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COMPLIANCE INFO_2021
EnvironmentalHealth
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EHD Program Facility Records by Street Name
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EL PINAL
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2231-2238 – Tiered Permitting Program
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PR0543720
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COMPLIANCE INFO_2021
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Last modified
1/24/2022 11:40:34 AM
Creation date
1/12/2021 8:57:18 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2231-2238 – Tiered Permitting Program
File Section
COMPLIANCE INFO
FileName_PostFix
2021
RECORD_ID
PR0543720
PE
2231
FACILITY_ID
FA0024706
FACILITY_NAME
METAL FINISHING SOLUTIONS - STOCKTON CA
STREET_NUMBER
1325
STREET_NAME
EL PINAL
STREET_TYPE
DR
City
STOCKTON
Zip
95205
CURRENT_STATUS
01
SITE_LOCATION
1325 EL PINAL DR STE 1
QC Status
Approved
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SJGOV\gmartinez
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EHD - Public
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the treatment system. The data must demonstrate that the fluoride or metal content of the <br />waste streams do not exceed hazardous waste regulatory levels. <br />a. Response: The Treatment System Waste analysis plan for rinse tanks 3,4,6,7,9,10, and <br />11 will be submitted separately to Elianna Florido - San Joaquin County Environmental <br />Health Department, pending sampling laboratory analysis report review and <br />incorporation into the Waste Analysis Plan. <br />Violation 113- Submit a copy of the hazardous waste treatment inspection schedule. <br />a. Response: The facility's hazardous waste treatment inspection schedule is a daily <br />inspection that occurs during all operation days. The facility typically operates two (2) 8 <br />hours shifts Monday — Friday. In some instances, operations will also occur on some <br />Saturdays, and the hazardous waste treatment system will be inspected. <br />Hazardous Materials Program Inspection: <br />1. Violation 3 —Submit a corrective action statement and supporting documentation explaining <br />how the facility's Hazardous Materials Business Plan has been updated to prevent future <br />releases/inappropriate waste disposal similar to the disposal that occurred on 7/8/2021 at <br />Forward Landfill. <br />a. Response: A Hazardous Material Business Plan was established in 2017-18 and <br />submitted. At the end of 2020, MFS submitted and Certified the 2021 HMBP Updates. <br />From this, SJC-EHD approved all aspects of the HMBP by January 2021. The Emergency <br />Response Plan (ERP) that was implemented was based more on potential releases in and <br />around the Facility. The ERP was based on training, a coordination of emergency <br />response MFS employees, a certified Hazardous Materials contractor and Agency <br />Notifications. Increased supervisory and personnel training will ensure that this error <br />will not occur again. <br />Violation 5 — <br />Update the hazardous materials inventory on CERS to include the two 250 -gal totes and <br />one 55 -gal drum labeled "Cleaning Compound Sludge and Waste Corrosive Basic Liquid" <br />and the seven 55 -gal drums of unknown possible hazardous waste. <br />i. Response: Manifest # 016134871 FLE for the two (2) 250 -gallon totes — <br />attached. <br />ii. Response: Manifest # 016134872 FLE, which included the 8 mentions 55 -gallon <br />drums — attached. <br />Update the hazardous materials inventory on CERS to correct the following: <br />i. The max daily amount for Hydrochloric Acid 15-37% is inaccurately reported on <br />CERS as 110 gallons. At least sixteen 55 -gallon drums, or 880 gallons, of <br />Hydrochloric Acid 15-37% was observed on-site. <br />1. Response: CERS has been updated on September 30, 2021. <br />ii. The max daily amount for Sodium Hydroxide 1-50% aqueous solution is <br />inaccurately reported on CERS as 110 gallons. At least twenty 55 -gallon drums, <br />or 1100 gallons, of Sodium Hydroxide 1-50% aqueous solution was observed on- <br />site. <br />1. Response: CERS has been updated on September 30, 2021. <br />iii. The max daily amount for Diesel Fuel No. 2 is 100 gallons and the largest <br />container amount is 120 gallons. The max daily amount cannot be less than the <br />size of the largest container. <br />Response: CERS has been updated on October 5, 2021. <br />
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