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RECEIVED <br /> JUN 26 2017 <br /> ENVIRONMENTAL <br /> #605. Failed to completely label containers or portable tanks of hazardous Fy3)tq�H DEPARTMENT <br /> CORRECTIVE ACTION <br /> The appropriate hazardous properties were marked on the rinse tank filter drum and the adhesive <br /> resin debris drum. <br /> Secondary containment units for hazardous material drums—These units are designed for <br /> secondary containment and not for storage of hazardous waste. The units were cleaned out and <br /> will be inspected on a daily basis to ensure that they do not store hazardous waste. <br /> Baghouse waste—The debris collected at our baghouse units is not hazardous waste. The debris <br /> is a combination of dry material consisting of wood, aluminum, fiberglass, carbon fiber, and <br /> plastic. <br /> Alodine table—The alodine table pan is not intended to store liquid. The pan is to collect <br /> process liquid (large surface funnel) and immediately drain into a closeable hazardous waste <br /> container. Proper operation should not require labeling of the pan as a hazardous waste <br /> container. A process upgrade plan will be developed and implemented to improve the collection, <br /> drainage, and storage methods. Anticipated to be completed by January 1, 2018. <br /> Titanium etch tank secondary containment—This unit is designed for secondary containment and <br /> not for the storage of hazardous waste. There was no liquid in the titanium etch secondary <br /> containment unit. Chris Hansen used a bright flashlight at 3 different locations of the <br /> containment unit requested by Michelle Henry, and each location showed no signs of liquid. <br /> Michelle verbally acknowledged there was no liquid at each of the locations. <br />