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COMPLIANCE INFO
Environmental Health - Public
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EHD Program Facility Records by Street Name
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1900 - Hazardous Materials Program
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PR0541227
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COMPLIANCE INFO
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Last modified
10/18/2018 2:59:04 AM
Creation date
10/17/2018 10:31:50 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
1900 - Hazardous Materials Program
File Section
COMPLIANCE INFO
RECORD_ID
PR0541227
PE
1921
FACILITY_ID
FA0023617
FACILITY_NAME
Universal Facility #103
STREET_NUMBER
603
STREET_NAME
SAN JUAN
STREET_TYPE
AVE
City
STOCKTON
Zip
94203
CURRENT_STATUS
01
SITE_LOCATION
603 SAN JUAN AVE
QC Status
Approved
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EJimenez
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EHD - Public
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RMR REAL ESTATE SERVICES <br /> a division of The RMP Group <br /> Capitol Place <br /> 915 L Street, Suite 1250 <br /> Sacramento, CA 95814 <br /> 916-366-0344 <br /> rmrgroup.com/res <br /> Summary of violation responses: <br /> Item#5—HSC 25505 (a)(1) <br /> The ammunition has been added to the CERS Hazardous Material Inventory and resubmitted online for EHD <br /> approval. <br /> Item# 6—HSC 25505 (a)(2) <br /> The previous map that was in our business plan has been updated and revised with the requested information and has <br /> been uploaded to the CERS business plan and resubmitted online for EHD approval. <br /> Item# 7—HSC 25505 (a)(3) <br /> The emergency response procedures have been updated and uploaded to the CERS business plan and resubmitted <br /> online for EHD approval. <br /> Item#9—HSC 25508 (a)(1) <br /> The CERS submittal for 2018 was submitted on 2/26/18 via CERS online and was accepted by SJCEHD on August <br /> 16, 2018 (see attached Facility notifications print out from CERS). Submittals for this Facility have been filed and <br /> accepted in the CERS system for the past 4 years. In past years the submittal filing deadline was March 1St which we <br /> complied with, this is consistent with other CUPA's in California as we file with many others,but it appears from <br /> the CERS notifications page there was a regulator change to San Joaquin County EHD recently in 2016 and we were <br /> not made aware the filing window had changed to Nov.I through Jan.15. We will make this adjustment for future <br /> filings. Is it possible for SJCEHD to consider adopting the same filing dates as the other CUPA's for consistency? <br /> Item# 11—HSC 25505 (a)(4) <br /> The RMR Group Engineers are OSHA safety trained annually. The responding employees for the Building Tenant <br /> occupying the building were trained on 10/9/18 and will get annual refreshers in the future. These training records <br /> have been added to a CERS Binder that will be kept at the lobby check in station with the Facility submittal, <br /> Hazardous Material inventory, Business Plan, site map and emergency response &training plans. <br /> Item# 12—HSC 25505 (a)(2) <br /> A CERS Binder will be kept at the lobby check in station with the Facility submittal,hazardous material inventory, <br /> Business Plan, site map, emergency response &training plans and training records. <br />
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