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S A N J O A Q U I N Environmental Health Department <br /> AMENDED <br /> 2/27/2025 <br /> CP22 - UST FULL Inspection Report <br /> Facility Name: Facility Address: Date: <br /> YRC INC 1 1535 E Pescadero AVE, Tracy IF bruary 26 2025 <br /> 87 CA Code of Regulations 2060021-Striker plate installed and positioned correctly. ❑OUT ❑R ❑COS <br /> 2631(c),2662(d) <br /> 88 CA Code of Regulations 2060007-Primary and secondary containment designed and constructed to an engineering ❑OUT ❑R ❑COS <br /> 2631(b&d),2666(b&e) specification. <br /> 89 CA Health and Safety 2060008-Enhanced leak detection testing performed before the tank is placed in use o OUT ❑R ❑COS <br /> Code 25290.10) <br /> 90 CA Code of Regulations 2060029-SW piping has been upgraded to continuously monitored DW piping when replacement ❑OUT ❑R ❑COS <br /> 2666(b)(2) or repair needed <br /> 91 CA Health and Safety 2010-Administration/Documentation-General ❑OUT o R ❑COS <br /> Code 25291(e) <br /> 92 2015-Administrative/Documentation-General Local Ordinance ❑OUT ❑R ❑COS <br /> SUMMARY OF VIOLATIONS <br /> (CLASS I,CLASS II,or MINOR-Notice to Comply) <br /> Item# Remarks <br /> 2 CA Code of Regulations 2711 2010010 -Complete and accurate UST Operating Permit Application has been <br /> submitted.. <br /> OBSERVATION: UST Tank Information forms are not current in the California Environmental Reporting System <br /> (CERS). <br /> -The used oil tank(CERS ID10181485-002, map tank#2) lists that there is not a containment sump for the spill <br /> bucket. The spill bucket was observed in a containment sump on site. <br /> REGULATION GUIDANCE:Any change of information must be updated in CERS within 30 days of the changes. <br /> CORRECTIVE ACTION: Immediately log into CERS, update the required information, and submit for review by the <br /> EHD. <br /> This is Minor Violation. <br /> 48 CA Code of Regulations 2630(d), 2641(a)2030040-Secondarily contained piping allows liquid to flow into the sump in <br /> the event of a leak(TCR 9d). <br /> OBSERVATION: The test boot on the product soap tank was not pulled back and the Schrader valve was not pointed <br /> downward. <br /> REGULATION GUIDANCE:Any potential release from the primary containment into the secondary containment in the <br /> soap piping does not flow into a collection sump. All secondary containment systems shall be sloped so that all <br /> releases will flow to a collection sump located at the low point of the underground piping. <br /> CORRECTIVE ACTION: This was corrected on site. Service technician on site pulled back the test boot during <br /> inspection. <br /> This is Class 2 Violation. <br /> 52 CA Code of Regulations 2635(c)(1)2030036-Overfill prevention system has not been overridden and meets overfill <br /> requirements(TCR 9b). <br /> OBSERVATION:The following tanks do not have approved overfill methods installed.All have flappers(overfill <br /> prevention valves)installed but flappers are not an approved method for the tanks due to the tank contents. Most <br /> flappers have a manufacturer-specific minimum flow rate necessary for the device to properly operate.The contents of <br /> these tanks and the nature of how they are filed do not allow for a strong enough flow rate to shut off the valve. <br /> -CERS tank ID 10181485-001 (map tank#7)containing soap. Has single-walled vent piping and direct bury spill <br /> container. <br /> FA0003854 PR0232495 SCO01 02/26/2025 <br /> EHD Rev.12/06/2021 Page 5 of 8 CP22-UST FULL OIR <br /> 1868 E. Hazelton Avenue I Stockton, California 952051 T 209 468-3420 1 F 209 464-0138 1 www.sjgov.org/EHD <br />