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The following is an itemized list of hazardous waste violations that have not been <br /> addressed for Aramark Uniform & Career Apparel, LLC-Stockton as of March 15, <br /> 2019. <br /> Open violations from December 28, 2018 inspection <br /> Violation #102 - Failed to determine if a waste is a hazardous waste. <br /> -Four metal 55 gallon drums of unknown contents were observed outside between the empty plastic drums and <br /> totes on the northwest corner of the building. <br /> -One 300 gallon plastic tote with the top cut off containing an unknown brown solid material was observed outside <br /> between the empty plastic totes and drums on the northwest side of the building. <br /> Any person who generates a waste shall determine if the waste is a hazardous waste. Immediately make a <br /> hazardous waste determination for the four metal 55 gallon drums and the 300 gallon plastic tote and manage it <br /> according the Title 22 hazardous waste regulations. Submit a statement and supporting documentation explaining <br /> how this waste was managed. <br /> Violation#108 -Contingency plan is incomplete. <br /> The facility's contingency plan is incomplete. These items were missing from the contingency plan: <br /> -Description of actions facility personnel will take in response to explosions at the facility <br /> -Description of arrangements made with local police departments, fire departments, hospitals, contractors and State <br /> and local emergency response teams to coordinate emergency services <br /> -List of names, addresses, and phone numbers (office/home/cell) of all persons qualified to act as emergency <br /> coordinator. Where more than one person is listed, one shall be named as the primary emergency coordinator and <br /> all others in order in which they will assume responsibilities <br /> -List all emergency equipment, which includes location, physical description, and brief outline of its capabilities (Spill <br /> kit locations were not identified on the map or in the plan) <br /> -Current telephone number for State Office of Emergency Services. <br /> The contingency plan must include: <br /> 1. Description of actions facility personnel will take in response to fires, explosions, or any sudden or <br /> non-sudden release of hazardous waste to air, soil or surface water at the facility; <br /> 2. Description of arrangements made with local police departments, fire departments, hospitals, contractors and <br /> State and local emergency response teams to coordinate emergency services; <br /> 3. List of names, addresses, and phone numbers (office/home/cell) of all persons qualified to act as emergency <br /> coordinator. Where more than one person is listed, one shall be named as the primary emergency coordinator and <br /> all others in order in which they will assume responsibilities; <br /> 4. List all emergency equipment, which includes location, physical description, and brief outline of its capabilities; <br /> 5. Evacuation routes for facility personnel where there is a possibility of evacuation; <br /> 6. Current telephone number for State Office of Emergency Services. <br /> If the facility has a Spill Prevention, Control and Countermeasures plan, or some other emergency or contingency <br /> plan, the owner or operator need only amend that plan to incorporate hazardous waste management provisions that <br /> are sufficient to comply with the requirements of this chapter. Immediately prepare or amend an existing plan to <br /> fulfill the requirements of this chapter. Submit a copy of the contingency plan to the EHD. <br /> Page 1 of 6 <br />