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SITE INFORMATION AND CORRESPONDENCE
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Last modified
10/3/2019 9:07:45 AM
Creation date
10/3/2019 8:43:43 AM
Metadata
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Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0009056
PE
2960
FACILITY_ID
FA0004059
FACILITY_NAME
LODI DOOR & METAL CO
STREET_NUMBER
1220
STREET_NAME
VICTOR
STREET_TYPE
RD
City
LODI
Zip
95240
CURRENT_STATUS
02
SITE_LOCATION
1220 VICTOR RD
P_LOCATION
02
P_DISTRICT
004
QC Status
Approved
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rCALIFORNIA <br /> LIFORNIAGEORGE DEUKMEJIAN,Governor <br /> REGIONAL WATER QUALITY CONTROL BOARD—L VALLEY REGION <br /> 3443 ROUER ROAD <br /> SACRAMENTO,CA 95827-3098 <br /> 27 March 1990 <br /> Mr. Alan R. Bashor <br /> Dallas Corporation <br /> 6750 LBJ Freeway -- 75240 <br /> P.O. Box 809046 <br /> Dallas, TX 75380-9046 <br /> FINAL CLOSURE PLAN REVIEW FOR DALLAS CORPORATION; DBA OVERHEAD/LORI DOOR COMPANY, SAN <br /> JOAQUIN COUNTY <br /> We reviewed your 30 January 1990 final closure plan for the surface impoundment at <br /> the Overhead/Lodi Door Company (0/LDC) facility, in Lodi . The closure plan appears <br /> to be adequate for the protection of ground water quality. Our comments on the plan <br /> are as follows: <br /> TIME SCHEDULE <br /> The time schedule (pg. 34) states that implementation of the closure plan will <br /> commence the first week of March, 1990. This schedule should be updated. <br /> EXCAVATION <br /> - We assume that there is still water in the impoundment from the winter season, which <br /> must be removed prior to excavation. Where will the water be pumped to and how will <br /> it be disposed? <br /> - The excavation and confirmation sampling plan is acceptable. It should be noted, <br /> however, that the closure plan is inconsistent in the description of the northwest <br /> corner of the impoundment. We do not agree with the conclusion that the <br /> concentrations of nickel in soil boring SB-20 (Table FCP-6) are at naturally <br /> occurring levels. On page 21, increasing nickel concentrations with depth in SB- <br /> 20 are dismissed as simply variations in soil type "since there is no evidence of <br /> a transport mechanism for contamination to reach these lower soils, and nickel <br /> occurs naturally in the native soil . . . " . Conversely, in the description of the <br /> "cemented zone" on page 4, the plan states "Soil investigations indicate that the <br /> Cemented Zone was effective in stopping the vertical migration of waste, with the <br /> exception of the northwest corner of the SI. " (emphasis added) <br /> The "cemented zone" is above the samples in question in boring SB-20 and there is <br /> evidence that waste constituents from the surface impoundment have reached ground <br /> water. Therefore, it cannot be concluded that a transport mechanism for <br /> contaminants to reach these lower soils does not exist. However, we feel that the <br /> soils remaining in the northwest corner after excavation, as proposed in the closure <br /> plan, will not pose a significant threat to ground water quality. Potential for <br /> further migration will be limited by backfilling and placing a cap over the <br /> impoundment. All final levels of nickel and zinc left in place, as determined by <br /> confirmation sampling, are subject to final approval . <br />
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