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SAN JOAQUIN COUNTY <br /> ENVIRONMENTAL HEALTH DEPARTMENT <br /> 600 East Main Street, Stockton, California 95202-3029 <br /> Telephone: (209) 468-3420 Fax:(209) 468-3433 Web:www.si4ov.org/ehd <br /> ABOVEGROUND PETROLEUM STORAGE ACT (APSA) PROGRAM INSPECTION REPORT <br /> Facility Williams Tank Lines Facility 1477 Tillie Lewis Dr., Stockton Inspection Jun 28, 2011 <br /> Name. Address: Date: <br /> Facility Garth Williams Title: Operations Manager Phone: (209) 944-5613 <br /> Contact: <br /> AST diesel motor motor used used diesel/ oil Total Facility Shell <br /> Content _ oil oil _ _ _ _ _ _ _oil oil water (55g) Capacity(gal): <br /> 13,845 <br /> Shell 12,000 500 500 220 220 240 165 SPCC Plan 5 year Jun 30, 2010 <br /> Capacity review date: <br /> SPCC Plan type: ❑APSA SPCC conditionally exempt(HSC 25270.4.5(b)) ❑X Fully or partially Professional Engineer certified ❑Self-Certified <br /> Inspection Type: ORoutine [-]Follow up ❑Complaint-ID#: <br /> (Authority HSC 25270.4) <br /> Consent for: X Inspection Z Sampling Z Photos Granted by: Garth Williams Title: Operations Manager <br /> VIOLATIONS <br /> # V I Code Section HSC=CA Health and Safety Code,CFR=Code of Federal Regulations:V=Violation;RV=Repeat violation <br /> Specific requirements of HSC 25270.4.5(a)are identified as CFR code sections beginning with 112 <br /> 1 HSC 25271 Failed to prepare a written SPCC Plan in accordance with CFR Part 112 <br /> 2 HSC 25271 Failed to conduct periodic inspections of the storage tank to assure compliance with CFR Part 112 <br /> 3 HSC 25271 Failed to file business plan or annual tank facility statement if capacity>1 OK gallons and>_5%petroleum <br /> 4 HSC 25271 Failed to submit APSA fees <br /> 5 HSC 25270.8 Failed to report spills or releases of 42 gallons or more <br /> 6 CFR 112.3(d) SPCC Plan certification by a Professional Engineer(PE)missing or incomplete <br /> 7 CFR 112.31 Failed to retain a copy of the SPCC Plan on site <br /> 8 CFR 112.5(a) Failed to amend SPCC Plan within 6 months,or implement changes within 6 months of amendment when <br /> there is an applicable change to the facility <br /> 9 CFR 112.5(b) Failed to amend SPCC Plan within 6 months,or implement changes within 6 months of amendment after <br /> scheduled 5 year Plan review <br /> 10 CFR 112.5(b) Failed to complete a review and evaluation of SPCC plan at least once every 5 years <br /> 11 CFR 112.5(c) Failed to have a PE certify technical amendments within 6 months of change <br /> 12 CFR 112.6 Failed to self-certify technical amendment when there is an applicable change to the:(a)(2)Tier I qualified <br /> facility;orb 2)Tier II qualified facility <br /> 13 CFR 112.6(a)(3) Tier I qualified facility SPCC Plan incomplete <br /> 14 CFR 112.61 Tier II qualified facility SPCC Plan self certification missing or incomplete <br /> 15 CFR 112.6(b)(4) Failed to provide written PE certification in a self-certified plan for alternate methods which provide <br /> environmental equivalence,or provisions in lieu of secondary containment due to impracticality <br /> 16 CFR 112.7 SPCC Plan lacks full approval of management at a level of authority to commit the necessary resources to <br /> implement the Plan <br /> 17 CFR 112.7(a)(2) Failed to provide equivalent environmental protection and/or state the reasons for nonconformance and <br /> describe the alternate methods and how they achieve equivalent environmental protection <br /> 18 CFR 112.7(a)(3) No facility diagram or diagram failed to show location and contents of each container,transfer stations, <br /> and connecting pipes. <br /> 19 X CFR 112.7(a)(3)(i) SPCC Plan failed to include description of product type and storage capacity for each container <br /> 20 CFR 112.7(a)(3)(iI) SPCC Plan failed to include procedures for routine handling of products and discharge prevention <br /> measures <br /> 21 X CFR 112.7(a)(3)(iii) SPCC Plan failed to show discharge or drainage controls(secondary containment),equipment,and <br /> procedures for the control of a discharge <br /> 22 CFR 112.7(a)(3)(iv) SPCC Plan failed to show countermeasures for discovery, response and cleanup of discharges <br /> 23 CFR 112.7(a)(3)(v) SPCC Plan failed to address disposal methods for recovered materials <br /> 24 CFR 112.7(a)(3)(vI) SPCC Plan failed to include required contact list and phone numbers of the facility's response coordinator, <br /> cleanup contractors,and agencies to notify in case of discharge <br /> 25 CFR 112.7(a)(4) Failed to provide information and procedures to enable a person to adequately report discharges if a <br /> response plan was not submitted to the Regional Administrator RA) <br /> 26 CFR 1 (5) Failed to organize emergency procedures for discharges in a readily useable way if a response plan was <br /> not submitted to the RA <br /> Inspector Phone Received Title <br /> «� (209)468-3440 <br /> v <br /> EHD 28- 1 2!19/10 Page 1 APSA INSPECTION REPORT <br />