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2900 - Site Mitigation Program
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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
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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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- � Page 1 of 1 <br /> Vicki McCartney [EH] <br /> From : Art Deicke [adeicke@advgeoenv.com] <br /> Sent: Tuesday, October 16, 2012 10:24 AM <br /> To: Vicki McCartney [EH] <br /> Cc: Bob Marty; Nuel Henderson [EH] <br /> Subject: Response to SJCEHD Letter Dated 10 October 2012 <br /> Ms, McCartney: <br /> We appreciate that the requirements for the meeting have been clarified in your 10 October 2012 letter. <br /> We can address each of these concerns as follows: <br /> 1. We understand there have been delays in meeting some directives. As you are aware, a second <br /> release has occurred at the site and that SJCEHD issued a UAR. We have submitted a new claim <br /> to the USTCF for the second release. Until then , funds are extremely limited for site investigation, <br /> assessment, feasibility studies and development of an updated Site Conceptual Model . <br /> 2. A feasibility study should not only be concerned with on-site impacted groundwater, but off-site <br /> impacted groundwater as well. If no remediation will be required that will affect the off-site plume, <br /> then please state this and we can then submit the feasibility study for primary and secondary <br /> source areas only. There should then be no further requirement for off-site assessment which has <br /> been required by SJCEHD in their letter dated 08 December 2008. <br /> 3. If acceptable, we will schedule a monitoring event for wells MW-1 through MW-4 and SV-4 this <br /> quarter as it appears we did not sample last quarter. We request that SJCEHD further reduce <br /> sampling requirements to annual until the USTCF claim is approved . <br /> 4. As previously mentioned, SJCEHD has issued a LIAR for the second release: it occurred and <br /> there is no further claim regarding this. As also stated, there are limited funds available until the <br /> USTCF claim is approved. We request SJCEHD's assistance in reducing costs to the <br /> Responsible Party until funding is available, including costly in-person meetings. <br /> 5. A revised work plan was submitted to SJCEHD last week that included the maximum boring <br /> depth and the specific chemical analysis proposed . <br /> The Responsible Party represented by Ms. Marion Canepa, Mr. Jeffrey Canepa, Mr. Paul Canepa and <br /> Ms. Darlene Canepa and consultants (Robert Marty, William Little and myself) will not all be available on <br /> a day in October or November 2012 for the requested meeting. If absolutely required, we would like to try <br /> to schedule the meeting after the holidays in January 2013. <br /> Sincerely, <br /> Arthur Deicke <br /> Advanced GeoEnvironmental , Inc. <br /> Stockton • Santa Rosa • Monterey • Brea • Spokane • Reno • Dallas <br /> 1 -800-511 -9300 <br /> adeickeRadvgeoenv. com <br /> www. advqeoenv. com <br /> This email message is for the sole use of the intended recipient(s) and may contain confidential and <br /> privileged information . Any unauthorized review, use, disclosure or distribution of this email/fax is <br /> prohibited . If you are not the intended recipient, please contact the sender by email/fax and destroy all <br /> paper and electronic copies of the original message. <br /> 10/16/2012 <br />
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