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7 <br />8 <br />9 <br />10 <br />11 <br />12 <br />13 <br />14 <br />15 <br />16 <br />17 <br />18 <br />19 <br />20 <br />21 <br />22 <br />23 <br />24 <br />25 <br />26 <br />27 <br />28 <br />C <br />JOHN D. PHILLIPS <br />District Attorney <br />S.B.N. No. 48474 <br />San Joaquin County <br />By: DAVID J. IREY <br />S.B.N. No. 142864 <br />Deputy District Attorney <br />Environmental Prosecutions Unit <br />Stockton, CA 95202 <br />Phone: (209) 468-2400 <br />Attorneys for Plaintiff <br />• <br />'5vPt:RICp FIuq��D TOCK t0 <br />k <br />pill <br />BY <br />DEPUTY <br />_. <br />SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN JOAQUIN <br />PEOPLE OF THE STATE OF CALIFORNIA, <br />I <br />No. SM188665B <br />I declare upon information and belief - <br />That I am a duly appointed Deputy District Attorney of the County of San Joaquin, State of <br />California, and that I am acting for the plaintiff in the above—entitled matter. <br />That since May of 1988 I have been assigned to the Environmental Prosecutions Unit as both <br />a law clerk and an attorney. As part of that job I handled the above -entitled case in 1995 and 1996. <br />That the above -entitled defendant was, duly convicted of one misdemeanor count of Health <br />and Safety Code Section 25189.5(b), HAZARDOUS WASTE DISPOSAL, however, that plea was <br />to be held in abeyance for three years from April 22, 1996, as long as all conditions listed below <br />were met. <br />That the relevant CONDITIONS OF THE PLEA AGREEMENT WERE AS FOLLOWS: <br />1) That Defendant shall cause to have removed all illegally place asbestos material, <br />which it placed at 5110, and 5150 Mariposa Road, Stockton, California. Additionally, Defendant <br />shall provide consultant's report, addendum, And/or written request for additional time to supply <br />0 <br />