Laserfiche WebLink
Environmental Health Department <br />Aboveground Petroleum Storage Act Inspection Report <br />Date: <br />June 04, 2024 <br /> Facility Address: <br /> 13771 Prescott Rd, Manteca <br /> Facility Name: <br /> Wilbur-Ellis Company LLC: Manteca <br />SPCC Plan Requirements for Onshore Facilities (excluding production facilities) <br /> 719 □ V □ R □ COSFailed to locate properly or provide sufficient secondary containment for mobile/portable containersCFR 112.8(c)(11) <br /> 720 □ V □ R □ COSFailed to take corrective action on buried piping when exposed for any reasonCFR 112.8(d)(1) <br /> 721 □ V □ R □ COSFailed to provide corrosion protection for buried pipingCFR 112.8(d)(1) <br /> 722 □ V □ R □ COSFailed to cap/blank-flange connection at transfer point and mark its origin if not in serviceCFR 112.8(d)(2) <br /> 723 □ V □ R □ COSFailed to design pipe supports to minimize abrasion/corrosion and to allow for expansion/contractionCFR 112.8(d)(3) <br /> 724 ■ V □ R □ COSFailed to regularly inspect aboveground valves, piping, and appurtenancesCFR 112.8(d)(4) <br /> 725 □ V □ R □ COSFailed to conduct integrity and leak testing on buried piping any time it is worked onCFR 112.8(d)(4) <br /> 726 □ V □ R □ COSFailed to adequately warn vehicles entering facility to protect piping and other transfer operationsCFR 112.8(d)(5) <br /> 727 □ V □ R □ COSPlan failed to adequately describe overfill prevention methods for each containerCFR 112.7(a)(1), <br />112.8(c)(8) <br />Other Violations <br /> 4010 □ V □ R □ COSUnlisted Administration/Documentation violation See below <br /> 4020 □ V □ R □ COSUnlisted Training violation See below <br /> 4030 □ V □ R □ COSUnlisted Operations/Maintenance violation See below <br /> 4040 □ V □ R □ COSUnlisted Release/Leaks/Spills violation See below <br /> 4050 □ V □ R □ COSUnlisted Abandonment/Illegal Disposal/Unauthorized Treatment violation See below <br />SUMMARY OF VIOLATIONS <br />(CLASS I, CLASS II, or MINOR - Notice to Comply) <br />RemarksItem # <br /> 105 CFR 112.1(b)(3), 112.2 Failed to properly close tanks under the definition of "Permanently Closed". <br />OBSERVATION: TI-3386 is not in use but has not been properly closed. Informed during inspection that tank is out <br />of service and all piping has been visibly removed and connections blanked. <br />-A sign must be conspicuously posted as a "permanently closed" container and denote the date of closure <br />REGULATION GUIDANCE: When a tank is not in use, it must be permanently closed by meeting the following <br />conditions: <br /> - remove all liquid and sludge from each container and connecting line <br /> - disconnect and blank off all connecting lines and piping have from the tank/ container <br /> - close and lock all valves <br /> - post a sign conspicuously stating that it is a permanently closed container and denoting the date of closure. <br />CORRECTIVE ACTION: Tanks that are not being used or are not addressed in the Spill Prevention, Control, and <br />Countermeasure (SPCC) Plan must either be included in your plan or meet the permanent closure requirements <br />noted above in "REGULATION GUIDANCE." Provide verification to the EHD of proper closure of the tanks. <br />This is a minor violation. <br />FA0010178 PR0515663 SC001 06/04/2024 <br />EHD 28-01 Rev. 12/06/2021 Aboveground Petroleum Storage Act OIRPage 4 of 10 <br />1868 E. Hazelton Avenue | Stockton, California 95205 | T 209 468-3420 | F 209 464-0138 | www.sjgov.org/EHD