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S b N J 0 A Q U I N Environmental Health Department <br /> COUNTY— <br /> Aboveground <br /> CUNTYAboveground Petroleum Storage Act Inspection Report <br /> Facility Name: Facility Address: Date: <br /> MANTECA CORP YARD 210 E WETMORE ST, MANTECA June 26, 2019 <br /> SUMMARY OF VIOLATIONS <br /> (CLASS I,CLASS II,or MINOR-Notice to Comply) <br /> Item# Remarks <br /> 712 CFR 112.8(c)(6)Failed to test or inspect each container for integrity based on industry standards. <br /> -Table 8 and section 3.7.4 in the SPCC plan deviate from the SP001 standard (referenced in the SPCC plan).Table <br /> 8 footnote states that the inspection frequency is based on implementation of a scheduled inspection/testing <br /> program.To initiate the programs,AST's will be inspected following shell repairs or as directed by local enforcement <br /> agency. Section 3.7.4 of the SPCC plan states that non-destructive integrity evaluation is not performed on AST's. <br /> Facility management has deemed that routine AST inspections are sufficient for identifying potential spills. Each <br /> aboveground container shall be tested and inspected for integrity on a regular schedule and whenever repairs are <br /> made. The qualifications of personnel performing tests and inspections,frequency and type of testing and <br /> inspections that take into account container size, configuration, and design shall be determined in accordance with <br /> industry standards. Examples of these integrity tests include, but are not limited to: visual inspection, hydrostatic <br /> testing, radiographic testing, ultrasonic testing, acoustic emissions testing, or other systems of non-destructive <br /> testing. Comparison records and other records of inspections and tests must be maintained on site. Immediately <br /> conduct the necessary testing and submit a copy of the test results to the EHD, or provide equivalence as allowed <br /> by CFR 112.7(a)(2). <br /> If an owner or operator deviates from applicable industry standards to develop an integrity testing program,then a <br /> PE must certify an environmentally equivalent alternative in the SPCC Plan.The Plan must provide the reason for the <br /> deviation, describe the alternative approach, and explain how it achieves environmental protection equivalent to the <br /> applicable industry standard. <br /> This is a Class II violation. <br /> Overall Inspection Comments: <br /> An inspection checklist was provided to the facility operator on the day of inspection. The EHD has written the <br /> complete report which replaces the initial checklist. <br /> Complete and submit a copy of the Return to Compliance Certification form to the EHD with a statement <br /> documenting the corrective actions that have been or will be taken for each violation, and any supporting <br /> paperwork, within 30 days of receiving the complete inspection report. <br /> Inspector Provided: Return to Compliance certification, flier for free CUPA classes <br /> Tanks Observed: <br /> -10,000 gallon diesel tank <br /> -10,000 gallon gasoline tank <br /> -500 gallon used oil tank <br /> -55 gallon drum of ATF <br /> -55 gallon drum of motor oil <br /> FA0005481 PR0544025 SCO01 06/26/2019 <br /> EHD 28-01 Rev.09/27/2018 Page 6 of 7 Aboveground Petroleum Storage Act OIR <br /> 1868 E. Hazelton Avenue I Stockton, California 95205 1 T 209 468-3420 1 F 209 464-0138 1 www.sjcehd.com <br />