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Violation 608) OPEN. Failed to properly manage used oil filters. I need a statement saying the filters were properly <br /> labeled. Since there was no accumulation start date, I also need the disposal records. I saw a pickup on <br /> 11/6/2019. Was that drum for the filters observed during the inspection? <br /> In addition, I did not see used oil filter pickup disposal records for invoices 23132 (1/25/2018) and 23154 (4/2/2018). 1 <br /> did see the invoices but not the disposal records. Also, disposal record for invoice 23433 (8/4/2017)was not legible. <br /> If you have any questions please let me know. Please respond back with an update by March 6, 2020. <br /> Thank You, <br /> John Alaniz <br /> REHS <br /> San Joaquin County <br /> Environmental Health Department <br /> 1868 E Hazelton Avenue <br /> Stockton, California 95205 <br /> Phone: (209)468-3147 <br /> Fax: (209)468-3433 <br /> Please note, my email address has changed to jalanizl@sigov.org. <br /> From:Alaniz,John <br /> Sent: Monday, February 24, 2020 12:08 PM <br /> To: 'rpanttaja@goldenstatelumber.com' <rpanttais@goldenstatelumber.com> <br /> Cc: 'bdeering@goldenstatelumber.com' <bdeering@goldenstatelumber.com> <br /> Subject: UPATE EMAIL 1 of 2 <br /> Violation 102) Failed to determine. OPEN. <br /> a) In the storage area behind the maintenance shop, one rusted 55 gallon steel drum and one blue 16 gallon steel drum <br /> contained unknown material. I need a statement saying what those items were and if they were hazardous waste. <br /> b) In the wash bay, two black 55 gallon poly drums dropped off by delivery trucks contained an unknown material. I <br /> need a statement saying what those items were and if they were hazardous waste. <br /> c) Regarding the wash bay from washing external vehicles. There was no hazardous waste determination made by the <br /> facility. In addition I did not see any disposal records. A determination needs to be made with the water. You can also <br /> provide disposal records. <br /> d) Regarding Treated Wood. <br /> 1) A hazardous waste determination needs to first be made on all different treated wood wastes. If the wood is <br /> deemed non-hazardous, I would need to see documentation showing how the non-hazardous waste <br /> determination was made (via test results). <br /> 2) Instead of testing the wood, a facility can ASSUME the waste to be hazardous. If this assumption is made, the <br /> facility can then follow the Alternative Management Standards for treated wood waste. It appears that this is what <br /> the facility is doing because you already separate out the woods. Please see the attached generator requirements <br /> with the wood. <br /> 3) If the facility is going to follow alternative management standards, I need a statement explaining this. Including <br /> discussing the proper labeling on all treated wood waste containers,the proper training for managing treated wood <br /> 2 <br />