Laserfiche WebLink
BP OIL COMPANY -4- 6 April 1992 <br /> 1 . The SPCC plan needs to be better organized. It needs a table of contents, pagina- <br /> tion, appendices, attachments, current maps, etc. <br /> 2. The amount of wastewater generated, capacity for wastewater storage, and wastewater <br /> disposal must be clarified. <br /> 3. Design specifications used in constructing drainage and wastewater facilities must <br /> be delineated to demonstrate the adequacy of these facilities. <br /> 4. Storm water in the tank farm may have to be discharged in the future. Visual <br /> inspection of storm water in the tank farm prior to discharge to land is inadequate <br /> to protect ground water or surface water quality. At a minimum, the storm water <br /> must be tested using U. S. EPA Method 602 prior to discharge. If constituents are <br /> present then the storm water will need be treated to meet water quality objectives <br /> prior to discharge under an NPDES storm water permit, hauled offsite for treatment <br /> and disposal , or discharged to the sewer. <br /> 5. Due to the type of products stored at the facility, a ground water monitoring <br /> program is needed in accordance with Section 25270.7(c) of the APSA. <br /> 6. Items 13, 15, 26, 29, 32, 33, 34, 37, 50, and 52 of the SPCC checklist. <br /> WA h , ( " aly <br /> y-PHILIP S. ISORENA, Area Engineer <br />