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ADDENDUM B: OIL REMOVAL CONTINGENCY PLAN <br /> In reference to CFR Tittle 40, Chapter I Subchapter D, Part 109 for development and <br /> implementation criteria for State, local and regional oil removal contingency plans, Northwest Pipe <br /> Company identified the existing Hazardous materials contingency plan as document equivalent. <br /> the requirements are cross-referenced below. <br /> §109.5 Development and implementation criteria for State, local and regional oil removal <br /> contingency plans. <br /> Criteria for the development and implementation of State, local and regional oil removal <br /> contingency plans are: <br /> (a) Definition of the authorities, responsibilities and duties of all persons, organizations or <br /> agencieswhich are to be involved or could be involved in planning or directing oil removal <br /> operations, with particular care to clearly define the authorities, responsibilities and <br /> duties of State and local governmental agencies to avoid unnecessary duplication of <br /> contingency planning activities and to minimize the potential for conflict and confusion <br /> that could be generated in an emergency situation as a result of such duplications. <br /> Section B lists the Emergency coordinators. Section D lists the Emergency and <br /> Post incident contacts; Clean Harbors is listed at the end of section D as our <br /> authorized clean up company (See addendum C). Section F. lists the <br /> responsibilities and duties of the emergency coordinators. <br /> (b) Establishment of notification procedures for the purpose of early detection and timely <br /> notification of an oil discharge including: <br /> (1) The identification of critical water use areas to facilitate the reporting of and <br /> response to oil discharges. Site map identifies two:Retention basin and water well; <br /> additionally, eyewash stations are identified on site map. <br /> (2) A current list of names, telephone numbers and addresses of the responsible <br /> persons and alternates on call to receive notification of an oil discharge as well as the names, <br /> telephone numbers and addresses of the organizations and agencies to be notified when an <br /> oil discharge is discovered. Identified on Section B and Section D. <br /> (3) Provisions for access to a reliable communications system for timely notification of <br /> an oil discharge and incorporation in the communications system of the capability for <br /> interconnection with the communications systems established under related oil removal <br /> contingency plans, particularly State and National plans. Section H lists three reliable <br /> communication systems:Portable radios(management staff), telephone(offices) and <br /> siren for plan wide emergency procedure. <br /> (4) An established, prearranged procedure for requesting assistance during a major <br /> disaster orwhen the situation exceeds the response capability of the State, local or regional <br /> authority. Contract Fire Inspector from South County Fire Authority was contacted on <br /> this regard; he was unaware of any prearranged procedure needed for Fire <br /> Department emergency response, beyond having prior knowledge of the following: <br /> location of utility shutoffs, location of fuel tanks, water availability, type and quantity <br /> of any hazardous materials, contact information for after-hours incidents. Once "911" <br /> is contacted, the incident command system has the capability of expanding to include <br />