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SITE INFORMATION AND CORRESPONDENCE
Environmental Health - Public
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WALNUT GROVE
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2900 - Site Mitigation Program
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PR0506456
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
6/22/2020 7:56:02 AM
Creation date
6/22/2020 7:47:01 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0506456
PE
2950
FACILITY_ID
FA0007437
FACILITY_NAME
M & K GAS STATION
STREET_NUMBER
8960
Direction
W
STREET_NAME
WALNUT GROVE
STREET_TYPE
RD
City
THORNTON
Zip
95686
APN
00115029
CURRENT_STATUS
02
SITE_LOCATION
8960 W WALNUT GROVE RD
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
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Douglas Manser -2- July 16, 1999 <br /> Article 11, Chapter 16, Division 3, Title 23,California Code of Regulations. Article 11 categorized the <br /> corrective action process into phases. In addition, Article 11 requires the responsible party to submit an <br /> investigative workplan/Corrective Action Plan (CAP)before performing any work. This phasing :I <br /> process and the workplan/CAP requirements were intended to: <br /> 1. help the responsible party undertake the necessary corrective action in a cost-effective, efficient and ; <br /> timely manner; <br /> '3 <br /> 2. enable the regulatory agency to review and approve the proposed cost-effective corrective action <br /> alternative before any corrective action work was performed; and <br /> 3. ensure the Fund will only reimburse the most cost-effective corrective action alternative required by <br /> -.—the regulatory agency to achieve the minimum cleanup necessary to protect human health, safety and....�� _ <br /> the environment. <br /> In some limited situations interim cleanup will be necessary to mitigate a demonstrated immediate II <br /> hazard to public health, or the environment. Program regulations allow the responsible party to <br /> undertake interim remedial action after: (1)notifying the regulatory agency of the proposed action, and; I! <br /> (2)complying with any requirements that the regulatory agency may set. Interim remedial action should <br /> only be proposed when necessary to mitigate an immediate demonstrated hazard.Implementing interim <br /> remedial action does not eliminate the requirement for a CAP and an evaluation of the most cost- <br /> effective <br /> osteffective corrective action alternative. <br /> H <br /> Three bids and Cost Preapproval: Only corrective action costs required by the regulatory agency to <br /> protect human health, safety and the environment can be claimed for reimbursement. You must comply <br /> with all regulatory agency time schedules and requirements and you must obtain three bids for any <br /> required corrective action. Unless waived in writing,you are required to obtain preapproval of costs for i <br /> all future corrective action work. If you do not obtain three bids and cost preapproval, reimbursement <br /> is not assured and costs may be rejected as ineligible. <br /> If you have any questions,please contact me at(916)227-4411. <br /> Sincerely, . <br /> i <br /> Sandy Gill <br /> Claims Review Unit <br /> Underground Storage Tank Cleanup Fund <br /> cc: Mr. Gordon Boggs Ms. Margaret Lagorio <br /> RWQCB, Reg. 5 - Sacramento San Joaquin County EHD <br /> 3443 Routier Road P.O. Box 2009 <br /> Sacramento, CA 95827-3098 Stockton, CA 95201 <br /> i <br /> California Environmental Protection Agency <br /> ?a Recycled Paper <br />
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