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Ken Gillies Page 2 <br /> The interim workplan requested in the August 1, 1995 letter should characterize the <br /> residual soil and groundwater contamination. If the residual contamination can be <br /> adequately characterized and modeled to demonstrate this site to be low risk, then <br /> the possibility that this site may be closed with the current level of soil and <br /> groundwater contamination may be considered. Both soil and groundwater <br /> contamination may be characterized using pushpoint technology. <br /> To remain in compliance with Article 11 of the CCR the SWRCB and PHS/EHD <br /> directives, a workplan for further assessment of soil and groundwater contamination <br /> present at this site, shall be implemented by February 16, 1996. Failure to meet this <br /> compliance date will result in a non compliance status for your site and may <br /> jeopardize your eligibility for reimbursement by the Petroleum Underground Storage <br /> Tank Cleanup Fund. <br /> For further information, please contact Steven Sasson at (209) 468-3459. <br /> Donna Heran, REHS, Director <br /> Environmental Health Division <br /> Steven Sasson, Senior REHS Diane M. Hinson, REHS <br /> Site Mitigation Unit Supervisor <br /> SS <br /> cc: CVRWQCB - Elizabeth Thayer <br /> SWRCB - Annabel Mackey <br /> Upgradient Environmental Consultants - Vic Chervin <br />