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2800 - Aboveground Petroleum Storage Program
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PR0515468
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Last modified
8/18/2021 8:26:53 AM
Creation date
3/8/2019 8:32:37 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2800 - Aboveground Petroleum Storage Program
File Section
COMPLIANCE INFO
RECORD_ID
PR0515468
PE
2832
FACILITY_ID
FA0003691
FACILITY_NAME
MBM, Manteca
STREET_NUMBER
800
STREET_NAME
MELLON
STREET_TYPE
AVE
City
MANTECA
Zip
95337
CURRENT_STATUS
01
SITE_LOCATION
800 MELLON AVE
P_LOCATION
04
P_DISTRICT
005
QC Status
Approved
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EHD - Public
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Ruvalcaba, Cesar <br /> From: Michael Zimmerman <Michael.Zimmerman@McLaneFS.com> <br /> Sent: Friday,July 5,2019 10:16 AM <br /> To: Ruvalcaba,Cesar <br /> Cc: Manuel Ortega;Abel Martinez; Ethan Thompson <br /> Subject: Re: SPCC Manteca McLane - PR0515468 <br /> Gary Reeves will be here (Tuesday)to finalize our plan and send to you.I will update you Tuesday after Gary <br /> leaves our faciliy. 706 has been corrected. You are correct. <br /> Get Outlook for iOS <br /> From: Ruvalcaba,Cesar<cruvalcaba@sjgov.org> <br /> Sent: Friday,July 5,2019 9:06:29 AM <br /> To: Michael Zimmerman <br /> Cc: Manuel Ortega;Abel Martinez; Ethan Thompson <br /> Subject: RE:SPCC Manteca McLane-PR0515468 <br /> ** STOP.THINK.External Email** <br /> Michael, <br /> The latest return to compliance has been reviewed. Most of the violations will be addressed once the SPCC plan is <br /> received and reviewed.There are some questions that I have before I close some violations and I have some comments <br /> on others. <br /> The return to compliance states that violations 705 and 706 have been addressed. <br /> Violation 705 will need the SPCC plan submitted and should include a discussion on the container compatibility with the <br /> material stored.The SPCC plan did not include a discussion on that,as required by regulations. <br /> Violation 706—It's a bit difficult to confirm with the pictures but it seems that the four 55 gallon drums that were out in <br /> the yard,the 240 gallon used oil tank and the 55 gallon drum in the shop are now gone. If this is so please confirm this <br /> and the violation can be closed. <br /> Violation 618—Its stated that this was corrected by Gary Reeves Environmental.The violation is for the facility not <br /> having performed the monthly or yearly inspections required by the SPCC plan and the SPOOL standard.You can provide <br /> a statement that addresses the monthly and annual inspections by the facility,as required by the plan and the standard, <br /> and the retention for the required amount of time. I have included the checklists that should be used for the <br /> inspections,they can be modified but the must remain substantially equivalent to the original checklists. <br /> Violation 603—The facility map does not contain the contents of each fixed container as required by regulation.The <br /> regulations also require the storage area where mobile or portable containers are located if there are any on site.This is <br /> what the regulations state to"Describe in your Plan the physical layout of the facility and include a facility diagram, <br /> which must mark the location and contents of each fixed oil storage container and the storage area where mobile or <br /> portable containers are located.The facility diagram must identify the location of and mark as "exempt"underground <br /> tanks that are otherwise exempted from the requirements of this part under§112.1(d)(4).The facility diagram must <br /> also include all transfer stations and connecting pipes, including intra-facility gathering lines that are otherwise <br /> exempted from the requirements of this part under§112.1(d)(11)" <br /> 1 <br />
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