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, . t <br /> PUBLIC�HEALTH SERIICES ,oP4 %NhCO <br /> SAN JOAQUIN COUNTY <br /> ENVIRONMENTAL HEALTH DIVISION <br /> Ernest M. Fujimoto, M.D., M.P.H., Acting Health Officer <br /> 445 N. San Joaquin Street • P.O. Box 388 • Stockton, CA 95201-0388 ,�iai3ae <br /> (209) 468-3420 <br /> HAROLD AND DENA KNOWLESrr <br /> 19381 FAWN DRIVE V <br /> LODI CA 95243 <br /> PF5. 0 1 1995 <br /> RE: 102 S WILSON WAY SITE CODE: 9031 <br /> STOCKTON CA <br /> San Joaquin County Public Health Services, Environmental Health Division <br /> (PHS/EHD) has completed the review of the Workplan Addendum dated March 7, <br /> 1995, submitted by Ground Zero Analysis, and the letter dated March 8, 1995, <br /> submitted by your attorney, David Isola, and has the following comments for your <br /> consideration. <br /> This office is in no way legally prohibited from making contacts with the public which <br /> may be impacted by releases of petroleum from underground storage tanks. In fact, <br /> the law promotes public involvement in these situations. Public participation is a <br /> requirement of the California Code of Regulations, Chapter 16, Article 11, Section <br /> 2728. <br /> The location of a monitoring point within the building has a tremendous impact on the <br /> identification of the groundwater contaminant plume, as the bulk of this plume <br /> appears to be underneath this building. Without a monitoring point in this area, the <br /> concentrations and distribution of groundwater contamination underneath the building <br /> will be unknown. As the plume dynamics underneath the building will be unknown, <br /> the effectiveness and ultimate completion of any attempt at remediation of this plume <br /> will also be unknown, in effect delaying or impeding regulatory closure at this site. <br /> Therefore, based on the above, it is in the best interest of all parties concerned to <br /> have a monitoring point in this area, as this will allow data to be obtained to promote <br /> and fulfill the cleanup at the site in the shortest time frame and lowest cost possible. <br /> PHS/EHD has made contact with the tenant and has determined that a monitoring <br /> well can be installed on a weekend without any disruption to the business. The <br /> tenant appears to understand the need for the well and has also appeared to be quite <br /> A Dirision of San .Joaquin Count} Health Care Servicer <br />