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COMPLIANCE INFO_PRE 2019
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PR0220070
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COMPLIANCE INFO_PRE 2019
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Last modified
6/20/2019 2:29:01 PM
Creation date
11/1/2018 6:10:30 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
PRE 2019
RECORD_ID
PR0220070
PE
2226
FACILITY_ID
FA0002502
FACILITY_NAME
PACTIV PACKAGING INC
STREET_NUMBER
4545
STREET_NAME
QANTAS
STREET_TYPE
LN
City
STOCKTON
Zip
95206
APN
17928032
CURRENT_STATUS
01
SITE_LOCATION
4545 QANTAS LN
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
Scanner
FRuiz
Supplemental fields
FilePath
\MIGRATIONS\IAError\Q\QANTAS\4545\PR0220070\COMPLIANCE INFO PRE 2015.PDF
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EHD - Public
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• The partial tote of blue ink described as virgin waste ink was actually work-off ink <br /> and has since been consumed by a press job. <br /> #20 Failed to properly label containers of hazardous waste. One 15-gallon container of <br /> unknown <br /> • This was an outdated lubricant that is now properly labeled. This material is going to <br /> be used in another application. <br /> #20 Failed to properly label containers of hazardous waste. One 60-gal drum of <br /> unknown with a start date of 6/24/05. <br /> • This drum was properly labeled and shipped as hazardous waste on 10/4/05. A copy <br /> of the manifest is enclosed. <br /> #91 Several 55-gal drums were empty and not labeled as required by Title 22 <br /> Hazardous Waste Regulation. <br /> • All drums previously containing hazardous waste have been labeled "Empty" with <br /> date they became empty. Corrected 9/18/05. <br /> Included in the inspection report was a directive for Dopaco to sample the solid waste that is <br /> currently compacted in a 55-gal drum in our off-press make ready area. We were instructed to <br /> submit results of the sampling to your office by 10/20/05. Mickey Pierce from DTSC <br /> determined that this was not necessary, as Dopaco has fulfilled its obligation as a generator to <br /> properly identify and classify the waste. Previous DTSC interpretations on this issue as it <br /> relates to tiered permitting have been that volume reduction alone is not treatment, unless the <br /> compaction results in a release of Liquid. <br /> On 10/5105 you returned to our facility to re-check the compacting process to ensure that no <br /> free liquids are generated from this process. Dopaco has a policy in place stating that no <br /> liquids are to be introduced into the solid waste stream. Signs are posted and training is done <br /> to reinforce this policy. Your review of this process revealed no liquids were released. <br /> Accordingly, no further action is required by Dopaco regarding this issue. <br /> If you have any questions, please contact me at (209) 983-1930, extension 3140 or by e-mail, <br /> susan.hunter@dopaco.com <br /> Sincerely, <br /> 4�1 � 59� <br /> Susan Hunter <br /> Environmental/Safety Specialist <br /> Cc: Phoebe Robb, Manager, Environmental and Safety Compliance <br />
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