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RE- CEIVED <br /> DEC 0 4 2015 San Joaquin County E <br /> Environmental Health Department <br /> 1868 East Hazelton Avenue, Stockton, California 95205-6232 <br /> ENVIRONMENWphone:(209)468-3420 Far:(209)468-3433 Web:www.sigov.org/ehd <br /> Aboveground Petroleum Storage Act Inspection Report <br /> Facility Name: Facility Address: Date: <br /> Lawrence Livermore National Lab -Site 300 15999 W CORRAL HOLLOW RD TracV September 30 2015 <br /> SUMMARY OF VIOLATIONS <br /> (CLASS I,CLASS II,or MINOR-Notice to Comply) <br /> Item# Remarks <br /> 605 CFR 112.7(a)(3) Plan failed to address facility layout,operations discharge prevention methods and containers. <br /> The facility has calculated theAPSA regulated capacity separately for each building at the facility and prepared <br /> separate SPCC Plans. Only buildings 801, 846, 865, and 883 have SPCC Plans(according to the Inventories, <br /> buildings 846 and 865 do not have APSA regulated capacity). The APSA regulated storage at the additional buildings <br /> at the facility were not included in the SPCC Plan inventories. The following shall be addressed in the Spill Prevention, <br /> Control, and Countermeasure(SPCC) Plarr. <br /> -type of oil In each fixed container and its storage capacity. For mobile or potable containers, the type of oil and <br /> storage capacity for each container or an estimate of the potential number of mobile or portable containers, the types <br /> of oil,and anticipated storage capacities <br /> -discharge prevention measures including procedures for routine handling of products <br /> -discharge or drainage controls such as secondary containment,equipment, and procedures for the control of a <br /> discharge <br /> -countermeasures for discharge discovery, response, and cleanup <br /> -methods of disposal of recovered materials <br /> -contact list and phone numbers for the facility response coordinator, National Response Center, cleanup <br /> contractors, and all appropriate Federal, State,and local agencies. <br /> Immediately amend the SPCC Plan to include all required information. <br /> This is a Class II violation. <br /> 615 CFR 112.7(f)(2) Failed to designate a person accountable for discharge prevention. <br /> This facility does not have a designated person for discharge prevention. The SPCC Plan for building 801 states that <br /> the designated person is the"Operations Facility Manager", but does not specify a specific person by name. The <br /> Spill Prevention, Control,and Countermeasure(SPCC)Plan shall designate a person at the facility who is accountable <br /> for discharge prevention and who reports to facility management Immediately designate a person to be accountable <br /> for discharge prevention and update the SPCC Plan to include this information. <br /> This is a Class II violation. <br /> 617 CFR 112.7(g) Plan failed to address security of site and valves, lock out/tag out, and lighting. <br /> The Spill Prevention, Control, and Countermeasure(SPCC)Plan did not include a complete discussion of security <br /> lighting. The SPCC Plan for building 801 discussed the lighting provided for tank transfer/fuel delivery operations, but <br /> did not address vandalism prevention or discharge discovery. The SPCC Plan must include descriptions of how you <br /> secure and control access to the oil handling, processing&storage areas, secure master flow&drain valves, prevent <br /> unauthorized access to starter controls on oil pumps, secure out-of-service and loading/unloading connections of oil <br /> pipelines,and address the appropriateness of security lighting to both prevent acts of vandalism and assist in the <br /> discovery of oil discharges. Immediately update the SPCC Plan to include all of the required security information, or <br /> provide equivalence as allowed by 40 CFR 112.7(a)(2). <br /> This is a Class 11 violation. <br /> Received by Inspector: Phone: Date: <br /> (initial): STACY RIVERA, Senior REHS � (209)468-3440 09/30/2015 <br /> Page 4 of 6 <br />