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SITE INFORMATION AND CORRESPONDENCE_FILE 1
Environmental Health - Public
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SITE INFORMATION AND CORRESPONDENCE_FILE 1
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Last modified
3/6/2020 4:15:52 PM
Creation date
3/6/2020 1:30:11 PM
Metadata
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Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
FileName_PostFix
FILE 1
RECORD_ID
PR0506186
PE
2950
FACILITY_ID
FA0007258
FACILITY_NAME
RIPON SHELL
STREET_NUMBER
341
Direction
E
STREET_NAME
MAIN
STREET_TYPE
ST
City
RIPON
Zip
95366
APN
26114007
CURRENT_STATUS
01
SITE_LOCATION
341 E MAIN ST
P_LOCATION
99
P_DISTRICT
005
QC Status
Approved
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Karen Petryna <br /> i <br /> Equiva Services,LLC <br /> Page 4 <br /> I <br /> Action item: Harlin Knoll to send letter to Shell stating that horizontal andvertical extent of <br /> contamination must be defined. <br /> Completed: June 22, 2001. <br /> 4445 N Pershing <br /> Contamination is not currently evident in the groundwater at this site. However,the well screens <br /> for monitoring wells MW-1,MW-2 and MW-3 are currently submerged. The screen lengths are <br /> no known; therefore the significance of the submerged screens is also unknown. Additionally,a <br /> concentration of petroleum hydrocarbons has been detected in groundwater samples from Exxon <br /> which is adjacent to the Shell property. It is not known at this time if the <br /> well MW 8 rty <br /> J P P <br /> contamination is coming from Exxon or Shell. Because of this concern,the work plan that was <br /> previously submitted by Cambria is no longer viable. Therefore, the workplan must be modified <br /> to include a plan for determining the source of the contamination. The new work plan should <br /> consider the screen intervals of Shell's current monitoring wells and Exxon's MW-8. In addition, <br /> Harlin Knoll requested that Cambria should include a summary,which includes all soil analytical <br /> result for samples collected during UST removal and MW installation, with the work plan. <br /> Action item: Cambria to submit a new workplan.to the County. <br /> 3725 Tracy Boulevard <br /> Harlan Knoll has approved the workplan. A recent increase in concentration of TPH as gasoline, I <br /> as well as benzene,toluene, ethylbenzene and xylenes, suggests a possible new release. A <br /> monitoring well should be placed in the street next to the property in order to evaluate this <br /> possibility,but the City of Tracy is reluctant to issue the encroachment permit. <br /> Action item: Equiva/Cambria to provide a City of Tracy contact to Harlan Knoll so that he can <br /> call the City of Tracy with a request to allow the installation of the monitoring well in the street. <br /> i <br /> 420 W Kettleman Lane <br /> There is a MtBE soil problem that needs to be remediated, and groundwater monitoring needs to <br /> continue to confirm or disprove possible methanol/ethanol contamination. Soil vapor extraction <br /> is a potential solution to the soil problem. Cambria will be submitting report to the County and <br /> RWQCB July 29 that includes a the results of the installation of five soil borings, CPT borings <br /> and the installation of monitoring wells MW-6 and MW-10. After the report has been submitted, <br /> Cambria will submit a soil vapor extraction(SVE)work plan. <br /> Action item: Cambria to submit investigation report and SVE work <br /> 620 Charter Way <br /> Additional investigation is required to define the lateral and vertical extent of groundwater <br /> contamination in the 50-to 80-foot depth. Cambria suggested installing a monitoring well in the <br /> adjacent Best Western parking lot but anticipates problems with access agreements. The County <br /> will send a letter to Shell directing them to submit a revised workplan that defines the extent of <br /> groundwater contamination to the northeast. <br /> 1 <br /> 1 <br /> i <br /> 1 <br />
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