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SPCC Plan <br /> Valley Pacific Petroleum Services <br /> Escalon Facility <br /> Page 14 <br /> 4.0 SUBSTANTIAL HARM CRITERIA [40 CFR 112 APPENDIX Cl <br /> Certification of the Applicability of Substantial Harm Criteria is included in Appendix 8. <br /> 5.0 FACILITY RESPONSE PLAN [40 CFR 112.201 <br /> Due to its location,the Facility cannot reasonably be expected to cause substantial harm to the environment <br /> by discharging oil into navigable waters of the United States. Consequently,no Facility Response Plan has <br /> been prepared. <br /> 6.0 LIMITATIONS <br /> This SPCC Plan was written in conformance with the Federal Oil Pollution Prevention regulations found <br /> in Title 40 of the Code of Federal Regulations Part 112 (40 CFR part 112) as of the date of preparation. A <br /> cross-reference matrix is not required to be prepared,but one has been included to facilitate the use of this <br /> SPCC Plan in Appendix 9. The SPCC Plan is based on information provided by Valley Pacific Petroleum <br /> Services. No independent mechanical or integrity inspection of the fueling system and its operation, <br /> components, and features was performed. The scope of work did not include review of compliance with <br /> state and local building, fire, or electrical codes. <br /> Valley Pacific Petroleum Services is solely responsible for implementation of this SPCC Plan. Condor <br /> Earth Technologies, Inc. cannot and does not guarantee, assure, or warrant that spills and/or releases will <br /> not occur at the Facility. <br /> X:\Project\7000_prj\7167 Valley Pacific Petroleum\7167G Escalon\7167G1 SPCC\Reports\FR 20190719 VPPS Escalon SPCC Plan(amended).docx <br /> OW <br /> %1a GONDOF <br />