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87-4340
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4200/4300 - Liquid Waste/Water Well Permits
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87-4340
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Last modified
11/24/2019 10:09:19 PM
Creation date
12/2/2017 1:28:00 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
4200/4300 - Liquid Waste/Water Well Permits
RECORD_ID
87-4340
STREET_NUMBER
502
Direction
E
STREET_NAME
GRANT LINE
STREET_TYPE
RD
City
TRACY
SITE_LOCATION
502 E GRANT LINE RD
RECEIVED_DATE
12/21/1987
P_LOCATION
PACIFIC GAS & ELECTRIC
Supplemental fields
FilePath
\MIGRATIONS\G\GRANT LINE\502\87-4340.PDF
QuestysFileName
87-4340
QuestysRecordID
1790028
QuestysRecordType
12
Tags
EHD - Public
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CALIFOhNIA REGIONAL WATER QUALITY CONTROL BOARD— <br /> CENTRAL VALLEY REGION �-�- <br /> 3443 ROUTIER ROAD l <br /> SACRAMENTO.CA 95827-3098 <br /> 23 October 1987 <br /> ;1 D <br /> OCT 2 8 1987 <br /> Mr. Michael Bennett ENVIROMENTAL HEALTH <br /> Environmental Coordinator FERMIT/SERVICES <br /> Pacific Gas and Electric <br /> 1401 Fulton Street <br /> Fresno, CA 93760 <br /> TRACY SERVICE CENTER REPORT AND PROPOSAL, SAN JOAQUIN COUNTY <br /> We have received and reviewed the subject proposal and report accompanying your <br /> letter of 29 September 1987. Enclosed is a memorandum regarding the proposal . <br /> Two primary issues were raised in your 29 September letter; identification of a <br /> "lead" agency and the need or timing for tank removal . <br /> The underground tank regulations (Title 23, California Administrative Code) <br /> clearly indicate that the local county authority, in this case the San -Joaquin <br /> Local Health District, has primary responsibility for implementing the underground <br /> tank program, but do not prevent the' Regional Boards from taking independent <br /> actions to protect water quality. The regulations also clearly state_ that the <br /> local authority may request technical support from the Regional Boards for water <br /> quality issues involving underground tanks. Accordingly, the San Joaquin Local <br /> Health District is, and will remain, the "lead" agency for underground tank issues <br /> at the site and the Regional Board will continue to supply technical support. The <br /> Regional Board will not, - however, refrain from taking independent enforcement <br /> action if necessary. <br /> Regarding tank removal , our comments 'of 16 June and 22 September requested that PG <br /> and E address both tank removal and mitigation of soil contamination. In our <br /> discussions with the Local Health District, they expressed the desire PGandE <br /> remove the tank and define or remediate contaminated soil at the same time. In <br /> the latest workplan, PG and E proposes to remove the tank, collect soil samples <br /> immediately below the tank, and backfill the excavation. Considering contamina- <br /> tion has already reached ground water this proposal in insufficient. Contaminated <br /> soils should be defined and mitigated as soon as possible, preferably at the same <br /> time as tank removal , to prevent further ground water contamination. <br /> Permits for the proposed work should be obtained through the Local Health <br /> District. Please contact our office at least 24-hours in advance of initiating <br /> work on-site. <br /> If you have any questions regarding the above or the enclosed, please contact me <br /> at (9 ) 61-5742. <br /> 1 7Z <br /> GARY . RE NTS, P.E. <br /> Project Engineer <br /> GARsej <br /> T <br /> Enclosure <br />
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