My WebLink
|
Help
|
About
|
Sign Out
Home
Browse
Search
COMPLIANCE INFO_2020
EnvironmentalHealth
>
EHD Program Facility Records by Street Name
>
D
>
DR MARTIN LUTHER KING JR
>
845
>
2200 - Hazardous Waste Program
>
PR0513936
>
COMPLIANCE INFO_2020
Metadata
Thumbnails
Annotations
Entry Properties
Last modified
10/7/2020 10:10:36 AM
Creation date
10/6/2020 3:51:12 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
2020
RECORD_ID
PR0513936
PE
2228
FACILITY_ID
FA0003984
FACILITY_NAME
PEP BOYS #0710
STREET_NUMBER
845
Direction
E
STREET_NAME
DR MARTIN LUTHER KING JR
STREET_TYPE
BLVD
City
STOCKTON
Zip
95206
APN
14734514
CURRENT_STATUS
01
SITE_LOCATION
845 E DR MARTIN LUTHER KING JR BLVD
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
Scanner
SJGOV\dsedra
Tags
EHD - Public
There are no annotations on this page.
Document management portal powered by Laserfiche WebLink 9 © 1998-2015
Laserfiche.
All rights reserved.
/
26
PDF
Print
Pages to print
Enter page numbers and/or page ranges separated by commas. For example, 1,3,5-12.
After downloading, print the document using a PDF reader (e.g. Adobe Reader).
View images
View plain text
I restraining order is sought, it shall not be necessary for the People to allege or prove at any stage of <br /> 2 the proceeding that irreparable damage will occur should the temporary restraining order, <br /> 3 preliminary injunction, or permanent injunction not be issued, or that the remedy at law is <br /> 4 inadequate, and the temporary restraining order,preliminary injunction, or permanent injunction <br /> 5 shall issue without such allegations and without such proof. <br /> 6 GENERAL ALLEGATIONS <br /> 7 25. Unless specifically stated otherwise, allegations in this Complaint are based on facts <br /> 8 I that were discovered within five(5) years of the tolled statute of limitations period, as set out in <br /> 9 paragraph 15, and continued thereafter. <br /> 10 I I 26. Defendant owned, operated,licensed, or leased, and continues to own operate, <br /> p , <br /> 11 license, or lease, Facilities throughout California, and is responsible for acts and omissions <br /> 12 committed at these Facilities. <br /> 13 27. Defendant handled at the Facilities significant quantities of hazardous materials, <br /> 14 including,but not limited to, automotive fluid products, batteries, electronic devices, ignitable <br /> 15 liquids, metal shavings, aerosol products, cleaning agents, and other flammable, reactive,toxic, and <br /> 16 corrosive materials. Many of those hazardous materials are offered for sale to the public in the <br /> 17 ordinary course of business. <br /> 18 28. Defendant also generated regulated quantities of hazardous waste in the ordinary <br /> 19 course of business at each of the Facilities through, among other things, automotive repair and <br /> 20 maintenance services, as well as through damage to retail-product containers, spills and releases of <br /> 21 hazardous materials, unsellable hazardous products, and customer returns of hazardous products—all <br /> 22 of which must be handled and disposed of as hazardous waste in compliance with the HWCL. <br /> 23 29. Defendant, at each of the Facilities, generated hazardous waste during every ninety <br /> 24 (90) day period at large quantity generator locations and during every one hundred eighty(180)day <br /> 25 period for small quantity generator locations. <br /> 26 30. Defendant is and was responsible for the operation of the Facilities. Defendant is and <br /> 27 was aware of and conducted, approved, and controlled the hazardous-materials and hazardous-waste <br /> 28 management activities at the Facilities. Defendant's actions and omissions, as part of a continuing <br /> -6— <br /> COMPLAINT FOR INJUNCTIVE RELIEF,CIVIL PENALTIES,AND OTHER RELIEF <br />
The URL can be used to link to this page
Your browser does not support the video tag.