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SU0003931
Environmental Health - Public
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EHD Program Facility Records by Street Name
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2600 - Land Use Program
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PA-0400202
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SU0003931
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Last modified
11/19/2024 1:58:50 PM
Creation date
9/8/2019 12:51:06 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2600 - Land Use Program
RECORD_ID
SU0003931
PE
2691
FACILITY_NAME
PA-0400202
STREET_NUMBER
11396
Direction
N
STREET_NAME
STATE ROUTE 99
STREET_TYPE
RD
City
LODI
Zip
95240
APN
05926010
ENTERED_DATE
5/11/2004 12:00:00 AM
SITE_LOCATION
11396 N HWY 99 RD
RECEIVED_DATE
5/10/2004 12:00:00 AM
P_LOCATION
02
P_DISTRICT
004
QC Status
Approved
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SJGOV\sballwahn
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FilePath
\MIGRATIONS\N\HWY 99\11396\PA-0400202\SU0003931\EH PERM.PDF
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EHD - Public
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Ray Borges EH <br /> From: Mike Infurna [EH] <br /> Sent: Wednesday, May 26, 2004 3:58 PM <br /> To: Ray Borges [EH] <br /> Subject: T &T Trucking <br /> Per your request, here are the'facts' concerning this site. <br /> This former UST site has had a documented release and is on the SWRCB list as a "contaminated Underground Storage <br /> Tank Site", of HIGH priority due to >50,000 parts per billion of MtBE in the groundwater and proximity to a drinking water <br /> well (Mr. Tarditi's domestic well). Althought current NOT impacted, the domestic well is considered 'endangered'. <br /> this site has been assigned to SJC-EHD LOP-Unit IV for oversight to investigate and remediate the petroleum impact to <br /> the soil and groundwater. <br /> The site is assigned to Michael Infurna, Senior REHS for review, oversight, and comment. The site/RP is currently eligible, <br /> and receiving, reimbursement funds from the SWRCB Clean Up Fund for costs associated with the requirements to <br /> conduct the site investigation and cleanup. <br /> As of this date, the site is dangerously close to being out of compliance with UST regulations. THe site/responsible party <br /> is required to conduct quarterly monitoring and sampling of the existing monitoring wells (4) and send the reports to EHD. <br /> A combined 2nd &3rd Quarter 2003 Monitoring report was just received (May 12, 2004) at EHD and is considered late. <br /> The first quarter 2004 sampling event was NOT conducted and the consultant stated Mr. Tarditi cancelled continued <br /> sampling events. Quarterly sampling and monitoring is required under CCR,T-23, Div-3, Chapter 16, Art-5, section 2652d <br /> (to include 2653 and 2654). <br /> In addition, a Cone Penetrometer Testing (CPT) investigation was conducted summer 2003 under EHD requirements and <br /> approval but as of today, the required report of findings has NOT been submitted. <br /> The lateral and vertical extents of the petroleum have NOT be delineated nor has the site conducted remedial activities or <br /> completed their required investigation. <br /> Unles the above discrepancies are corrected by July 15, 2004, EHD will issue a"90-day Out of compliance notice." THis <br /> could remove the responsible party from the eligibility list to receive reimbursement_for moneys spent to conduct the <br /> investigation and cleanup. <br /> 1 <br /> l <br />
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