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SITE INFORMATION AND CORRESPONDENCE
Environmental Health - Public
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3500 - Local Oversight Program
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PR0545512
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
3/11/2020 5:10:41 AM
Creation date
3/10/2020 1:37:40 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
3500 - Local Oversight Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0545512
PE
3526
FACILITY_ID
FA0003679
FACILITY_NAME
CALIFORNIA STOP*
STREET_NUMBER
2224
STREET_NAME
MANTHEY
STREET_TYPE
RD
City
STOCKTON
Zip
95206
APN
16313007
CURRENT_STATUS
02
SITE_LOCATION
2224 MANTHEY RD
P_LOCATION
01
P_DISTRICT
003
QC Status
Approved
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EHD - Public
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Gabriel Gonzalez [EH] <br /> From: Nuel Henderson [EH] <br /> Sent: Monday, June 15, 2015 3:17 PM <br /> To: Gabriel Gonzalez [EH] <br /> Subject: RE: 2224 Manthey Rd. - Geotracker documents <br /> Gabe, I think what is needed includes: <br /> 1) The boring log for VW-4; a written report only if something unusual and pertinent to interpreting any data from the <br /> well was noted during its installation. <br /> 2) All the data and any significant observations noted during the ozone system installation and limited run —a <br /> detailed technical analysis or report is not needed. <br /> 3) Estimated XY data for properly locating the unsurveyed wells except if the wells plot properly on the GeoTracker <br /> maps, which is the point for future workers— if the CUF reimbursed for these wells, the people of California have <br /> a right to the data; looking at the required data submittals for GeoTracker, locational data is required for <br /> permanent sampling points used for more than 30 days—this would include MW-9, MW-10 and MW-11. If no data <br /> was collected from VW-1 through VW-4, OZ-1 and OZ-2, I think an updated site map with their locations marked <br /> would be sufficient. I also checked the surveying requirements and there is an exception for licensed geologist to <br /> provide survey data. To do this for the monitoring wells and others if needed, I would merely interpolate or <br /> extrapolate from known surveyed well locations. <br /> 4) The requests for a residual mass estimate, time to achieve WQOs, etc. was to satisfy CVRWQCB closure <br /> requirements—and they will be closing the case; handle with this in mind. <br /> 5) Tim is correct that how the site meets the LTCP checklist is moot as that has been determined by the SWRCB <br /> and concurred with by the EHD. <br /> Nuel <br /> From: Gabriel Gonzalez [EH] <br /> Sent: Monday, June 15, 2015 11:29 AM <br /> To: Nuel Henderson [EH] <br /> Subject: FW: 2224 Manthey Rd. - Geotracker documents <br /> Hi Nuel, <br /> Please see my email and Tim's responses below. From the list I provided in my email below, what submittals <br /> would be adequate to close the site? <br /> Thank you, <br /> Gabe <br /> From: Tim Cuellar [mailto:tcuellar@advgeoenv.com] <br /> Sent: Monday, June 15, 2015 11:19 AM <br /> To: Gabriel Gonzalez [EH] <br /> Subject: RE: 2224 Manthey Rd. - Geotracker documents <br /> I stand corrected on install of VW-4. Soil samples were collected at 15' and 20' on 06/26/13. <br /> Thanks-Tim <br /> From: Tim Cuellar <br /> Sent: Monday, June 15, 2015 11:10 AM <br /> To: 'Gabriel Gonzalez [EH1' <br />
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