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The following is an itemized list of underground storage tank violations that have not <br /> been addressed for ARCO arr/pm # 83230 as of September 14, 2017. <br /> Open violations from October 20, 2016 inspection <br /> Violation #121 - Failed to submit a written response within 30 days of receiving an inspection report. <br /> An inspection was last performed on 1012212015 and an amended inspection report was issued identifying informatic <br /> to be submitted to bring this site into compliance. This information was required to be submitted within thirty days of <br /> receiving the amended inspection report, A Return to Compliance Certification was received at the Environmental <br /> Health Department (EHD) on 1113115 but violations 317 (Secondary containment not tight) and 320 (Secondary <br /> containment not constructed to prevent water intrusion) have not been addressed resulting in a non-compliant status <br /> for this facility. An operator that receives an inspection report shall have 30 days to submit a written response that <br /> includes a statement documenting corrective actions taken or proposing corrective actions which will be taken. <br /> Ensure that a written response documenting corrective actions taken or proposed is submitted within 30 days of <br /> receiving an inspection report. <br /> Violation #305 -VPH monitoring of the interstitial spaces of the UST system is not maintained. <br /> Vacuum sensor monitoring of the secondary containment piping of the vacuum/pressure/hydrostatic (VPH) system <br /> has not been tested to date, nor has communication been tested in the three submersible turbine pump (STP) sump! <br /> and three fill sumps. The interstitial space of the underground storage tank shall be maintained, as designed, under <br /> constant vacuum such that a breach in the primary or secondary containment is detected before the hazardous <br /> substance is released into the environment. Immediately contact a properly licensed., trained, and certified contract <br /> to test communication of the VPH components under inspection of the Environmental Health Department. <br /> Violation #314 - Failed to have secondary containment or secondary containment not tight. <br /> The spill and vapor container reducer boots and band clamps were missing from the 91-octane fill sump, vapor open <br /> cap was missing on the diesel fill sump lid, The inner sump lids for the 87-octane, 91-octane, and diesel submersiblf <br /> turbine pump (STP) sumps do not have latches and sump gaskets are missing from the three fill sumps. All four of <br /> the 87-octane spill and vapor container reducer boots were missing the upper band clamps and one of the reducer <br /> boots was missing the lower band clamp, too. Secondary containment shall be impervious to the liquid and vapor of <br /> the substance contained and constructed to prevent structural weakening as a result of contact with any hazardous <br /> substances released from the primary containment. Immediately contact a properly licensed, trained, and certified <br /> contractor to make repairs to the UST system under permit and inspection of the Environmental Health Department <br /> (EHD). <br /> Holes were drilled into the collars of the 87-octane, 91-octane, and diesel fill sumps and lids to install the sump lid <br /> clamps. Secondary containment shall be impervious to the liquid and vapor of the substance contained and <br /> constructed to prevent structural weakening as a result of contact with any hazardous substances released from the <br /> primary containment. Immediately contact a properly licensed, trained, and certified contractor to make repairs to the <br /> UST system under permit and inspection of the Environmental Health Department(EHD). <br /> Violation #316 -Secondary containment not constructed to prevent water intrusion (after Jul 2003). <br /> Water was found in the diesel submersible turbine pump(STP) sump, and the diesel, 87-octane and 91-octane fill <br /> sumps. Secondary containment shall be constructed to prevent any water intrusion into the system by precipitation, <br /> infiltration, or surface runoff. The service technician removed approximately 112 cup of liquid from two sides of the <br /> diesel STP sump, approximately one quart of liquid from the diesel and 91-octane fill sumps, and approximately one <br /> gallon of liquid from the 87-fill sump and returned the sensor to its proper location. Immediately contact a properly <br /> licensed, trained, and certified contractor to address the water intrusion into the sump under permit and inspection of <br /> the EHD. <br /> Open violations from October 22, 2015 inspection <br /> Page 1 of 2 <br />