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Mr. Scott Hooton -2 - 11 May 2001 <br /> Your comments did not request destruction of any site monitoring wells. It is premature to <br /> request modifications to the MRP since it was issued only six weeks ago. <br /> 2. We have not received the first quarter groundwater monitoring report,which was due by <br /> 30 April 2001. This is a violation of the MRP,which is an enforceable Board Order. <br /> Information provided in the Addendum presents groundwater data collected 17 January 2001, <br /> indicating that the sampling occurred. The first quarter groundwater monitoring report shall be <br /> submitted forthwith. <br /> As stated above, our 28 March 2001 letter requested a work plan and a schedule to implement proposed <br /> work due by 20 April 2001. Furthermore, the annual groundwater monitoring report was required in the <br /> MRP by 30 January 2001. MRPs are information requirements under California Water Code Section <br /> 13267, are enforceable, and can result in administrative civil liability of up to $1,000 per day if adequate <br /> information is not received in a timely manner. The annual groundwater monitoring report is now more <br /> than 90 days overdue and should be submitted forthwith. By 23 May 2001, a work plan as requested in <br /> the Board staff's 28 March 2001 letter is required. We encourage all the parties involved to come to an <br /> agreement to comply with our request. Failure to comply may result in our recommendation for an <br /> enforcement action. If you have any questions, you may contact Devra Lewis at(916) 255-3119 or <br /> lewisd(c�rb5 s.swrcb.ca.gov. <br /> WENDY COHEN <br /> Chief, Site Cleanup Unit <br /> cc: Ms. Margaret Lagorio, San Joaquin County Public Health Services, Stockton <br /> Mr. Jeff Goold, Equilon Enterprises, LLC, Seattle <br /> Mr. Khaled Rahman, Cambria Environmental Technology, Inc., Oakland <br />