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1535 Pescadero Avenue PR0515797 <br /> May 24, 2019 <br /> PHOTO 1: Section 18.3.6 does not completely discuss periodic integrity testing. <br /> 18.3.3 Draining Tank Farni Areas —§112.8(c)(3) <br /> Procedures for draining the diked area at the fuel farm are discussed in Section 5.0. <br /> 18.3.4 Buried Metallic Storage Tanks —§112.8(c)(4) <br /> There are no SPCC regulated buried metallic storage tanks at the Facility; therefore, this section is not <br /> applicable. <br /> 18.3.5 Partialh, Buried Storage Tanks —§1 12.8(c)(5) <br /> There are no partially buried storage tanks installed at the facility; therefore, this section is not applicable. <br /> 18.3.6 Periodic Integrity Testing—§112.8(c)(6) <br /> There are two 80,000-gallon aboveground field-erected tanks at the Terminal. Pursuant to SPCC <br /> regulations, field-erected tanks are required to be integrity tested in accordance with API 653 Standards; <br /> however, a visual STI Inspection is recognized by the California Unified Program Agency (CUPA) and <br /> may be substituted for the API 653 inspection. Integrity testing is required to evaluate the risk of <br /> discharge due to brittle fracture failure when alterations to these tanks are made. Records documenting <br /> the integrity tests will be maintained in the Manager Equipment Service's files. Other oil-filled <br /> containers at the Terminal including, the generator tanks, drums, elevator and portable tanks do not <br /> require integrity testing. <br /> 18.3.7 Internal Heating Coils —§112.8(c)(7) <br /> There are no tanks with internal heating coils; therefore, this section of the regulation is not applicable. <br /> 18.3.8 Fail-Safe Engineering —§112.8(c)(8) <br /> The possibility of a significant discharge is reduced by the following equipment/procedures: <br /> Regular inspections of tanks and auxiliary equipment. <br /> Lydia Baker, REHS Page 1 of 1 <br />