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On April 3, 2008, Ms. Michelle Henry, Senior REHS, EHD, performed a routine UST <br /> inspection and witnessed the annual monitoring system certification, leak detector <br /> testing, and spill container testing. Testing was scheduled for March 31, 2008, but was <br /> rescheduled at the request of the EHD due to a scheduling conflict. During the <br /> inspection, Ms. Henry found that current financial responsibility documents and <br /> monitoring and response plans were not on file with this office. Current monitoring and <br /> response plans, maintenance and monitoring records, and February and March 2008 <br /> designated operator monthly inspection reports were not found on site. Ms. Henry also <br /> found that none of the items noted in the March 13, 2007, UST inspection report were <br /> ever addressed. A checklist of noted violations was left on site (Attachment 20). A <br /> monitoring system certification test report, due within 30 days of testing, was never <br /> submitted. <br /> On April 3, 2008, Ms. Henry also performed a routine hazardous waste inspection. Ms. <br /> Henry found fourteen 55-gallon drums of hazardous waste on site without proper <br /> labeling, and it could not be determined how long any of the drums were on site. One <br /> drum was found open and not in use at the time and piles of junk and trash were piled <br /> around the drum that was actively used to store the facility's hazardous waste when <br /> generated. During the review of the facility's paperwork, Ms. Henry found that the <br /> facility's EPA ID number was not active, documentation for the disposal of hazardous <br /> waste and universal waste for the last three years were not found on site, and the facility <br /> did not have a modified contingency plan or emergency coordinator. Ms. Henry did not <br /> have time to write a complete inspection report, so a checklist was left on site <br /> (Attachment 21). <br /> On May 14, 2008, Ms. Henry delivered the April 3, 2008, routine UST and hazardous <br /> waste inspection reports to the facility (Attachments 22 and 23). <br /> On July 8, 2008, a letter dated July 2, 2008, was sent by certified and regular mail to the <br /> facility asking for all the items requested on the April 3, 2008, UST and hazardous waste <br /> inspection reports (Attachment 24). None of the items were previously submitted. <br /> On July 21, 2008, Ms. Henry called Mr. Minhas to follow up on the April 3, 2008, <br /> inspection reports and left a message regarding a possible UST consultation. <br /> On August 6, 2008, Ms. Henry performed a consultation with Mr. Minhas and his son at <br /> the EHD to ensure all required forms were completed and submitted. The UST and <br /> hazardous waste inspection reports were reviewed. Mr. Minhas stated he forgot his <br /> glasses and asked if Ms. Henry would complete the monitoring and response plans for <br /> him. Ms. Henry replied, "No," but added she would help. Mr. Minhas stated he would <br /> have his designated operator help him complete the plans. Mr. Minhas also stated <br /> repeatedly that we should already have this information on file. Ms. Henry explained <br /> that the forms were not correct and need to be updated. Current financial responsibility <br /> forms were submitted, and Ms. Henry asked if the tank owner listed in the UST— Facility <br /> form, California Gas Station LLC, was correct, and Mr. Minhas stated he did not know, <br /> but would find out. When Ms. Henry reviewed the hazardous waste inspection report, <br /> Mr. Minhas repeatedly stated he knew what he had to do, but when Ms. Henry informed <br /> him of the return to compliance certification, he did not seem to understand and began to <br /> state that he didn't know any of this and why did we not tell him before? A modified <br /> 4 <br />