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COMPLIANCE INFO_2025
EnvironmentalHealth
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2200 - Hazardous Waste Program
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PR0541823
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COMPLIANCE INFO_2025
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Entry Properties
Last modified
1/24/2026 10:37:46 AM
Creation date
3/14/2025 3:26:12 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
2025
RECORD_ID
PR0541823
PE
2220 - SM HW GEN <5 TONS/YR
FACILITY_ID
FA0023343
FACILITY_NAME
California Highway Patrol - Stockton
STREET_NUMBER
2720
STREET_NAME
WILCOX
STREET_TYPE
RD
City
Stockton
Zip
95215
APN
8710076
CURRENT_STATUS
Active, billable
QC Status
Approved
Scanner
SJGOV\bmascaro
Supplemental fields
Site Address
2720 Wilcox RD Stockton 95215
Tags
EHD - Public
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Presto, Carol [EHD] <br /> From: Presto, Carol [EHD] <br /> Sent: Wednesday, October 22, 2025 2:59 PM <br /> To: 'CHP-FuelTank' <br /> Subject: RE: Stockton CHP Fuel tank inspection <br /> Attachments: PR0540837 - 2720 Wilcox Rd -APSA CL21 -09-15-2025 Compliance Info.pdf; PR0540836 <br /> - 2720 Wilcox Rd - HMBP CL21 - 09-15-2025 COMPLIANCE INFO.pdf; PR0541823 - <br /> 2720 WILCOX RD - HW CL21 - 09-15-2025 COMPLIANCE INFO.pdf, RE: 2720 Wilcox Rd <br /> - APSA Amended Inspection Report <br /> Good Afternoon, <br /> The attached non-compliance letters were mailed last month and responses have not yet been received. Please <br /> see comments below on what is still open for each inspection that was conducted on 2/19/2025.As stated my <br /> previous email. It is unclear who is handling the return to compliances for the inspection reports. Different people <br /> from the same CHP Fuel Tank email address have responded to me but none are consistent with their responses. <br /> This is the email address listed as the Environmental Contact in CERS. If correspondences should not be going to <br /> this email address, please update CERS and/or let me know who will be handling the return to compliance for <br /> these inspection reports. <br /> PR0540836—HAZARDOUS MATERIALS BUSINESS PLAN (HMBP) INSPECTION REPORT <br /> #4 Please provide a statement that annual HMBP CERS submittals will be made annually by the due date to <br /> close this violation. <br /> PR0541823—HAZARDOUS WASTE (HW)INSPECTION REPORT <br /> #88 Please provide copies of the missing consolidated manifest receipts listed in the inspection report/non- <br /> compliance letter. If copies of these receipts cannot be found, please provide a statement that all future <br /> consolidated manifest receipts will be maintained for 3 years to close this violation. <br /> PR0540837—ABOVEGROUND PETROLEUM STORAGE ACT(APSA) INSPECTION REPORT <br /> Note: a separate email thread with Chris Ellicock, Civil Engineer with DGS, is attached.This thread is regarding the <br /> revised APSA Inspection report.#20 is still listed on the APSA non-compliance letter but has been closed based on <br /> the submitted SPCC Plan from Chris. <br /> #3 Provide statement that the SPCC Plan will be reviewed annually as stated in the SPCC Plan <br /> #57 Pending copy of: <br /> • monthly tank inspections on the gasoline, diesel,waste oil tank for 2022, 2023, 2024 <br /> • annual inspections on the waste oil tank for 2022, 2023, 2024 <br /> • annual inspection on the gasoline tank for 2024 <br /> If any were not being conducted,the first monthly and annuals can be submitted to show they are not <br /> being conducted with a statement that they will be conducted monthly and annually moving forward. <br /> #61 Pending verification that the liquid sensing devices on the gasoline, diesel and waste oil tanks have been <br /> tested for functionality and are tested regularly. <br /> If you have any questions, please let me know. <br /> Thankyou <br /> All the Best, <br /> Carol Presto <br /> Registered Environmental Health Specialist <br /> i <br />
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