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1*4 State Water Resources Control Board <br /> m <br /> Division of Financial Assistance <br /> i�; 1001 I Street•Sacramento,California 95814 `' •o•N" <br /> Alan C.Lloyd,Ph.D. P.O.Box 944212•Sacramento,California•94244-2120 <br /> (916)341-5761+FAX(916)341-5806♦ www.waterboards.ca.gov/cwphome/ustcf Arnold Sehwarzenegger <br /> Agency Secretary Governor. <br /> August 26, 2005 MID ��{c� 1I L�D <br /> VAN DE POL ENTERPRISES, INC. �1}] ICC v LC <br /> DAVID ATWATER SEP - 1 2005 <br /> P O Box 1107 <br /> STOCKTON, CA 95201ENVIRONMENT HEALTH <br /> - PERMIT/SERVICES <br /> UNDERGROUND STORAGE TANK CLEANUP FUND(FUND),FINAL REQUEST FOR <br /> FURTHER DOCUMENTATION DURING INITIAL REVIEW: CLAIM NUMBER 018342;FOR SITE <br /> ADDRESS: 1033 CHARTER WAY W, STOCKTON <br /> We are in receipt of additional documentation submitted on your behalf by Robert E.Marty of Advanced <br /> GeoEnvironmental, Inc. (A.G.E.)with his letter dated June 3, 2005. After reviewing the documentation, <br /> we find that some documents provided appear to involve adjacent sites and it is unclear if claimant is or <br /> has previously been affiliated with those other sites. Additional information and clarification is still <br /> needed to determine your eligibility for placement on the Priority List. <br /> The Fund has a current claim application(Claim#552),which involves sites located adjacent to your site. <br /> 1045 West Charter Way is located West of your site and 939 West Charter Way is located East of your <br /> site. Claim#552 is for both those sites (1045 and 939). In addition,you have provided documentation <br /> for the site located at 1001 West Charter Way. The Fund needs to determine if claimant is affiliated with <br /> those three other sites. <br /> The UST Cleanup Fund Regulations states: <br /> "Site"means the parcel of real property at which an underground storage tank or residential tank is <br /> located, subject to the following limitations: <br /> (a)If underground storage tanks or residential tanks are located at adjacent parcels of real <br /> property, the adjacent parcels together constitute one site if both of the following apply: <br /> (1) The underground storage tanks are, or�have been operated by the same person. <br /> (2) The adjacent parcels are under common ownership or control. <br /> (b)Notwithstanding subdivision (a), the Board may consider a parcel of real property as <br /> consisting of multiple sites, corresponding to the number of distinct underground storage tank-or <br /> residential tank operations at the parcel, if the Board makes both of the following findings: <br /> (1) There is more than one underground storage tank or residential tank located at the parcel. <br /> (2)Each separately operated underground storage tank, residential tank, or group of <br /> underground storage tanks and residential tanks is not, and has not been, operated by a <br /> person who is operating or has operated another underground storage tank or residential tank <br /> at the same parcel. <br /> California Environmental Protection Agency <br /> Cl Reeycled Paper <br />