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INSTALL_2023
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2300 - Underground Storage Tank Program
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INSTALL_2023
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Entry Properties
Last modified
1/30/2025 11:48:33 AM
Creation date
11/21/2023 2:43:29 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2300 - Underground Storage Tank Program
File Section
INSTALL
FileName_PostFix
2023
RECORD_ID
PR0548708
PE
2351 - UST FACILITY - 2481 COMPLIANT
FACILITY_ID
FA0027878
FACILITY_NAME
IGRA INVESTMENTS INC
STREET_NUMBER
4343
STREET_NAME
WILSON
STREET_TYPE
WAY
City
STOCKTON
Zip
95391
CURRENT_STATUS
Active, billable
QC Status
Approved
Scanner
SJGOV\lsauers1
Supplemental fields
Site Address
4343 WILSON WAY STOCKTON 95391
Tags
EHD - Public
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LG 162-2 - 2 - <br /> PART <br /> 2 - <br /> PART I: USTs INSTALLED ON OR AFTER JULY 1, 2003 AND PRIOR <br /> TO JULY 1, 2004. <br /> 1. What does "product tight" mean? <br /> For UST systems installed before July 1, 2003, "product tight" is defined to mean <br /> impervious to the (liquid) substance that is contained, so as to prevent seepage <br /> of the substance stored. [H&S Code §25281(0).] However, for UST systems <br /> installed on or after July 1, 2003, statute defines the term "product tight" to mean <br /> "impervious to the liquid and vapor of the substance that is contained, or is to be <br /> contained, so as to prevent seepage of the substance from the containment." <br /> [H&S Code §25290.2(a).] UST owners and operators may install UST systems <br /> approved in accordance with Sections 2631 (b) and (d), Title 23, California Code <br /> of Regulations (CCR), as applicable. If at any point in time the State Water <br /> Resources Control Board (State Water Board) staff determine that an existing <br /> component or testing standard is deficient, the manufacturer of the equipment or <br /> testing organization will be informed and asked to resolve any concerns or <br /> deficiencies. <br /> 2. How can sumps and under-dispenser containment (UDC) connected to <br /> USTs installed on or after July 1, 2003 meet the product tight requirement? <br /> UST systems installed on or after July 1, 2003 must be designed and installed <br /> such that there are no pathways for liquids or vapors to enter the backfill. For <br /> sumps, the "product tight" requirement may be satisfied by installing and <br /> maintaining sumps which have barriers that extend to grade level or covers, such <br /> that there is a product tight barrier between the sump containment and the <br /> backfill. For UDCs, the "product tight" requirement may be satisfied through the <br /> use of containment structures that extend to grade level such that there is a <br /> product tight barrier between the UDC and the backfill. Sump and UDC <br /> penetration (entry) fittings must also be product tight. Furthermore, sumps and <br /> UDCs must be properly installed, operated, and maintained to provide protection <br /> against the entry of liquids and vapors into the backfill. <br /> 3. For USTs installed on or after July 1, 2003, can secondary containment be <br /> open to rainfall or water intrusion? <br /> No. All secondary containment components must be installed to prevent water <br /> intrusion into the system by precipitation, infiltration, or surface runoff. [H&S <br /> Code, §25290.2(c)(3).] The primary function of this requirement is to keep water <br /> out of the containment areas (e.g., tanks, piping, sumps, UDC) so that, in the <br /> event of a release, the stored substance can be detected and contained until it is <br /> cleaned up. In response to the detection of water into these containment areas, <br /> the owner or operator must remove and properly dispose of such water, identify <br /> the source(s), and correct the problem to prevent further water intrusion. The <br /> owner or operator should not make any modifications to the UST system that <br /> would nullify or void manufacturer warranties or independent testing organization <br /> approvals. <br /> California Environmental Protection Agency <br /> Zai Recycled Paper <br />
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