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COMPLIANCE INFO_PRE 2019
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PR0514192
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COMPLIANCE INFO_PRE 2019
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Last modified
4/9/2020 3:14:15 PM
Creation date
4/9/2020 2:42:59 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
PRE 2019
RECORD_ID
PR0514192
PE
2220
FACILITY_ID
FA0010137
FACILITY_NAME
RIGHETTI ENTERPRISES
STREET_NUMBER
1627
Direction
E
STREET_NAME
CHANNEL
STREET_TYPE
ST
City
STOCKTON
Zip
95205
APN
15303022
CURRENT_STATUS
01
SITE_LOCATION
1627 E CHANNEL ST
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
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SJGOV\dsedra
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EHD - Public
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R. L. Righetti Enterprises <br /> 1627 East Channel Street <br /> Stockton, Ca. 95205 <br /> Phone (209)464-8306 <br /> Fax (209)464-4739 <br /> Authorized Full Service Dealer <br /> rN <br /> 4-18-2012 <br /> RE E.- fit;Lu <br /> San Joaquin County APR 2 0 ZOIZ. <br /> Department of Public Health <br /> 600 E. Main Street ENVIRONMENTAL HEALTH <br /> Stockton, Ca. 95202-3029 PERMIT/SERVICES <br /> Atte: Jeff Wong, REHS <br /> Ref: 2012 Audit <br /> Dear Jeff; <br /> We have reviewed your inspection report and have implemented the necessary changes. The following is <br /> an item by item response explaining exactly what we have done to correct the violations. We have added <br /> photographs where appropriate, and also enclose the completed return to compliance form. <br /> 1627 E. Channel Street Cal EPA ID CAL000023810 <br /> Ref: 108 <br /> The "sump" in the shop floor is not a drain point, but rather a cleanout point located in the discharge line <br /> from the 3 stage clarifier to the sanitary sewer. As an added precaution to make sure no liquids or solids <br /> can enter the system at this point, we are caulking the lid whenever removed and replaced, and are <br /> installing a soft rubber plug in the hole used to lift the lid. This will ensure that the chamber is sealed off. <br /> Ref: 605 <br /> We added the accumulation start date to the label as requested. (We would like to point out that the drum <br /> was labeled with all other required information except the accumulation start date). The drum and it's <br /> contents are scheduled for disposal within, the requ;,roO4 time frame. A disposal manifest will be forwarded <br /> when received. <br /> Ref: 910, 911, 912 <br /> We have implemented a container with lid to contain any aerosol cans that are not completely empty that <br /> are to be discarded. The container is labeled as Universal Waste, with an accumulation start date, and <br /> will be recycled within 1 year. We understand that aerosol cans that are completely empty can be <br /> discarded in our trash dumpster. We have also decided that we will not puncture any aerosol cans as this <br /> would constitute a process for which we have no formal procedure. Photo of the Universal waste <br /> container attached. <br /> Notes: <br /> We have applied for and received an additional Cal EPA ID for address 1634 E. Channel. Any waste <br /> generated at that address will be disposed of under this new EPA ID number as requested. <br />
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