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2900 - Site Mitigation Program
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PR0523822
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SITE INFORMATION AND CORRESPONDENCE
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Last modified
6/30/2020 2:50:23 PM
Creation date
6/30/2020 2:18:23 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
RECORD_ID
PR0523822
PE
2965
FACILITY_ID
FA0016043
FACILITY_NAME
WOODBRIDGE WINERY/ ROBERT MONDAVI
STREET_NUMBER
5950
Direction
E
STREET_NAME
WOODBRIDGE
STREET_TYPE
RD
City
ACAMPO
Zip
95258
APN
01709058
CURRENT_STATUS
01
SITE_LOCATION
5950 E WOODBRIDGE RD
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
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` v California Wgional Water QualitAWontrol Board - <br /> Central Valley Region <br /> Terry Tamminen Robert Schneider, Chair <br /> Secretaryfor Arnold Schemer gger <br /> Environmental 3443 Routier Road,Suite 0 Sacramento, 55-3 California 95827-3003 Governor <br /> (916)255-3000•Fax(916)255-3015 <br /> Protection http://w .sw cb.ca.gov/mgcb5 <br /> Jim Crandell JUN 2 4 2004 22 June 2004 <br /> Robert Mondavi Woodbridge Winery ENVIRONMENT HEALTH <br /> P.O. Box 1260 PERMIT/SERVICES <br /> Woodbridge, CA 95258 <br /> DRAFT CLEANUP AND ABATEMENT ORDER,ROBERT MONDAVI WOODBRIDGE <br /> WINERY, SAN JOAQUIN COUNTY <br /> Regional Board staff has completed a review of the Preliminary Groundwater Evaluation <br /> Report, Woodbridge Winery; submitted 16 March 2004 on behalf of the Robert Mondavi <br /> Corporation by Kennedy/Jenks Consultants. The report concludes that there appears to be a <br /> correlation between the area where winery process wastewater is applied and elevated levels of <br /> constituents of concern in the groundwater downgradient of that area. The report also states that <br /> more information and further investigation is necessary in order to fully evaluate current <br /> conditions and to plan necessary improvements. The report provides a conceptual plan for <br /> conducting the necessary additional data collection and analysis, and preparation of a wastewater <br /> treatment system and management improvement plan. <br /> In general, staff concur with the report conclusions and with the proposed conceptual plan. In <br /> order to ensure implementation of the plan, it is appropriate to issue a Cleanup and Abatement <br /> Order(CAO). A CAO is warranted because activities at the facility have caused waste to be <br /> discharged in a manner that has created or threatens to create a condition of pollution, and is <br /> necessary in order to ensure a timely and comprehensive response to the existing condition. <br /> Staff has prepared a draft CAO, which has incorporated many of the recommendations contained <br /> in the Kennedy/Jenks report. The draft CAO is enclosed for your review and comment. Please <br /> review the order and provide written comments by 22 July 2004. <br /> If you have any questions regarding the draft CAO or wish to discuss the matter further,please <br /> contact Jim Martin at (916) 464-4685. If you have any questions regarding any other issues <br /> related to your Waste Discharge Requirements, please contact Tim O'Brien at <br /> (9161)�4664�4616. <br /> vv " <br /> WENDY WYELS, Chief <br /> Waste Discharge to Land Unit <br /> cc: Mike Huggins, San Joaquin County Environmental Health Department, Stockton <br /> Robert S Chrobak, Kennedy/Jenks Consultants, San Francisco <br /> California Environmental Protection Agency <br /> ca Recycled Paper <br />
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