My WebLink
|
Help
|
About
|
Sign Out
Home
Browse
Search
COMPLIANCE INFO_PRE 2019
Environmental Health - Public
>
EHD Program Facility Records by Street Name
>
W
>
WASHINGTON
>
2201
>
2900 - Site Mitigation Program
>
PR0009227
>
COMPLIANCE INFO_PRE 2019
Metadata
Thumbnails
Annotations
Entry Properties
Last modified
5/4/2021 11:41:48 AM
Creation date
5/4/2021 11:20:34 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
COMPLIANCE INFO
FileName_PostFix
PRE 2019
RECORD_ID
PR0009227
PE
2960
FACILITY_ID
FA0004039
FACILITY_NAME
METROPOLITAN STEVEDORE
STREET_NUMBER
2201
Direction
W
STREET_NAME
WASHINGTON
City
STOCKTON
Zip
95203
APN
145030010
CURRENT_STATUS
01
SITE_LOCATION
2201 W WASHINGTON
P_LOCATION
01
QC Status
Approved
Scanner
SJGOV\dsedra
Tags
EHD - Public
Jump to thumbnail
< previous set
next set >
There are no annotations on this page.
Document management portal powered by Laserfiche WebLink 9 © 1998-2015
Laserfiche.
All rights reserved.
/
241
PDF
Print
Pages to print
Enter page numbers and/or page ranges separated by commas. For example, 1,3,5-12.
After downloading, print the document using a PDF reader (e.g. Adobe Reader).
View images
View plain text
would necessitate including nu.ckel and arsenic in our COC list. Our <br />concern <br />stems from the fact that the Port of Stockton has been an industrial <br />complex <br />for the past 80 plus years which has had multiple industrial <br />users/entities <br />prior to and concurrent with MSC's activities. Hence, sampling and <br />analyzing for COC that are unrelated to MSC's past and present <br />activities <br />would only create grounds for a technical quagmire for addressing COC <br />which <br />have had nothing to do with MSC's operations on site. <br />I would have to notify MSC's management of your request so we can <br />further discuss this matter. Relative to adding sulfur, MSC does not <br />store <br />sulfur in its own operations. MSC only conveys sulfur via an <br />integrated <br />conveyor system which is equipped with BMPs and P2 features that meet <br />Or <br />exceed BAT/BCT. Hence, adding sulfur to our COC list would also have <br />to be <br />broached with MSC's management and discussed accordingly. <br />At this late stage, I would have to cancel our field sampling for <br />this <br />Thursday, until we can address your requests. Stay tuned. <br />Best <br />Regards <br />Jay <br /> Original Message <br />From: "Wendy Cohen" <CohenW@rb5s.swrcb.ca.gov> <br />To: <TRECONSULTING@attbi.com›; <MInfurna@sjcehd.com> <br />Cc: <CMPRGCEGHG@aol.com> <br />Sent: Monday, June 09, 2003 4:32 PM <br />Subject: Re: Sampling of the Monitoring Wells on Thursday June <br />Jay, <br />Dissolved nickel needs to be included in the analytes based on <br />discussions with Regional Board stormwater staff. Mike and I may <br />have <br />additional analytes when we are able to discuss this on Tuesday, <br />possibly arsenic and sulfur, which were original constituents of <br />concern. I never received the 1991 report that you agreed to send <br />me. <br />> <br />Wendy <br />> <br />Wendy L. Cohen, P.E. <br />Chief, Private Sites Cleanup Unit <br />Central Valley Regional Water Quality Control Board <br />(916) 255-3075 <br />cohenw@rb5s.swrcb.ca.gov <br />> <br />>>> "Jay Jahangiri" <TRECONSULTING@attbi.com> 06/09/03 08:29AM >>> <br />2
The URL can be used to link to this page
Your browser does not support the video tag.