Laserfiche WebLink
regulations. <br /> Immediately begin to label all universal waste pursuant to 66273.34 CCR. <br /> Violation #84-(a) Stored UW onsite for more than 1 year, or (b) was unable to <br /> demonstrate the length of time the UW has been accumulated from the date it became a <br /> waste or was received 66273.35 CCR. <br /> At time of inspection, 1 box of waste alkaline batteries in guest services, 1 plastic container of mixed <br /> waste batteries in electronics, 13 loose waste lamps, and 1 green box of waste lamps were seen. It <br /> could not be determined how long the universal waste had been onsite. <br /> Immediately, have all universal waste listed above removed and provide this office with a <br /> shipping record. <br /> Note: 1-Some waste alkaline batteries were being stored in a box with a label that read <br /> "Please do NOT deposit alkaline or non-rechargeable batteries-, from <br /> Rechargeable Battery Recycling Corporation. <br /> 2-Rechargeable batteries co-mingled with alkaline batteries in the electronics <br /> Department, <br /> Violation #85-Failed to keep records of each shipment of UW according to this section <br /> 66273.39 CCR. <br /> At time of inspection, copies of records of shipment of universal waste for the previous 3 years could <br /> not be provided. Hazardous waste generators must maintain records of shipment for 3 years and have <br /> them readily available for review. <br /> Within 30 days, July 1, 2010, submit copies of all records of shipment of universal waste <br /> for the previous 3 years to this office. <br /> Medical Waste Management Act (MWMA) <br /> Violation #999 Waste pharmaceuticals are not being transported pursuant to 118000 HSC <br /> or treated pursuant to 118215 HSC prior to disposal. Waste pharmaceuticals (pharmaceuticals <br /> returned by customers or pharmaceuticals that became waste as a result of contamination of some <br /> kind) are disposed of through a return logistics company and non-medical waste hauler named Genco <br /> also known as Capital Returns. Medical waste haulers are required to be registered hazardous waste <br /> haulers through the Department of Toxic Substances Control and approved to haul medical waste <br /> through the California Department of Public Health. Waste pharmaceuticals are required to be <br /> incinerated [or treated according to 118215(a)] pursuant to the MWMA. This is a violation of <br /> 118222(b) HSC. <br /> PLEASE NOTE THIS IS NOT A HAZARDOUS WASTE VIOLATION IT IS A CALIFORNIA <br /> MEDICAL WASTE MANAGEMENT ACT VIOLATION. <br /> Within 30 days, July 1, 2010, submit a plan for handling, storing, and disposing of waste <br /> pharmaceuticals pursuant to the California Medical Waste Management Act. <br /> Violation #999 Sharps containers ready for disposal are not being stored pursuant to <br /> 118285 HSC. At time of inspection, sharps container ready for disposal was open. It could not be <br /> determined how long the sharps container had been onsite. <br /> PLEASE NOTE THIS IS NOT A HAZARDOUS WASTE VIOLATION IT IS A CALIFORNIA <br /> MEDICAL WASTE MANAGEMENT ACT VIOLATION. <br /> Immediately begin managing and handling sharps containers pursuant to 118285 HSC. <br /> Within 30 days, July 1, 2010, complete and submit a copy of the Return to Compliance <br /> Certification, found on the back of page 1, with a statement addressing how each of the <br /> above listed violations have been corrected, Submit all requested and necessary <br /> supporting documentation. <br /> Note:AY EHD staff time associated with failing to comply by the above noted dates will be <br /> billed at the current hourly rate. This facility shall be subject to reinspection. <br /> EHD Inspector Received <br />