Laserfiche WebLink
RECEIVED ON 09/02/2022 VIA EMAIL <br /> Morada Chevron CERS ID 10180717 <br /> Violation Correction Responses — 9/2/2022 <br /> Underground Storage Tank <br /> 113 CCR 2637(a-d), 2712(b)(1)(F)Failure to conduct secondary containment testing. <br /> OBSERVATION: Secondary containment testing was previously performed on April 2015&April 2018 and was <br /> completed on June 7, 2021, 2 months past due. <br /> REGULATION GUIDANCE: Secondary containment testing is required once every 36 months. <br /> CORRECTIVE ACTION: Take all necessary precautions to ensure testing is performed in a timely manner. <br /> .rwwwwrwwwwwwewwwwww.www**weww►w+w�rw:wwwwwwww.ww.ww.. <br /> OBSERVATION: SarnnrinQ4 rnntninmant taGfinn of tha 41 tank wac rar.1lit A ae a rnnrlitinn of GPn/IrP rvnllPst <br /> cannuzna� ��a►,�� nnf boon r mnlnfori <br /> 1 <br /> RF(,1 II ATION(,I j1nAN('F �Prnnrla:rnntainmant tactlnw f z rPgi urPrl whan rnnrrata is hrnkan naar tankc and <br /> WP��9r <br /> This is a Class II violation <br /> #113: how will this item be addressed going forward? <br /> Repairs were conducted on 3/18/2022 and secondary containment testing was conducted after repairs were <br /> completed (SB 989 report attached). <br /> A secondary containment testing will be scheduled triennially in April with enough lead time to ensure <br /> technician availability to meet the schedule. Regulatory agency will be advised of testing date as soon as <br /> confirmed and again at least 48 hours prior to test date. <br /> 1 <br />