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California Regional Water Quality Control Board <br /> l\- Central Valley Region <br /> v ) <br /> Katherine Hart, Chair �„�,,' <br /> Linda S. Adams 11020 Sun Center Drive#200, Rancho Cordova, California 95670-6114 Edmund G.Brown Jr <br /> Acting Secretary for (916)464-3291 •FAX(916)464-4645 Governor <br /> Environmental http://www.waterboards.ca.gov/centralvalley <br /> Protection <br /> 20 J`fEIVED <br /> Mr. Steve Osborn uN 21 2011 <br /> Kinder Morgan Energy Partners <br /> 1100 Town& Count Road ENVIRONMENTAL HEALTH <br /> Country PERMIT/SERVICES <br /> Orange, CA 92868 <br /> RESPONSE TO COMMENTS ON ANNUAL REPORT, MEETING SUMMARY, AND <br /> WELL INSTALLATION, KINDER MORGAN ENERGY PARTNERS, L.P, 2947 NAVY <br /> DRIVE, STOCKTON, SAN JOAQUIN COUNTY <br /> California Regional Water Quality Control Board (Central Valley Water Board) staff <br /> reviewed the following reports submitted by ARCADIS U.S., Inc (Arcadis) on behalf of <br /> SFPP, L.P., operating partnership of Kinder Morgan Energy Partners (KMEP) for the <br /> KMEP terminal at 2947 Navy Drive in Stockton (Site). <br /> 7 April 2011 Response to Comments on the Combined Semiannual and Annual <br /> 2010 Groundwater Monitoring Report (Comment Letter) <br /> 26 May 2011 Meeting Summary Regarding the Response to Comments on the <br /> Combined Semiannual and Annual 2010 Groundwater Monitoring Report <br /> (Meeting Summary) <br /> 10 February 2011 Monitoring Well Installation Report (Well Installation Report) <br /> The Comment Letter responds to the 22 February 2011 Central Valley Water Board <br /> staff letter and requested a meeting. The Meeting Summary discusses the meeting on <br /> 11 May 2011 between Board Staff, KMEP, and Arcadis. In December 2010, KMEP <br /> installed monitoring wells SP/M-9B and SP/M-9C and these activities are summarized <br /> in the Well Installation Report. <br /> Our comments are: <br /> 1. The Comment Letter clarified that KMEP does collect electrical conductivity (EC), <br /> dissolved oxygen (DO), and oxygen reduction potential (ORP) data to evaluate <br /> the biodegradation potential at the Site. The Comment Letter stated that the EC, <br /> ORP, and DO data generally correlate with the other monitored natural <br /> attenuation (MNA) parameters. KMEP needs to tabulate the EC, ORP, and DO <br /> data and include it in future monitoring reports. . <br /> 2. Central Valley Water Board staff previously requested KMEP include time <br /> estimates for benzene and total petroleum hydrocarbons as gasoline (TPHg) to <br /> reach water quality objectives (WQOs). .Benze.ne has not been detected above <br /> California Environmental Protection Agency <br /> CaRecycled Paper <br />