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San Joaquin County <br /> Environmental Health Department DIRECTOR <br /> Donna Heran, REHS <br /> z.' z 1868 East Hazelton Avenue <br /> PROGRAM COORDINATORS <br /> l c Stockton, California 95205-6232 Robert McClellon, REHS <br /> Jeff Carruesco, REHS, RDI � <br /> c P Kasey Foley, REHS <br /> Website: www.sjgov.orgJehd Linda Turkatte, REHS <br /> Phone: (209)468-3420 Rodney Estrada,REHS <br /> Fax: (209)464-0138 Adrienne Ellsaesser, REHS I <br /> a <br /> November 13, 2013 <br /> r <br /> Jerrod Herron <br /> Pilot Travel Centers LLC <br /> 5508 Lonas Dr. <br /> Knoxville, TN 37909 <br /> Re: Flying J Travel Plaza #616 SR0068444 <br /> 1501 N. Jack Tone Rd., Ripon CA 95366 <br /> The San Joaquin County Environmental Health Department (EHD) has completed the initial <br /> review of the RUSH application for a permit to install an underground storage tank (UST) <br /> system containing biodiesel (13100) at the above noted address received on November 8, 2013. <br /> Please be aware that this is not an approval letter. The following deficiencies were noted during <br /> the review. Please provide three copies of all submitted documents. <br /> 1. Pages 3 and 6-8 of the Application for Underground Storage Tank Installation Permit <br /> g pp g <br /> have missing/incorrect information. See the attached highlighted copy. Also the <br /> information for the responsible party for billing listed on the Service Request form must <br /> be the same as the responsible party for billing listed at the bottom of page 3. <br /> 2. The plans do not include a vent rack transition sump. Explain how the plans will comply <br /> with Chapter 6.7 of the California Health and Safety Code (HSC). <br /> 3. The plans do not include continuous monitoring for the secondary containment of the <br /> product, vent, and vapor piping (vacuum, pressure, hydrostatic). Explain how the plans <br /> will comply with Chapter 6.7 of HSC. <br /> 4. The secondary containment sump within the injection shed does not contain all of the <br /> piping and attached equipment. Explain how the plans will comply with Chapter 6.7 of <br /> HSC. <br /> 5. A completed Unified Program Consolidated Form (UPCF) for Underground Storage <br /> Tank information was not submitted. <br /> 6. Manufacturers' cut sheets for tanks, piping, and equipment (e.g., monitoring equipment, <br /> overspill containment device, overfill protection device, etc.) were not submitted. Also <br /> include the Affirmative Statement of Compatibility by each manufacturer to ensure that 8100 <br /> is compatible with their products. <br /> 7. Buoyancy calculations wet signed and stamped by a Professional Engineer were not <br /> submitted for the UST. <br /> 8. The installing technician's manufacturer training certifications for all components being <br /> installed, as well as, any other worker who may install components and is required to be <br />