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Environmental Health - Public
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2800 - Aboveground Petroleum Storage Program
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PR0528437
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COMPLIANCE INFO
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Last modified
7/10/2019 1:23:47 PM
Creation date
1/17/2019 8:42:58 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2800 - Aboveground Petroleum Storage Program
File Section
COMPLIANCE INFO
RECORD_ID
PR0528437
PE
2833
FACILITY_ID
FA0018706
FACILITY_NAME
COMMUNITY FUELS
STREET_NUMBER
809
STREET_NAME
SNEDEKER
STREET_TYPE
AVE
City
STOCKTON
Zip
95203
APN
16203007
CURRENT_STATUS
01
SITE_LOCATION
809 SNEDEKER AVE STE C
P_LOCATION
01
P_DISTRICT
003
QC Status
Approved
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Ruvalcaba, Cesar <br /> From: David Williamson <davidw@communrtyfuels.com> <br /> Sent: Wednesday, March 13,2019 8:47 AM <br /> To: Cesar Ruvalcaba [EH] <br /> Subject: RE: Response-APSA/SPCC- PR0528437 - 809 SNEDEKER AVE STE C <br /> Once the SPCC plan has been amended to include the tanks that were observed at the facility but not mentioned in the <br /> plan, provide a copy of the amended SPCC plan to correct the violation. <br /> Already contacted Condor about getting this corrected in the SPCC,waiting on a P0,then will get it finalized and to you. <br /> For tanks T-632 and T-633 the violation states that testing was conducted on the tanks in 2007.The paperwork provided <br /> states that those tanks were installed in 2014.Are there API 653 inspection reports for the two tanks from 2007? 1 <br /> wanted to clarify this before the violation is closed. <br /> I think so,but let me double check before I give you a hard answer. Want to make sure this is as correct as I can make it. <br /> As a note,the document for the inspection tank test intervals show the next inspections due in 2027 or 2037.The API <br /> 653 inspection reports provided require the next external inspection to be conducted within 5 years from 2017. Be <br /> aware that API 653 requires external and internal inspections. Refer to the API 653 inspection reports to determine <br /> when each is due or to the SPCC plan. Since the reports and the standard require the external inspection every 5 years <br /> this will be expected to be done at that frequency. If the SPCC plan has stricter inspection frequency,then that should be <br /> followed. <br /> Currently negotiating with TEAM to take over the contract for testing our tanks,so we are aware and making plans going <br /> forward. This was brought about because we are planning on putting T611 and T612 into service,as storage for Bio- <br /> Diesel with a high cloud point..a little bury right now, <br /> Will be getting back as soon as I'm able. <br /> "Endeavor to Persevere." <br /> David Williamson CHMM <br /> EHS Manager <br /> Community Fuels <br /> Cell: 209.471.9996 <br /> From:Cesar Ruvalcaba [EH] [mailto:cruvalcaba@sjcehd.com] <br /> Sent: Wednesday, March 13,2019 0830 <br /> To: David Williamson<davidw@communityfuels.com> <br /> Subject: RE: Response-APSA/SPCC-PR0528437-809 SNEDEKER AVE STE C <br /> David, <br /> The return to compliance has been reviewed and there are two violations that remain open. <br /> Once the SPCC plan has been amended to include the tanks that were observed at the facility but not mentioned <br /> in the plan,provide a copy of the amended SPCC plan to correct the violation. <br /> 1 <br />
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