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SITE INFORMATION AND CORRESPONDENCE
Environmental Health - Public
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3500 - Local Oversight Program
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PR0544759
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
8/19/2019 11:01:47 AM
Creation date
8/19/2019 10:03:42 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
3500 - Local Oversight Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0544759
PE
3528
FACILITY_ID
FA0004058
FACILITY_NAME
VANCO*
STREET_NUMBER
3230
Direction
N
STREET_NAME
WEST
STREET_TYPE
LN
City
STOCKTON
Zip
95204
APN
11708017
CURRENT_STATUS
02
SITE_LOCATION
3230 N WEST LN
P_LOCATION
99
P_DISTRICT
002
QC Status
Approved
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`/ <br /> Van De Pol Enterprises, Inc. -3- <br /> 6. Were the USTs listed on page two of your claim.application(&previous USTs, if any) ever <br /> . owned/operated by Nomellini Construction Co.or NCC Properties? <br /> 7. Is or has claimant ever been affiliated with Nomellini Construction Co. and/or NCC Properties? <br /> In addition to the above, the items listed below are needed: <br /> • According to A.G.E.'s letter dated June 3,2005,the correct site address is 1033 West Charter Way. <br /> Therefore, submit a copy of the permit to own or operate the UST from the local implementing <br /> agency dated between January 1, 1984 and January 1, 1990(pursuant to Chapter 6.7 of the Health and <br /> Safety Code) for 1033 West Charter Way(you submitted one for 1045 Charter Way). <br /> If you were not subject to the permit requirement, submit documentation to confirm this claim. <br /> Situations where the permit was not required by January 1, 1990, can include: a)you removed all <br /> USTs prior to January 1, 1990; and not replaced;b)you decommissioned all USTs pursuant to the <br /> direction of the regulatory agency prior to January 1, 1984; c)you sold the property and tanks by <br /> January 1, 1990. <br /> • Claimant is required to have current financial responsibility documents on file. Enclosed with our <br /> letter of April 3,2005 was a Financial Responsibility Guide that explains the requirements. The <br /> Certification of Financial Responsibility form and Chief Financial Officer.Letter form were tabbed <br /> for your convenience and must be completed along with the applicable supporting documents. Please <br /> submit the original documents to the local regulatory agency and forward a copy to the Fund <br /> • Claimant is required to provide documentation that all current and prior UST fees due on or after <br /> January 1, 1991 imposed by Section 25299.41 of the Health and Safety Code have been paid. If any <br /> of the USTs owned or operated had product placed in them on or after January 1, 1991, attach the <br /> most recent copy of the UST Maintenance Fee Return Form filed with the State Board of <br /> Equalization(BOE)with proof of payment(copy of canceled check). If you are unable to locate <br /> these documents,the Fund will accept a letter from BOE indicating no UST fees are due for this <br /> subject site. <br /> NOTE: Failure to respond to this request within thirty(30)calendar days from the date of this letter may <br /> result in an ineligibility determination of your claim. <br /> If you have any questions,please contact me at(916)341-5761. <br /> Sincerely, <br /> Barbara Rempel <br /> Claims Review Unit <br /> Underground Storage Tank Cleanup Fund <br /> cc: Mr.Brian Newman Robert E. Marty <br /> RWQCB, Reg.5 - Sacramento Advanced GeoEnvironmental, Inc. <br /> 11020 Sun Center Drive 837 Shaw Road <br /> Rancho Cordova, CA 95670 Stockton, CA 95215 <br /> California Environmental Protection Agency <br /> :a Recycled Paper <br />
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