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2200 - Hazardous Waste Program
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PR0515670
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Last modified
11/1/2018 8:02:46 AM
Creation date
10/30/2018 2:05:20 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
RECORD_ID
PR0515670
PE
2220
FACILITY_ID
FA0005848
FACILITY_NAME
STOCKTON TRI INDUSTRIES INC
STREET_NUMBER
2141
Direction
E
STREET_NAME
ANDERSON
STREET_TYPE
ST
City
STOCKTON
Zip
95205
APN
15530005
CURRENT_STATUS
01
SITE_LOCATION
2141 E ANDERSON ST
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
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EJimenez
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EHD - Public
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Ver. 1-E-doc-3-18-10 <br /> III. Plan Requirements <br /> 1. Oil Storage Containers (§112.7(a)(3)(i)): <br /> Table G-2 Oil Storage Containers and Capacities <br /> This table includes a complete list of all oil storage containers (aboveground containersaandcompletely buried <br /> tanksb) with capacity of 55 U.S. gallons or more, unless otherwise exempt from the rule. For mobile/portable El <br /> containers, an estimated number of containers, types of oil, and anticipated capacities areprovided. <br /> Oil Storage Container (indicate whether Type of Oil Shell Capacity(gallons) <br /> aboveground A or completely buried B <br /> Tank 1 Diesel Fuel 500 <br /> Tank 2 Gasoline 250 <br /> Tank 3 (California APSA Requirement Only) Mixed (wastewater& oil) 250 <br /> 55-Gallon Drums Oil, Hydraulic Oil 5'55 = 275 <br /> 55-Gallon Drums Used oil 2`55 = 110 <br /> Total Aboveground Storage Capacity c 1,385 gallons <br /> Total Completely Buried Storage Capacity 0 gallons <br /> Facility Total Oil Storage Capacity 1,385 gallons <br /> a Aboveground storage containers that must be included when calculating total facility oil storage capacity include: tanks and mobile or <br /> portable containers; oil-filled operational equipment(e.g. transformers); other oil-filled equipment,such as flow-through process <br /> equipment. Exempt containers that are not included in the capacity calculation include: any container with a storage capacity of less <br /> than 55 gallons of oil; containers used exclusively for wastewater treatment; permanently closed containers; motive power containers; <br /> hot-mix asphalt containers; heating oil containers used solely at a single-family residence; and pesticide application equipment or <br /> related mix containers. <br /> b Although the criteria to determine eligibility for qualified facilities focuses on the aboveground oil storage containers at the facility,the <br /> completely buried tanks at a qualified facility are still subject to the rule requirements and must be addressed in the template; however, <br /> they are not counted toward the qualified facility applicability threshold. <br /> Counts toward qualified facility applicability threshold. <br /> 2. Secondary Containment and Oil Spill Control (§§112.6(a)(3)(i) and (ii), 112.7(c) and 112.9(c)(2)): <br /> b Table G-3 Secondary Containment and Oil Spill Control <br /> Appropriate secondary containment and/or diversionary structures or equipments is provided for all oil handling <br /> containers, equipment, and transfer areas to prevent a discharge to navigable waters or adjoining shorelines. <br /> The entire secondary containment system, including walls and floor, is capable of containing oil and is <br /> constructed so that any discharge from a primary containment system, such as a tank or pipe, will not escape <br /> the containments stem before cleanup occurs. <br /> a Use one of the following methods of secondary containment or its equivalent: (1) Dikes, berms, or retaining walls sufficiently <br /> impervious to contain oil; (2) Curbing; (3) Culverting, gutters, or other drainage systems; (4)Weirs, booms, or other barriers; (5) Spill <br /> diversion ponds; (6) Retention ponds; or(7) Sorbent materials. <br /> Facility Name: Stockton Tri Industries, Inc. Page 3 Tier I Qualified Facility SPCC Plan <br />
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