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COMPLIANCE INFO_2026
Environmental Health - Public
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EHD Program Facility Records by Street Name
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2231-2238 – Tiered Permitting Program
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PR0543928
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COMPLIANCE INFO_2026
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Entry Properties
Last modified
5/6/2026 1:53:42 PM
Creation date
4/16/2026 8:30:23 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2231-2238 – Tiered Permitting Program
File Section
COMPLIANCE INFO
FileName_PostFix
2026
RECORD_ID
PR0543928
PE
2231 - HAZARDOUS WASTE PBR FACILITY
FACILITY_ID
FA0022165
FACILITY_NAME
LATHROP WATER TREATMENT FACILITY / CORP YARD
STREET_NUMBER
2112
Direction
E
STREET_NAME
LOUISE
STREET_TYPE
AVE
City
Lathrop
Zip
95330
APN
19816003
CURRENT_STATUS
Active, billable
QC Status
Approved
Scanner
SJGOV\kblackwell
Supplemental fields
Site Address
2112 E Louise AVE Lathrop 95330
Tags
EHD - Public
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• All violations closed <br /> Tiered Permitting: <br /> • Violation #7—Open. <br /> o What you submitted looks good. However, the inflation adjustment needs to indicate the <br /> year-by-year total with inflation. Since the original estimate for the filter press removal is <br /> from 2017,you'd need to show total with inflation for each year through 2026. The invoice <br /> for other waste disposal looks like it's from 2024, it would need to show inflation for 2025 <br /> and 2026. <br /> o The finalized closure cost estimate docs need to be submitted to CERS to close this <br /> violation.This is a CERS violation. <br /> • Violation #8—Open. It looks like 2025 was the last year inflation was adjusted for. Q3 data is <br /> available for 2025 now, so the closure cost estimate was required to be adjusted for 2026 by <br /> March 1st. The 2026 adjusted estimate needs to be uploaded to CERS,waiting for the next <br /> reporting period will delay closingthe violation. <br /> • Violation #20—Open. Since the sludge that enters the filter press is considered hazardous waste <br /> after leaving the tank, it would also need to be included in the waste analysis plan. Since the <br /> facility is not currently generating this waste stream, adding it to the waste analysis plan and <br /> indicating the plan will be updated when you resume generating the waste would be adequate to <br /> close out this violation. <br /> Let me know if you have any questions. <br /> Best, <br /> Lynsey Sammons <br /> Registered Environmental Health Specialist <br /> Cell: (209) 616-3067 <br /> Office: (209)468-3420 <br /> San Joaquin County Environmental Health Department <br /> 1868 E.Hazelton Avenue,Stockton,CA.95205 <br /> www.siaov.org/ehd <br /> S .JOAQUI <br /> COUNTY <br /> Greatness grows here- <br /> *Test notifications and test results should be sent to the general UST email: ust@sjgov.org* <br /> Please note: I am out of office every other Friday. <br /> EHD will be closed for holidays on: <br /> Jan 1, 15 1 Feb 19 1 May 27 1 July 41 Sept 21 Nov 11,28,29 1 Dec 25 <br /> From:Sammons, Lynsey [EHD] <br /> Sent: Monday, February 23, 2026 12:15 PM <br /> To: 'Jonah Sonner'<*sonner@ci.lathrop.ca.us>; Frank Vallejo<fvaIleio@ci.lath rop.ca.us>; Philip Humphrey <br /> <phumphrey@ci.lathrop.ca.us> <br /> Cc:Alaniz,John [EHD] <ialaniz1@sigov.org>; Suszycki, Michael [EHD] <msuszvcki@sigov.org> <br /> 3 <br />
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