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Yamada Brothers <br /> Page 2 <br /> A domestic well is located less than 200 feet away from the former UST location. <br /> The depth to water at this site is seven feet below grade. In a telephone <br /> conversation with AGE staff on April 2, 1999, PHS/EHD was informed that the <br /> UST had most likely been sitting in groundwater in the past. <br /> Submit a work plan that will investigate the groundwater contamination by <br /> installation of monitoring wells so that groundwater samples can be obtained <br /> from a constant source by October 15, 1999. <br /> According to the definition of UST as defined by Section 25281(x)(1) of the <br /> California Health and Safety Code (H&SC), an UST does not include a tank or <br /> combination of manifolded tanks with a combined capacity of 1, 100 gallons or <br /> less which is located on a farm and which stores motor vehicle fuel used <br /> primarily for agricultural purposes and not for resale_ According to California <br /> Petroleum Underground Storage Tank Cleanup Fund (Fund): The tank must be <br /> a petroleum UST as defined in section 25289(x) of the H&SC and one for which <br /> a permit is required pursuant to section 25284 of the H&SC. Since the two UST <br /> in questions were 10,000 gallons incapacity and therefore greater than 1 ,100 <br /> gallons, you should file a claim with the Fund for reimbursement of corrective <br /> action costs. PHSIEHD recommends applying to the Fund as soon as possible, <br /> if you have not already. <br /> If you have any questions, please feel free to contact Jeffrey Wong at (209) 468- <br /> 0335. <br /> Donna Heran, REHS, Director <br /> Environmental Health Division <br /> effrey Wong , REHS Margarei�Lagorio, REHS <br /> LOP/Site Mitigation Unit IV Supervisor <br /> c: RWQCB, Central Valley Region — Mark List <br /> C' Advanced GeoEnvironmentai — Kevin McKibben <br />