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AOL <br />r -I <br />San Joaquin County <br />Environmental Health Department <br />1868 East Hazelton Avenue, Stockton, California 95205-6232 <br />Telephone: (209) 468-3420 Fax: (209) 468-3433 Web: www.sjgov.org/ehd <br />Underground Storage Tank Program Inspection Report <br />Facility Name: <br />QUICK SHOP <br />Facility Address: <br />2072 W YOSEMITE AVE, MANTECA <br />Date: <br />September 19, 2017 <br />SUMMARY OF VIOLATIONS <br />(CLASS „I, CLASS II, or MINOR- Notice to Comply) <br />Item # <br />Remarks <br />306 <br />CCR 2630(d) Monitoring equipment is not installed or maintained to detect a leak at the earliest opportunity. <br />The UDC 7/8 sump sensor was raised approximately 4 inches off the lowest point of the sump and not located to <br />detect a leak at the earliest opportunity. Monitoring equipment shall be maintained to be able to detect a leak at the <br />earliest possible opportunity. The sensor was relocated to the lowest point of the sump by the service technician. <br />Ensure that all monitoring equipment is maintained to detect a leak at the earliest opportunity. <br />This is a repeat violation, Class ll. <br />313 <br />HSC 25290.1, 25290.2, 25291 Failure to construct, operate, and maintain primary containment as product -tight. <br />Dispenser 7/8 had seepage on the product line closest to the propane tanks and the UDC had approximately 4 <br />gallons of fuel in it, indicating a leak in the primary piping. All primary containment for the UST system must be <br />tight. Immediately have a properly licensed, trained, and certified contractor repair or replace the failed component <br />under permit and inspection of the EHD. <br />This is a repeat violation, Class II. <br />315 <br />HSC 25291(e) Water in secondary containment not removed, analyzed, and properly disposed of (pre -Jul 2003). <br />Liquid was observed in the diesel STP sump. If water could enter into the secondary containment by precipitation or <br />infiltration, it must be removed and disposed of properly. The service technician removed approximately 4 cups of <br />liquid from the diesel STP sump. Ensure that all sumps and annular spaces are maintained free of liquid. <br />This is a repeat violation, Class Il. <br />319 <br />CCR 2635(b) No spill bucket, failed to contain five gallons, or failed to provide a means to keep it empty. <br />The diesel direct -bury spill container failed when tested. All spill containers shall have a minimum capacity of five <br />gallons and be capable of containing a spill or overfill until it is detected or cleaned up. Immediately discontinue <br />deposition of petroleum into this tank until the component is repaired or replaced by a properly licensed, trained, and <br />certified contractor under permit and inspection of the EHD. If the spill container can't be replaced immediately, <br />there is a possibility that the diesel UST system may be red tagged to prevent fuel inputs. <br />This is a repeat violation, Class II. <br />Overall Inspection Comments: <br />Complete and submit a copy of the Return to Compliance Certification form to the EHD with a statement <br />documenting the corrective actions that have been or will be taken for each violation, and any supporting <br />paperwork, by October 19, 2017 . <br />Red tag number 1294 was placed back on the 110 octane fill pipe and red tag number 1275 was placed back on <br />the 100 ocatne fill pipe. <br />Please be aware that as of January 1, 2014, facility operators are required to upload the following UST program <br />documents into the California Environmental Reporting System (CERS): UST Monitoring Site Plan, UST <br />Certification of Financial Responsibility, UST Response Plan, UST Letter from Chief Financial Officer (if <br />applicable), and the Owner Statement of Designated Operator Compliance. The UST Owner/Operator: Written <br />FA0004625 PR0231426 SCO01 09/19/2017 <br />EHD 23-01 Rev. 09/22/16 Page 5 of 6 Underground Storage Tank Program OIR <br />