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2800 - Aboveground Petroleum Storage Program
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PR0515795
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Last modified
12/19/2019 9:19:53 AM
Creation date
1/11/2019 4:55:12 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2800 - Aboveground Petroleum Storage Program
File Section
COMPLIANCE INFO
RECORD_ID
PR0515795
PE
2832
FACILITY_ID
FA0004382
FACILITY_NAME
NORTHWEST PIPE COMPANY
STREET_NUMBER
10100
Direction
W
STREET_NAME
LINNE
STREET_TYPE
RD
City
TRACY
Zip
95377
APN
25312041
CURRENT_STATUS
01
SITE_LOCATION
10100 W LINNE RD
P_LOCATION
99
P_DISTRICT
005
QC Status
Approved
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EHD - Public
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aNorthwest Pipe Documentation of Corrective Actions <br /> Company San Joaquin Courry—Environmental Health Department <br /> Aboveground Petroleum Storage Act Inspection Report(0 713 012 01 9) <br /> , <br /> 301 CFR 112.5(a) Failed to amend Plan as necessary <br /> The SPCC plan does not address all APSA qualified tanks.The SPCC plan failed to address an emergency <br /> generatorwith a belly tank containing diesel and capacity which appears to be over 55 gallons. Operational <br /> equipment in the Bell Expander and Hydrotest areas were not addressed in the SPCC plan. The <br /> operational equipment consists of two hydraulic fluid reservoirs of 300 gallons and another that may be <br /> between 400 and 500 gallons. The area referred to as the Hazardous Waste consolidation area was <br /> observed with several 55 gallon drums,some ofwhich were described as containing oily water and is not <br /> addressed in the plan. The Spill Prevention,Control,and Countermeasure(SPCC)Plan must be amended <br /> when there is a change in the facility design,construction,operation,or maintenance that materially affects <br /> its potential for a discharge,within 6 months of the change,and implemented as soon as possible,nat later <br /> than 6 months fallowing preparation of the amendment. <br /> Corrective Action. <br /> Immediately make all necessary amendments to the SPCC Plan to accurately represent the procedures and <br /> policies currently in place at the facility. Include all aboveground petroleum storage tanks with a capacity of <br /> 55 gallons or more. <br /> The facility's SPCC Plan was amended to represent accurately the procedures and policies in place currently <br /> at this facility. The following aboveground petroleum storage tanks/containers with a capacity of 55 gallons <br /> or more were added to the facility's inventory(See SPCC Plan) <br /> - 55-Gal. Drum(Used oil accumulation) <br /> - 80-Gal. Emergency Generator belly(Diesel) <br /> The following qualified oil-filled operational equipment were added to facility's inventory(see SPCC plan) <br /> - 120-Gal.Helical weld oil tank(Lube oil recirculating tank) <br /> - 114-Gal.Byard weld oil tank(Hydraulic oil) <br /> - 200-Gal.Bell expander west side(Hydraulic oil) <br /> - 350-Gal.Bell expander east side(Hydraulic oil) <br /> - 200-Gal.Hydrotest oil tank(Hydraulic oil) <br /> - 110-Gal.Flash welder hydraulic tank (Hydraulic oil) <br /> - 114-Gal.Skimmer hydraulic tank(Hydraulic oil) <br /> - 96-Gal.Small expander(Hydraulic oil) <br /> - 80-Gal.Flare machine(Hydraulic oil) <br /> - 134-Gal.Big expander(Hydraulic oil) <br /> - 170-Gal.D-load machine(Hydraulic oil) <br /> - 256-Gal.Tip-down machine(Hydraulic oil) <br /> - 120-Gal.Transformer(owned by PG&E)(Dielectric fluid) <br /> General Requirements for SPCC Plans <br /> 602 CFR 112.7(a)(2) Plan tail ad to discuss equivalent environmental protection,if applicable. <br /> The Spill Prevention, Control, and Countermeasure (SPCC) failed to discuss alternative environmental <br /> protection requirements. The SPCC Plan states that the 300 and 500 gallon tanks along with some 55 gallon <br /> drums do not have overfill protection as required by CFR 112.8(c)(8). The SPCC plan does not give the <br /> reasons for nonconformance and a detailed description of the alternate method is not discussed. Table 6.1 <br /> of the SPCC plan states that the 300 and 500 gallon tanks do not require inspections, given the use of <br /> environmental equivalent measures described in section 5.4 of the SPCC plan. Section 5.4 of the SPCC plan <br /> does not discuss the reasons for nonconformance and fails to describe a detailed alternative method. If the <br /> SPCC Plan does not conform to the applicable requirements, the reasons for nonconformance must [be[ <br /> stated and the alternate methods to achieve equivalent environmental protection must be described in detail <br /> in the Plan <br /> Page 1 of 4 <br />
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