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,r <br />F <br />Pa SANA0AQ�1 <br />0 <br />s -11 �• y <br />" �r� "` COUNTY <br />Greatness grows here <br />F0_ <br />Environmel',al Health Department <br />EDLinda Turkatte, REHS, Director <br />Kasey Foley, REHS, Assistant Director <br />PROAM COORDINATORS <br />Robert <br />REHS <br />Jeff Carruesco, REHS, RDI <br />(� Rodney Estrada, REHS <br />✓'I-��� Willy Ng, REHS <br />M ' N 'd REHS <br />un; ai u, <br />August 30, 2017 <br />Sent U.S. & Certified Mail <br />San Joaquin Cogen, LLC, ETAL 9171 9690 0935 0160 1371 79 <br />9 Federal Street ,(� <br />Easton, MD 21601 T �� el <br />� 7 <br />Subject: Pilkington North America — 500 E. Louise Ave, Lathrop, CA, (SWIS 39 -CR -00-0022) <br />The Environmental Health Department (EHD) is the Local Enforcement Agency for CalRecycle in San Joaquin <br />County. The property your company owns (17200 Murphy Parkway — APN 198-120-05) is a part of the site <br />referenced above. The EHD is aware of recent site activity that included demolition of the Cogen Plant and that <br />the site may change ownership. The solid waste disposal site on your property was operated and closed prior to <br />regulation. Because the site is a pre -regulation disposal site, the owners of the site are required to notify the <br />Local Enforcement Agency (LEA) of any transfers of ownership in accordance with Public Resources Code <br />(PRC), Section 44005 and any proposed changes in use of the property. The EHD has not received any notice <br />from your company of the demolition work. <br />EHD is also requesting information that Libby -Owens Ford /Pilkington North America (LOF/PNA) may have <br />provided as part of the real estate transaction when your company purchased property. The request is for specific <br />information on how the property was utilized by LOF/PNA and waste handling or disposal activities. Historical <br />files may contain reports, correspondence, maps, photos, analytical data, construction drawings, or other <br />documentation regarding investigation or remediation activities at the disposal site. <br />In addition to the historical records, the EHD is also notifying San Joaquin Cogen LLC that they are obligated by <br />Title 27 California Code of Regulation (CCR), Section 21190 to submit any proposed land -use changes, other <br />than non -irrigated open space to the EHD for approval prior to implementing those changes. The post closure <br />land use plan needs to detail development and future use of the property and provide procedures that will be <br />implemented to protect public health and safety as required by Title 27 CCR <br />Provide historical files and the Post Closure Land -use Plan by October 1, 2017. <br />If you have any questions regarding this matter please contact my staff, Harprit Mattu at (209) 468-3284. <br />Robert McClellon, Program Coordinator REHS <br />Environmental Health Department <br />Cc: Sabra Ambrose, CalRecycle <br />1868 E. Hazelton Avenue I Stockton, California 95205 1 T 209 468-3420 1 F 209 464-0138 1 www.sjcehd.com <br />