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E <br /> Michelle Henry <br /> May 21,2015 <br /> Page 3 <br /> measures, and the following information must be posted by a phone: the name and phone <br /> number of the emergency coordinator; location offrre extinguishers, spill control <br /> equipment, and if present,fire alarm; and the phone number of the fire department, <br /> unless the facility has a direct alarm. Immediately appoint an emergency coordinator <br /> and post the required information by a phone. A form is provided that can be used for <br /> this purpose. Class H violation. <br /> Response to Item No. 103: <br /> The Emergency Coordinators for the facility are Victor Lima and Adam Carl. The <br /> contact information for Mr.Lima and Mr. Carl is posted at each phone and each exit <br /> throughout the facility and at the hazardous waste accumulation area. Additionally,all <br /> emergency communications information,including phone numbers for the local fire <br /> department,is posted at these locations. A copy of the posting is enclosed for your <br /> review in Attachment C. In addition to the emergency information, Cooks Collison posts <br /> copies of the Hazardous Materials Business Plan Site Map that indicates the precise <br /> locations of all emergency equipment at the facility. The Site Map is posted in the break <br /> room and at each exit. A copy of the Site Map is enclosed as Attachment D. <br /> Supplemental Response to Item No. 103: <br /> Cooks Collision has complied with its facility information and contingency planning <br /> requirements. The facility's contingency plan has been submitted to the California , <br /> Environmental Reporting System("CERS")and has been accepted by San Joaquin <br /> County Environmental Health Department under CERS ID Number 10138139. Please <br /> find the facility information uploaded to CERS to include the facility's Hazardous <br /> Materials Business Plan,Hazardous Materials Inventory, Site Map,and Consolidated <br /> Emergency Response/Contingency Plan, attached hereto as Attachment S-5. As stated <br /> in the previous response, copies of the site map and emergency information are posted <br /> throughout the facility. g <br /> Item No. 105: CRC66262.34(d)(2). Failed to train employees on waste handling and <br /> emergency procedures. At the time of the inspection, it could not be demonstrated(not <br /> necessarily documented)that employees who handle hazardous waste were properly <br /> trained. Employees were unable to identify which waste streams were hazardous waste <br /> at their facility which resulted in either the illegal disposal of a hazardous waste or <br /> illegal treatment of a hazardous waste, ECH7080 and EC700. Victor informed me all <br /> paints used are water based and are non hazardous waste even though they (sic)waste <br /> from cleaning the gun with water is being disposed of as a hazardous waste. The <br /> generator must ensure that all employees who handle hazardous waste are thoroughly <br /> familiar with proper waste handling and emergency procedures. Immediately provide <br /> training to all employees who handle hazardous waste and submit a copy of the training <br /> records to the EHD. Class H violation. <br /> Response to Item No. 105: <br /> 10 <br /> 4 <br /> 0 <br /> 2990 Lava Ridge Court,Suite 190 <br /> Roseville,CA 95661 <br /> Phone 916-786-2943 Fax 916-786-2992 <br /> www.cookscollision.com <br /> 1 <br /> a <br />