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COMPLIANCE INFO_PRE 2019
Environmental Health - Public
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2800 - Aboveground Petroleum Storage Program
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PR0515523
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COMPLIANCE INFO_PRE 2019
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Entry Properties
Last modified
4/8/2019 11:09:52 AM
Creation date
10/11/2018 3:54:25 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2800 - Aboveground Petroleum Storage Program
File Section
COMPLIANCE INFO
FileName_PostFix
PRE 2019
RECORD_ID
PR0515523
PE
2832
FACILITY_ID
FA0006289
FACILITY_NAME
VALLEY PACIFIC PETROLEUM SERVICES
STREET_NUMBER
166
STREET_NAME
FRANK WEST
STREET_TYPE
CIR
City
STOCKTON
Zip
95206
APN
19342003
CURRENT_STATUS
01
SITE_LOCATION
166 FRANK WEST CIR
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
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EHD - Public
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SANJ O 1` Q U I `IA,II, Environmental Health Department <br /> COUNTY <br /> Aboveground Petroleum Storage Act Inspection Report <br /> Facility Name: Facility Address: Date: <br /> VALLEY PACIFIC PETROLEUM SERVICES 166 FRANK WEST CIR, STOCKTON September 27, 2018 <br /> Other Violations <br /> 4050 See below Unlisted Abandonment/Illegal Disposal/Unauthorized Treatment violation ❑V ❑R ❑COS <br /> SUMMARY OF VIOLATIONS <br /> (CLASS I,CLASS II,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 split 275 gallon red tank is not in use but has not been properly closed. When a tank is not in use, it must be <br /> 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 /> 706 CFR 112.8(c)(2)Failed to provide and maintain adequate secondary containment. <br /> The tanks stored in the area referred to as warehouse A were observed with insufficient secondary containment. <br /> The SPCC plan describes the warehouse as the secondary containment for the tanks and the doors in the <br /> warehouse as having foam berms. Some of the foam berms were observed to be in a condition that may warrant <br /> replacement or had gaps. The area referred to as the shop was described as being the secondary containment for <br /> the tanks in that area but the doorways did not have foam berms. All bulk storage tanks must be provided with a <br /> secondary means of containment for the entire capacity of the tank and sufficient freeboard to contain precipitation. <br /> Immediately provide sufficient secondary containment for this and all other tanks at this facility. <br /> This is a Class II violation. <br /> 711 CFR 112.8(c)(6)Failed to perform scheduled tank tests or inspections by appropriately qualified personnel. <br /> The tanks referred to as AST-1,AST-2,AST-3,AST-4,AST-5,AST-6,AST-7 have not been tested. The tanks, <br /> according the the SPCC plan,were installed in 1989,with the exemption of AST-7 which no installation date is <br /> provided for.The SPCC plan calls for formal SP001 inspections to be conducted within 20 years. The procedure for <br /> inspecting the interstitial space of the double walled AST-7 could not be explained,the inspection of the interstitial <br /> space is a requirement of the SP001 industry standard used in the SPCC plan. Each aboveground container shall <br /> be tested and inspected for integrity on a regular schedule and whenever repairs are made. The qualifications of <br /> personnel performing tests and inspections,frequency and type of testing and inspections that take into account <br /> container size, configuration, and design shall be determined in accordance with industry standards. Examples of <br /> these integrity tests include, but are not limited to:visual inspection, hydrostatic testing, radiographic testing, <br /> ultrasonic testing, acoustic emissions testing, or other systems of non-destructive testing. Comparison records and <br /> other records of inspections and tests must be maintained on site. Immediately conduct the necessary testing and <br /> submit a copy of the test results to the EHD, or provide equivalence as allowed by CFR 112.7(a)(2). <br /> This is a Class II violation. <br /> FA0006289 PR0515523 SCO01 09/27/2018 <br /> EHD 28-01 Rev.09/27/2018 Page 4 of 5 Aboveground Petroleum Storage Act OIR <br /> 1868 E. Hazelton Avenue I Stockton, California 95205 1 T 209 468-3420 1 F 209 464-0138 1 www.sjcehd.com <br />
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