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system effacacy at this site would have to be addressed <br /> prior to system approval. Whether modifications or changes <br /> will be required in the future is unknown at this time but <br /> such actions should not necessarily effect development. <br /> This issue should be discussed with Exxon. Final site <br /> certification as a clean site would occur after remediation <br /> is complete not at the time of system installation. <br /> 4 . This office cannot comment on whether start of construction <br /> would interfere with the clean up process. <br /> 5. Exxon has been identified as the Responsible Party, under <br /> the underground tank Pilot Program. We are currently <br /> awaiting an acknowledgement from Exxon that they will submit <br /> the information required to evaluate the feasibility of this <br /> remediation proposal. <br /> 6. This office cannot comment on who will be responsible for <br /> ultimate clean up of this site. Under the Pilot contract, <br /> the SWRCB will bill the identified responsible party (in <br /> this case Exxon) for costs of oversight by the Environmental <br /> Health Division. Any actual enforcement action regarding <br /> clean up activities would be initiated by the CVRWQCB. <br /> Questions regarding the CVRWQCB enforcement policies should <br /> be addressed to that agency. <br /> We hope that this information will be helpful to you. If you <br /> have any questions, contact Diane Hinson, REHS Supervisor or me <br /> at (209) 468-3420. <br /> Jogi Khanna, M.D. , MPH <br /> Heait ficer <br /> eaurie� CC t lla, Program Manager <br /> nvironmental Health Division <br /> RV/LC:ma <br /> CC: Terry Brazell, SWRCB <br /> Gordon Boggs, RWQCB <br /> William Crooks, RWQCB <br /> J. Kevin Hunter, Exxon <br />