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COMPLIANCE INFO_CASE 1
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COMPLIANCE INFO_CASE 1
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Last modified
4/10/2020 4:47:33 PM
Creation date
4/10/2020 4:32:29 PM
Metadata
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Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
COMPLIANCE INFO
FileName_PostFix
CASE 1
RECORD_ID
PR0527444
PE
2950
FACILITY_ID
FA0018586
FACILITY_NAME
FORMER ROY KNOLL TOWING
STREET_NUMBER
3570
Direction
E
STREET_NAME
MINER
STREET_TYPE
AVE
City
STOCKTON
Zip
95205
APN
14339014
CURRENT_STATUS
01
SITE_LOCATION
3570 E MINER AVE
P_LOCATION
99
P_DISTRICT
001
QC Status
Approved
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EHD - Public
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should be included as an appendix to the SSP- Tie SSP should include <br /> training needs specific to the project that are over and above the basic <br /> corporate program. <br /> 14. Medical Surveillance Program [IFR and PR (f) ] <br /> Any contractor/subcontractor vho has employees working at hazardous <br /> waste sites must have an establisned medical surveillance program <br /> that meets the criteria of [IFR and PR (f) ] . Unless otherwise <br /> indicated, TSCD will assume that all site personnel meet the criteria of <br /> [IFR and PR (f) ] and will bn is rti cipating in the medical surveillance <br /> program. If such a program is included in the corporate health and <br /> safety program, a sauna-''y of it should be included as an appendix to the <br /> SSP. <br /> Note that appropriate tests cr examinations for acute exposures to <br /> specific potential hazards from the work at hand may be required by OSHA <br /> and should be discussed in this section of the SSP. <br /> 15. Recordkeeping <br /> There are many requirements in Cal-OSHA and Federal OSHA <br /> regulations covering recordkeeping. Such items include worker exposure <br /> monitoring, medical surveillance, training, respiratory protection, and <br /> injuries/illnesses. Standard formats for these requirements should be <br /> established and be included in the SSP. <br /> IV. RES07JRCES <br /> The TSCD staff includes industrial hygienists in each Regional Office <br /> who are available for general assistance, but not to function as <br /> consultants, in the development of SSP's. The responsibility for the <br /> development and implementation of the SSP lies with the contractor/ <br /> responsiblerty. However, prior to any site activities the TSCD <br /> industrial hygienists are responsit•le for review and approval of the SSP <br /> and any other health and safety considerations for a specific project <br /> when the site work is done under a consent or remedial action order <br /> issued by the Division. Verbal c=u ications between the parties <br /> preparing the SSP and TSCD industrial hygienists is encou-raged as this <br /> usually results in more expeditiu s approval of the SSP, which will then <br /> decrease the waiting period before site activities can begin. <br /> Contractors uto are working directly for the TSCD should consult their <br /> contracts or task orders for items %,fnich may differ fram the basic <br /> recruiremen}s detailed =n .' ,s do=-nent. <br /> - 13 - <br />
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