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COMPLIANCE INFO_PRE 2019
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2231-2238 – Tiered Permitting Program
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PR0507087
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COMPLIANCE INFO_PRE 2019
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Last modified
6/7/2021 12:28:29 PM
Creation date
10/17/2019 11:44:03 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2231-2238 – Tiered Permitting Program
File Section
COMPLIANCE INFO
FileName_PostFix
PRE 2019
RECORD_ID
PR0507087
PE
2231
FACILITY_ID
FA0001479
FACILITY_NAME
SUMIDEN WIRE PRODUCTS CORPORATION
STREET_NUMBER
1412
STREET_NAME
EL PINAL
STREET_TYPE
DR
City
STOCKTON
Zip
95205
APN
117-360-40
CURRENT_STATUS
02
SITE_LOCATION
1412 EL PINAL DR
P_LOCATION
01
P_DISTRICT
002
QC Status
Approved
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*410, <br /> Treatment Items-Facility Wide: <br /> Item# 6—All units under PBR, CA and CE are properly indicated on Form DTSC 1772. <br /> The treatment units are not properly indicated on Form DTSC 1772. Submit new <br /> Recyclable Materials Reporting Form to EHD by 12/19/99. <br /> Sumiden Wire has filled out the Recyclable Materials Reporting Form furnished by your <br /> office, which you will find as Enclosure# 2, however we have failed to find the <br /> regulation that requires the filing of Form DTSC 1772 for the Acid Recovery System. <br /> Sumiden is of the opinion(at this time),that the Acid Recovery System does not fall <br /> under the PBR Regulations,because it is under the "Exempt Recyclable Material' <br /> regulations HSC, and is not treating a"NON-RCRA Hazardous Waste". <br /> For CA or PBR notifiers: <br /> Item# 10—The generator has an annual waste minimization certification. —Waste <br /> minimization certification has not been submitted with PBR renewals. Submit with next <br /> tiered permitting renewal form. <br /> Sumiden Wire will comply and submit with next renewal per your instructions. <br /> For each Unit: <br /> Item# 12—The unit notification is accurate as to the number of tank(s)and/or <br /> container(s).—Unit notification may not be correct because the treatment has changed. <br /> Submit new Recyclable Materials Reporting Form to EHD by 12/19/99. <br /> On a previous inspection performed at Sumiden Wire Products,we were cited for having <br /> the wrong number of tanks on DTSC form 1772D. Please see Enclosure# 7 of this <br /> report, which is a cover letter dated 08/18/1995, with attachment, to DTSC Sacramento <br /> with changes made to reflect 1 Tank and 1 Container. In the matter of"the treatment has <br /> changed",the only change has been the interruption in use of the Filter Press and <br /> clarifier. (We had discussed the change in use from removing solids from Zinc <br /> Phosphate, to the removal of solids from one of our cooling towers,but have not done <br /> so). In regards to the submittal of new Recyclable Materials Reporting Form, I did that <br /> as per item # 6. Please see enclosure# 2. <br /> Item# 15—The waste stream(s) given on the notification form are appropriate for the <br /> tier. —See above 12. <br /> Item# 16—The treatment process(es) given on the notification form is appropriate for <br /> the tier. — See above 12 <br /> Item# 17—The residuals management information on the form is correct and <br /> documented for the unit. — See above 12. <br /> 2 <br />
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