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Spill Prevention, Control and Countermeasure Plan <br /> Tesla Treatment Facility Page 44 of 45 <br /> 5.0 FACILITY RESPONSE PLAN REQUIREMENTS <br /> [40 CFR§112.20 AND 40 CFR§112.211 <br /> Section 5.0 of this SPCC Plan addresses response plan requirements in Sections 40 CFR§112.20 <br /> and 40 CFR§112.21 of the SPCC Rule. <br /> 5.1 Facility Response Plan [40 CFR§112.201 <br /> The Tesla Treatment Facility is not required to have a Facility Response Plan (FRP) because the <br /> facility does not meet the substantial harm criteria in Attachment C-I of Subsection D (Response <br /> Requirements), Section 40 CFR§112.20 of the SPCC Rule. The total oil storage capacity in the <br /> Emergency Power Generation Facility (16,382 gallons) and the substation transformer (723 <br /> gallons) at the Electrical Building combined is 17,105 gallons. The Tesla Treatment Facility does <br /> not meet the substantial harm criteria in Section 40 CFR§112.20 because the total oil storage <br /> capacity is below the threshold of 62,000 gallons, and because the facility does not transfer oil <br /> over water. <br /> Pursuant to Section 40 CFR§112.20 of the SPCC Rule, since the Tesla Treatment Facility does not <br /> meet the substantial harm criteria, the SFPUC shall complete, sign and maintain onsite the <br /> certification form contained in Attachment C-II of the SPCC Rule. <br /> Appendix I presents the certification form for the Tesla Treatment Facility that is available for <br /> inspection in the Operations Building. <br /> As a measure of good engineering practice, the Tesla Treatment Facility has voluntarily prepared <br /> and implemented a facility response plan to address potential discharges of oil and other chemical <br /> products in compliance with the facility's Hazardous Materials Business Plan and Risk <br /> Management Plan. A copy of the facility response plan is presented in Appendix J. <br /> 5.2 Facility Response Training [40 CFR§112.211 <br /> Since the facility is not required to have a FRP, the facility is not required to develop and <br /> implement a facility response training program and a drill/exercise program as per Section 40 <br /> CFR§112.21 of the SPCC Rule. <br />