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Mr. Larry Chapman <br /> Page 2 <br /> Apparently the samples were analyzed anyway and this unfortunate <br /> set of circumstances has been a sticking point ever since. To <br /> resolve this dilemma, you are being instructed to sample and <br /> characterize the stockpiled soil, <br /> ght, then <br /> submit the results with estimates of volumes of material ibelow the <br /> proper detection limits and, at given levels above the detection <br /> limits. A proposal, based on the new data collected, to relocate, <br /> remediate, or remove the characterized soil should be included in <br /> this submittal. Please insure that this document is received by <br /> F both PHS/EHD and CVRWQCB by December 31, 1992. <br /> As a reminder, PHS/EHD issued a letter <br /> g you dated September 4, <br /> 1992, in which our concerns for furtherroundwater investigation <br /> were a g <br /> expressed and a work plan due date of November 30, 1992 was <br /> established. Should the work plans/proposals referenced in this <br /> letter and related field activities associated with them, not be <br /> timely, formal enforcement by the CVRWQCB may be requested. <br /> If you have any questions, comments, or wish to schedule any site <br /> activities/sampling, please contact Steven Schneider, Senior REHS, <br /> of my staff at (209) 468--3441. <br /> Jog Kh , M.D. , M.P. . <br /> Healt icer <br /> u A`: u a, ESS, Program Manager <br /> nvironmental Health Division <br /> LAC/SS <br /> C. Mr. Dean Willis, Esq. <br /> O'Melveny and Myers <br /> 400 South Hope Street <br /> Los Angeles, CA 90071-2899 <br /> C. Ms. Elizabeth Thayer - CVRWQCB <br /> r� <br />