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f. . <br /> 1 3. Defendant, in the course of defendant's STORAGE OF GASOLINE AND <br /> 2 DIESEL activities, are pursuant to Health and Safety Code, Chapter 6.7 hereby permanently <br /> 3 enjoined from: <br /> 4 a. Operating gasoline and diesel pumps without a valid permit after January <br /> 5 1, 2003, in violation of Health and Safety Code §25284(a)(1); <br /> 6 b. Failing to provide evidence of financial responsibility, in violation of <br /> 7 Health & Safety Code §25292.2. <br /> 8 C. Failing to have secondary contained piping to flow into a collection sump, <br /> 9 in violation of 22CCR §2636(c)(1). <br /> 10 d. Failing to have a means for monitoring water from the secondary <br /> 11 containment, in violation of Health and Safety Code §25291(e). <br /> 12 e. Failing to have a monitoring program approved by the local agency and <br /> 13 failure to have a response plan, in violation of 22CCR §2632(d). <br /> 14 f. Failing to have a monitoring plan or response plan retained at the facility, <br /> 15 in violation of 22CCR §2712(i). <br /> 16 g. Failing to perform Annual Line Tightness Test, in violation of 22CCR <br /> 17 §2636(f)(4). <br /> 18 h. Failing to provide records of any cathodic protection testing, in violation <br /> 19 of 22CCR §2635(a)(2)(A). <br /> 20 i. Failing to install under dispenser containment, in violation of <br /> 21 22CCR §2636(h)(1)(c). <br /> 22 j. Failing to perform secondary containment testing by the January 1, 2003 <br /> 23 deadline,in violation of 22CCR §2637(a)(1). <br /> 24 k. Failing to perform annual spill container test, in violation of <br /> 25 22CCR §2635(b)(1). <br /> 26 1. Failing to submit a Certification Statement identifying Designated <br /> 27 Operator or certifying compliance, in violation of 22CCR §2715(a). <br /> 28 <br /> 2 <br />