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SITE INFORMATION AND CORRESPONDENCE
Environmental Health - Public
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2900 - Site Mitigation Program
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PR0527031
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
2/28/2020 10:51:19 AM
Creation date
2/28/2020 8:36:25 AM
Metadata
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Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0527031
PE
2957
FACILITY_ID
FA0018318
FACILITY_NAME
FORMER COLUMBO / TOSCANA BAKERY
STREET_NUMBER
1444
Direction
S
STREET_NAME
LINCOLN
STREET_TYPE
ST
City
STOCKTON
Zip
95206
APN
16503005
CURRENT_STATUS
01
SITE_LOCATION
1444 S LINCOLN ST
P_LOCATION
99
P_DISTRICT
001
QC Status
Approved
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Former Columbo/Toscana Be` y - 3 - 23 December 2008 <br /> 1444 S. Lincoln St., Stockton <br /> since October 2006 (441 W. Charter Way), 2) currently installing a full scale SVE/AS <br /> system after completion of a pilot study (1426 S. Lincoln St.), and 3) have a <br /> scheduled 2009 pilot study comparison of AS versus BioS (515 W. Charter Way)). <br /> Since the AS and BioS technologies can use the same type of air injection wells and <br /> equipment, I strongly suggest that you continue to review the Geotracker monitoring <br /> and remediation reports available for these three sites. A workplan for a pilot study <br /> of the Report recommended remedial option (BioS), or another highly rated <br /> technology, is due no later than 1 April 2009. <br /> 2. The Email stated "PSC prefers to implement the Work Plan after the plume is better <br /> defined...", although the Report shows the results of extensive investigations in <br /> 2007 and 2008. The Email statement that offsite dissolved sources may be a <br /> significant contribution to vapor intrusion threats, contradicts the Report conclusion <br /> that the majority of soil contamination related to your site release is now submerged <br /> below the water table, due to the ten foot rise in groundwater since 1997. <br /> Regardless of these statements, the evaluation of vapor intrusion is a matter of <br /> human health that should not be delayed for one year. The SVI data are necessary <br /> and appropriate to determine if the site occupants are at risk from vapor intrusion <br /> potentially emanating from the site USTs source area into the building. The SVI <br /> Report for your site is due no later than 1 April 2009. <br /> 3. Current requests to further delay all investigation and remediation until Sara Lee <br /> receives a SWRCB CPA LOC are not acceptable. However, if Sara Lee provides <br /> written documentation showing a true fiscal hardship that most probably will result in <br /> an inability to meet the required deadlines, then Regional Board staff will consider <br /> reasonable requests for future extensions. <br /> Please secure all necessary local drilling permits prior to conducting the SVI, and provide the <br /> San Joaquin County Environmental Health Department and myself at least three working days <br /> notice prior to initiating the fieldwork. If you have any questions, you may call me at (916) 464- <br /> 4615 or email me at jbarton@@w�waterboards.ca.gov. <br /> /James L. L. Barton, P.G. <br /> Engineering Geologist <br /> cc: Ms. Jennifer Jordan / Ms. Judy Reid, SWRCB UST Cleanup Fund, Sacramento <br /> Ms. Margaret Lagorio, San Joaquin County Environmental Health Department, Stockton <br /> Mr. Edward Overton, P.O. Box 417, French Camp 95231 <br /> Mr. Paul Anderson, PSC Environmental Services, 210 W. Sand Bank Rd., Columbia, IL <br /> 62236 <br />
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