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4 <br /> <br /> <br />Thank You, <br /> <br />Brooke Williams <br />Environmental & Sustainability MGR – Air Merchant Gases | Airgas, an Air Liquide company <br />9811 Katy Frwy, Suite 100 | Houston, TX 77024 | Cell: 713-514-4804 <br />brooke.williams@airgas.com | Airgas.com <br /> <br /> <br />On Thu, May 30, 2024 at 3:49 PM Vang-Lee, Vicky [EHD] <vvang-lee@sjgov.org> wrote: <br />I have reviewed the documents received. Please see my comments below: <br /> <br />Hazardous Materials Business Plan: <br />#4: You stated that confirmation is needed before updating the business activities page in CERS. Is the facility <br />considering brining back a regulated substance (CalARP)? I was under the impression that the facility requested <br />our agency to complete the inspection so that we could inactivate them from CalARP. Is that no longer the <br />case? This item was not closed. Operations will not resume at the the plant. The future of the equipment that <br />needs to be confirmed is whether or not the equipment will physically removed. <br /> <br />#5: There was a large nitrogen tank sitting on a trailer at the time of the inspection. It does not appear to be <br />reported in the inventory. I was also unable to access the dry ice building at the time of the inspection. Was <br />someone able to access the building to verify if there were any additional storage of hazardous materials or waste <br />there? This item was not closed. <br /> <br />#6: This item will be closed once an adequate map has been submitted in CERS. <br />