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•r q <br /> April 29, 1988 <br /> PW 88-4924.03 Harding LawSongasoelmt®s <br /> Hr. Hal Miller <br /> The Southland Corporation <br /> Page 3 <br /> quate and could delay approval of a final <br /> and acceptance of final remediation.and scheme <br /> that FILA should Southland concluded <br /> 1 the interim rl perform an additional investigation to meet <br /> quirements of the CVRWQCB. <br /> REQUIF.EMENTS {3c <br /> THE CVR[+1QCB <br /> In a memo dated March 24, 1987, <br /> three reports be theRWQCB designated that <br /> 4 clean-up of leakspfromCud during the identification and <br /> Ports (presented in Appendix A) include These re- <br /> Report, Problem Assessment Report, and Fin <br /> Plan. These <br /> Action <br /> r Hg's Phase II and Phase III_ documentsprovide much of the <br /> information re <br /> ! <br /> }� <br /> quired in the first two reports. <br /> 4 have not been addressed are listed below: Items that <br /> y <br /> s La out of all piping systems <br /> LocatioYt of nearb <br /> Utility lines y septic tanks, and underground` <br /> public <br /> Figures delineating � - <br /> horizontal and vertical extent of <br /> Plume <br /> Depth .to first and second. <br /> . ground water <br /> F Location of wells; buildings or utilities o � <br /> Potentially threatened f fected or <br /> x" Extent of soil and <br /> t w . <br /> "zero line" ground-water contamination, the <br /> Depth and extent of floating product <br /> fR, aetai <br /> led:feasibility 'study <br /> To: address all of these items, we have Prepared <br /> z' services that includes seven `casks. our scopeaf seope of <br /> is a reasonable, xvicas t <br /> the.CVRWCFo. estimate of the effort required to satisfy <br /> .. <br /> j <br /> f <br />