Laserfiche WebLink
Open violations from June 19, 2025 inspection <br />OBSERVATION: <br />1. This facility failed to inspect the 10,000 -gallon diesel tank and the two 150 -gallon diesel day tanks for integrity <br />based on the Steel Tank Institute SP001 industry standard for inspection of aboveground storage tanks, as discussed <br />in the SPCC Plan: on a regular monthly and annual schedule. <br />2. The facility's "Daily Bulk Diesel Aboveground Tank Inspection Checklist" logs, as discussed in the SPCC Plan, were <br />missing at the time of inspection. <br />3. The 10,000 -gallon diesel tank is scheduled for the 20 year integrity inspection in June 2025. The inspection has not <br />been scheduled. <br />REGULATION GUIDANCE: REGULATION GUIDANCE: 112.8(c)(6) Test or inspect each aboveground container for <br />integrity on a regular schedule and whenever you make material repairs. <br />CORRECTIVE ACTION: Immediately conduct the necessary integrity inspections on the 10,000 -gallon diesel tank and <br />the two 150 -gallon diesel day tanks based on industry standards, on a regular monthly and annual schedule, after <br />making material repairs, using non-destructive testing, inspecting each container's supports, foundations, and outside <br />for signs of deterioration, discharges, or accumulation of oil inside diked areas. Maintain inspection records. Submit a <br />copy of the inspection results, including the seven most recently completed Daily Bulk Diesel Aboveground Tank <br />Inspection Checklist, to the EHD. <br />❑ This violation was corrected El This violation will be corrected by (date): <br />❑ Supporting documents included f ,, i <br />Describe actions taken or will be taken to correct violation: �� V.Ply(- IilTectl tai CCS e �e+ed o1 <br />711519,01S . In -tQ new ' arl , wt_ wiII ► e �,_tsiou fihe a m I n�✓, cfi'u <br />OBSERVATION: Failure to include in the Spill Prevention, Control, and Countermeasure (SPCC) Plan a discussion, or <br />adequate description of all required employee training including annual spill prevention briefings provided to oil -handling <br />personnel: <br />- At the time of inspection, the facility's on-site SPCC Plan did not discuss annual spill prevention briefings for <br />employees who handle oil. <br />REGULATION GUIDANCE: (f)(1) At a minimum, train your oil -handling personnel in the operation and maintenance of <br />equipment to prevent discharges; discharge procedure protocols; applicable pollution control laws, rules, and <br />regulations; general facility operations; and, the contents of the facility SPCC Plan. (f)(3) Schedule and conduct <br />discharge prevention briefings for your oil -handling personnel at least once a year to ensure an adequate <br />understanding of the SPCC Plan for that facility. Such briefings must highlight and describe known discharges as <br />described in § 112.1(b) or failures, malfunctioning components, and any recently developed precautionary measures. <br />CORRECTIVE ACTION: The SPCC Plan shall include an adequate description of employee training. Training shall <br />address, at a minimum: operation and maintenance of equipment to prevent discharges; discharge procedure <br />protocols; applicable pollution control laws, rules, and regulations; general facility operations; content of the facility <br />SPCC plan; and annual discharge prevention briefings for oil -handling personnel to assure adequate understanding of <br />the SPCC plan. Provide proof of correction to the EHD. <br />Page 1 of 6 <br />