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Page 2 of 4 <br /> Thank you... <br /> Cheers, <br /> Fadi Afa AI-Refaee 11001 Bayhill Dr, Suite 150,San Bruno CA 94066 1 t. +1 888 700 3742 x700 I f. +1 415 692 <br /> 8243 1 frefaee@epiccompliance.com <br /> From: Kasey Foley [EH] [mailto:KFoley@sjcehd.com] <br /> Sent: Tuesday, August 10, 2010 11:39 AM <br /> To: Fadi Afa AI-Refaee <br /> Subject: RE: Gas Station Change of Ownership: Sites under San Joaquin Environmental Health (CUPA) <br /> Oversight <br /> Stacy, have you responded to him that we will accept a return to compliance explaining the progress so far <br /> and the plan for future compliance but that we don't grant"extensions"? Also, we need the RTC to come <br /> from the owner not the consultant and I noticed this email did not copy the owner. <br /> From: Fadi Afa AI-Refaee [mailto:frefaee@epiccompliance.com] <br /> Sent: Friday, August 06, 2010 3:18 PM <br /> To: Kasey Foley [EH]; Stacy Rivera [EH] <br /> Cc: Donna Heran [EH] <br /> Subject: RE: Gas Station Change of Ownership: Sites under San Joaquin Environmental Health <br /> (CUPA) Oversight <br /> Good day Kasey, Stacy, <br /> I'm writing to you about delays related to filing the documentation (HMBP, Monitoring Plan, <br /> Response Plan, History of Logs, etc...)for the sites listed below. <br /> The reasons for the delay are as follows: <br /> 1- We have had problems with retrieving data re: equipment on site from the previous <br /> owner <br /> 2- The new customer/owner filed the BOE Application for the Tanks Storage Account <br /> number about 2 weeks ago. They have not yet received the new account numbers <br /> I have attached the information we already have. I will send the second file for Grant Line <br /> Shell in a second email due to the size of the attachment. <br /> The deadline for the original filing was today. <br /> Safeguarding the security of consumers and maintaining financial responsibility <br /> In the mean time, I understand that the main purpose of filing the paperwork is for <br /> consumer safety and in case of a fire hazard, and to ensure that the financial responsibility, <br /> in case of any incident or occurrence is maintained. I would like to point out that the signed <br /> CFR is attached. Also, please note that we believe that these gas stations have the same <br /> materials as on the prior HMBP on record. Thus, they are effectively the same. I only share <br /> this in case there is an incident which requires a map of the site and the inventory of <br /> hazardous materials on it between now and the time we file the new HMBP. <br /> Need to file <br /> Of course, just the fact that the agencies have prior information does not mean that this is <br /> sufficient. Thus, we will file this as soon as we have the information missing. We are <br /> expecting to receive it in 1 week and expect to file in the week thereafter <br /> 8/10/2010 <br />