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Michael Smith <br />Page 3 <br />More recently, Bechtel Corporation, an EPA contractor, conducted a site inspection <br />and an extensive file review of PHS-EHD's documentation (April 1995). <br />In conclusion, Mr. Marlowe has received a Letter of Commitment from the State of <br />California Water Resources Control Board's Cleanup Fund for reimbursement of the <br />underground storage tank investigation expenditures. Mr. Marlowe was advised by <br />PHS-EHD that he could conduct an additional investigation of his property to <br />document the suspected intrusion of halogenated hydrocarbons, of which he has <br />declined to pursue. <br />PHS-EHD has determined that pursuant to Section 25180 of the California Health and <br />Safety Code, no violations exist at Cal Cedar. Additionally, it was revealed that the <br />O'Reilly facility does not store reportable quantities of hazardous materials and does <br />not generate reportable quantities of hazardous wastes. PHS-EHD has no statutory <br />authority to direct either facility into a non-petroleum underground storage tank <br />groundwater investigation. The regulatory agency(ies) with statutory authority are the <br />Central Valley Regional Water Quality Control Board and/or Federal EPA. <br />If you have any questions, please contact Donna Heran at 83429 or Diane M. Hinson <br />at 83452. <br />cc: E. Fujimoto, M.D., M.P.H., Acting Health Officer <br />B. Mitchell, Director, Public Health Services <br />Terrence Dermody, County Counsel <br />M. McGrew, Deputy County Counsel <br />D. Heran, Director, Environmental Health Division <br />D. Hinson, Supervisor, Environmental Health Division <br />Attachment 1: 13 August 1993 Inspection Report <br />Attachment 2: Communication Referral Dated 5/9/95