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"If water could enter into the secondary containment by precipitation or infiltration, the <br /> facility shall contain a means of monitoring for water intrusion and for removing the water by the <br /> owner or operator. This removal system shall also prevent uncontrolled removal of this water and <br /> provide for a means of analyzing the removed water for hazardous substance contamination and <br /> a means of disposing of the water, if so contaminated, at an authorized disposal facility." <br /> Title 23,California Code of Regulations, Chapter 16—2631(d)(4): <br /> "The secondary containment system shall be equipped with a collection system to <br /> accumulate, temporarily store, and permit removal of arty liquid within the system." <br /> In this instance, since the underground storage tanks were installed on April of 1998 they are <br /> regulated by Section 25291(e) of the California Health and Safety Code and Title 23 of the <br /> California Code of Regulations and it is not a violation for liquid to be observed in the turbine <br /> sump. <br /> This letter should address the item(s) noted on the Inspection Report. 7-Eleven assumes that all <br /> issues regarding this report have been resolved and are closed. The submittal of this response by <br /> 7-Eleven, Inc. shall not constitute, nor be deemed to constitute, an admission of liability or <br /> responsibility with respect to the alleged violations and, in addition, evidence of this settlement <br /> may not be used in any administrative or judicial proceeding or otherwise. <br /> Very truly yours, <br /> 7-Eleven, Inc. <br /> Stephen Boyd <br /> Region Gasoline Environmental <br /> Compliance Manager <br /> Enclosures: RTC form <br /> 7-Eleven,Inc. <br /> P.O.Boz 711—Dallas,Texm 75221-0711 <br />