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SANJ O 1` Q U I `IA,II, Environmental Health Department <br /> COUNTY <br /> Aboveground Petroleum Storage Act Inspection Report <br /> Facility Name: Facility Address: Date: <br /> Antonini Enterprises LLC 701 Darcy Pkwy, Lathrop October 22, 2018 <br /> SUMMARY OF VIOLATIONS <br /> (CLASS I,CLASS II,or MINOR-Notice to Comply) <br /> Item# Remarks <br /> 706 CFR 112.8(c)(2)Failed to provide and maintain adequate secondary containment. <br /> The single walled 200 gallon diesel generator tank was observed without secondary containment. All bulk storage <br /> tanks must be provided with a secondary means of containment for the entire capacity of the tank and sufficient <br /> freeboard to contain precipitation. Immediately provide sufficient secondary containment for this and all other tanks <br /> at this facility. <br /> This is a Class II violation. <br /> 710 CFR 112.8(c)(6)Plan failed to adequately discuss procedures to test or inspect each container for integrity. <br /> The SPCC plan fails to mention an industry standard and fails to address the appropriate qualifications for <br /> personnel performing tests and inspections,the frequency and type of testing and inspections,which take into <br /> account container size, configuration, and design based on an industry standard. Test or inspect each aboveground <br /> container for integrity on a regular schedule and whenever you make material repairs.You must determine, in <br /> accordance with industry standards,the appropriate qualifications for personnel performing tests and inspections, <br /> the frequency and type of testing and inspections,which take into account container size, configuration, and design <br /> (such as containers that are: shop-built,field-erected, skidmounted, elevated, equipped with a liner, double-walled, <br /> or partially buried). Examples of these integrity tests include, but are not limited to:visual inspection, hydrostatic <br /> testing, radiographic testing, ultrasonic testing, acoustic emissions testing, or other systems of non-destructive <br /> testing.You must keep comparison records and you must also inspect the container's supports and foundations. In <br /> addition, you must frequently inspect the outside of the container for signs of deterioration,discharges,or <br /> accumulation of oil inside diked areas. Records of inspections and tests kept under usual and customary business <br /> practices satisfy the recordkeeping requirements of this paragraph.Amend the SPCC plan to include the required <br /> discussion, or provide equivalence as allowed by CFR 112.7(a)(2). <br /> This is a Class II violation. <br /> 718 CFR 112.8(c)(11) Failed to locate properly or provide sufficient secondary containment for mobile/portable <br /> containers. <br /> The 55 gallon drums of product regulated by APSA,the 250 gallon rolling cart used for oil, and the 75 gallon diesel <br /> refueling tank were observed with no secondary containment. Secondary containment for these tanks is not <br /> addressed in the SPCC plan. Portable oil storage containers must be positioned or located to prevent a discharge <br /> and shall be furnished with a secondary means of containment sufficient to contain the capacity of the largest single <br /> container with sufficient freeboard to contain precipitation. Immediately provide sufficient secondary containment for <br /> this and all other portable containers at this facility, and include discussion in the SPCC plan or provide equivalence <br /> as allowed by CFR 112.7(a)(2). <br /> This is a Class II violation. <br /> FA0015755 PR0537925 SCO01 10/22/2018 <br /> EHD 28-01 Rev.09/27/2018 Page 5 of 6 Aboveground Petroleum Storage Act OIR <br /> 1868 E. Hazelton Avenue I Stockton, California 95205 1 T 209 468-3420 1 F 209 464-0138 1 www.sjcehd.com <br />