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stated that institutional controls such as deed restrictions may be necessary to maintain the <br /> integrity of the cover system and monitoring networks. <br /> ftSite f' naii-icr Pointi ` rtrnta � ., (AEl� i ~l <br /> This document consists of a Figure 3 (previously described) and indicates a Soil-Vapor Boring <br /> Sampling Point at the approximate center of the 400 x 500 foot "Soil Trenching Area" (aka waste <br /> disposal area). <br /> T ._ �, <br /> 6 & <br /> IrAfroc <br /> :000, <br /> The email stated that AGE would like to have this "soil vapor well' installed at the former PNA site <br /> to evaluate the potential for land[ ]fill gases.AGE stated "The permit for the work is pending?" and <br /> that "This is a milestone for this investigation and will be sampled to determine how many soil <br /> vapor sampling points might be required or if this items is non-applicable to the project; as the <br /> landfill did not receive municipal waste other than already noted in the investigation. The LEA <br /> replied shortly after stating that there have been conversations regarding this site that he [they] <br /> have not been a part of and that he is not sure what has been decided and that he is not <br /> approving anything until he hears from those who were involved. The LEA stated that the new <br /> owner indicated that he has done exhaustive work and at the LEA direction. The LEA stated that <br /> that they are "not the only lead regulatory agency and referred AGE also to CalRecycle. <br /> T� Ito <br /> � , t <br /> Pr+ i 1� �,J4 -W fit? <br /> The LEA in their letter to Reynolds & Brown stated that the property contains a pre-regulations WDS <br /> and that the owners are required to notify the LEA of any transfers of ownership and that the LEA had <br /> not received any formal notice of the property transfer. It was also stated that the LEA is requesting <br /> information from Pilkington NA or Reynolds & Brown regarding historical records kept as part of the <br /> operation of the WDS, particularly historical files containing reports, correspondence, maps, <br /> photographs, analytical data, construction drawings or other documentation regarding investigation or <br /> remediation of the WDS. <br /> The LEA indicated that they are also notifying Reynolds & Brown that in accordance with CCR <br /> Title 27, Section 21190, they are obligated to submit any proposed land use changes, other than <br /> non-irrigated open space to the LEA for approval prior to implementing any changes. It was also <br /> stated that the PCLUP needs to contain development and future use of the property and provide <br /> procedures that will be implemented to protect public health and safety per CCR Title 27. The <br /> letter stated that property transfer notification, historical files and the PCLUP needed to be <br /> submitted to the LEA by August 17, 2015. <br /> Ninyo&Moore 1 500 E.Louise Avenue,Lathrop,San Joaquin County,California 1 104690095 1 August 11,2017 36 <br />