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2900 - Site Mitigation Program
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PR0545269
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Last modified
2/20/2020 5:52:09 PM
Creation date
2/20/2020 4:31:46 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
COMPLIANCE INFO
RECORD_ID
PR0545269
PE
2959
FACILITY_ID
FA0025740
FACILITY_NAME
SOUTHERN PACIFIC
STREET_NUMBER
7900
STREET_NAME
HARLAN
STREET_TYPE
RD
City
FRENCH CAMP
Zip
95231
CURRENT_STATUS
02
SITE_LOCATION
7900 HARLAN RD
QC Status
Approved
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EHD - Public
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ATTACHMENT 1 <br /> STATE OF CALIFORNIA—HEALTH AND WELFARE AGGEORGE DEUKMEJIAN, Governor <br /> DEPARTMENT OF HEALTH SERVICES <br /> •;- <br /> 714/744 P STREET ;- <br /> SACRAMENTO, CA 95814 <br /> (916) 324-2434 March 16 , 1989 <br /> j. r _.. 77.- = S>�C <br /> Mike Cyrocki <br /> Environmental Services Division <br /> Kleinfelder <br /> 9795 Business Park Drive, Suite C <br /> Sacramento, CA 95827 <br /> Dear Mr. Cyrocki: <br /> Thank you for your letter regarding the Southern Pacific Railroad <br /> (Parcels C and D) property (SPR) . We have reviewed "Southern <br /> Pacific Railroad Parcels C and D, Work Plan for Health Risk <br /> Assessment, Squires Road, Lathrop, California" dated <br /> November 16, 1988 and provide the following comments: <br /> Section 1 <br /> pg. 1, para. 3 . Please identify the cause for "secondary" public <br /> health concern regarding the nearby Segura Trucking Company. <br /> pg. 1, para. 4 . This statement is erroneous. To date, the <br /> Department of Health Services (DHS) has not received a border <br /> zone request for the SPR property. Further review of the health <br /> risk assessment cannot proceed without this letter. <br /> It is implied that an objective of this work plan is to determine <br /> whether potential contamination from the Segura Trucking Company <br /> represents a potential health threat to future residents of the <br /> SPR property. This objective should be clearly defined in this <br /> section. <br /> Section 2 . 4 <br /> All toxic compounds likely to be contained in the disposal area <br /> should be identified and discussed. The possibility of migration <br /> of other fuel components via ground water should also be <br /> addressed. While monitoring soil gas for benzene is planned, <br /> Kleinfelder should be made aware that further sampling and <br /> analyses may be necessary, should the data so indicate. <br /> Kleinfelder should closely monitor the progress of the San <br /> Joaquin Local Health District's site assessment, and should <br /> inform DHS of the outcome of this assessment in a timely manner. <br /> Section 5. 3 <br /> For a compound with no published DHS Toxic Substances Control <br /> Division Applied Action Level, U.S. Environmental Protection <br />
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