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N� <br /> Van De Pol Enterprises, Inc. _2- <br /> The following information appears to indicate there may be an affiliation between your site address and <br /> several adjacent addresses on West Charter Way: <br /> 1. A.G.E.'s letter(dated June 3, 2005)indicates that the subject facility(1033 West Charter Way)is <br /> not related to the facilities identified as 939 West Charter Way and 1045 West Charter Way. <br /> 2. The Fund currently has an accepted claim application(Claim#552)for Nomellini Construction <br /> Co. (NCC Properties) for sites located at 939& 1045 West Charter Way. <br /> 3. Claimant provided a permit dated 1988 for Van De Pol Enterprises for site address 1045 Charter <br /> Way and your site address is 1033 West Charter Way. <br /> 4. Claimant provided a technical report by Advanced GeoEnvironmental,Inc.dated April 25,2003 <br /> for site address 1001 West Charter Way(Vanco Truck&Auto Plaza)and your site address is <br /> 1033 West Charter Way. <br /> 5. Claimant provided a site map for 1001 West Charter Way(Vanco Truck Plaza); however,in <br /> response to Fund's letter(dated 4/13/05),which questioned the site address, a revised map was <br /> provided for 1033 West Charter Way(which appears to be the same exact map except the site <br /> address was changed). <br /> 6. Additionally, in response to the Fund's letter(dated 4/13/05)which questioned the site address, a <br /> revised page two (2) of your claim application was submitted, changing site address from 1045 <br /> West Charter Way to 1033 West Charter Way. <br /> 7. You submitted a permit(dated 1988)for a site located at 1045 Charter Way(Van De Pol <br /> Enterprises)and your site address is 1033 West Charter Way. <br /> 8. Documentation in Fund Claim#552 indicates on or about 4/13/88 Nomellini Construction Co. <br /> (Nomellini)distributed nine(9)acres near the intersection of Navy Drive at Charter Way to its <br /> shareholders (the map with that claim appears to include claimant's site). The shareholders <br /> formed NCC Properties,a general partnership,to hold and operate the subject property. <br /> Nomellini,who owned and operated USTs, agreed to remove all USTs from property. Because <br /> Nomellini lacked sufficient funds to proceed with cleanup,NCC Properties agreed to advance <br /> funds to Nomellini and Nomellini agreed to repay NCC Properties. An official,agreement was <br /> signed between Nomellini and NCC Properties on 11/19/93. <br /> Please clarify the above and answer the following in a"declaration under penalty of perjury"letter <br /> signed/dated by claimant: <br /> 1. Does claimant agree with the changes submitted on his behalf with A.G.E.'s letter dated June 3, <br /> 2005 and also with A.G.E.'s statement that Claimant is not(and/or has not been)affiliated with <br /> the other sites listed above(only the Claimant,same person who signed page seven(7)of the <br /> claim application, may make changes to the claim application,unless you have a designated <br /> Power of Attorney on file with the Fund)? <br /> 2. Is/was claimant's site included with the nine acre Nomellini/NCC sites discussed in number 8 <br /> above? <br /> 3. When did claimant first acquire subject USTs (dd/mm/yy)? Provide a copy of 1) Purchase Offer, <br /> 2)Purchase Agreement(final), 3)Appraisal Report,&4)Escrow Instructions. If the site was <br /> leased,provide a copy of lease agreement. <br /> 4. When were subject USTs installed on subject site (dd/mm/yy)? <br /> 5. Does page two(2)of your claim application list all USTs(previous/current)? "If not,revise page <br /> two to include any previously removed USTs(&provide removal reports/permits). <br /> California Environmental Protection Agency <br /> ;d Recycled Paper <br />