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Cesar Ruvalcaba [EH] <br /> From: Kari Casey <karicasey@whfinc.com> <br /> Sent: Monday,January 21, 2019 11:32 AM <br /> To: Cesar Ruvalcaba [EH];Juan Gutierrez;jcrawford@crst.com <br /> Subject: Gardner Trucking <br /> Attachments: Manteca SPCC update rpt 1-19.pdf <br /> Hi Cesar, <br /> We have been working with Gardner Trucking on the updates to the SPCC plan and the Return to <br /> Compliance. I have attached the updated SPCC plan which addresses Violations 203, 301, 613, 710, and 711. <br /> 203- Change of language to correctly describe the overfill prevention (Section 3.4.4). <br /> 301- 120 gallon tank added to plan (Section 2.2.3) and change of language to describe the 10,000 gallon <br /> manifold system (Section 2.2.1). <br /> 613- Revised language to to better describe the trench in the shop (Section 3.6). However, facility personnel <br /> were mistaken, the trench did at one time connect to the separator but had been permanently capped. <br /> 710 &711- Revised language in plan to coincide with the SP001 guidelines. Based on these standards, <br /> integrity testing as previously described is not required. Monthly and annual visual inspections are adequate <br /> (Section 3.8.2 and Appendix Q. <br /> Additionally, training will be conducted on Thursday which will address 618, 619, and 621. Once we have <br /> conducted the training we will provide a copy of the training logs. <br /> If you have any further questions please let me know. <br /> Thanks, Kari <br /> Kari Casey <br /> General/Operations Manager <br /> WHF, Inc. <br /> karicasey_(a)whfinc.com <br /> (209) 848-4280 - office <br /> (209) 872-2168- cell <br /> i <br />