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I hope that you had a nice weekend. I just wanted to follow up with you and let you know that I received your email and <br />I am still trying to track down the appropriate person who can make this determination for you. Hopefully we will be <br />able to assist you soon. <br />Thank you <br />e5amantha La faker <br />Environmental Scientist/Regulatory Assistance Officer <br />Industry Assistance, Training, and Outreach Unit <br />Hazardous Waste Management Program <br />Phone: (916)324-0092 <br />California Department of <br />To)dc Substances Control <br />DTSC Regulatory Assistance Officers provide informal guidance only about management of hazardous waste for the convenience of the <br />public. Such oral or electronic mail advice is not binding upon DTSC, nor does it have the force of law. If you would like a formal opinion on a <br />matter by DTSC, please contact the responsible program office directly. You should also refer to the statutes and regulations, DTSC Policies and <br />Procedures, and other formal documents. If you would like to provide us feedback please do so at: <br />https://caIepa.ca.gov/wp-content/uploads/sites/62/2016/10/Customer-CustForm.pdf <br />From: Jeff Bennett <jbennett@earthcon.com> <br />Sent: Thursday, January 31, 2019 4:14 PM <br />To: Lawler, Samantha@DTSC <Samantha.Lawler@dtsc.ca.gov> <br />Subject: Hazardous Waste Tank Question <br />Hi Samantha, <br />Thanks for your call back on 1/30/19. As discussed on the phone, we have a client that has an above -ground 385 -gallon <br />secondarily contained poly tank for the storage of used oil (cut sheet attached). The local CUPA requested records <br />documenting that the tank had been tested for tightness prior to being placed in use in accordance with 22CCR <br />§66265.192(k)(10). The facility does not have records indicating that the tank was tested prior to being put into <br />service. The facility contacted a local tank testing firm to get a current integrity test and was told that, because of the <br />tank configuration, a vacuum test could not be performed (apparently there is not a way to provide an adequate seal on <br />the 16 -inch manway cover). The recommendation was to fill the tank and check it for leaks, which is essentially what <br />the facility does on a regular basis. Customers place used oil into the tank and facility personnel periodically inspect the <br />exterior and annular space for evidence of leakage. The facility also does not have a record of the age of the tank; <br />however, visual inspection of the tank did not reveal any crazing or degradation of the materials of construction and it <br />appears to be in good condition. The tank is on a concrete slab inside the fenced perimeter of the facility. <br />While the periodic inspections would seem to provide equivalent confirmation of tank integrity, the CUPA is requesting <br />evidence of tank testing to approve use of this tank unless DTSC can provide further guidance. At this point the options <br />for storage of this material include developing a way to authorize use of the existing tank with ongoing inspections or <br />replacing the tank with drums or other equivalent storage containers. Based on our conversation, you were not aware <br />of any DTSC policy memos or guidance documents that address this. We would appreciate DTSC's opinion on this <br />matter to assist with determining a method to store this material in a compliant manner. <br />Thanks, <br />