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COMPLIANCE INFO 2016
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COMPLIANCE INFO 2016
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Entry Properties
Last modified
7/6/2020 4:40:19 PM
Creation date
11/8/2018 9:44:15 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2300 - Underground Storage Tank Program
File Section
COMPLIANCE INFO
FileName_PostFix
2016
RECORD_ID
PR0231669
PE
2361
FACILITY_ID
FA0001480
FACILITY_NAME
TESORO (MOBIL) 68222
STREET_NUMBER
2132
STREET_NAME
MARIPOSA
STREET_TYPE
RD
City
STOCKTON
Zip
95205
APN
17306035
CURRENT_STATUS
01
SITE_LOCATION
2132 MARIPOSA RD
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
Supplemental fields
FilePath
\MIGRATIONS3\M\MARIPOSA\2132\PR0231669\COMPLIANCE INFO\COMPLIANCE INFO 2016.PDF
QuestysFileName
COMPLIANCE INFO 2016
QuestysRecordDate
6/15/2017 6:48:05 PM
QuestysRecordID
3131588
QuestysRecordType
12
QuestysStateID
1
Tags
EHD - Public
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San Joaquin County %No <br /> Environmental Health Department <br /> 1868 East Hazelton Avenue, Stockton, California 95205-6232 <br /> Telephone: (209)468-3420 Fax: (209) 468-3433 Web:www.sigov.org/ehd <br /> Underground Storage Tank Program Inspection Repo <br /> FacFacility Address: Date: <br /> TESOity RO Name:MOBIL 68222 2132 MARIPOSA RD STOCKTON Aril 26 2016 <br /> ESO <br /> SUMMARY OF VIOLATIONS <br /> (CLASS I,CLASS II,or MINOR-Notice to Comply) <br /> Item# Remarks <br /> 106 CCR 2632 Monitoring and response plans not current or approved by the EHD. <br /> The monitoring plan is not current and/or not approved by the EHD. The monitoring plan for TA0507192 needs to have <br /> the mechanical line leak detector model changed from FX1 V to LD2000; the monitoring plan for TA0507193 needs to <br /> have the mechanical line leak detector model changed from FX1V to FX2V. Under RECORDKEEPING for all four <br /> tank monitoring plans, change"No"to"Yes"for Visual Inspection Records. The monitoring plan must be uploaded to <br /> the California Environmental Reporting System(CERS). Immediately log into CERS, make the necessary changes, <br /> and submit for review by the EHD. <br /> This is a minor violation. <br /> 303 HSC 25290.2(d) Monitoring system not maintained to detect entry into secondary containment(Jul 2003-Jun 2004). <br /> The 89-product submersible turbine sump 208 sensor failed when tested. The continuous monitoring system shall be <br /> maintained to detect the entry of the liquid or vapor phase of the hazardous substance stored in the primary <br /> containment into the secondary containment and to detect water intrusion into the secondary containment. The <br /> sensor was replaced and retested during the inspection. A"UST Retrofit Verification with Inspector Already Onsite" <br /> form has been completed and provided to the operator and contractor. <br /> This was corrected on site. <br /> This is a minor violation. <br /> 323 CCR 2636(f)(2) Leak detector failed to detect a 3.0 gph leak at 10 psi. <br /> The 87-product VMI line leak detector failed to detect a leak when tested. All line leak detectors shall be capable of <br /> detecting a 3-gallon per hour leak at 10 psi. The service technician adjusted the leak detector, retested it, and it <br /> passed. <br /> This was corrected on site. <br /> This is a minor violation. <br /> Overall Inspection Comments: <br /> On site to perform an annual monitoring system certification, spill container, and line leak detector inspection. <br /> Since the inspection was completed in April 2016, future monitoring system certification, spill container, and line <br /> leak detector testing must be completed annually during the month of April of each year, going forth. <br /> Complete and submit a copy of the Return to Compliance Certification form to the EHD with a statement <br /> documenting the corrective actions that have been or will be taken for each violation, and any supporting <br /> paperwork, by May 26, 2016. <br /> Please be aware that as of January 1, 2014, facility operators are required to upload the following UST program <br /> documents into the California Environmental Reporting System (CERS): UST Monitoring Site Plan, UST <br /> Certification of Financial Responsibility, UST Response Plan, UST Letter from Chief Financial Officer(if <br /> applicable), and the Owner Statement of Designated Operator Compliance. The UST Owner/Operator: Written <br /> Agreement, if applicable, can be stored at the facility or uploaded into CERS. <br /> Page 4 of 5 <br />
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