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ADMINISTRATIVE CIVIL LIABILITY COMPLAINT ORDER NO. R5-2005-0530 -4 - <br /> MR. <br /> 4 - <br /> MR. FRANK AND MRS. SHERRI GUINTA, AND MR. JAMES AND MRS. MARILYN RAMSEY <br /> GUINTA ENTERPRISES <br /> FRANKS ONE STOP <br /> SAN JOAQUIN COUNTY <br /> 6. By I February 2004, submit an Additional Site Characterization Report (ASCR)providing <br /> information from the implementation of the approved Workplan assessing the vertical and <br /> lateral extent of the groundwater pollution in all impacted aquifer zones. <br /> 7. By 1 April 2004, submit a Final Corrective Action Plan (CAP). <br /> 8. Within 60 days of Executive Officer approval of the Final Corrective Action Plan, the <br /> Dischargers shall implement the approved remedial actions. <br /> 9. Within 120 days of Executive Officer approval of the Final Corrective Action Plan, submit a <br /> report describing the status and results of the cleanup work(Cleanup Implementation <br /> Report). <br /> 10. Conduct monitoring of the existing wells and any additional wells in accordance with <br /> attached MRP No. R5-2003-0713 or any revised MRP issued by the Executive Officer. <br /> 14. Emergency private wellhead treatment systems maintenance, sampling, and analyses (Tasks 1 and 2) <br /> are currently conducted at the State's expense and compensated by State funds from the State Water <br /> Resources Control Board's Emergency, Abandoned and Recalcitrant (EAR)Account under Regional <br /> Board staff oversight of contractors and laboratory contracts. Currently $100,000 has been allocated <br /> for emergency funds through June 2006. Regional Board staff hours for contractor oversight, <br /> Quality Assurance sampling and analysis, and contracting are not compensated by the EAR Account, <br /> and have exceeded 100 hours thus far in 2005. <br /> 15. The SVE/AS treatment system (Task 3) was restarted in May 2003 and ran continuously until low <br /> soil gas pollution levels justified treatment system shutdown in December 2003. <br /> 16. The IER and Workplan (Tasks 4 and 5) were submitted and approved by Regional Board staff in <br /> 2003, although the Workplan was never implemented. <br /> 17. The Dischargers requested and received three extensions to the ASCR and CAP (Tasks 6 and 7) in <br /> 2004, citing lack of funds, and stated that they were in the process of obtaining a loan on the <br /> property to continue the work. To date, the ASCR and the CAP have not been submitted to the <br /> Regional Board. <br /> 18. Tasks 8 and 9, which are contingent upon completion of the CAP (Task 7), have not been <br /> accomplished due to failure to submit the CAP. <br /> 19. Quarterly Monitoring (Task 10) continued until the First Quarter of 2005, when all work stopped on <br /> 31 January 2005. <br /> 20. The Dischargers have failed to comply with CAO No. R5-2003-0713, in that they have not cleaned <br /> up and abated the effects of the discharge. Over the next two years, $400,000 has been allocated <br /> from the State Emergency, Abandoned and Recalcitrant (EAR) Account to monitor and maintain <br />