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Thank you for your patience as I reviewed the information you provided to bring Foodliner Inc. back into <br /> compliance. <br /> The following information, noted in red, is still needed to close out the remaining violations: <br /> 1. Violation#102: <br /> a. Items found in the "old shop" <br /> i. Black 2.5 gallon container of industrial pump oil—non-hazardous waste, <br /> disposed of into shop waste oil collection container and was picked up by Safety <br /> Kleen on their regular monthly pick up of used oil.—Submit the disposal <br /> record/hazardous waste manifest for this waste. The above referenced material <br /> was initially classified incorrectly. It is a non-RCRA hazardous waste. Attached is <br /> the shipping document from Safety Kleen that shows this material was picked <br /> up and disposed of. <br /> H. 5 gallon contain of an unknown dark liquid—determined to be used oil, put into <br /> shop used oil container and was picked up by Safety Kleen on their regular waste <br /> oil pick up. —Submit the disposal record/hazardous waste manifest for this <br /> waste. Attached is the shipping document from Safety Kleen that shows this <br /> material was picked up and disposed of. <br /> iii. Three 55 gallon containers of unknown contents—classified as a waste and <br /> disposed of. See attached manifest 012873968(Line 1 & 3)—This hazardous <br /> waste manifest has the generator site address, 2099 Southpark Court Ste 3, <br /> Bubuque, IA, which is not the site address of your facility. Also, the manifest <br /> states "PENDING"for the Generator ID Number. Submit a hazardous waste <br /> manifest with your facility's correct site address and with your Generator ID <br /> number,for the three 55 gallon containers of unknown contents. To clarify, <br /> initially these containers were thought to be of useful value to our other <br /> location in Iowa. We shipped this material to Iowa with the intention of using it <br /> in our shop. Upon arrival it was determined the shop could not use it. We then <br /> had Safety Kleen take samples of the material to classify it for waste <br /> disposal. That is why the generator site address shows in Iowa. There initially <br /> was not an EPA ID for the location in Iowa so one had to be generated, so it was <br /> showing"pending" on initial documents. <br /> iv. A steel drum containing waste solids beneath the parts washer—currently using <br /> this as a collection for solids from the parts washer in the shop— Immediately <br /> make a hazardous waste determination for this waste and manage it according <br /> to the Title 22 hazardous waste regulations. Submit a statement and supporting <br /> documentation (e.g. disposal record/hazardous waste manifest) explaining how <br /> this waste was managed. This was an old part washer that was not in use any <br /> longer. The steel drum was lined with a bag which the contents were dumped <br /> into our waste oil.The bag was then put in our oily debris barrel for disposal <br /> with our regular pick up with Safety Kleen. <br /> b. Items found inside the exterior truck wash: <br /> i. Five 250 gallon totes labeled as Ultra Bright Acid—not a waste, these were <br /> empty totes that were cut up and disposed of in dumpster.—Note that <br /> regulations found in Title 22 CCR section 66261.7 establish specific management <br /> practices for empty containers. Refer to the attached guidance documents for <br /> more information. This was a misunderstanding on our part on the <br /> requirements for empty containers. Going forward, Foodliner will follow the <br /> regulations regarding empty containers. <br /> ii. Four 250 gallon totes of unknown black liquid—These were identified as truck <br /> wash wastewater collected in totes to let the solids separate out for <br /> 3 <br />