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COMPLIANCE INFO_PRE 2019
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COMPLIANCE INFO_PRE 2019
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Last modified
12/3/2018 12:01:27 PM
Creation date
9/12/2018 4:04:48 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO_PRE 2019
FileName_PostFix
PRE 2019
RECORD_ID
PR0220104
PE
2229
FACILITY_ID
FA0000649
FACILITY_NAME
FORMER NESTLE USA INC FACILITY
STREET_NUMBER
230
STREET_NAME
INDUSTRIAL
STREET_TYPE
DR
City
RIPON
Zip
95366
APN
25938001
CURRENT_STATUS
02
SITE_LOCATION
230 INDUSTRIAL DR
P_LOCATION
05
P_DISTRICT
005
QC Status
Approved
Scanner
WNg
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EHD - Public
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.. <br />Nestle Beverage Company <br />230 INDUSTRIAL AVENUE <br />RIPON, CA 95366 <br />TEL. 12091599-4161 <br />FAX (209) 599-2421 <br />Dec 7, 1992 <br />U.S. EPA/PRC <br />120 Howard St. Suite 730 <br />San Francisco, CA 94105 <br />ATTENTION: Colene Cordiero <br />Dear Colene: <br />As we discussed over the phone, I have been given some <br />bad guidance concerning our EPA I:D. #. I will review the <br />events in chronological order to keep matters as simple as <br />I can. <br />In 1982 the Ripon Nestle Factory was issued an EPA # <br />CAD 009 118 910. In looking back at our manifests, I <br />discovered that a clerical error was made right from the <br />start. All of my correspondence and manifests from 1982 <br />until 1990 used EPA #CAD 099 118 910. <br />In April 1990, a County Inspector reviewing our <br />manifests, pointed out that we were a large generator and <br />that we should contact the State of California DOHS. DOHS <br />confirmed that we were now a large generator and that we <br />needed to fill out a 8700-12 Form, checking the subsequent <br />box and noting the status change from small generator to a <br />large generator and mail it to DOHS. This was done in May <br />of 1990. In July of 1990, we received notice from DOHS <br />assigning us a State I.D. # to be used on all Manifests - <br />CAL 000 039 919. <br />In January of 1992, the State Board.of Equalization <br />wanted our EPA I.D. # clarified. I gave them our State <br />and Federal numbers. They said I could only have one <br />number and I should call the State DOTSC. DOTSC said to <br />use the CAL I.D. # only. They said the CAD I.D. # should <br />not be used after the CAL I.D. # was issued. They said <br />the CAL I.D. # would be a Facility I.D. # on our taxes and <br />it would be EPA I.D. # on our Manifests. <br />In October of 1992, one of my waste haulers told me he <br />thought I had received erroneous advice on the EPA I.D. #. <br />He said as.a large generator, I should not have the State <br />CAL I.D. #, but I should have the Federal CAD I.D. #. <br />
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