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SU0010748 SSCRPT
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SU0010748 SSCRPT
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Last modified
5/7/2020 11:34:43 AM
Creation date
9/6/2019 10:57:23 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2600 - Land Use Program
FileName_PostFix
SSCRPT
RECORD_ID
SU0010748
PE
2622
FACILITY_NAME
PA-1600004
STREET_NUMBER
8253
Direction
W
STREET_NAME
LINNE
STREET_TYPE
RD
City
TRACY
Zip
95304-
APN
24808023
ENTERED_DATE
1/20/2016 12:00:00 AM
SITE_LOCATION
8253 W LINNE RD
RECEIVED_DATE
1/19/2016 12:00:00 AM
P_LOCATION
99
P_DISTRICT
005
QC Status
Approved
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SJGOV\rtan
Supplemental fields
FilePath
\MIGRATIONS\L\LINNE\8253\PA-1600004\SU0010748\SURSUB RPT.PDF
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EHD - Public
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§ 1.0 INTRODUCTION AND PROPOSED DEVELOPMENT <br /> This Surface and Subsurface Contamination Report(SSCR) contains the results of my findings for <br /> the subject property located at 8253 West Linne Road, southeast of Tracy, California. This report was <br /> prepared for: 1.) Mr. Sanjay Birla as the owner of the property, 2.) Schack& Company- Mr. Birla's <br /> Engineer, and 3.) The San Joaquin County Environmental Health Department(EHD). The purpose <br /> of this Report was to investigate and identify real or potential surface and subsurface contamination <br /> existing within, or around the entire subject property in accordance with EHD guidelines. <br /> Within the text of this Report, bolded Section (§) numbers are referenced at the beginning of an <br /> applicable Section number, sentence, paragraph or Appendices that correspond with the EHD <br /> Requirements Checklist for Surface and Subsurface Contamination Reports. <br /> According to the San Joaquin County Development Title, a Surface and Subsurface Contamination <br /> Report is required at the time of Tentative Map submittal. The Development Title, Section 9- <br /> 905.12 (a) states "A Surface and Subsurface Contamination Report shall identify any potential <br /> sources of surface and subsurface contamination caused by past or current land uses." The report <br /> shall include evaluation of nonpoint sources of hazardous materials including agricultural chemical <br /> residues and nitrate concentrations in the underlying groundwater. Potential point sources include <br /> fuel tanks, discarded items,past and/or present on-site septic systems, agrichemical mixing <br /> sites/applications, and electrical transformers. No chemical analysis was conducted by Chesney <br /> Consulting for this investigation, nor was there testing for asbestos containing materials (ACMs) <br /> and/or lead paint since there have never been structures on the property. <br /> Interpretation of County Ordinance Section 9-905.12 (a) has been to focus on the subject property <br /> exclusively, unless it is documented or observed that an environmental concern in proximity to the <br /> subject property could potentially affect said property. <br /> The Surface and Subsurface Contamination approaches, but does not encompass the requirements <br /> of a Phase I Environmental Site Assessment(ESA) as issued by the American Society of Testing <br /> and Materials (ASTM E-1527-00). The Environmental Health Department recognizes that the <br /> Surface and Subsurface Contamination Report is not intended to completely fulfill the <br /> requirements of the Phase I ESA. The Department does however, maintain that certain <br /> components of the Phase I ESA must be applicable to the SSCR, as follows: <br /> Section 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 from <br /> appropriate government agencies or from commercial services." <br /> §Via/The description of the site and the project is as follows: The existing subject Parcel consists <br /> `- of 4.52 acres, as illustrated on the attached APN and District Viewer Maps. It is proposed <br /> to create two Homesite Parcels, designated as Parcel "1" of 2.00 acres, and a second Parcel <br /> designated as Parcel "2"of 2.52 acres. <br /> Page -2- <br />
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