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i <br /> t <br /> I <br /> 1 <br /> The following is an itemized list of aboveground petroleum storage act violations that <br /> have not been addressed for A L POWELL TRUCKING as of Aprif22, 2019. <br /> Open violations from August 21, 2018 inspection E <br /> Violation #102 -Failed to prepare a written SPCC Plan in accordance with CFR Part 112. i <br /> This facility has an Aboveground Petroleum Storage Act(APSA) regulated shell capacity of over 10,000 gallons. A <br /> Spill Prevention, Control, and Countermeasure (SPCC) Plan was not available on site. All facilities which have an <br /> APSA regulated shell capacity of 1,320 gallons or greater shall prepare a written SPCC Plan which meets all of the <br /> requirements of the 40 CFR Part 112. This plan shall be certified by a professional engineer in accordance with 40 <br /> CFR 112.3(d). Immediately prepare a SPCC Plan in accordance with 40 CFR Part 112, which that includes all <br /> aboveground petroleum storage containers 55 gallons or larger. Submit a copy of the Professional Engineer(PE) <br /> certified SPCC Plan to the EHD for review. (This copy will be returned to the facility after review.) A copy shall be j <br /> maintained on site at all times. <br /> Violation #706 -Failed to provide and maintain adequate secondary containment. <br /> The diesel tank secondary containment wall appeared to not have sufficient space to provide secondary <br /> containment for the entire capacity of the tank and sufficient freeboard to contain precipitation. The waste oil double <br /> walled convualt tank appears to have liquid in the interstitial space. All bulk storage tanks must be provided with a <br /> secondary means of containment for the entire capacity of the tank and sufficient freeboard to contain precipitation. <br /> Immediately provide sufficient secondary containment for this and all other tanks at this facility. <br /> f <br /> i <br /> I <br /> S <br /> f <br /> i <br /> Page 1 of 1 <br />