cleanup and Abatement Order <br /> (Comment Letter). The Comment Letter was submitted by Advanced GeoEnvironmental, Inc. <br /> (AGE) on behalf of the H & H Marina (H&H) located at 15135 Eight Mile Road in Stockton <br /> (Site). Central Valley Water Board staff sent H&H a draft Cleanup and Abatement Order <br /> (CAO) for the Site on 3 December 2009. <br /> Staffs responses to each of the comments are listed below. <br /> 1. Response to Comment No. 1 —The Order has been revised to reflect the correct parcel <br /> numbers that comprise the H&H Marina site. <br /> 2. Response to Comment No. 2— Delta Farms/Reclamation District 2029 and Empire Fields <br /> LLC will not named in the order because the Central Valley Water Board has no evidence <br /> that they are or ever were associated with the operation of the marina. <br /> 3. Response to Comment No. 3 — Central Valley Water Board staff concurs that Herman and <br /> Helen's Marina, Inc. should be named as a responsible party in the CAO. However, we <br /> could found no record of ail erlt y called Internatio�al Reso i Operations, Inc. at the <br /> Secretary of State's business portal or in the property records. Therefore, the CAO will not <br /> name this entity. <br /> 4. Response to Comment No. 4 — H&H does not receive funding from the Underground <br /> Storage Tank Cleanup Fund (CUF). Finding No. 7 in the draft CAO states that in an <br /> 18 April 2005 letter, the CUF issued a Final Division Decision upholding the Fund Manager's <br /> Decision that there would be no further reimbursements to this facility. H&H's intent to <br /> continue to appeal this decision does not justify delaying remediation. The issue regarding <br /> the origin(s) of groundwater pollution at this Site has been resolved. <br /> California Environmental Protection Agency <br /> cYecycled Paper <br />
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