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SITE INFORMATION AND CORRESPONDENCE
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PR0543479
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
5/5/2020 9:58:34 AM
Creation date
5/5/2020 9:11:45 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0543479
PE
2960
FACILITY_ID
FA0024679
FACILITY_NAME
CANEPA'S CAR WASH
STREET_NUMBER
6230
STREET_NAME
PACIFIC
STREET_TYPE
AVE
City
STOCKTON
Zip
95204
APN
081360030
CURRENT_STATUS
01
SITE_LOCATION
6230 PACIFIC AVE
P_LOCATION
01
QC Status
Approved
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PUBLIC HEALTH SERVICES <br /> SAN JOAQUIN COUNTY <br /> ENVIRONMENTAL HEALTH DIVISION <br /> Karen Furst, M.D., M.P.H., Health Officer <br /> 304 East Weber Avenue, Third Floor • Stockton, CA 95202 "t � FsRN <br /> 209/468-3420 <br /> REMO CANEPA MAY 0 4 2001 <br /> CANEPAS CAR WASH <br /> 1536 N HUNTER <br /> STOCKTON CA 95204 <br /> RE: CANEPA'S CAR WASH Site Code: 1225 <br /> 6230 PACIFIC AVENUE Icicle ? <br /> ST=TON CA 95204 <br /> San Joaquin County-Public Health Services, Environment alth Division (PASS/EHD) approves the workplan. Sal <br /> BorhgardMmmmzg Wrlllnamllation dated November 17 1999 repared by Condor Earth Technologies (CET) on your <br /> behalf. The installation of three additional monitoring and three cone penetrometertesting (CPT) boreholes, <br /> proposed byCET in a letter dated May 18, 1999, is approved as well. In 1979, groundwater was measured at the site <br /> at a depth of 70 feet below ground surface (bgs). Therefore, PHS/EHD recommends advancing the CPT borings to <br /> at least 100 feet bgs and collecting a grab groundwater sample at depth, in order to define the vertical extent of the <br /> groundwater contamination. Accordingly, the depths, locations, and screen lengths of the monitoring wells should be <br /> based on information collected during the CET investigation. Submit a map of the proposed boring locations and <br /> monitoring well construction to PHS/EHD by May 20, 2001 and implement the proposed work by June 11, 2001. <br /> PHS/EHD agrees to CETs request to use a KABIS sampler to collect multiple groundwater samples at different <br /> depths within the existing monitoring wells, as discussed in a meeting on January 17, 2001. However, PHS/EHD <br /> does not agree that this will constitute definition of the vertical extent of the groundwater contamination. <br /> Groundwater flow direction and gradient have not been determined at the site due to the presence of a groundwater <br /> mound at the vicuuty of the canopy and the carwash. Submit a work plan to PHS/EDD by August 5, 2001 that will <br /> describe the methodology you intend to employ to identifythe source of the groundwater mound. <br /> In accordance with Appmi5k B, Tri-Re imd Bmrd SwffRsan rnJad=forPrtlinimryImztWtiar and Evduatien cf <br /> UnkTuwrl Tanh Sitrs - No Ftwd"AaienRelrratr, a survey of wells within a 2000-foot radius of the site is required <br /> prior to site closure. Submit a survey of wells within a 2000-foot radius of the site along with a map showing the <br /> labeled locations and addresses of the wells, and any known construction details of the wells to PHS/EHD by August <br /> 5, 200, as well. <br /> The soil vapor extraction (SVE) system was shut down by CET on February 6, 2001 in order to complywith the 95% <br /> destruction efficiency as required by the Air Resources Board. PHS/EHD recommends repairing the system to within <br /> the 95% destruction efficiency and restarting the system by June 5, 2001. <br /> Please feel free to contact jeffrey Wong at (209) 468-0335 if you have any questions. <br /> Donna Heran, RENS, Director <br /> Environmental Health Division <br /> Jeffrey Wong , Sr. REHS Dot Lofstrom, R.G. <br /> LOP/Site Mitigation Unit N LOP/Site Mugation, Unit IV <br /> cc: gMZCB Central Valley Region - MartyDaivell <br /> JCondor Earth Technologies - David Wood <br />
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