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The following is an itemized list of hazardous waste violations that have not been <br /> addressed for JAS EXPRESS INC as of September27 , 2022 . <br /> Open violations from August 15 , 2022 inspection <br /> Violation #102 - Failed to determine if a waste is a hazardous waste. <br /> OBSERVATIONS The following were observed on site : <br /> - Four metal flammable cabinets located on the North side of the shop were observed containing paint and aerosol <br /> cans . <br /> -An apparatus containing 3 plastic containers with a conical bottom , of approximately 15 -gallons each was observed <br /> in the Northeast side of the property. <br /> -An orange 5-gallon bucket containing an unknown liquid was observed next to this apparatus . <br /> REGULATION GUIDANCE: Any person who generates a waste shall determine if the waste is a hazardous waste <br /> as specified in Title 22 California Code of Regulations ( CCR) . There are wastes that are listed as hazardous <br /> wastes . There are wastes that exhibit one or more of the hazardous waste characteristics : toxic , corrosive , reactive <br /> or ignitable . <br /> Title 22 CCR section 66261 . 2 — Definition of Waste <br /> Title 22 CCR section 66261 . 3 — Definition of Hazardous Waste <br /> A business operator shall keep records of any hazardous waste determinations made in accordance with Title22 <br /> California Code of Regulations (CCR) section 66262 . 11 for at least three years from the date that the waste was last <br /> sent to an on-site or off-site treatment, storage , or disposal facility. The records may include Safety Data Sheets <br /> ( SDS) , waste test results or other hazardous waste determination documentation . <br /> CORRECTIVE ACTION : Immediately make a hazardous waste determination for each waste , and manage it <br /> according to Title 22 CCR , Use Safety Data Sheets (SDS ) , waste sampling and test results or other knowledge to <br /> support your hazardous waste determination . Waste testing must be done using methods specified in Title 22 CCR <br /> including sections 66261 . 20-24 . <br /> Submit a statement and supporting documentation with your hazardous waste determination . Demonstrate current <br /> storage and labeling for wastes determined to be hazardous wastes . Provide disposal records for wastes <br /> determined to be hazardous wastes and stored longer than the number of days specified in Title 22 CCR for your <br /> hazardous waste generator status . <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 #113 - Failed to keep copies of consolidated manifesting receipts for three years . <br /> OBSERVATION The business operator could not provide hazardous waste disposal records for the past three <br /> years during the inspection for the following wastes : <br /> - Used absorbent <br /> - Used paper oil filters <br /> REGULATION GUIDANCE: The generator shall retain each consolidated manifest receipt for at least three years . <br /> This period of retention is extended automatically during the course of any unresolved enforcement action regarding <br /> the regulated activity or as requested by the department or a certified unified program agency . <br /> CORRECTIVE ACTION : Provide a copy of disposal records for the past three years 2019-2022 for all hazardous <br /> waste including used absorbent and used paper oil filters . Provide these records and a corrective action statement <br /> to the EHD within 30 days . <br /> Page 1 of 6 <br />