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2800 - Aboveground Petroleum Storage Program
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PR0543790
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Last modified
10/9/2019 1:19:55 PM
Creation date
7/8/2019 11:12:14 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2800 - Aboveground Petroleum Storage Program
File Section
COMPLIANCE INFO
RECORD_ID
PR0543790
PE
2832
FACILITY_ID
FA0006045
FACILITY_NAME
TCI LEASING AND RENTAL
STREET_NUMBER
2150
Direction
W
STREET_NAME
CHARTER
STREET_TYPE
WAY
City
STOCKTON
Zip
95206
CURRENT_STATUS
01
SITE_LOCATION
2150 W CHARTER WAY
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
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EHD - Public
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From: Ruvalcaba,Cesar<cruvalcabaC@siaov.or¢> <br /> Sent:Thursday,September 19,20199:18:52 AM <br /> To: Neal Vojtkofsky<VoitkofskvN(atci-leasina.com> <br /> Subject: RE:SPCC for TO will be provided by Pacific Management Services-PR0543790 <br /> CAUTION:E)CTERNAL email. <br /> Mr.Vojtkofsky, <br /> The SPCC plan has been received.The plan shall be implemented as written and during the next APSA inspection this will <br /> be verified.The plan will be looked at more closely to ensure that all requirements are meet,during the next inspection. <br /> There is still one violation which remains open. CERS still does not have the APSA submittal completed. Follow the <br /> instructions provided in CERS when submitting the APSA portion.A screen shot is attached of what needs to be <br /> submitted. <br /> It seems like the 15,000 gallon diesel tank needs to be inspected by a certified inspector every 5 years.These inspection <br /> records should be kept forthe life of the tank.The monthly and annual inspections conducted by the facility need to be <br /> kept for 3 years. <br /> One of the things that I did notice is that the facility diagram does not have the location of the drums.There may be <br /> other requirements that need to be addressed,which may be identified in future inspection.The requirements is that <br /> the facility diagram include the following: <br /> '... include a facility diagram,which must mark the location and contents of each fixed oil storage container and the <br /> storage area where mobile or portable containers are located.The facility diagram must identify the location of and <br /> mark as "exempt'underground tanks that are otherwise exempted from the requirements of this part under <br /> §112.1(d)(4).The facility diagram must also include all transfer stations and connecting pipes, including intra-facility <br /> gathering lines that are otherwise exempted from the requirements of this part under§112.1(d)(11)..." <br /> . Under EPA guidance,this change is a non-technical change and can be made by the facility without a Professional <br /> Engineer certification.This will also apply for any name changes of personnel or phone numbers. <br /> If it hasn't been done already, Andrew Marrujo will need to sign the management approval section and the Substantial <br /> Harm Determination. <br /> FREE classes presented by NES Inc. are available to all San Joaquin County Hazardous Waste, Underground Storage Tank, <br /> and Aboveground Petroleum Storage Facility Business Owners and Operators. List and schedule of classes can be found <br /> here. <br /> Thankyou, <br /> Cesar Ruvalcaba <br /> San Joaquin County Environmental Health Department <br /> Environmental Health Specialist <br /> 1868 East Hazelton Ave <br /> Stockton,CA 95205 <br /> $ (209)953-6213 1 A (209)464-0138 ® cruvalcabaPsiaov.ora <br /> SANJOAQUIN <br /> " U A� l. —COUNTY— <br /> \�/ Gremn<n grows hno <br /> 2 <br />
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