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a. a designated facility signed hazardous waste manifest for the clean out of processing line secondary <br /> containment containing solids and liquids with pH 1.5 <br /> b. a signed hazardous waste manifest/disposal record of treatment system secondary containment <br /> containing solids (in trash can). <br /> 10. Violation 406-Submit the name, street address, mailing address and telephone number of the owner or <br /> operator of the facility where Metal Finishing Solutions' empty 55-gallon drums were shipped to, prior to the <br /> drums being picked up by ABCO Products Co. <br /> 11. Violation 505—Submit a corrective action statement addressing the floor degradation of the concrete treatment <br /> system secondary containment observed at the time of inspection. <br /> 12. Violation 509-Submit proof that the leaking pump was fixed (e.g. a work order). <br /> 13. Violation 601—Submit designated facility signed hazardous waste manifest(s)for the wastes on-site longer than <br /> 90 days, listed on the inspection report for this violation. <br /> 14. Violation 605—Submit a corrective action statement stating how the drum storing unknown liquid and city <br /> water treatment resin (beads) was labeled for hazardous properties, physical state, composition (contents). <br /> Permit By Rule Treatment Inspection: <br /> 1. Violations 101, 203- <br /> a. Provide a timeline as to when the PE will complete an internal inspection of the tanks. Have the PE re- <br /> certify the tank assessment once the PE completes the internal inspection. <br /> 2. Violation 112—Submit a complete treatment system waste analysis plan, which includes a separate chemical <br /> analysis at the point of waste generation for rinse tanks 3,4,6,7,9,10, and 11, and clean out of the secondary <br /> containment under the processing line, before the wastes enter the treatment system.The data must <br /> demonstrate that the fluoride or metal content of the waste streams do not exceed hazardous waste regulatory <br /> levels. <br /> 3. Violation 113-Submit a copy of the hazardous waste treatment inspection schedule. <br /> Hazardous Materials Program Inspection: <br /> 1. Violation 3—Submit a corrective action statement and supporting documentation explaining how the facility's <br /> Hazardous Materials Business Plan has been updated to prevent future releases/inappropriate waste disposal <br /> similar to the disposal that occurred on 7/8/2021 at Forward Landfill. <br /> 2. Violation 5— <br /> a. Update the hazardous materials inventory on CERS to include the two 250-gal totes and one 55-gal <br /> drum labeled "Cleaning Compound Sludge and Waste Corrosive Basic Liquid", and the seven 55-gal <br /> drums of unknown possible hazardous waste. <br /> b. 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 CERS as 110 <br /> gallons.At least sixteen 55-gallon drums, or 880 gallons, of Hydrochloric Acid 15-37%was <br /> observed on-site. <br /> ii. The max daily amount for Sodium Hydroxide 1-50% aqueous solution is inaccurately reported on <br /> CERS as 110 gallons. At least twenty 55-gallon drums, or 1100 gallons, of Sodium Hydroxide 1- <br /> 50% aqueous solution was observed on-site. <br /> iii. The max daily amount for Diesel Fuel No. 2 is 100 gallons and the largest container amount is <br /> 120 gallons.The max daily amount cannot be less than the size of the largest container. <br /> Thank you, <br /> Elianna Florido, Sr. REHS <br /> San Joaquin County Environmental Health Department <br /> Registered Environmental Health Specialist <br /> 1868 East Hazelton Ave <br /> Stockton, CA 95205 <br /> P: (209) 616-3050 1 F: (209) 468-3433 1 E: eflorido@sigov.org <br /> 3 <br />