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The following is an itemized list of aboveground petroleum storage act violations that <br /> have not been addressed for Gemco Ripon Truck Plaza Inc. as of September 29, <br /> 2021. <br /> Open violations from February 10, 2020 inspection <br /> Violation#102-Failed to prepare a written SPCC Plan in accordance with CFR Pan`.112. <br /> The SPCC plan does not full comply with the latest version of the regulations contained in the Code of Federal <br /> Regulations part 112.Wording in the SPCC plan directly contradicts CFR section 112.5 (c).The SPCC plan states <br /> that technical amendments need not be certified by a Professional Engineer. CFR section 112.5(c)requires a <br /> Professional Engineer to certify any amendments to the SPCC plan that are considered technical. <br /> Except as provided in subdivision (b),the owner or operator of a storage tank at a tank facility subject to this chapter <br /> shall prepare a spill prevention control and countermeasure plan applying good engineering practices to prevent <br /> petroleum releases using the same format required by Part 112 (commencing with Section 112.1)of Subchapter D <br /> of Chapter I of Title 40 of the Code of Federal Regulations, including owners and operators of tank facilities not <br /> subject to the general provisions in Section 112.1 of those regulations.An owner or operator specified in this <br /> subdivision shall conduct periodic inspections of the storage tank to ensure compliance with Part 112(commencing <br /> with Section 112.1)of Subchapter D of Chapter I of Title 40 of the Code of Federal Regulations. In implementing the <br /> spill prevention control and countermeasure plan, an owner or operator specified in this subdivision shall fully <br /> comply with the latest version of the regulations contained in Part 112(commencing with Section 112.1)of <br /> Subchapter D of Chapter I of Title 40 of the Code of Federal Regulations. <br /> The SPCC plan must comply with the latest version of the CFR part 112 regulations.Amendments to this section <br /> may require certification by a Professional Engineer. <br /> ❑ This violation was corrected ❑This violation will be corrected by(date): <br /> ❑ Supporting documents included <br /> Describe actions taken or will be taken to correct violation: <br /> Violation#103-Failed to file HMBP or annual facility tank statement. <br /> A tank facility statement or business plan has not been submitted.A tank facility statement has not been submitted <br /> and a Hazardous Materials Business Plan (HMBP) has not been submitted through the California Environmental <br /> Reporting System (CERS)as required by hazardous materials regulations. The HMBP must be submitted annually <br /> between November 1 st and January 15th to meet the submittal requirements. The last full submittal was on <br /> 5/15/2019 for the HMBP through the CERS and has not met the submittal requirements for the current year. <br /> A tank facility statement identifying the name and address of the tank facility, a contact person for the tank facility, <br /> the total storage capacity of the tank facility, and the location, size, age, and contents of each storage tank that <br /> exceeds 10,000 gallons in capacity shall be submitted annually. <br /> Submittal of a business plan satisfies the requirement to submit a tank facility statement. Immediately submit a tank <br /> facility statement or business plan through the California Environmental Reporting System. <br /> ❑ This violation was corrected ❑This violation will be corrected by(date): <br /> ❑ Supporting documents included <br /> Describe actions taken or will be taken to correct violation: <br /> Page 1 of 11 <br />