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"M <br />VII. OBSERVATIONS: <br />Jaime Favila, and I arrived at Nestle at approximately 0930, where we met John Meling and Frank Zumstein. <br />We identified ourselves and explained the nature of our complaint investigation. Upon touring the facility <br />with Mr. Meling we became aware that over 5 tons of hazardous waste per year was being generated at this <br />site. Upon questioning Mr. Meling and Mr. Zumstein, it was determined they were unaware of PHS-EHD <br />permitting requirements of large hazardous waste generators. Jaime Favila and I looked through all their <br />hazardous waste information and records, witnessed the soil vacuuming technique and toured the storage area. <br />While touring the plant we noted (2) 55 gallon drums of lab waste at the rear of property. Mr. Meting showed <br />us the lube shop and the factory process of coffee grinding and sorting and canning. <br />A. Section 66508, (a), (3), Title 22, California Code of Regulations: <br />At the time of the inspection.ceveral waste oil drums did not have accumulation start dates. <br />B. Section 66508, (b), Title 22, California Code of Regulations: <br />At the time of the inspection, several drums had been stored in excess of 90 days. <br />IX. DISCUSSION WITH MANAGEMENT: <br />Mr. Favila and I informed Mr. Zumstein and Mr. Meling of the need to register the facility as a large <br />generator. Information needed by PHS-EHD was also discussed at length. In addition, we informed Mr. <br />Meling and Mr. Zumstein that a follow-up investigation would be made to verify compliance. This completed <br />our inspection and we left the site. <br />