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a <br /> Page 1 of 2 <br /> Stacy Rivera [EH] . <br /> From: Stacy Rivera [EH] <br /> Sent: Tuesday, September 10, 2013 3:58 PM <br /> To: 'MATT.JOSEPH@SCHUFF.COM' <br /> Subject: Aerosol Can Puncturing Notification <br /> Attachments: aerosol can notification.pdf <br /> Hi Matt, <br /> I've attached a copy of our brand new Universal Waste Aerosol Can Processing Notification form. The notification you submitted <br /> was missing some of the required information. You are welcome to update your notification or use the form provided here. The <br /> information missing from your notification included: <br /> -estimated volumes or quantities to be processed monthly <br /> -equipment description and design capabilities <br /> -characteristics of hazardous treatment residuals <br /> -description of management of hazardous treatment residuals <br /> A few other questions/notes: <br /> -Your notification states that you will be identifying "empty aerosol cans that have been used completely." Are these the cans you <br /> plan to puncture? <br /> -Step 7 states you will send bills of lading for punctured can recycling to our department, indicating the amount of cans disposed <br /> of. This isn't necessary. We are interested in the disposal records for any hazardous liquids and vapors resulting from the <br /> puncturing, and these documents can be maintained on site for review during your routine inspections. <br /> -Are you considered a"responsible corporate officer"for the purposes of signing this document? I know we discussed this <br /> before, but I don't recall the result. I've included the description (below) included in the regulations for a qualifying signature. <br /> Give me a call (or email) if you have any questions. Thanks! <br /> CCR§ 66270.11 <br /> (a)Applications.All permit applications shall be signed as follows: <br /> (1)for a corporation:by a responsible corporate officer. For the purpose of this section,a responsible <br /> corporate officer means a president,secretary,treasurer,or vice-president of the corporation in charge of <br /> a principal business function,or any other person who is authorized to perform similar policy or decision <br /> making functions,which govern the operation of the regulated facility,for the corporation; <br /> (2)for a partnership or sole proprietorship: by a general partner or the proprietor, respectively;or <br /> (3)for a municipality,State,Federal,or other public agency:by either a principal executive officer or <br /> ranking elected official. For purposes of this section,a principal executive officer of a Federal agency <br /> includes: <br /> (A)the chief executive officer of the agency,or <br /> (B)a senior executive officer having responsibility for the overall operations of a principal geographic unit <br /> of the agency(e.g., Regional Administrators of USEPA). <br /> 9/10/2013 <br />