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COMPLIANCE INFO_2020
Environmental Health - Public
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2200 - Hazardous Waste Program
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PR0514138
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COMPLIANCE INFO_2020
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Last modified
6/7/2021 11:01:42 AM
Creation date
5/18/2020 3:15:28 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
2020
RECORD_ID
PR0514138
PE
2250
FACILITY_ID
FA0010034
FACILITY_NAME
PNP Stockton #80
STREET_NUMBER
3927
Direction
E
STREET_NAME
CLARK
STREET_TYPE
DR
City
STOCKTON
Zip
95215
APN
17917109
CURRENT_STATUS
01
SITE_LOCATION
3927 E CLARK DR
P_LOCATION
99
P_DISTRICT
002
QC Status
Approved
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EHD - Public
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Baker, Lydia [EHD] <br />From: Rosegay, Margaret <margaret.rosegay@pillsburylaw.com> <br />Sent: Tuesday, July 7, 2020 12:29 PM <br />To: Baker, Lydia [EHD]; Kaisch, Celeste [DA]; Stebbins, Johnene <br />Cc: Scott Sloan; Brian Lewallen <br />Subject: Pick -n -Pull -- Additional Document Submittal (Stockton) <br />CAUTION: This email is originated from outside of the organization. Do not click links or open attachments unless you recognize the <br />sender and know the content is safe. <br />Ms. Baker, <br />Pillsbury represents Pick -n -Pull in connection with the going enforcement matter initiated by the San Joaquin County <br />District Attorney's Office and the District Attorneys of several other counties. The documents that are being provided to <br />you via this email were requested in a letter dated May 1, 2020 from Johnene Stebbins, Deputy District Attorney for <br />Santa Clara County, and relate to PNP's main facility in Stockton. These documents are provided via a secure ftp site and <br />include those listed below. Please follow the instructions at the conclusion of this email to access the documents. <br />1) A signed copy of the Return to Compliance certification. <br />2) A letter from McCampbell Analytical Inc. relating to the appropriateness of using EPA Method 200.8. <br />3) A copy of the updated Hazardous Waste Tank Assessment Report (EarthCon, 2019) was provided as Attachment <br />5 to PNP's response to the Amended Inspection Report (Citation #503). EarthCon determined that it was not <br />possible to conduct pressure testing on any of the tanks at the facility and, accordingly, determined that the <br />tanks have integrity and are fit for use through other approved assessment methods. Please refer to Charina <br />Gaspay's letter to you dated January 16, 2020. As you are aware, agreement was never reached as to the <br />integrity of the small poly tank used for customer drop-off of used oil so that tank was ultimately closed, i.e., <br />emptied and disposed of as a non-RCRA hazardous waste in November 2019. The closure report and associated <br />hazardous waste manifest are included on the ftp site. This will also confirm that there are four used antifreeze <br />tanks at the facility (A1 -A4). The reference on page 2 of the October 25, 2019 EarthCon Report to Tanks "Al <br />through A2" is a typographical error. <br />Please note that Information relating to the characterization of oily wastes (reference Citation #202) is being provided to <br />the District Attorney Enforcement Team. <br />URL and Login Credentials: <br />• The following login information will expire automatically after 90 days of inactivity on the account. <br />• With the below credentials, ANYONE can upload/download/delete files and/or add/delete sub -folders, etc. <br />within your specific SFTP site <br />o SUP URL: https://secureftpl.pillsburylaw.com <br />o Username: LSuser-00157 <br />o Password: Ym&+=Wf9y <br />Zip Password: hoKpf8yVjeD*IuLY <br />Thank you, <br />Margaret Rosegay I Partner <br />
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