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The following is an itemized list of aboveground petroleum storage act violations that <br /> have not been addressed for RAMOS OIL CARD LOCK as of April 18, 2019. <br /> Open violations from May 10, 2017 inspection <br /> Violation#618 -Failed to conduct inspections or integrity tests or maintain records for 3 years. <br /> Copies of inspection and testing records were not found on site. Inspections and tests must be conducted in <br /> accordance with the written procedures developed in the Spill Prevention, Control, and Countermeasure (SPCC) Pla <br /> Records of these inspections and tests must be signed by the appropriate supervisor or inspector and kept on site <br /> with the SPCC Plan for a period of three years. Immediately locate a copy of all inspection and testing records for th <br /> last three years, maintain them on site, and submit copies to the EHD. <br /> Violation#622 -Failure to conduct spill prevention briefing for oil-handling personnel. <br /> No records of discharge prevention briefings were available on site. Discharge prevention briefings for oil handling <br /> personnel must be scheduled and conducted at least once a year to assure adequate understanding of the SPCC <br /> Plan for that facility. Such briefings must highlight and describe known discharges or failures, malfunctioning <br /> components, and any recently developed precautionary measures. Immediately schedule and conduct a discharge <br /> prevention briefing, ensure that they are scheduled and conducted at least once a year. <br /> Violation #710 -Plan failed to adequately discuss procedures to test or inspect each container for integrity. <br /> -The SPCC Plan stated that tank integrity testing will be done in accordance with STI SP001, but did not include the <br /> details of that testing for the site to follow. <br /> -No records were available to integrity testing. <br /> Each aboveground container shall be tested and inspected for integrity on a regular schedule and whenever repairs <br /> made. The qualifications of personnel performing tests and inspections, frequency and type of testing and inspectior <br /> that take into account container size, configuration, and design shall be determined in accordance with industry <br /> standards. Examples of these integrity tests include, but are not limited to: visual inspection, hydrostatic testing, <br /> radiographic testing, ultrasonic testing, acoustic emissions testing, or other systems of non-destructive testing. <br /> Comparison records and other records of inspections and tests must be maintained on site. Immediately update the <br /> SPCC Plan to include the integrity testing information and conduct the necessary testing and submit a copy of the <br /> test results to the EHD, or provide equivalence as allowed by CFR 112.7(a)(2). <br /> Violation#715 -Failed to regularly test liquid level sensing devices to ensure proper operation. <br /> Liquid level sensing devices have not been tested regularly. Procedures and frequency of testing for these devices <br /> were not addressed in the Spill Prevention, Control, and Countermeasure (SPCC) plan. Liquid level sensing devices <br /> must be installed in accordance with CFR 112.8 and shall be regularly tested to ensure proper operation. Immediate <br /> conduct all necessary testing of liquid level sensing devices, or provide equivalence as allowed by CFR 112.7(a)(2). <br /> Violation#724-Failed to conduct integrity and leak testing on buried piping any time it is worked on. <br /> No piping integrity test results were available on site. Buried piping shall be tested for integrity and leaks at the time <br /> of installation, modification, construction, relocation, or replacement. Immediately perform integrity and leak testing c <br /> this piping and ensure that piping is tested when required, or provide equivalence as allowed by CFR 112.7(a)(2). <br /> Page 1 of 1 <br />