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Spill Prevention,Control,and Countermeasures Plan <br /> City of Ripon <br /> Fueling Station <br /> Page 12 <br /> monthly and annual visual observation forms. A copy of the training documentation form is included in <br /> Appendix 8. <br /> The Response Coordinator is responsible for discharge prevention, ensuring that training occurs, and <br /> completion of documentation. In addition, Facility personnel conducting monthly and annual visual <br /> inspections on the tanks should be trained when to complete the inspection forms, their applicability to <br /> containers, and procedures to complete inspections. <br /> 1.8 SECURITY [40 CFR 112.7(g)] <br /> The following security measures have been implemented at the Facility to secure and control access to the <br /> oil handling,processing and storage areas;secure master flow and drain valves;prevent unauthorized access <br /> to starter controls on oil pumps; secure out-of-service and loading/unloading connections of oil pipelines; <br /> and the appropriateness of security lighting to both prevent acts of vandalism and assist in the discovery of <br /> oil discharges: <br /> • The AST and Fuel Dispenser area is fenced along the eastern and southern borders. The <br /> Vehicle/Equipment Storage area is surrounded by a security fence with one access gate. <br /> • All drivers must be qualified to load/unload oil/petroleum products. Tanks are to be attended by a <br /> qualified person at all times during filling operations; and levels are to be continuously monitored. <br /> • The Facility has adequate lighting. <br /> • Fill ports for the oil tanks are to be closed and locked when not in use. Transfer piping is safely <br /> stored when not in use. <br /> • Electrical controls to the ASTs are located in the Storage Shed,which are locked when not in use. <br /> • Security cameras are installed to view all areas of the Facility. <br /> 1.9 TANK TRUCK LOADING/UNLOADING [40 CFR 112.7(h)] <br /> The Facility is not equipped with a loading rack and therefore not subject to the additional requirements of <br /> 40 CFR 112.7(h). <br /> 1.10 CONTAINER FAILURE EVALUATION [40 CFR 112.7(i)] <br /> According to the American Petroleum Institute (API) Standard 653 Tank Inspection, Repair, Alteration, <br /> and Reconstruction(API-653)brittle fracture evaluation is not required of tanks with a half inch or less of <br /> shell thickness. This Facility does not operate any field-constructed oil containers. All tanks are shop built <br /> with a shell thickness of half an inch or less. <br /> However, a failure of any Facility-operated oil-containing AST is to be evaluated and the AST repaired or <br /> replaced as necessary. <br /> 1.11 CONFORMANCE WITH REQUIREMENTS [40 CFR 112.7(j)] <br /> This SPCC Plan has been prepared in general conformance with the requirements of Title 40, Code of <br /> Federal Regulations, Part 112. The U.S. EPA has not delegated implementation and enforcement of the <br /> SPCC program to the State of California and thus retains authority. <br /> The Facility is also subject to the California Aboveground Petroleum Storage Act(Health and Safety Code <br /> Chapter 6.67, Section 25270)as total petroleum storage at the site is greater than 1,320 gallons. Per Health <br /> �i,i� CONDOR <br />