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COMPLIANCE INFO_2020
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2800 - Aboveground Petroleum Storage Program
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PR0545163
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COMPLIANCE INFO_2020
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Entry Properties
Last modified
3/16/2020 11:56:02 AM
Creation date
1/14/2020 9:04:33 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2800 - Aboveground Petroleum Storage Program
File Section
COMPLIANCE INFO
FileName_PostFix
2020
RECORD_ID
PR0545163
PE
2832
FACILITY_ID
FA0009235
FACILITY_NAME
STOCKTON PETROLEUM CO
STREET_NUMBER
1905
STREET_NAME
NAVY
STREET_TYPE
DR
City
STOCKTON
Zip
95206
APN
16331014
CURRENT_STATUS
01
SITE_LOCATION
1905 NAVY DR
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
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Cell 209-483-2533 <br /> Office 209-462-8707 <br /> www.si)cfuels.com <br /> Sent from my Whone <br /> On Jan 9,2020,at 2:54 PM, Ruvalcaba,Cesar<cruvalcabaC@siaov.ora>wrote: <br /> Hi Lori, <br /> Attached you will find the inspection checklist from today's Aboveground Petroleum Storage Act(APSA)inspection <br /> at 1905 Navy Drive,in Stockton. Based on the petroleum storage capacity at the facility,a Spill Prevention,Control,& <br /> Countermeasure(SPCC) plan certified by a professional engineer will be required. Under SPCC regulations,any <br /> container with a capacity to store 55 gallons or more of petroleum product will count towards the total amount.The <br /> SPCC regulations are based on capacities of the containers and a container that is holding any amount of petroleum <br /> product,even if not full,or a container that had held petroleum product will count towards the totals. Based on the <br /> number of containers that were 55 gallons or larger and that stored petroleum product,the total storage capacity of the <br /> facility was calculated to be over 10,000 gallons.The facility will require a Professional Engineer(P.E.)certified SPCC <br /> plan.This was discussed with Jason.Jason asked if the total storage capacity was brought to under 10,000 gallons would <br /> a P.E certified plan still be needed.The answer to this is that a P.E certified plan would not be needed as long as there <br /> are no deviations from the requirements for a self-certified SPCC plan. <br /> There were two storage trailers for diesel that were said to be rented to customers. Even though they may be empty, <br /> since they have stored petroleum product,they will count towards the total facility storage capacity.These and other <br /> empty tanks can be excluded by"permanently closing'the tanks. I have attached guidance on how to "permanently <br /> close' a tank and a link to an FAO of similar subject matter can be found here. <br /> The checklist is not the inspection report. We do not have an active program for APSA for this facility. I will have to <br /> submit the paperwork for accounting to create an account number for the APSA program.Once this is done the official <br /> inspection report can be created and will be emailed to you. Once the official inspection report is received,you have 30 <br /> days to submit statements for the corrective actions.There will be two violations issued,one for not having a P.E <br /> certified SPCC plan and another for not reporting the APSA program in CERS. <br /> I have included some links to help find a company to help write and P.E certified SPCC plan. Stanislaus <br /> County Sacramento County <br /> You can find the template for a self-certified plan here,there are examples of filled out plans and San Diego County has <br /> a step by step module.This option can only be used if the storage capacity is under 10,000 gallons and over 1,320 <br /> gallons. <br /> Let me know if there are any questions. <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 /> Thank you, <br /> 2 <br />
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