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faq I Bravo <br />11-14-14: SERVICE OUTAGES HAVE AFFECTED OUR 323-888-4123 FAX NUMBER <br />Please use our alternate FAX number below. <br />NOTICE!! Our main fax number was disabled between 10/28 and 11/7. <br />Please e-mail or re -fax paperwork to us at 323-205-3860. Thank you. <br />0�0) B PAV 0 <br />PROBLEM SOLVED <br />Home Products Resources <br />FAQ <br />Page 1 of 3 <br />Distributors Representatives Company Contact <br />Should I seal the bottom edge of the dispenser or conversion frame with a sealant? <br />Should piping enter the bottom of a UDC near a waterway? <br />Is Bravo certification required to add interstitial fluid to a DoubleWall sump? <br />Does the Bravo Conversion Frame collect fuel from the vapor panels of dispensers? <br />Can a DoubleWall sump be used as a SingleWall sump? <br />Does Bravo allow its products to be installed on other manufacturers sumps? <br />How do I get Certified by Bravo? <br />What are the integrity testing requirements for Singlewall and DoubleWall sumps? <br />Is topping off the manometer with interstitial fluid a normal maintenance procedure? <br />Do I have to "Water Test" a DoubleWall Sump? <br />A: Yes and no. <br />No: If the DoubleWall sump is continuously monitored via vacuum or hydrostatic .fluid per California AB -2481 VPH guidellnes, you will void the sump <br />warranty if water tested per SB -989 guidelines. <br />YES: If the DoubleWall sump is installed and intended to be used only as a "Single Wali° sump, in addition to standard VPH testing procedures during <br />initial installation, SB -989 periodic testing is permitted. In this case the decision is made by environmentally responsible fuel marketers to have <br />sumps installed prior to the need for monitoring, which are capable of being continuously monitored per California AB -2481 guidelines. <br />Let's educate ourselves. Download LG Letter 162-1 and browse to Page 6, to the latter of Part II: Section A. <br />The paragraph reads: Pursuant to Section 2637(a)(6) of Title 23, CCR, portions of the UST system which are continuously monitored using vacuum, <br />pressure, or interstitial liquid level measurement <br />methods are exempt from periodic secondary containment testing. Therefore, periodic <br />secondary containment testing is not required for secondary containment of tank and piping <br />that are continuously monitored using vacuum, pressure, or interstitial liquid level <br />measurement methods. Please note that annual certification of the leak detection equipment <br />is still required. <br />Assembly Bill 2481 is specific to the State of California. These high standards far exceed the level of containment provided by the 58-989 standards. <br />As far as testing is concerned, testing per SB -989 is only valid for SingleWall sumps. It is not a practical test method for DoubleWall sumps which <br />are already continuously monitored. <br />http://sbravo.conVfaq/ 40 0 <br />11/17/2414 <br />