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COMPLIANCE INFO 2008-2015
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COMPLIANCE INFO 2008-2015
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Last modified
12/28/2023 4:15:38 PM
Creation date
11/2/2018 8:03:35 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2300 - Underground Storage Tank Program
File Section
COMPLIANCE INFO
FileName_PostFix
2008-2015
RECORD_ID
PR0521942
PE
2371
FACILITY_ID
FA0014921
FACILITY_NAME
RANCHO SAN MIGUEL MARKET*
STREET_NUMBER
1427
Direction
S
STREET_NAME
AIRPORT
STREET_TYPE
WAY
City
STOCKTON
Zip
95205
APN
16902016
CURRENT_STATUS
01
SITE_LOCATION
1427 S AIRPORT WAY
P_LOCATION
02
P_DISTRICT
001
QC Status
Approved
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SJGOV\kblackwell
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\MIGRATIONS\A\AIRPORT\1427\PR0521942\COMPLIANCE INFO 2008-2015.PDF
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EHD - Public
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Air Resources Board <br /> 1001 1 Street• P.O. Box 2815 <br /> Alan C.Lloyd, Ph.D. Sacramento, California 95812 •www.arb.ca.gov <br /> Agency Secretary Arnold Schwarzenegger <br /> Governor <br /> April 29, 2005 <br /> Mr. Steven Arita <br /> Western States Petroleum Association <br /> 1415 L Street, Suite 600 <br /> Sacramento, California 95814 <br /> Dear Mr. Arita: <br /> This is a follow-up letter to our letter of March 16, 2005, regarding the Healy EVR Phase II <br /> system Executive Order VR-201-A which was issued April 8, 2005. Your concern, as expressed <br /> in your letter of February 24, 2005, is that the Healy system with vapor bladder, also known as <br /> the Clean Air Separator or"CAS," might be considered an above ground storage tank (AST) by <br /> local permitting agencies. As stated in your letter, classification of the Healy CAS as an AST <br /> may trigger property fine setback conditions and liquid containment requirements. You <br /> requested clarification of the regulatory jurisdictional issue and asked for appropriate guidance <br /> for local agencies at or before the issuance of the Healy EVR Phase II Executive Order. in our <br /> March 16, 2005, letter, we agreed to issue guidance, if possible in conjunction with the State <br /> Water Resources Control Board (State Water Board), on the proper classification of the Healy <br /> CAS and any corresponding CAS installation limitations when the Healy EVR 'Phase If <br /> Executive Order is issued. <br /> We checked with the State Water Board's staff and they stated that only ASTs with a capacity <br /> greater than 1320 gallons are regulated as ASTs. The capacity of the Healy Clean Air <br /> Separator system is only 400 gallons, therefore it would not be regulated as an AST under state <br /> water control law. In addition, the CAS is not an AST under ARB's definition in D-200 as the <br /> tank does not require emergency relief ven ing. <br /> We consider the Healy CAS to be a vapor recovery processor. As we noted in our letter of <br /> March 16, 2005, the State Fire Marshal has approved the Healy CAS when installed in <br /> accordance with the manufacturers installation instructions. The CA5 is to be installed in close <br /> proximity to the product storage tank vent system in accordance with NFPA 30A, Chapter 10, <br /> "Vapor Processing and Vapor Recovery Systems for Liquid Motor Fuels". If you have questions <br /> on the State Fire Marshal approval, you may wish to contact Mr. James Parsegian at <br /> james.parsegian(a)fire.ca.aov or (916)445-6787. <br /> The energy challenge facing Califomia is real. Every Californian needs to take immediate action to reduce energy consumption. <br /> For a list of simple ways you can reduce demand and cut your energy costs, see our Website. http:flwww.arb.ca.aov. <br /> California Environmental Protection Agency <br /> Printed on Recycled Paper <br />
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