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DLA Installation Operations San Joaquin <br /> General Environmental Controls <br /> 1. General: While performing work at Defense Distribution Depot San Joaquin the contractor shall <br /> comply with all Federal, State and Local environmental protection laws and regulations, the controls <br /> of this document, and all specific requirements stated elsewhere in contract specifications. <br /> 2. Environmental Permits: All permits must be obtained from the appropriate agency and paid for by <br /> the contractor. Installation Support San Joaquin Environmental Office shall be included in all <br /> notification correspondence. Some examples include,but are not limited to: <br /> a. Installation and/or removal of underground storage tanks prior to the start of work. <br /> b. Well drilling prior to the start of work. <br /> c. Air emissions such as Volatile Organic Compounds (VOCs) and National Emission Standards <br /> for Hazardous Air Pollutants(NESHAPS)prior to the start of work <br /> d. Demolition(Asbestos or Non-asbestos) 10 days prior to the start of work. <br /> e. Renovations(Asbestos only) 10 days prior to the start of work. <br /> f. General construction storm water permit prior to the start of work(coordinated through the DLA <br /> San Joaquin Environmental Office). <br /> g. Authority to Construct/Permit to Operate air pollution source from San Joaquin Valley Air <br /> Pollution Control District(SJVAPCD). <br /> 3. Sanitary/Storm Drainage Restrictions: Absolutely no materials are to be disposed of via the sanitary <br /> sewage or storm drain systems.Non-hazardous floor cleaning water may be disposed into the sanitary <br /> sewer system and is prohibited from being dumped into the storm drain system. A rule of thumb is"If <br /> you won't drink it,it doesn't belong in the storm system. <br /> 4. Backflow Prevention:Backflow is required prior to any connection to the water system.Authorization <br /> is obtained through the DDJC Fire Department. Contractors must provide their own backflow <br /> prevention device. <br /> 5. Discovery of Asbestos Containing Materials (ACM): If the contractor discovers ACM (not <br /> previously disclosed) during the performance of the contract, work in the area of the ACM shall <br /> immediately cease and the COR shall be notified. <br /> 6. Hazardous Waste Generation and Disposal: All handling and disposal of hazardous waste (as <br /> defined by Title 22, Chapter 11, California Code of Regulations)is a material and significant <br /> requirement of this contract. Hazardous waste generated in performance of a contract shall be the <br /> property of the contractor and shall be removed as part of the contract effort. All costs associated <br /> with its accumulation, storage,transportation,treatment and disposal are the responsibility of the <br /> contractor. On-site disposal of hazardous waste,including empty containers that previously <br /> contained hazardous materials,is strictly prohibited. <br /> In addition,the contractor shall: <br /> a. Notify the COR of the type,quantity and location of the hazardous waste to be accumulated. <br /> b. Provide advance copies of the completed hazardous waste profile(supported by analysis), land <br /> disposal restriction/certification form, and the uniform hazardous waste manifest to the COR <br /> for review by the Environmental Protection Office at least 24 hours prior to shipment of a <br /> hazardous waste off-site. <br /> 1 <br />