Laserfiche WebLink
The following is an itemized list of aboveground petroleum storage act violations that <br /> have not been addressed for CDCR-California Health Care Facility as of April 03, <br /> 2020. <br /> Open violations from January 10, 2019 inspection <br /> Violation#301 -Failed to amend Plan as necessary. <br /> The SPCC plan does not address six generators that each have a capacity of storing 105 gallons of oil for <br /> lubrication. The SPCC plan does not address the permanently manifolded tanks. The Spill Prevention, Control, and <br /> Countermeasure (SPCC) Plan must be amended when there is a change in the facility design, construction, <br /> operation, or maintenance that materially affects its potential for a discharge, within 6 months of the change, and <br /> implemented as soon as possible, not later than 6 months following preparation of the amendment. Immediately <br /> make all necessary amendments to the SPCC Plan to accurately represent the procedures and policies currently in <br /> place at the facility. <br /> Note: Permanently manifolded tanks are tanks that are designed, installed, or operated in such a manner that the <br /> multiple containers function as a single storage unit(67 FR 47122, July 17, 2002).Accordingly, the total capacity of <br /> manifolded containers is the design capacity standard for the sized secondary containment provisions (plus <br /> freeboard in certain cases). <br /> ❑ This violation was corrected ❑ This violation will be corrected by (date): <br /> ❑ Supporting documents included <br /> Describe actions taken or will be taken to correct violation: <br /> Violation #710 -Plan failed to adequately discuss procedures to test or inspect each container for integrity. <br /> The SPCC plan does not reference an industry standard for inspections/tests of the tanks. Qualifications of <br /> personnel performing tests and inspections, frequency and type of testing and inspections for formal inspections ,if <br /> required by an industry standard, are not addressed in the plan. Each aboveground container shall be tested and <br /> inspected for integrity on a regular schedule and whenever repairs are made. The qualifications of personnel <br /> performing tests and inspections, frequency and type of testing and inspections that take into account container <br /> size, configuration, and design shall be determined in accordance with industry standards. Examples of these <br /> integrity tests include, but are not limited to: visual inspection, hydrostatic testing, radiographic testing, ultrasonic <br /> testing, acoustic emissions testing, or other systems of non-destructive testing. Comparison records and other <br /> records of inspections and tests must be maintained on site. <br /> amendj th eSPCC plan to include discussion of industry standards , or provide equivalence as allowed by CFR <br /> 112.7(a)(2). <br /> ❑ This violation was corrected ❑ This violation will be corrected by (date): <br /> ❑ Supporting documents included <br /> Describe actions taken or will be taken to correct violation: <br /> Page 1 of 1 <br />