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2200 - Hazardous Waste Program
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PR0514284
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Last modified
6/10/2020 1:10:51 AM
Creation date
6/3/2020 9:20:28 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
RECORD_ID
PR0514284
PE
2226
FACILITY_ID
FA0010328
FACILITY_NAME
MOUNTAIN VALLEY EXPRESS INC
STREET_NUMBER
1019
STREET_NAME
BESSEMER
STREET_TYPE
AVE
City
MANTECA
Zip
95337
APN
22104067
CURRENT_STATUS
01
SITE_LOCATION
1019 BESSEMER AVE
P_LOCATION
04
P_DISTRICT
005
QC Status
Approved
Scanner
SJGOV\rtan
Supplemental fields
FilePath
\MIGRATIONS\HW\HW_2226_PR0514284_1019 BESSEMER_.tif
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EHD - Public
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0 0 Pagel of 2 <br />Muniappa Naidu [EH] <br />From: Dan Souza [dans@mtnvly.com] <br />Sent: Wednesday, June 10, 200910:06 AM <br />To: Muniappa Naidu [EH] <br />Attachments: Contingency Plan 10006.jpg; Contingency Plan 10007.jpg; Contingency Plan 10001.jpg; Contingency Plan <br />10002.jpg; Contingency Plan 10003.jpg; Contingency Plan 10004.jpg; Contingency Plan 10005.jpg <br />6/9/2009 <br />To: SJCEHD <br />ATTN: Muniappa Naidu <br />From: Mountain Valley Express <br />Re: HazWaste Site inspection correction notice <br />Mr. Naidu, <br />Thank you for your assistance in the site inspection conducted on 5/15/2009. 1 am attaching to this email a <br />folder with all of the items you requested with a few questions. <br />First, after your inspection I went back through and calculated our total manifested waste oil and show it to <br />be on average 181 gals a month, according to Title 22 this would keep us classified as a small quantity <br />generator and not a large quantity generator. I need more clarification on your findings. My concern is that <br />you may have taken into account some of our other facilities manifest totals. <br />Second, you have required certification on our used oil tank and as you will see in the attached photos, this <br />tank is a Certified Underwriters Laboratory listed tank and it is clearly labeled with the manufacturer, <br />capacity and secondary containment capability. I have to ask what more does the regulation require? Please <br />clarify. <br />Thirdly, I have attached a copy of our Contingency plan, although as a small quantity generator we were not <br />required to have one as per Title 22. If I read the regulation correctly we would only be required to have a <br />contingency plan if we are a large quantity generator which we are questioning. <br />Lastly please find the Laboratory results from the metal grindings you requested. You will see that less <br />than .005% of the particles were less than 100 microns. Is there a +/- threshold here that lets me know if I <br />need to treat as HazWaste or continue to recycle as we have been doing? Please let us know. <br />I sincerely appreciate your reply to our questions and hope that we have satisfied your entire request. <br />Mountain Valley Express prides itself on being a compliant business within the county and state. <br />Sincerely, <br />3/22/2010 <br />
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