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COMPLIANCE INFO_1995-2011
EnvironmentalHealth
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2300 - Underground Storage Tank Program
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PR0505615
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COMPLIANCE INFO_1995-2011
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Last modified
2/26/2024 1:45:30 PM
Creation date
6/3/2020 9:58:50 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2300 - Underground Storage Tank Program
File Section
COMPLIANCE INFO
FileName_PostFix
1995-2011
RECORD_ID
PR0505615
PE
2361
FACILITY_ID
FA0006898
FACILITY_NAME
RAMOS OIL-FRENCH CAMP
STREET_NUMBER
10842
Direction
S
STREET_NAME
HARLAN
STREET_TYPE
RD
City
FRENCH CAMP
Zip
95231
APN
19333028
CURRENT_STATUS
01
SITE_LOCATION
10842 S HARLAN RD
P_LOCATION
99
P_DISTRICT
001
QC Status
Approved
Scanner
SJGOV\rtan
Supplemental fields
FilePath
\MIGRATIONS\UST\UST_2361_PR0505615_10842 S HARLAN_1995-2011.tif
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EHD - Public
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■ Is subject to the notification requirements for wells found to have <br />contaminants in excess of maximum contaminant levels or action <br />levels established by DHS. [Health & Saf. Code, § 25299.97, subd. <br />(a)(1)] <br />What is the deadline for nerformina ELD and how often does ELD have to be <br />performed on a subject UST system? <br />For UST systems with a single -walled component, ELD must be performed no later <br />than 18 months following receipt of notification from the SWRCB and be repeated every <br />thirty-six (36) months thereafter. [Cal. Code Regs., Title 23, § 2644.1, subd. (a) (3)] <br />What is a single -walled component? A single -walled component is any part of <br />a UST system that is constructed with walls made of only one thickness of <br />material. Laminated, coated, or clad materials are all considered single -walled. <br />[Health & Saf. Code, § 25281, subd. (r)] Tanks that were lined to meet the 1998 <br />upgrade requirements are also considered to be single -walled. UST systems with <br />any of the following components are considered "single -wailed": a single -walled <br />tank, single -walled pressurized piping, single -walled conventional suction piping, <br />a dispenser without under -dispenser containment, or a turbine that is not <br />contained in a sump. However, single -walled vent or tank riser piping, vapor <br />recovery piping, and "safe" or "European" suction piping are not considered <br />single -walled components of UST systems if they meet the definition of section <br />2636 (a)(1), (2), or (3). [Cal. Code Regs., Title 23, § 2640, subd. (e)(1)] UST <br />systems with a single -walled component were typically installed on or before <br />January 1, 1984, although some may have been installed between January 1, <br />1984 and July 1, 1987. <br />For UST systems with secondary containment that were installed before July 1, 2003 <br />and are located within 1,000 feet of a public drinking water well, one-time ELD testing is <br />required. [Health & Saf. Code, §25292.5, subd. (a)]. <br />What is an UST system with secondary containment? An UST system with <br />secondary containment has a second containment around all regulated single - <br />walled components. An UST system with secondary containment at a minimum <br />includes all of the following: a double -walled tank, double -walled piping (unless <br />piping is "safe" or."European" suction), a turbine containment sump, and under - <br />dispenser containment. UST systems that meet the criteria of secondary <br />containment were typically installed after July 1, 1987, although some may have <br />been installed between January 1, 1984 and July 1, 1987. <br />In addition, Health and Safety Code, §25289, subdivision (b) authorizes the State Water <br />Board to require ELD testing when the SWRCB finds that the burden of the testing, <br />including costs, bears a reasonable relationship to the need for the testing and <br />reporting. The SWRCB finds that the burden of imposing required ELD testing of USTs <br />located within 1000 feet of a public drinking water well on owners or operators not <br />previously notified under other sections of the Health and Safety Code bears a <br />reasonable relationship to the benefits to be gained from obtaining information about <br />tank integrity. Information about tank integrity is needed so that leaking USTs can be <br />identified Therefore, owners/operators of UST systems not previously notified under <br />California Environmental Protection Agency <br />0 Recycled Paper <br />
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