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.� California Regional Water Quality Control Board <br /> Central Valley Region (a <br /> Robert Schneider,Chair Arnold <br /> Alan C.Lloyd,Ph.D. Schwarzenegger <br /> Agency Secretary Sacramento Main Orrice <br /> 11020 Sun Center Drive#200,Rancho Cordova,California 956706114 Governor <br /> Phone www.4 aterbo •FAX(916)464-4645alley <br /> http://www.weterboards.ca.gov/o=ntralvalley <br /> January 31, 2006 u FF9 - ; 2006 <br /> EWIROhd',JENT HEALTH <br /> Mr. Mark Adams PUiir,'I,R/SERVICES <br /> Lincoln Center Environmental Remediation trust <br /> 137 Park Place <br /> Point Richmond, CA 94801 <br /> REVIEW OFNOVEMBER 30, 2005 LETTER, COMPLIANCE SCHEDULE JUSTIFICATION <br /> FOR CHROMIUM VIAND MERCURY,LINCOLN CENTER, STOCKTON,SAN JOAQUIN <br /> COUNTY <br /> Staff of the Central Valley Regional Water Quality Control Board (CV Regional Board)has reviewed <br /> the Compliance Schedule Justification for Chromium VI (CrVI) and Mercury, Lincoln Center, Stockton <br /> (the "Site"). The letter is dated November 30, 2005 and was received by the CV Regional Board on <br /> December 6, 2005. The trustee of the Lincoln Center Environmental Remediation Trust (the "Trust") <br /> prepared the letter on behalf of the Trust. <br /> The purpose of this letter is to summarize activities to be undertaken for the purpose of achieving <br /> compliance with new effluent limits for CrVI and mercury. Compliance is authorized under Waste <br /> Discharge Requirements Order No. R5-2005-0144, and NPDES Permit No. 0084255 (the "2005 <br /> Order"). Provision E-2 required by December 1, 2005 the submittal of compliance schedule justification <br /> for CrVI and mercury. Paragraph 3 of Section 2.1 of the State Implementation Policy (SIP) required the <br /> following: (a) quantification of CrVI and mercury levels in the effluent; (b) documentation of source <br /> control and/or pollution minimization efforts currently underway or completed; (c) proposed schedule <br /> for additional future measures; and(d)rational for the proposed schedule. <br /> Staff finds that this letter report provides adequate documentation on compliance with Provision E-2 of <br /> the 2005 Order, and with Paragraph 3 of Section 2.1 of the SIP. We have no comments or concerns <br /> regarding the November 30, 2005 letter. The CV Regional Board appreciates your diligence and <br /> completeness in complying with the required provisions. <br /> California Environmental Protection Agency <br /> 0 Recycled Paper <br />