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Public Works 3 27 July 2016 <br />1810 HazeIton Avenue <br />Stockton, San Joaquin County <br />of groundwater impact northeast of MW-2, which has recently contained benzene and <br />MTBE at concentrations of 6,100 ug/L and 37,000 ug/L, respectively. On 19 May 2016, Ms. <br />Condon of the Central Valley Water Board, spoke via phone with Mr. Bill Cook of Condor <br />and discussed the fact that lateral and vertical delineation of petroleum pollution in <br />groundwater in the down-gradient direction was still needed, and that Sam Joaquin County <br />will need to perform additional assessment and install additional wells subsequent to <br />Central Valley Water Board review of a submitted NOI. In the Work Plan due <br />30 September 2016, please provide a proposal for the collection of an adequate number of <br />groundwater samples to delineate the horizontal and vertical extent of impacts from the <br />unauthorized release of petroleum hydrocarbons from the Public Works property. <br />In a phone call to Ms. Cori Condon of the Central Valley Water Board on 19 May 2016, Mr. <br />Nuel Henderson of the San Joaquin County Environmental Health Department informed her <br />that while he was onsite with Condor overseeing the installation of the ozone sparge wells, <br />and that they had encountered a wet sand with significant diesel hydrocarbon odors at 2 feet <br />below the ground surface (bgs). Shallow soil sampling should be conducted on Site to <br />determine the extent of petroleum impacts in soil in the upper 10 feet of the soil column. <br />Soil samples were collected from 5 and 10 feet bgs in hand auger borings HA-1 and HA-2, <br />as detailed in the Site Assessment Report dated 11 May 1999. These borings were located <br />between the southern dispenser island and UST #2, and contained total petroleum <br />hydrocarbons as diesel as high as 4,500 mg/kg. However, these borings are 17 years old, <br />and no samples were collected as shallow as 2 feet bgs where hydrocarbon odor was <br />recently observed. As such, assessment of current shallow soil hydrocarbon impact is <br />needed. It should be noted that shallow soil assessment is required as part of the Low <br />Threat Closure Policy, and will aid in closure eligibility assessment of the Site in the future. <br />In the Work Plan due 30 September 2016, please provide a proposal to collect an adequate <br />number of soil samples from the surface to 10 feet bgs to characterize the extent of <br />hydrocarbon impact to shallow soil. Sampling locations should be based on odor and PID <br />readings observed during ozone injection well installation. <br />Additionally, by 30 September 2016, please submit a Well Installation Report which details <br />the installation of the eight (8) ozone injection wells and provides any collected soil or <br />groundwater data, and all applicable installation permits. <br />Recently submitted Site map figures do not depict the location of the two existing Site USTs <br />and product piping. As such, please include the location, size, and fuel type of each of the <br />existing USTs and associated product piping on Site map figures included in the Work Plan <br />due 30 September 2016. <br />In summary, Central Valley Water Board staff request the following: <br />By 30 September 2016, please submit a Well Installation Report which includes: <br />o A summary of the installation of the eight (8) ozone injection wells, including well <br />construction details, any collected soil or groundwater data, and all applicable <br />installation permits.