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1*ft� I '..1 <br /> F7Thepurpose <br /> NTRODUCTION AND PROPOSED DEVELOPMENT <br /> this report was to investigate the subject property listed on the Title Page for real <br /> ironmental contamination, and report the findings to the Client and the San Environmental Health Department. This report complies with the San Joaquin <br /> County Ordinances, specifically 9-905.12(a) for a Surface and Subsurface Contamination <br /> Report. <br /> The subject property is located approximately one- alf mile south of the intersection of Manteca <br /> Road and WesZ_Rp_on Road. The subject Parcels,Ireon the east side of Manteca Road,bound by <br /> Brady Road the north and Meltor,])toad near the center of the project as illustrated on the <br /> Tentative Map,�Quartaroli & Associates of Manteca prepared the Tentative Map for this project, <br /> which is found in Appendix A. The land area assessed for this Surface and Subsurface <br /> Contamination Report are highlighted on this Tentative Map. <br /> According to the San Joaquin County Development Title, a Surface and Subsurface <br /> Contamination Report (SSCR)must be conducted prior to Tentative Map submittal. It is my <br /> understanding the current zoning is AG-40 and there is no proposal to change the zoning. <br /> Interpretation of County Ordinance Section 9-905.12 (a) has been to focus on the subject <br /> property exclusively, unless it is documented or observed that an environmental concern in <br /> proximity to the subject property could potentially affect said property. <br /> This Surface and Subsurface Contamination approaches,but does not completely encompass the <br /> requirements of a Phase I Environmental Site Assessment(ESA) as promulgated by the <br /> American Society of Testing and Materials (ASTM E-1527-00). The Environmental Health <br /> Department recognizes that the Surface and Subsurface Contamination Report is not intended to <br /> completely fulfill the requirements of the Phase I ESA. The Department does however,maintain <br /> that certain components of the Phase I ESA must be applicable to the SSCR, as follows: Section <br /> 7.1.7 of the ASTM Document states under"Sources of Standard Source Information,"that <br /> "information or other record information from government agencies may be obtained directly <br /> from appropriate government agencies or from commercial services." <br /> I---- <br /> 1, 1.2 . Ed Machado is proposing to subdivide an existing Parcel containing 391.4 <br /> �s oundary limits for this SSCR are the heavy lines as depicted on the Tentative Map. <br /> This area encompasses Parcels "18", "19", "20" and "21," along with Parcels 1 through 17. Each <br /> of these 17 proposed Parcels are to be approximately 2 acres in area. <br /> It is my understanding that each of these proposed 17 Parcels are to be homesite Parcels <br /> exclusively for the Machado Family. A single family residential structure exists on proposed <br /> Parcel "19."Two single family residential structures exists on proposed Parcel"20,"which front <br /> Melton Road to the south. It is my understanding that at this point in time there is no proposal to <br /> build a second unit dwelling on these Parcels. There is obvious sufficient land area for a primary <br /> and second n—i dvbelling on Parcels 18, 19, 20 and 21. It will heattheydetermination of EHD <br /> whe r second unit dwellings may be built on Parcels I throu 17. <br /> Page -2- <br /> Chesney Consulting <br />