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Gilbarco Veeder-Root (GVFAp North Carolina provides the remote &itoring service. The facility <br /> operator responds to TLS-350 ssages, Auto-Dial Failure and Gross Line MFak(also GVR). Service Station <br /> Systems is the maintenance contractor. Names, Titles and phone numbers, refer to those mentioned in the <br /> Hazardous Materials Management Plans. <br /> If required, Site Plans with locations of tanks, piping, vents, dispensers, monitoring panel, probes (w/model <br /> #'s), buildings and streets should be part of the annual tank& line monitoring system certification report. <br /> Secondary Containment Testing: Performed upon a new start-up facility and then 6 months after. <br /> Otherwise the testing schedule will be performed starting in 2002 and at 3-year intervals. Testing procedures <br /> are per manufacturer's standards, industry standards or by CA licensed PE procedures. Hydrostatic testing <br /> equipment & procedures are third party certified by CA Petroleum Engineer, Ken Wilcox Associates, Inc. <br /> S13989, LG-160. Hydrostatic tests of the tank-wet interstice,dispenser, sumps and tank-overfill-containment <br /> areas will be for a period of 12 minutes with a passing result, if the decrease in liquid level is less than 0.002 <br /> inches with a probability of 95% or greater, which,meets the requirement to detect a change of 0.250 inches <br /> in the 24 hour test period. Double walled tank systems with dry annular spaces will be vacuum tested per <br /> manufacturer's specifications. Secondary piping will be pressure tested at approximately 5 PSI for 60 <br /> minutes or per'manufacturer's specifications,-hard pipe verses flex pipe. Test results are to be submitted-to <br /> the local implementing agency and a copy is sent to the facility to be kept on site. The local agency will be <br /> notified at a minimum of 48 hours of a scheduled test date. <br /> UNAUTHORIZED RELEASE RESPONSE PLAN <br /> Non-contained unauthorized releases will be:reported to the local agency and Shell's HS&E Compliance <br /> Coordinator within 24 hours. Spills to ground will be cleaned up immediately with further mitigation'-as <br /> determined by the Local Agency and Shell's'Science and Engineering Department. The hazardous material <br /> shall be removed by applying absorbent material (maintained at the facility) and/or Shell's approved <br /> contractor would collect the Fuel material and dispose of in accordance with all Local, State and Federal <br /> laws and regulations. Dependant on circumstance, direct removal, drumming or laid upon non-absorbent <br /> material. Shell's approved contractors are responsible for maintaining their environmental equipment and <br /> materials per Local, State and Federal regulations. <br /> See the facility's Safety, Health and Environmental "Gold Book" for more detail; Hazardous Materials <br /> Management Plan (tab HNEVM); emergency response plan; procedures and Shell Leak Response Plan. <br /> Emergency response is 4 hours maximum. The service contractor will notify the appropriate Shell Oil <br /> Personnel in the event of an actual tank/line failure. Alarms,which are or are not the result of an actual tank <br /> or line failure, -will be repaired in accordance with the manufacturer's recommendation and all Local and <br /> State requirements. <br /> Preventive maintenance schedule: <br /> When the system alarms Veeder Root calls the facility to verify any problems and notifies their.Authorized <br /> Service Organization to respond and make necessary repairs as needed. The system is tested, repaired as <br /> needed and certified operational annually with submittal of the results to the appropriate Local Agency and <br /> Facility. <br /> Miscellaneous <br /> The Facility Operator is responsible for maintaining daily and monthly inventory reconciliation records. 12 <br /> (twelve) months on site and the previous 3 (three) years, optional on site. The Facility Operator is <br /> responsible for reporting inventory reconciliation exceeding State and Shell's allowable limits and <br /> unauthorized spills to ground to Shell's regional Safety, Health and Environmental Coordinator for review <br /> and corrective actions as needed. The facility operator is responsible to adhere to all conditions of the <br /> facility permits and licenses, document accessibility, annual employee hazardous materials, leak response <br /> and other OSHA training and documentation, tank and piping VR Monthly Compliance Reports and Annual <br /> System Certifications, nozzle repair/replacement logs and facility contractor repair logs and frequently <br /> inspect and clean the tank fill and vapor overspill buckets and dispenser containment pans (maintain free of <br /> liquid and debris). <br /> Please contact Shell's HS&E Compliance Coordinator, Aura Sibley at 916-240-1610 if there are any <br /> questions regarding the material contained in this package. <br /> 3/7/2007 SAS <br />