Laserfiche WebLink
The following is an itemized list of aboveground petroleum storage act violations that <br /> have not been addressed for NORCAL TRANSPORT REFRIGERATION as of July <br /> 09 , 2019 . <br /> Open violations from May 09 , 2019 inspection <br /> Violation #103 - Failed to file HMBP or annual facility tank statement. <br /> The last business plan was submitted to CERS on 11 / 13/2015 . A tank facility statement or business plan has not <br /> been submitted within the last year. A tank facility statement identifying the name and address of the tank facility, a <br /> contact person for the tank facility , the total storage capacity of the tank facility , and the location , size , age , and <br /> contents of each storage tank that exceeds 10 , 000 gallons in capacity and that holds a substance containing at <br /> least 5 percent of petroleum shall be submitted annually. Submittal of a business plan satisfies the requirement to <br /> submit a tank facility statement. Immediately submit a tank facility statement or business plan . <br /> Violation #712 - Failed to test or inspect each container for integrity based on industry standards . <br /> An industry standard was not designated in the SPCC plan . You must determine , in accordance with industry <br /> standards , the appropriate qualifications for personnel performing tests and inspections , the frequency and type of <br /> testing and inspections , which take into account container size , configuration , and design (such as containers that <br /> are : shop- built, field-erected , skid -mounted , elevated , equipped with a liner, doubl&walled , or partially buried ) . <br /> Examples of these integrity tests include , but are not limited to : visual inspection , hydrostatic testing , radiographic <br /> testing , ultrasonic testing , acoustic emissions testing , or other systems of non -destructive testing . You must keep <br /> comparison records and you must also inspect the container' s supports and foundations . In addition , you must <br /> frequently inspect the outside of the container for signs of deterioration , discharges , or accumulation of oil inside <br /> diked areas . Records of inspections and tests kept under usual and customary business practices satisfy the record <br /> keeping requirements of this paragraph . Ensure that an industry standard is selected , discussed in the SPCC plan <br /> and followed . Submit a copy of the amended plan to the EHD . <br /> If an owner or operator deviates from applicable industry standards to develop an integrity testing program , then a <br /> PE must certify an environmentally equivalent alternative in the SPCC Plan , The Plan must provide the reason for <br /> the deviation , describe the alternative approach , and explain how it achieves environmental protection equivalent to <br /> the applicable industry standard . <br /> Violation #718 - Failed to locate properly or provide sufficient secondary containment for mobile/portable <br /> containers . <br /> Two 55 gallon drums of motor oil were observed with insufficient secondary containment. One blue metal and one <br /> red metal drum of motor oil were observed on the north wall of the shop without secondary containment. Portable <br /> oil storage containers must be positioned or located to prevent a discharge and shall be furnished with a secondary <br /> means of containment sufficient to contain the capacity of the largest single container with sufficient freeboard to <br /> contain precipitation . Immediately provide sufficient secondary containment for this and all other portable containers <br /> at this facility , or provide equivalence as allowed by CFR 112. 7 (a) (2 ) . <br /> On page 8 of the SPCC plan the plan states that there will be oil drums on site . On page 9 of the SPCC Plan on the <br /> facility map one oil drum is indicated . On page 31 of the SPCC plan it says that the facility " has no mobile or <br /> portable containers within their oil product system" . Two 55 gallon drums of motor oil were observed during the <br /> inspection . For mobile or portable containers , either provide the type of oil and storage capacity for each container <br /> or provide an estimate of the potential number of mobile or portable containers , the types of oil , and anticipated <br /> storage capacities . Ensure that the SPCC plan accurately reflects portable and mobile containers . Submit a copy <br /> of the amended plan to the EHD for review. <br /> Violation #720 - Failed to provide corrosion protection for buried piping . <br /> -The facility map on page 9 of the SPCC plan indicates buried piping from the 12 , 000 gallon diesel tank to the fuel <br /> island . Page 30 of the SPCC plan states that "there is no underground piping on site for the oil products" . <br /> Buried piping that is installed or replaced after August 16 , 2002 , shall be provided with a protective wrapping and <br /> coating and cathodically protected . Immediately provide all buried piping installed on or after August 16 , 2002 , a <br /> protective wrapping and coating and cathodic protection and ensure that the SPCC plan accurately discusses the <br /> buried piping in the SPCC plan . Submit a copy of the amended SPCC plan to the EHD . <br /> Page 1 of 2 <br />