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Violation 502 <br /> The company has made a decision to immediately discontinue use of the antifreeze and waste oil <br /> tanks. The company will utilize 2-3 totes (portable containers) to accumulate their bulk waste on <br /> site. The management of waste in this manner nullifies the need for a tank assessment as required <br /> by CCR section 66265.192. A photograph of the tanks and signage indicating the tanks are empty is <br /> attached. The totes will be placed on-site when the facility is approved for operation. <br /> Violation 507 <br /> As indicated above the 2 tanks will no longer be used. As such, daily tank inspections will not be <br /> necessary. The facility does not have past tank inspection records. It is unknow if the facility actually <br /> operated above the Large Quantity Generator (LQG) thresholds. <br /> Violation 605 <br /> The contents of drums and 5 gallon buckets previously identified during inspections have been <br /> removed and properly disposed. All hazardous waste containers will have hazardous waste labels as <br /> required by Title 22, for accumulation of waste. <br /> It is the intent of Mr Singh to comply with all hazardous materials management requirements. He has <br /> retained Advanced EH&S Concepts to assist him with preparation of documents, inspections, and <br /> training requirements. It is his desire to be able to begin operation of his truck repair business as <br /> soon as possible. Your review and feedback of his efforts are appreciated. <br /> Thank you, <br /> Joe <br /> Joe Canas, CSP <br /> Advanced EH&S Concepts <br /> (661) 703-3281 <br /> 2 <br />