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including a 7,400 -gallon cone-shaped tank, a 500 -gallon treatment tank, two 370 - <br />gallon treatment tanks, and for secondary containment including ancillary <br />equipment. <br />3.5. Respondent violated Health and Safety Code section <br />25200.3(c)(1) and California Code of Regulations, title 22, sections 66262.34(a)(4) <br />and 66265.16, in that on or about September 29, 2016, Respondent failed to <br />provide training to the primary emergency coordinator. <br />3.6. Respondent violated Health and Safety Code section <br />25200.3(c)(4) and California Code of Regulations, title 22, sections 66262.34(a)(4) <br />and 66265.195, in that on September 29, 2016, the Respondent failed to conduct <br />complete daily inspections of its tank systems. <br />4. Respondent admits the alleged violations set forth above. <br />5. Jurisdiction exists pursuant to Health and Safety Code section 25187. <br />6. The parties wish to avoid the expense of litigation. <br />7. Respondent waives any right to a hearing in this matter. If the <br />Department seeks to use the violations alleged in this Consent Order, whether or <br />not admitted by Respondent pursuant to paragraph 4, and Respondent's admission <br />to the violations, for any of the purposes described in paragraph 12 (Reservation of <br />Authority), Respondent will not assert any defenses based on the passage of time, <br />including, but not limited to, laches, estoppel, and statute of limitations. <br />8. This Consent Order shall constitute full settlement of the violations <br />alleged above but does not limit the Department from taking appropriate <br />enforcement action concerning other violations, except to the extent provided in <br />this Consent Order. <br />Cal Tank Lines. <br />