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now marked with the initial date of waste accumulation, as required by 22 CCR § <br /> 6611�1.34(eV1 VC) <br /> 3. For Mr. Moua, Mr. Mannor and all other employees whose responsibilities include <br /> hazardous waste management, submit copies of their job title, their job description, <br /> written descriptions of the type and amount of both introductory and continuing training <br /> that will be given to each person, and records that document that the training or job <br /> experience required has been given to, and completed by, facility personnel as required by <br /> 22 CCR §§ 66265.16(c) and (d). <br /> Your response must include a letter signed by a duly authorized official of your facility, <br /> certifying correction of the identified areas of noncompliance. Documentation of your return to <br /> compliance may consist of, among other items, photographs, manifests, and revised records. <br /> Where compliance cannot be achieved within 30 days, you must provide the reasons for the <br /> delay, a description of each corrective action planned, and a schedule on which each corrective <br /> action will be taken. <br /> EPA is also seeking more information concerning operations at the facility. Under the <br /> provisions of Section 3007(a) of the Resource Conservation and Recovery Act (RCRA), 42 <br /> U.S.C. 6927(a), EPA may require persons subject to RCRA to furnish information necessary for <br /> EPA to.administer the Act. Pursuant to EPA's authority set forth in Section 3007(a), you are <br /> requested to submit waste determinations for: <br /> 1. Sweeping waste underneath the rinse tanks <br /> 2. Spent lubricant (ashy residue) generated from the equipment. <br /> Each waste determination shall include copies of all analytical reports, material safety data sheets <br /> (MSDS), and all other applicable information used to make each waste determination. If ' <br /> applicable, identify the EPA and/or California hazardous waste code(s) (e.g. D001, etc.). <br /> This request for information is not subject to review by the Office of Management and <br /> Budget(OMB) under the Paperwork Reduction Act because it is not an " <br /> information collection <br /> request" within the meaning of 44 U.S.C. §§ 3502(4) and (11), 3507, 3512, and 3518. <br /> Furthermore, it is exempt from OMB review under the Paperwork Reduction Act because it is <br /> directed to fewer than ten persons. 44 U.S.C. § 3502(4), (11); 5 CFR § 1320.5(a). <br /> By copy of this letter, U.S. EPA is providing the State of California with notice of the <br /> referenced violations of Subtitle C of RCRA and the California hazardous waste program. ,U.S. <br /> EPA is also providing the State with notice that it intends to take no further enforcement action <br /> for the violations noted. The State of California may notify U.S. EPA of its intent to assume or <br /> decline responsibility to take further action to address the referenced violations. <br /> U.S. EPA routinely provides copies of investigation reports to state agencies, and upon <br /> request, to the public. Such releases are handled according to the Freedom of Information Act <br /> 2 <br />