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COMPLIANCE INFO_PRE 2019
EnvironmentalHealth
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2800 - Aboveground Petroleum Storage Program
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PR0528240
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COMPLIANCE INFO_PRE 2019
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Last modified
11/19/2024 1:51:26 PM
Creation date
10/16/2018 11:20:20 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2800 - Aboveground Petroleum Storage Program
File Section
COMPLIANCE INFO
FileName_PostFix
PRE 2019
RECORD_ID
PR0528240
PE
2832
FACILITY_ID
FA0003786
FACILITY_NAME
T&T TRUCKING INC
STREET_NUMBER
11396
Direction
N
STREET_NAME
STATE ROUTE 99
STREET_TYPE
RD
City
LODI
Zip
95240
APN
05926010
CURRENT_STATUS
01
SITE_LOCATION
11396 N HWY 99 E FRONTAGE RD
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
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FRuiz
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EHD - Public
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SANJ O 1` Q U I `IA,II, Environmental Health Department <br /> COUNTY <br /> Aboveground Petroleum Storage Act Inspection Report <br /> Facility Name: Facility Address: Date: <br /> T&T TRUCKING INC 11396 N HWY 99 E FRONTAGE RD, LODI December 04, 2018 <br /> Other Violations <br /> 4030 See below Unlisted Operations/Maintenance violation ❑V ❑R ❑COS <br /> 4040 See below Unlisted Release/Leaks/Spills violation ❑V ❑R ❑COS <br /> 4050 See below Unlisted Abandonment/Illegal Disposal/Unauthorized Treatment violation ❑V ❑R ❑COS <br /> SUMMARY OF VIOLATIONS <br /> (CLASS I,CLASS II,or MINOR-Notice to Comply) <br /> Item# Remarks <br /> 301 CFR 112.5(a) Failed to amend Plan as necessary. <br /> The SPCC plan states that buried piping is not part of the Aboveground Storage Tank system. Piping leading from <br /> aboveground storage tanks to dispensers was observed to be buried, and corrosion protection for the buried pipes <br /> is not discussed in the SPCC plan. The SPCC plan states that the facility does not have mobile or portable above <br /> ground storage tanks. Several 55 gallon drums were observed at the facility and mentioned in other sections of the <br /> Plan. The Spill Prevention, Control, and Countermeasure(SPCC) Plan must be amended when there is a change in <br /> the facility design, construction, operation, or maintenance that materially affects its potential for a discharge,within <br /> 6 months of the change, and implemented as soon as possible, not later than 6 months following preparation of the <br /> amendment. Immediately make all necessary amendments to the SPCC Plan to accurately represent the <br /> procedures and policies currently in place at the facility. <br /> This is a minor violation. <br /> 618 CFR 112.7(e), 112.8(c)(6) Failed to keep records of procedures, inspections,or integrity tests for three years. <br /> The inspection forms being used do not meet the requirements of the STI SP-001 standard called for by Spill <br /> Prevention, Control, and Countermeasure(SPCC) Plan. The 1,000 gallon gasoline tank is being inspected using <br /> Air Resources phase I and phase II inspection form. Other tanks are being visually inspected daily and the <br /> inventories of the tanks being recorded but a checklist that meets the requirements of the STI SP-001 standard is <br /> not being used. Inspections and tests must be conducted and stored in accordance with the written procedures <br /> developed for this facility in the SPCC Plan. Immediately begin conducting all inspections and tests in accordance <br /> with the procedures in the SPCC Plan, or amend the Plan and have it recertified by a Professional Engineer to <br /> accurately reflect the inspection procedures currently followed at the facility and that meet the requirements of the <br /> referenced STI SP-001 industry standard. <br /> This is a Class II violation. <br /> 706 CFR 112.8(c)(2)Failed to provide and maintain adequate secondary containment. <br /> Parts of the SPCC plan describe a berm as the secondary containment for the area described as the tank farm <br /> containing 20,000 gallon, 10,000 gallon, 12,000 gallon and 500 gallon tanks.The bermed area is described in the <br /> SPCC plan as having a capacity of 13,900 gallons,which is insufficient for the 20,000 gallon diesel tank.The plan <br /> also states that secondary containment is achieved through a retention basin with a capacity of 748,000 gallons.At <br /> the time of the inspection,the retention basin seemed to be near capacity because of recent rains and due to the <br /> water from the oil/water separator draining into the basin. This water storage diminishes the storage capacity from a <br /> potential release event from petroleum storage tanks. This storage of water in the basin is not discussed in the <br /> SPCC plan,to ensure there is sufficient capacity to contain the entire capacity of the largest tank.All bulk storage <br /> tanks must be provided with a secondary means of containment for the entire capacity of the tank and sufficient <br /> freeboard to contain precipitation. Every tank should have a secondary containment that fulfills the requirements of <br /> the regulations and this should be reflected in the SPCC plan. <br /> This is a Class II violation. <br /> FA0003786 PR0528240 SCO01 12/04/2018 <br /> EHD 28-01 Rev.09/27/2018 Page 4 of 5 Aboveground Petroleum Storage Act OIR <br /> 1868 E. Hazelton Avenue I Stockton, California 95205 1 T 209 468-3420 1 F 209 464-0138 1 www.sjcehd.com <br />
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