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by <br /> JAN1 0 <br /> BP West Coast Products LLC <br /> January 7, 2003 p 2003 4 Centerpointe Drive <br /> ENVIRuj}1N La Palma,CA 90623-1066 <br /> PERMIT/SER I1:A TH <br /> Mr. Raymond Von Flue CES <br /> San Joaquin County Environmental Health Department <br /> 304 E. Weber Avenue <br /> Stockton, California 95202 <br /> RE: Inspection Reports, April 4 and August 26, 2002 <br /> ARCO Facility No. 2133 <br /> 2908 Benjamin Holt Drive <br /> Stockton, California <br /> Dear Mr. Von Flue: <br /> On November 20, 2002, I sent you a letter responding to Inspection Reports issued by the <br /> San Joaquin County Environmental Health Department(EHD)to ARCO Facility No. 2133 <br /> located at 2908 Benjamin Holt Drive in Stockton, California. Since that time, we have <br /> collected additional information regarding that facility. This letter updates and clarifies the <br /> information provided in my November 20`h letter. <br /> Item 19 in August 26, 2002 Inspection Report <br /> In my November 20th letter, I informed you that Attachment B included two manifests for <br /> the hazardous wastes identified in Item 19 of the Inspection Report from August 26, 2002. <br /> Item 19 referred to two wastes generated by the dealer at ARCO Facility No. 2133: (1) a <br /> black metal 55-gallon drum containing fuel filters and (2) a white plastic 30-gallon carboy. <br /> I have now determined that one of the manifests included in Attachment B, the manifest <br /> dated August 6, 2002 for Gasoline and Water Mixture, was not for either of the wastes <br /> identified in Item 19. The other manifest included in Attachment B, dated October 16, <br /> 2002, was correctly identified in my November 2&letter. The October 16th manifest is <br /> for disposal of the white plastic carboy that contained ethylene glycol (antifreeze), which is <br /> a waste generated by the dealer, not by BP. With respect to the black metal 55 gallon <br /> drum containing fuel filters identified in Item 19, I have not yet obtained a copy of the <br /> manifest from the dealer for this waste, which was also generated by the dealer. Used <br /> absorbent and fuel filter waste is generated by the lessee-dealer and it is the lessee-dealer <br /> who is responsible for the proper management and disposal of this material. <br /> Item 19 in Apri14, 2002 Inspection Report <br /> In my November 20th letter, I informed you that Attachment C contained a manifest for the <br /> transportation of the two 55-gallon drums and fuel filters noted in Item 19 in the April 4th <br />