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DAMES & MOORE A PROFESSIONAL L11 UTED PARTNERSHIP <br /> area and was not meant to address other potential areas of concern <br /> at the site. <br /> AM&M's has also expressed concerns that the development of <br /> the remediation plan did not include public participation and that <br /> AFPC has not followed the specific statutory recpiirements for sites <br /> identified in the Hazardous Substance Account Bond Act Expenditure <br /> Plan. The AM&M site is currently on the backl g list and is not <br /> under a consent order from the DHS or RWQCB. It is our <br /> understanding that sites which are named on the list but not <br /> currently under a consent order are not required to satisfy the <br /> public notice requirements set forth in the Health and Safety Code. <br /> AFPC has acted in good faith in responding to the Local Health <br /> District's concerns over the site, and to date, public <br /> participation regarding the remedial action plan has not been <br /> requested by your agency. <br /> AFPC would welcome to opportunity to meet with you and AM&M <br /> to discuss further any concerns over the remedial action proposed <br /> for the Stockton site. Please feel free to contact us at (415) <br /> 896-5858 if you have any questions regarding the contents of this <br /> letter. <br /> Very T my Yours, <br /> DAMES 6 MOORE <br /> David V . Klimberg <br /> Associate <br /> Z.,_, C <br /> Bruce E . Scarbrough <br /> Project Manager <br />