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Rev date:1/14/15 Attachment 6.LLNL Violation Tracking Spreadsheet-Hazardous Waste Generator <br /> September-October 2015 <br /> LLNL Site 300 <br /> Violation Regulation/Code Inspection Report Action <br /> Violation Description Status <br /> Report Item# Violation Class Item <br /> At 875 upper Corp Yard,there was unknown standing liquid,which was identified by Mr.Stanley Terusaki as Violation acknowledged and corrected. <br /> being not just rain water,in secondary containment of the Freon/AC Shop shed. <br /> Liquid was characterized as oil and dry sorb was used to collect the material. <br /> Collected wastes were disposed as Hazardous Waste(see Hazardous Waste <br /> f See above. Manifest#005870331JJK dated 12/10/2015-Item#36). <br /> See Attachment 12. <br /> At 875 lower Corp Yard,a steel container of unknown liquid labeled as"Chemsearch"and 5 gallon container Violation acknowledged and corrected. <br /> labeled as"WT-500"found in shed. <br /> Material was disposed as Hazardous Waste(see Hazardous Waste Manifest <br /> g See above. #005870341JJK dated 1/7/2016-Item#2). <br /> See Attachment 12. <br /> At south of building 875,one 55 gallon drum of unknown solid nearby a heavy equipment outside. LLNL requests SJCEHD to rescind the violation. <br /> h See above. <br /> Refer to LLNL response date 12/4/15. <br /> CCR 66265.52 <br /> 108 Class II CONTINGENCY PLAN IS INCOMPLETE <br /> CCR 66265.52 Contingency plan is incomplete. Immediately prepare or Violation acknowledged and corrected. <br /> The facility's contingency plan is incomplete and/or not current.The contingency plan provided at the time amend an existing plan to <br /> of inspection listed Livermore Police Department and Alameda County Sheriff as local arrangements made. fulfill the requirements of The contingency plan was revised to include only those mutual aid agencies <br /> According to John Scott,when asked if Livermore Police Department will respond to this facility,he this chapter.Submit a that would respond to a Site 300 mutual aid request. The revised <br /> responded"absolutely not." copy of the contingency contingency plan was submitted to SICEHD on January 13,2016 via Certified <br /> The contingency plan must include: plan to the EHD. Mail. <br /> 1.Description of actions facility personnel will take in response to fires,explosions,or any sudden or non- <br /> sudden release of hazardous waste to air,soil or surface water at the facility; See Attachment 10. <br /> 2.Description of arrangements made with local police departments,fire departments,hospitals, <br /> contractors and State and local emergency response teams to coordinate emergency services; <br /> 3.List of names,addresses,and phone numbers(office/home/cell)of all persons qualified to act as <br /> emergency coordinator.Where more than one person is listed,one shall be named as the primary <br /> a <br /> emergency coordinator and all others in order in which they will assume responsibilities; <br /> 4.List all emergency equipment,which includes location,physical description,and brief outline of its <br /> capabilities; <br /> RECEIVED <br /> 5.Evacuation routes for facility personnel where there is a possibility of evacuation; <br /> 6.Current telephone number for State office of Emergency Services. <br /> JAN 14 2016 If the facility has a Spill Prevention,Control and Countermeasures plan,or some other emergency or <br /> contingency plan,the owner or operator need only amend that plan to incorporate hazardous waste <br /> E14VIRONMENTAL management provisions that are sufficient to comply with the requirements of this chapter.Immediately <br /> HULTH DEPARTMENT prepare or amend an existing plan to fulfill the requirements of this chapter.Submit a copy of the <br /> contingency plan to the EHD. <br /> RCRA Large Quantity Hazardous Waste Generator Inspection Report 2 <br />