Laserfiche WebLink
California eioal Water Quality otrol oar <br /> e� <br /> Central Valley Region <br /> y�tironyi�'" <br /> Robert Schneider,Chair <br /> Terry Tamminen Arnold Schwarzenegger <br /> Secretary for Sacramento Main Office Governor <br /> Environmental Internet Address: http://www.swrcb.ca.gov/rwgcb5 <br /> Protection 11020 Sun Center Drive#200 Rancho Cordova,CA 95670-6114 <br /> Phone(916)464-3291 <br /> 17 June 2004 <br /> Benjamin Hall Nick Musco <br /> Musco Olive Products, Inc. Studley Company <br /> 17950 Via Nicolo 17950 Via Nicolo <br /> Tracy, California 95376 Tracy, CA 95376 <br /> NOTICE OF NONCOMPLIANCE <br /> SECOND, THIRD, FOURTH QUARTER/ANNUAL 2003 AND FIRST QUARTER 2004 <br /> MONITORING AND REPORTING PROGRAM REPORTS,MUSCO OLIVE PRODUCTS, INC., <br /> SAN JOA Q UIN COUNTY, FACILITY NO. 5B392059001 <br /> We have reviewed the subject reports incompliance with Waste Discharge Requirements (WDRs) Order <br /> No. 96-075, Standard Provisions and Reporting Requirements (September 1993), and Title 27 CCR. <br /> Technical Reports have been produced by several entities(Kleinfelder, Musco, Kennedy/Jenks)which <br /> makes it inefficient to review the project as a whole with regards to the surface impoundments. Based <br /> on this complexity,Musco representatives have agreed to consolidate the information into one <br /> document, which includes the required professional signature and seal/stamp pursuant to the Business <br /> and Professions Code of California. The Musco 2003 Annual Report states that the quarterly monitoring <br /> reports will contain all of the Musco monitoring wells and associated data, but will have a special <br /> section dedicated to WDRs Order No. 96-075. We also recommend that Musco's quarterly reporting of <br /> the surface impoundments be attached to the Kleinfelder reports as an appendices for efficiency. We <br /> strive to create stand-alone documents for members of the public who review our records. In this regard, <br /> we have received Musco's 1St Quarter 2004 report,but we have not received Kleinfelder's version of the <br /> 1S` Quarter 2004 report or the 3rd Quarter 2003 Kleinfelder report. Nonsubmittal of required reports is a <br /> violation of WDRs Order No. 96-075, Reporting Requirements F.l. which states: <br /> "1. The Discharger shall comply with the reporting requirements specified in this Order, in <br /> Monitoring and Reporting Program Order No. 96-075 and in the Standard Provisions and <br /> Reporting Requirements dated 1 September 1993." <br /> The 1St Quarter Report states that Kennedy/Jenks is performing statistical analyses on some of the onsite <br /> wells to explain the changing chemical trends in W-2 and MW-12. Apparently, MW-11 has failed to <br /> produce groundwater since the second quarter of 2002. During a phone call discussion with the Musco <br /> representative, Kennedy/Jenks will be evaluating the need to install additional wells with multiple <br /> screened zones due to the fluctuating, seasonal trend in groundwater elevations in some of the shallow <br /> aquifer wells. Kennedy/Jenks' letter of 22 December 2003 references the reassessment of the <br /> effectiveness of wells associated with the surface impoundments and state that this area of concern will <br /> California Environmental Protection Agency <br /> Qi Recycled Paper <br />