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10 0 <br />/ Telephone 510-412-5300 <br />SIMS a OSouth 4" Street Facsimile. 510412-5423 <br />METAL Richmone, CA 94804 110@SimsmT corp <br />MANAGEMENT w siMSMM com <br />The employee that was observed during the inspection who had disposed of the aerosol <br />can in the trash has been instructed to not discard aerosol cans in the trash. Disposal of <br />aerosol cans will be transported/hauled by a licensed waste transporter to a permitted <br />TSDF. <br />3. (Item 403) Saturated oily absorbent pads were observed uncontainerized under <br />equipment in the shop and around the car crusher. All hazardous waste <br />containers shall be closed at all times except when adding or removing waste. <br />Immediately close these containers orp/ace in properly closed containers and <br />ensure all hazardous waste containers are closed when not adding or removing <br />waste. <br />The saturated oily absorbent pads observed during the inspection have been placed in <br />properly closed and labelled 55 -gallon drums. All employees were instructed to change <br />fully saturated pads as needed. <br />4. (Item 605) Saturated oily absorbent pads were observed uncontainerized under <br />equipment in the shop and around the car crusher.A 55 -gallon red steel drum of <br />used oil was observed in the Appliance Recycling Area with an incorrect <br />accumulation start date of 4/29115. According to disposal records and Mr. Zeiter, <br />this drum was last emptied on 6111/15. The date was corrected at the time of <br />inspection. <br />Immediately label the container and ensure that all containers are marked with all <br />the required information. Since it cannot be determined how long the saturated <br />oily absorbent pads have been onsite, immediately contact a licensed hazardous <br />waste hauler to dispose of this waste under manifest and submit a copy of the <br />manifest to the EHD. <br />The saturated oily pads observed uncontainerized were placed in the locations <br />mentioned above just days prior to inspection due to conditions observed during the <br />facility daily yard inspections. Asbury Environmental Services is servicing the pick up. <br />5. The facility did not have complete records of their own onsite appliance recycling. <br />The records on site included disposal records for some of the wastes and the <br />number and types of appliances processed. No other records were available for on <br />site appliance recycling activities. Certified Appliance Recyclers must retain <br />records for at least 3 years that demonstrate compliance with applicable <br />requirements. The records shall include, but not be limited to, all of the following <br />information: the amount by volume or weight or both of each material that <br />required special handling; the method used by the appliance recycler to recycle, <br />dispose of, or otherwise manage each material that required special handling, <br />including the name and the address of the facility to which the material was sent; <br />The number and types of appliances from which the materials that require special <br />handling are removed each year; the reports required pursuant to subdivision (c) <br />of section 25211.2. <br />The Stockton Facility recovers Freon from mainly refrigerators. When the Facility has full <br />cylinders of Freon, they would transport to Sacramento to be picked up and exchanged <br />for credits by Newcomb Mechanical. <br />RECEiuU <br />AUG 10 2015 <br />ENVIRONMENTAL <br />HEAI,?P r)CPe M".r %n <br />