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Lydia Baker [EH] <br /> From: David Williamson <davidw@communityfuels.com> <br /> Sent: Tuesday, January 29, 2019 9:21 AM <br /> To: Lydia Baker [EH] <br /> Subject: RE: Submission Part III <br /> Consolidated, and shipped out as non-rcra hazardous waste solid. I was and am <br /> Reasonable sure the residue was non-haz, but didn't have any supporting documentation. <br /> So went with worse case scenario based on what the operation was in that area. <br /> One of the reasons I sent and included data on the manifested haz manifest I included in documentation. <br /> "Endeavor to Persevere." <br /> David Williamson CHMM <br /> EHS Manager <br /> Community Fuels <br /> Cell: 209.471.9996 <br /> From: Lydia Baker [EH] [mailto:lbaker@sjcehd.com] <br /> Sent:Tuesday,January 29, 2019 0835 <br /> To: David Williamson <davidw@communityfuels.com> <br /> Subject: RE: Submission Part III <br /> Hello David, <br /> I've reviewed the Return to Compliance you sent over and closed out all the violations except#102. For#102 <br /> (failed to determine) what was done with the residue and contents of the buckets after they were cleaned up? <br /> Best Regards, <br /> Lydia Baker <br /> Registered Environmental Health Specialist <br /> San Joaquin County <br /> Environmental Health Department <br /> 209-468-8257 <br /> (baker@sicehd.com <br /> From: David Williamson <davidw@communitvfuels.com> <br /> Sent: Friday,January 25, 2019 12:27 PM <br /> To: Lydia Baker [EH] <Ibaker@slcehd.com> <br /> Subject:Submission Part III <br /> This should do it. <br /> i <br />