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Map ID <br />Direction <br />Distance <br />Elevation <br />MAP FINDINGS <br />Site <br />EDR ID Number <br />Database(s) EPA ID Number <br />HUSKY CRANE INC (Continued) 1000273351 <br />Provide records of testing or immediately perform integrity and leak <br />testing of this piping and ensure that piping is tested when required, <br />or provide equivalence as allowed by CFR 112.7(a)(2). <br />Violation Division: San Joaquin County Environmental Health <br />Violation Program: APSA <br />Violation Source: CERS <br />Site ID: <br />273240 <br />Site Name: <br />MAXIM CRANE WORKS <br />Violation Date: <br />05-20-2019 <br />Citation: <br />HSC 6.67 25270.4.5 (a) - California Health and Safety Code, Chapter <br />6.67, Section(s) 25270.4.5 (a) <br />Violation Description: <br />Failure to amend the SPCC Plan within 6 months: 1. When the facility <br />has had a change in design, construction, operation, or maintenance <br />which affects the facilityG s discharge potential. AND/OR 2. To <br />include more effective proven technology at the time of the 5 -year <br />SPCC Plan review and evaluation. <br />Violation Notes: <br />Returned to compliance on 06/03/2020. The tanks described in the SPCC <br />plan as the 165 gallon gear oil and 275 gallon transmission oil have <br />been removed from the facility per facility personnel. The tank <br />described as the 600 gallon hydraulic oil tank has been replaced with <br />a 165 gallon tank and the 570 gallon engine oil tank has been replaced <br />by a 400 gallon tank, per facility personnel. A tank holding more than <br />55 gallons of hydraulic oil for an oil filter crusher was observed in <br />the main shop but was not mentioned in the SPCC plan. This tank may <br />qualify as operational equipment. Amend the SPCC Plan for your <br />facility in accordance with the general requirements in - 112.7, and <br />with any specific section of this part applicable to your facility, <br />when there is a change in the facility design, construction, <br />operation, or maintenance that materially affects its potential for a <br />discharge as described in - 112.1(b). Examples of changes that may <br />require amendment of the Plan include, but are not limited to: <br />commissioning or decommi <br />Violation Division: <br />San Joaquin County Environmental Health <br />Violation Program: <br />APSA <br />Violation Source: <br />CERS <br />Site ID: <br />273240 <br />Site Name: <br />MAXIM CRANE WORKS <br />Violation Date: <br />05-27-2016 <br />Citation: <br />HSC 6.67 25270.4.5(a) - California Health and Safety Code, Chapter <br />6.67, Section(s) 25270.4.5(a) <br />Violation Description: <br />Failure to adequately describe the physical layout of the facility, or <br />no description of the physical layout of the facility included within <br />the SPCC plan. <br />Violation Notes: <br />Returned to compliance on 05/21/2019. The facility map did not include <br />the accurate locations of all aboveground tanks at this facility and <br />did not include any petroleum storage inside the shop. The Spill <br />Prevention, Control, and Countermeasure (SPCC) Plan shall include a <br />facility diagram which must mark the location and contents of each <br />fixed storage container and the storage area where mobile or portable <br />containers are located. It must identify the location of and mark as <br />"exempt" underground tanks. It must also include all transfer stations <br />and connecting pipes, including intra -facility gathering lines. <br />Immediately update the facility diagram to include all of the required <br />information. Submit a legible copy of the updated facility diagram to <br />the EHD for review. <br />TC6327721.2s Page 343 <br />