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(2) Applicable pollution control laws, rules, and regulations YES <br /> This facility is required to train employees in compliance with OSHA (HazWoper) and EPA <br /> requirements. This training is 40 hr for first year & 8 hr thereafter for each employee. Training <br /> must be identified and begun within the first 60 days of employment for each employee in <br /> contact with petroleum storage. At least one (1) onsite employee must be so trained. Harbor <br /> Master assumes responsibility for in-house training for balance of operational staff (those who <br /> use the storage tanks). <br /> 3.6 Written Procedures and training {§112.7(f)) <br /> Oil-handling personnel are trained in the operation and maintenance of equipment to prevent <br /> discharges; discharge procedure protocols; applicable pollution control laws, rules and <br /> regulations; general facility operations; and the contents of the facility SPCC Plan. {§112.7(f)) <br /> Discharge prevention briefings are conducted for oil-handling personnel annually to assure <br /> adequate understanding of the SPCC Plan for that facility. Such briefings highlight and <br /> describe past reportable discharges or failures, malfunctioning components, and any recently <br /> developed precautionary measures. {§112.7(f)} <br /> A person who reports to facility management is designated and accountable for discharge <br /> prevention. {§112.7(f)}: <br /> Name: Garrett Bomer Title: Dispatcher;A.L.Powell Trucking <br /> Other methods used to instruct personnel: <br /> SARA Title III, Employees Right To Know. Uniform Fire Code Section 79-7, California <br /> Fire Code-2019, Training and Inspection schedules per federal regulations 40 CFR 112, <br /> et seq. Training in OSHA rules and regulations for petroleum handling and spill <br /> response. <br /> Inspection and records <br /> A. The required inspections follow written procedures. YES <br /> B. The written procedures and a record of inspections signed by the appropriate supervisor or <br /> inspector are attached. YES <br /> Discussion: Written procedures and record of inspections are to be found in forms <br /> below to this Spill Prevention Control and Countermeasure Plan. Leak detection can be <br /> visually monitored as any spill would be evident on slab or underneath tanks. Piping <br /> from tanks to dispensers are readily visible for easy viewing, so any pipe leaks would <br /> be easily and the immediately detectable through regular visual inspections. Further, <br /> there is easily visible monitoring at tanks allowing for daily or weekly monitoring of the <br /> vessels space. <br /> Federal guidelines require the tanks to be inspected weekly; California CUPAs, under <br /> CA AboveGround Petroleum Storage Act (APSA) currently pending publication, require <br /> monthly inspections. All inspections to be herein documented and maintained within <br /> the said SPCC plan. ASTs without secondary containment must be tested annually. <br /> 25 <br />