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their original containers. Concrete floors in the warehouse area were in good condition <br /> with no cracks or chips. <br /> 3.5.3 Hazardous Materials <br /> SECOR did not observe any hazardous materials at Coast-to-Coast or Hap Jones <br /> Distribution at the time of the site inspection. <br /> Barbosa Cabinets utilizes small amounts (less than 5 gallons each) of contact adhesive, <br /> ethyl alcohol, and joint compound in the assembling of countertops. The materials were <br /> stored in the warehouse area. <br /> Title III of the 1986 Superfund Amendment and Reauthorization Act (SARA), also known <br /> as the Emergency Planning and Community Right-to-Know Act (EPCRA), requires <br /> notification to the public of potentially hazardous chemicals in their communities. A <br /> facility that is required under the Occupational Safety and Health Administration (OSHA) <br /> Act of 1970 and associated regulations to prepare or have available material safety data <br /> sheets for hazardous chemicals present at the facility may also be subject to additional <br /> requirements under EPCRA if: <br /> • The facility also has hazardous chemicals present at any one time in quantities <br /> exceeding 10,000 pounds. <br /> • The facility also has any extremely hazardous substances present at any one <br /> time in quantities exceeding 500 pounds, or the associated Threshold Planning <br /> Quantity (TPQ). <br /> The hazardous chemicals to which these provisions apply are defined in the Code of <br /> Federal Regulations (29 CFR 1910.1200). The extremely hazardous substances to <br /> which these provisions apply are defined in 40 CFR 355. If the hazardous materials <br /> used at the facility meet the criteria listed in these two sets of rules, the facility must <br /> submit and regularly update an inventory of these hazardous chemicals and/or <br /> extremely hazardous substances to the local emergency responder and fire department. <br /> Based on SECOR's observations during the site inspection, none of the tenants <br /> appeared likely to handle hazardous substances in quantities exceeding the threshold <br /> requiring submittal of an inventory. <br /> 3.5.4 Solid Waste <br /> Solid waste generated at the subject property consists of typical office trash such as <br /> paper products, cardboard, etc. Solid waste is collected in roll-off dumpsters located at <br /> the loading dock entrances on the east side of the subject property. No significant <br /> staining or discoloration of the concrete surface beneath the dumpsters was observed. <br /> General trash is collected by Tracy Delta Disposal and disposed of at a local landfill. <br /> Two large roll-off dumpsters were observed east of the subject property building. At the <br /> time of the inspection, the dumpsters contained typical office trash and packaging trash <br /> including cardboard boxes. No significant staining or discoloration of the concrete <br /> surface beneath the dumpsters was observed. <br /> Final ESA-30102-Tracy CA.doc 8 SECOR Intemational Incorporated <br /> March 28,2005 <br />