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2800 - Aboveground Petroleum Storage Program
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PR0523161
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Last modified
12/23/2019 11:41:36 AM
Creation date
5/22/2019 9:35:01 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2800 - Aboveground Petroleum Storage Program
File Section
COMPLIANCE INFO
RECORD_ID
PR0523161
PE
2832
FACILITY_ID
FA0009394
FACILITY_NAME
MAXIM CRANE WORKS
STREET_NUMBER
2373
Direction
E
STREET_NAME
MARIPOSA
STREET_TYPE
Rd
City
Stockton
Zip
95205
CURRENT_STATUS
01
SITE_LOCATION
2373 E Mariposa Rd
P_LOCATION
99
P_DISTRICT
001
QC Status
Approved
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EHD - Public
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SAN10 A Q U i N Environmental Health Department <br /> Aboveground Petroleum Storage Act Inspection Report <br /> Facility Name: Facility Address: Date: <br /> MAXIM CRANE WORKS 2373 E Mariposa Rd Stockton May 21 2019 <br /> SUMMARY OF VIOLATIONS <br /> (CLASS I,CLASS II,or MINOR-Notice to Comply) <br /> Item# Remarks <br /> 710 CFR 112.8(c)(6) Plan failed to adequately discuss procedures to test or inspect each container for integrity. <br /> The SPCC plan calls for inspections/testing of the tanks to be conducted under the Steel Tank Institute(STI) SP-001 <br /> standard, 2005 version.The latest edition of the STI SP-001 standard is the 6th edition, published in 2018.The SPCC <br /> plan does not determine in accordance with industry standards the appropriate qualifications for personnel performing <br /> tests and inspections, the frequency and type of testing and inspections,which take into account container size, <br /> configuration, and design.The SPCC plan does not mention the annual inspections to be conducted by facility <br /> personnel, per STI SP-001 standards or the appropriate qualifications for the personnel conducting the inspections. <br /> The SPCC plan does not provide the frequency of the formal inspections/tests to be conducted by a STI SP-001 <br /> certifed inspector for any of the tanks. <br /> The SPCC plan states that each tank is periodically evaluated by an outside certified tank inspector following the STI <br /> standard. The provided"Periodic Integrity Test Certificate"fails to meet the requirements of the STI SP-001 standard. <br /> The certificate is states the date of the testing was 10/08/2012 and steel thickness test in accordance with API-653 <br /> and/or STI SP-001 (4th edition)was performed.The certificate fails to meet the requirements of the STI inspection <br /> report as addressed in section 7"Formal External Inspection Guidelines"of the fourth edition of the STI standard. <br /> Test or inspect each aboveground container for integrity on a regular schedule and whenever you make material <br /> repairs.You must determine, in accordance with industry standards,the appropriate qualifications for personnel <br /> performing tests and inspections,the frequency and type of testing and inspections,which take into account container <br /> size, configuration, and design(such as containers that are: shop-built, field-erected, skid-mounted,elevated, <br /> equipped with a liner,double-walled, or partially buried). Examples of these integrity tests include, but are not limited <br /> to:visual inspection, hydrostatic testing, radiographic testing, ultrasonic testing, acoustic emissions testing, or other <br /> systems of non-destructive testing.You must keep comparison records and you must also inspect the container's <br /> supports and foundations. In addition,you must frequently inspect the outside of the container for signs of <br /> deterioration, discharges, or accumulation of oil inside diked areas. Records of inspections and tests kept under usual <br /> and customary business practices satisfy the recordkeeping requirements of this paragraph. <br /> The SPCC plan must address and determine in accordance with industry standards,the appropriate qualifications for <br /> personnel performing tests and inspections, the frequency and type of testing and inspections,which take into <br /> account container size, configuration, and design. Provide a report that meets the requirements of the STI-SP001 <br /> standard. <br /> This is a Class II violation. <br /> 718 CFR 112.8(c)(11) Failed to locate properly or provide sufficient secondary containment for mobile/portable containers. <br /> Approximately six 55 gallon drums of APSA regulated product were observed without secondary containment in the <br /> storage shed west of the main shop. <br /> Position or locate mobile or portable oil storage containers to prevent a discharge as described in§112.1(b). Except <br /> for mobile refuelers and other non-transportation-related tank trucks, you must furnish a secondary means of <br /> containment, such as a dike or catchment basin, sufficient to contain the capacity of the largest single compartment <br /> or container with sufficient freeboard to contain precipitation. <br /> All portable or mobile storage containers must be provided with secondary containment sufficient to contain the <br /> capacity of the largest single compartment or container with sufficient freeboard to contain precipitation. <br /> This is a repeat violation, Class ll. <br /> FA0009394 PR0523161 SCO01 05/21/2019 <br /> EHD 28-01 Rev.09/27/2018 Page 6 of 8 Aboveground Petroleum Storage Act OIR <br /> 1868 E. Hazelton Avenue I Stockton, California 952051 T 209 468-3420 1 F 209 464-0138 1 www.sjcehd.com <br />
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