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S ANOAUAN <br /> Environmental Health Department <br /> ()UNlY-- <br /> Aboveground Petroleum Storage Act Inspection Report <br /> Facility Name: Facility Address: Date: <br /> CENTRAL VALLEY WASTE SERVICES 1333 E TURNER RD, LODI J u ly 18, 2018 <br /> SUMMARY OF VIOLATIONS <br /> (CLASS 1,CLASS 11,or MINOR-Notice to Comply) <br /> Item# Remarks <br /> 105 CFR 112.1(b)(3), 112.2 Failure to properly close tanks when making a claim of permanently closed. <br /> A Convault tank, near the 12,000 gallon diesel tank was observed without a sign conspicuously stating that it is a <br /> permanently closed container and denoting the date of closure. The tank is not in use but has not been properly <br /> closed, When a tank is not in use, it must be permanently closed by meeting the following conditions: <br /> -remove all liquid and sludge from each container and connecting line <br /> -disconnect and blank off all connecting lines and piping have from the tank <br /> -close and lock all valves <br /> - post a sign conspicuously stating that it is a permanently closed container and denoting the date of closure, <br /> Immediately "Permanently Close" all tanks that are not being used or amend the Spill Prevention, Control, and <br /> Countermeasure Plan to include all petroleum tanks that have not been permanently closed. <br /> This is a minor violation. <br /> 602 CFR 112.7(a)(2) Plan failed to discuss equivalent environmental protection, if applicable. <br /> The Spill Prevention, Control, and Countermeasure (SPCC)failed to discuss alternative environmental protection <br /> requirements. The SPCC plan makes a claim of environmental equivalence for overfill protection for all tanks and it <br /> is not described in detail in the Plan. If the SPCC Plan does not conform to the applicable requirements, the <br /> reasons for nonconformance must stated and the alternate methods to achieve equivalent environmental protection <br /> must be described in detail in the Plan. Immediately amend the SPCC Plan to include a discussion of equivalent <br /> environmental protection, <br /> This is a Class 11 violation, <br /> 604 CFR 112.7(a)(3)(i) Plan failed to include oil type and storage capacity for each container. <br /> The SPCC plan does not provide the type of oil and storage capacity for each portable container or provide an <br /> estimate of the potential number of mobile or portable containers, the types of oil and anticipated storage capacities, <br /> —You must also address in your Plan: The type of oil in each fixed container and its storage caparity, For mobile or <br /> portable containers, either provide the type of oil and storage capacity for each container or provide an estimate of <br /> the potential number of mobile or portable containers, the types of oil, and anticipated storage capacities, <br /> Immediately update the SPCC plan to include all of the required information. Submit a legible copy of the updated <br /> SPCC plan to the EHD for review, <br /> This is a minor violation, <br /> Overall Inspection Comments: <br /> Complete and submit a copy of the Return to Compliance Certification form to the EHD with a statement <br /> documenting the corrective actions that have been or will be taken for each violation, and any supporting <br /> paperwork by August 17, 201& <br /> Please be aware as of January 1, 2013, all businesses are required to submit all new (or any changes to <br /> existing)Aboveground Petroleum Storage Act (APSA) information online to the California Environmental <br /> Reporting System (CERS) at hftp://cers.calepa.ca.gov in addition to any other relevant activities and required <br /> fields, No later than January 1, 2014, all APSA data must be entered and or updated in CERS. <br /> FA000563pxo528/9SCO01 07/18m016 <br /> exou8-o1 Rev.11/07/2017 Page 4ofs Aboveground Petroleum Storage Act OR <br /> 1888E. Hazelton Avenue | Stockton, California Q5205 | T 209488'34201 F 209 464-0138 1 www.sjcehd.com <br />