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that it cannot be used as an oily water storage tank. We communicated our intentions to remove <br /> the tank to Joh Alaniz of SJC-EHD by phone call and follow-up email. The email is provided here: <br /> John, <br /> To follow up our phone call, the attached picture shows Tank H in our Forklift Repair Area which was <br /> used to hold steam cleaning waste water(non-RCRA Hazardous Waste, Liquid(Oily Water)). Owens will <br /> no longer use this tank. The contents of this tank will be disposed of under manifest as. (non-RCRA <br /> Hazardous Waste, Liquid(Oily Water)) and the tank cut up into small pieces and disposed of under <br /> manifest as (non-RCRA Hazardous Waste, Solid(Oily Debris)). The manifests and photo documentation <br /> will be submitted to the SJC-EHD with the pending Return-to-Compliance letter due September 9, <br /> 2020. In the future the waste water from this area and operation will be pumped from the wash pad <br /> sump to a 275 gallon tote labelled(non-RCRA Hazardous Waste, Liquid(Oily Water)). The area and tote <br /> will be inspected during the weekly Hazardous Waste inspection. Full totes will be moved to the Main <br /> Accumulation area and disposed of within 90 days. <br /> Please contact me if you have and concerns about this. <br /> Bill Boscacci <br /> Environmental Manager <br /> Tracy Plant <br /> Item #507 CCR 66265.192 Failed to conduct daily inspections of hazardous waste tanks stem and maintain <br /> records onsite. <br /> Owens Response to Item #507: <br /> The tank has been removed. A 275 gallon tote labelled (non-RCRA Hazardous Waste, Liquid (Oily <br /> Water)) is serving the purpose of the removed tank. The area and tote will be inspected during the <br /> weekly Hazardous Waste inspection. Full totes will be moved to the Main Accumulation area and <br /> disposed of within 90 days of initial start of accumulation. <br /> Item#605 CCR 66262.34(8 Failed to completely label containers or portable tanks of hazardous waste. <br /> Hazardous waste containers were observed on-site with incomplete labeling. In hazardous waste <br /> accumulation area HWA-02 selecting maintenance: -One blue 55 gallon steel drum containing MEK had a <br /> hazardous waste label that was missing the hazardous property. The drum was also incorrectly labeled by <br /> having "oily water" listed as one of wastes in the drum. -One green 55 gallon steel drum containing oily water <br /> had a hazardous waste label that was missing the physical state. The drum was also incorrectly labeled by <br /> having "methyl ethyl ketone" listed as one of the wastes in the drum. -Near the batch houses, one 275 gallon <br /> bag containing EP dust had a hazardous waste label that was missing the hazardous property. -In hazardous <br /> waste storage area,two 275 gallon bags containing EP dust had hazardous waste labels that were missing the <br /> hazardous property. <br /> REGULATION GUIDANCE: All hazardous waste containers shall be marked with the following information: the <br /> words "Hazardous Waste", name and address of generator, hazardous properties, physical state, composition <br /> (contents), accumulation start date <br />