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Currently,any areas that fall under secure/restricted <br /> ^ � r areas require employees to have TWIC authorization. <br /> Any other individuals,must be escorted.(contractors) <br /> a�,"• � .'�J v,�� � x�'�.� �• o through a contractor safety training prior to any <br /> work onsite including,but not limited to, Hazard <br /> M Energy Control. Under section 3.1.4 Security(112.7(g) <br /> a statement has been added which clearly states that <br /> , Jtrpe CALAMCO Terminal at 2323 Port Rd.G, <br /> r 3 .* _ as tockton/CA 95207 is a secure facility and entry is <br /> my allowed after an individual has presented an <br /> `a., "dentification card(total process is captured on CCT <br /> mn�� Cameras). Further,all other areas which are identified <br /> M. <br /> $ x <br /> *f" * ; � in the SPCC Pian as housing oil require an additional <br /> ` <br /> ?W, level of security clearance to enter(TWIG)" If an <br /> PR <br /> ru;M Mgrs��yrr ��hx individual needs to enter the area and does not have <br /> uch clearance,that person(s)must be escorted the <br /> tal time on site and present in the restricted area. <br /> CFR 112.8(c)(2)Failed to provide and maintain adequate secondary containment. <br /> ` Secondary containment was not provided for two of the compressors and one of the <br /> a d' Ars 1 lit C <br /> dy�' H �* y generators.All bulk storage tanks must be provided with a secondary means of <br /> �f r .r s �.-,dr�SCx R 1 generator falls under the provision of being an"oil containment for the entire capacity of the tank and Buff cient freeboard to contain <br /> ryEz n <br /> IV - ku by y filled equipment",since fuel is plumbed into the unit precipitation.Immediately provide sufficient secondary containment for this and all <br /> For the two compressors,both are mounted on other tanks at this facility_ <br /> ��'�a.st,��`�q�h• ' �"�r �� ����('T r. ; y �a�Mx a <br /> slabs and <br /> concrete hurms surrounding his is a Class II violation. <br /> each unit Please ee attached pictures. <br /> og <br /> ga <br /> ` t v � ' x CFR 11Z.8(c)(6}Failed to perform scheduled tank tests and inspections by appropriatel <br /> q uaIified personnel.integrity testing has not been conducted on the tank on site.The <br /> arefi ' <br /> SPCC Plan did not include the speck integrity testing required for the tanks on site. <br /> w} 0N3 r, Each aboveground container shall be tested and inspected for integrity on a regular <br /> �� �' ? chedule and whenever repairs are made.The qualifications of personnel performing <br /> ests and inspections,frequency and type of testing and inspections that take into <br /> y .t <br /> KBW /11 <br /> > 1 �� �::� account container size,configuration,and design shall be determined in accordante <br /> with industry standards.Examples of these integrity tests include,but are not limited <br /> visual inspection,hydrostatic testing,radiographic testing,ultrasonic testing, <br /> 3 x €j acoustic emissions testing,or other systems of non-destructive testing.Comparison <br /> r` ? .• N � 2 discussion with PE to outline inspection for tanks 55 records and other records of inspections and tests must be maintained on site. <br /> lon or above. Once s cc is updated,then we can Immediately conduct the necessary testing and submit a c of the test results to the <br /> ,,=r p.. F ?� -fit �• ,r�`#• i� P P rY g copy <br /> review it Depends on when its due. EHD,or provide equivalence as allowed by CFR 112.7(a)(2). <br />