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not required to prepare a Facility Response Plan (FRP). Applicability of substantial harm has been reviewed <br /> and certification for each facility is provided in Appendix A. An example of the applicability of substantial <br /> harm checklist is provided in Appendix B. <br /> 1.6 PLAN REVIEW AND UPDATES (40 CFR 112.3 AND 112.5) <br /> Wilbur-Ellis will review and update this SPCC Plan when significant facility changes occur or at least once every <br /> 5 years. Revisions to the SPCC Plan, if needed, will be made within 6 months of facility changes or the 5-year <br /> review. Scheduled reviews and Plan revisions shall be recorded in the plan amendments table located in <br /> Appendix A. <br /> Technical revisions must be certified by a registered PE, in accordance with 40 CFR 112.3(d). Non-technical <br /> revisions can be done by the facility owner and/or operator. <br /> Technical revisions include, but are not limited to,the following: <br /> • Addition or removal of oil storage containers; <br /> • Reconstruction, replacement, or installation of conveyance piping or infrastructure; <br /> • Construction changes that may alter secondary containment structures; <br /> • Changes in products or services, standard operations, or testing/inspection procedures; and/or <br /> • Use of new or modified industry standards or maintenance procedures. <br /> Non-technical amendments include the following: <br /> • Changes in facility contact information; and/or <br /> • Changes in contact information of spill response or cleanup contractors. <br /> g June 07,2019 <br />