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RECEIVED <br /> JAN 19 2016 <br /> McNair, Edward DLA CIV DISTRIBUTI®N SAN JOAQUIN, CA <br /> ENUMMEWA-L HEALTH <br /> From: McNair, Edward DLA CIV DISTRIBUTION SAN JOAQUIN, CA PERMITISERVICES <br /> Sent: Wednesday, January 13, 2016 7:25 AM <br /> To: 'Raymond von Flue [EH]' <br /> Cc: Thornton, Chris J DLA CIV INSTALLATION SUPPORT; Kasey Foley [EH]; Linda Turkatte <br /> [EH]; lawrence.kathryn@epa.gov; Angie Proboszcz (PROBOSZCZ.ANGIE@EPA.GOV) <br /> Subject: RE: Notice to develop and submit a Risk Management Plan for the CalARP Program for <br /> Defense Distribution Depot of San Joaquin, 25600 S. Chrisman Rd., Tracy CA <br /> Attachments: RMP Response to EHD 12 JAN 16.pdf <br /> Hi Sir, <br /> Thank you so much for your concise guidelines in this matter. <br /> I have attached a formal response stating a RMP would not be required. It has been determined that the Depot will not <br /> accept occasional misdirected shipments of UN1017 Chlorine.Administrative changes are in effect to ensure that the <br /> Chlorine is refused upon arrival; SOP CG-01 rescinded. <br /> Please contact me if you have any further advice or questions. <br /> Thank you, <br /> Ed <br /> Edward McNair <br /> Environmental Protection Specialist <br /> DLA Installation Support at San Joaquin <br /> Phone: (209) 839-5539 <br /> Mobile: (209) 507-1432 <br /> DSN: 462-5539 <br /> Fax: (209) 839-4949 <br /> -----Original Message----- <br /> From: Raymond von Flue [EH] [mailto:rvonflue@sjcehd.com] <br /> Sent: Thursday, December 17, 2015 4:21 PM <br /> To: McNair, Edward DLA CIV DISTRIBUTION SAN JOAQUIN, CA <br /> Cc: Thornton, Chris J DLA CIV INSTALLATION SUPPORT; Kasey Foley [EH]; Linda Turkatte [EH]; <br /> lawrence.kathryn@epa.gov;Angie Proboszcz (PROBOSZCZ.ANGIE@EPA.GOV) <br /> Subject: [Non-DoD Source] Notice to develop and submit a Risk Management Plan for the CalARP Program for Defense <br /> Distribution Depot of San Joaquin, 25600 S. Chrisman Rd., Tracy CA <br /> Ed, <br /> I wanted to reiterate our phone conversation today. The Chlorine is received at the facility 1 to 2 times per year. The <br /> Chlorine is supposed to be shipped directly to the port for transportation by ship. You are in the process of making <br /> administrative changes so that the Chlorine is never shipped directly to the depot in the future. I went over our <br /> interpretation of what qualifies for the exemption from being a stationary source because of storage incident to <br /> 1 <br />