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SITE INFORMATION AND CORRESPONDENCE
Environmental Health - Public
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2900 - Site Mitigation Program
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PR0506438
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
10/31/2019 11:02:14 AM
Creation date
10/31/2019 10:42:40 AM
Metadata
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Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0506438
PE
2960
FACILITY_ID
FA0007424
FACILITY_NAME
TEICHERT INDUSTRIAL LAND
STREET_NUMBER
2025
Direction
E
STREET_NAME
WEBER
STREET_TYPE
AVE
City
STOCKTON
Zip
95202
CURRENT_STATUS
01
SITE_LOCATION
2025 E WEBER AVE
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
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CORRESPONDENCE CHRONOLOGY <br /> 03/07/88 LPC applied for City of Stockton Wastewater Discharge Permit. <br /> 06/??/88 Wastewater Discharge Permit granted with an effective date of 01/01/88. <br /> 06/09/88 Letter to Robert Hamel (Teichert) from Stuart Somach (McDonough, Holland & <br /> Allen) with copy of workplan for 2 wells from Jim Elder (LBME). <br /> 08/17/88 Monitoring well applications (two) from James Elder (LBME Corp.) to Gordon <br /> Boggs (RWQCB) <br /> 09/07/88 Copy to James Elder (LBME Corp.) from Virginia Cahill (MH&A) of drilling <br /> permit applications and insurance info MH&A sent to San Joaquin County Health <br /> District and RWQCB. <br /> 01/18/89 Letter to Jeffrey London (LPC) from Gary Reents (RWQCB) requesting a report <br /> of waste discharge after RWQCB was notified of LPC's practice of discharging <br /> pickle brine to the surface and allowing runoff across the property. <br /> 01/24/89 Letter to Robert Evans (RWQCB) from Michael Strongin (LPC) including copy <br /> of the City of Stockton Wastewater Discharge Permit. Letter states that no brine <br /> is knowingly discharged to the surface, and that it is recycled through the <br /> treatment system before discharge to the sewer. <br /> 03/21/89 Two letters to A. Teichert & Son (Atten. Rob Lindeman) from San Joaquin Local <br /> Health District (SJLHD). <br /> One references 2025 E. Weber Ave. and states that SJLHD has received <br /> a proposal for further assessment and/or remediation, but that SJLHD is <br /> not authorized to enforce assessment and remediation of groundwater. <br /> RWQCB Region 5 must review and approve before any local permits can <br /> be issued. <br /> The other references 103 N. E Street and states that SJLHD has reviewed <br /> the workplan and found it to be inadequate since it did not address the fact <br /> that SJLHD. is not authorized to enforce assessment and remediation of <br /> groundwater. RWQCB Region 5 must review and approve before any <br /> local permits can be issued. RWQCB comments have not been submitted <br /> to their office, and comments dated February 25, 1988 do not appear to <br /> have been addressed in the LBME workplan dated August 11, 1988. <br /> gromdwh6chenksitehist 5 <br />
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