Laserfiche WebLink
Mr. Mike Owens � - 2 - <br /> • 2 March 2001 <br /> abandonment of wells that are"cross-screened" should be submitted in writing to the Regional <br /> Board by 30 March 2001. Abandoned wells in locations that are optimum for monitoring <br /> should also be replaced with a monitoring well that is constructed to monitor single flow zones. <br /> Well abandonment and replacement must comply with applicable state and county regulations. <br /> In addition to the monitoring in compliance with the WDRs,Nestle has monitored select wells on Fox <br /> River property and reported volatile organic compounds in wells M-11-C,M-20-D, TH-9 and TH-10. <br /> Well M-11-C is located along the western Fox River property boundary and well TH-9 is within the <br /> southwest quadrant of the property. Both of these wells had reported concentrations of vinyl chloride, <br /> 1,1-dichloroethylene (DCE), cis-1,2-DCE, trans-1,2-DCE, and trichloroethylene in excess of applicable <br /> water quality goals. <br /> If you have any questions or comments, please contact me at (916) 255-3137. <br /> G�/. 0/t,4,7 �l <br /> WENDY W. ARANO <br /> Associate Engineering Geologist <br /> Attachments <br /> cc. Mr. Marcus Pierce, Central Valley Regional Water Quality Control Board, Sacramento <br /> Ms. Alison Youngblood, San Joaquin County Environmental Health Division, Stockton <br /> Mr. David Kirk, Lawrence and Associates, Redding <br />