Laserfiche WebLink
RECEIVED <br />San Joaquin County JAN 14 2 <br />Environmental Health Department <br />1868 East Hazelton Avenue, Stockton, California 95205-6232 h E 2l0 /5 <br />Telephone: (209) 468-3420 Fax: (209) 468-3433 Web: www.Si HEA -L AF2TMENT <br />Aboveground Petroleum Storage Act Inspection Report <br />Facility Name: <br />Facility Address: <br />1 <br />Date: <br />Lawrence Livermore National Lab - Site 300 <br />15999 W CORRAL HOLLOW RD Tracy <br />September 30 2015 <br />SPCC Plan Requirements for Onshore Facilities (excluding production facilities) <br />723 <br />CFR 112.8(d)(1) <br />Failed to provide corrosion protection for buried piping <br />❑ V o R c COS <br />724 <br />CFR 112.8(d)(2) <br />Failed to cap/blank-flange connection at transfer point and mark its origin if not in service <br />❑ V n R n COS <br />725 <br />CFR 112.8(d)(3) <br />Failed to design pipe supports to minimize abrasion/corrosion and to allow for expansion/contraction <br />u V ❑ R , COS <br />726 <br />CFR 112.8(d)(4) <br />Failed to regularly inspect aboveground valves, piping, and appurtenances <br />c V o R a COS <br />727 <br />CFR 112.8(d)(4) <br />Failed to conduct integrity and leak test on buried piping any time it is worked on <br />❑ V ❑ R ❑ COS <br />728 <br />j CFR 112.8(d)(5) <br />Failed to adequately warn vehicles entering facility to protect piping and other transfer operations <br />❑ V ❑ R i COS <br />Other Violations <br />4010 <br />See below <br />Unlisted Administration/Documentation violation <br />o V ❑ R ❑ COS <br />4020 <br />See below <br />Unlisted Training violation <br />Unlisted Operations/Maintenance violation <br />Unlisted Release/Leaks/Spills violation <br />❑ V ❑ R a COS <br />4030 <br />See below <br />o V ❑ R ❑ COS <br />4040 <br />See below <br />V ❑ R ❑ COS <br />SUMMARY OF VIOLATIONS <br />(CLASS I, CLASS II, or MINOR - Notice to Comply) <br />Item # Remarks <br />201 CFR 112.3(d) Plan certification by a Professional Engineer (PE) missing or incomplete. <br />The Professional Engineer (PE) certification is incomplete. The facility has calculated the APSA regulated capacity <br />separately for each building at the facility. Only buildings 801 and 883 were calculated by the facility to have APSA <br />regulated capacity. A PE certified SPCC Plan was prepared for building 801. The SPCC Plan prepared for building <br />883 was a Tier I template and not PE certified The PE certification must include all of the aspects in 40 CFR 112.3(d) <br />(1), including attesting that the PE is familiar with 40 CFR Part 112, he or his agent has visited and examined the <br />facility, the Spill Prevention, Control, and Countermeasure (SPCC) Plan has been prepared in accordance with good <br />engineering practice, including consideration of applicable industry standards, procedures have been established for <br />required inspections and testing, and the Plan is adequate for the facility. Immediately obtain a complete PE <br />certification for the facility's SPCC Plan. Submit a copy of the completed certification to the EHD. <br />This is a Class II violation. <br />604 CFR 112.7(a)(3) No facility diagram or didn't show location and contents of containers, transfer stations, and pipes. <br />The facility has calculated the APSA regulated capacity separately for each building at the facility and prepared <br />separate SPCC Plans. Only buildings 801, 846, 865, and 883 have SPCC Plans (according to the inventories, <br />buildings 846 and 865 do not have APSA regulated capacity). The inventories of the additional buildings at the facility <br />were not included on the map included in the SPCC Plans, The Spill Prevention, Control, and Countermeasure <br />(SPCC) Plan shall include a facility diagram which must mark the location and contents of each fixed storage <br />container and the storage area where mobile or portable containers are located. It must identify the location of and <br />mark as "exempt" underground tanks. It must also include all transfer stations and connecting pipes, including <br />intra -facility gathering lines. Immediately update the facility diagram to include all of the required information. Submit <br />a legible copy of the updated facility diagram to the EHD for review. <br />This is a Class II violation. <br />Received by Inspector: <br />(initial): 11A a (,pd STACY RIVERA, Senior REHS � <br />Phone: <br />(209) 468-3440 <br />Date: <br />09/30/2015 <br />Page 3 of 6 <br />