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MFS Response to Hazardous Material Violations: <br />PR0543520-1325 EI Pinal-Compliance-8-3-21 OIR <br />Page 2 of 8 <br />MORRIS <br />SHAFFER <br />E N G I N E E R I N G <br />Akigust 10, 2024 Rea Augusr 31, 2021 <br />Tony Grizelj <br />Metal Finishing Solutions, Inc. <br />1325 El Pinal Drive <br />Stockton, CA 95205 <br />Tank System Integrity Report <br />Morris Shaffer Engineering Project # 20238 [Previous 182111 <br />104. CCR 67450.3(c)(1) Failed to submit an onsite annual hazardous waste treatment <br />notification by January 1. <br />OBSERVATION: This facility is treating hazardous waste but has not submitted the annual <br />treatment notification information to the California Environmental Reporting System (CERS) by <br />January 1 for the following years: 2021 (submitted late on 1/8/2021), 2020 (submitted late on <br />9/10/2020), 2019 (not submitted). <br />REGULATION GUIDANCE: <br />The owner or operator of a fixed treatment unit (FTU) that treats hazardous waste shall submit <br />in the California Environmental Reporting System (CERS) the following sections: the Business <br />Activities Page, the Business Owner/Operator Page and the Onsite Hazardous Waste Treatment <br />Notification -Facility page and subsections. The submittal shall be made by January 1 of each <br />year following the first treatment of waste with the FTU, and by January 1 of each subsequent <br />year. <br />CORRECTIVE ACTION: Ensure the required annual Hazardous Waste Treatment notification in <br />CERS is submitted by January 1 each year for review by the San Joaquin County Environmental <br />Health Department (EHD). Provide a CORRECTIVE ACTION statement and supporting <br />documentation to the EHD within 30 days. <br />Metal Finishing Solutions (MFS) Response: <br />This intent letter was accepted by the regulator on January 8, 2021. — below: <br />