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The following is an itemized list of aboveground petroleum storage act violations that <br /> have not been addressed for LODI USD-TRANSPORATIOW as of June 15, 2020. <br /> Open violations from April 16, 2019 inspection <br /> Violation #301 - Failed to amend Plan as necessary. <br /> The two 10,000 gallon diesel tanks appear to be permanently manifolded and this is not addressed in the SPCC <br /> plan. Amend the SPCC Plan for your facility in accordance with the general requirements in §112.7, and with any <br /> specific section of this part applicable to your facility, when there is a change in the facility design, construction, <br /> operation, or maintenance that materially affects its potential for a discharge as described in §112.1(b). Examples of <br /> changes that may require amendment of the Plan include, but are not limited to: commissioning or <br /> decommissioning containers; replacement, reconstruction, or movement of containers; reconstruction, replacement, <br /> or installation of piping systems; construction or demolition that might alter secondary containment structures; <br /> changes of product or service; or revision of standard operation or maintenance procedures at a facility. An <br /> amendment made under this section must be prepared within six months, and implemented as soon as possible, <br /> but not later than six months following preparation of the amendment. Plan should be amended when there is a <br /> change to the plan, facility design, construction, operation, or maintenance. <br /> Note: Permanently manifolded tanks are tanks that are designed, installed, or operated in such a manner that the <br /> multiple containers function as a single storage unit(67 FR 47122, July 17, 2002).Accordingly, the total capacity of <br /> manifolded containers is the design capacity standard for the sized secondary containment provisions (plus <br /> freeboard in certain cases). <br /> ❑ This violation was corrected ❑ This violation will be corrected by (date): <br /> ❑ Supporting documents included <br /> Describe actions taken or will be taken to correct violation: <br /> Violation #621 -Failure to include in the SPCC Plan an adequate description of employee training. <br /> Discharge prevention briefings are not scheduled at least once a year, per facility personnel. Discharge prevention <br /> briefings for oil handling personnel must be scheduled and conducted at least once a year to assure adequate <br /> understanding of the SPCC Plan for that facility. Such briefings must highlight and describe known discharges or <br /> failures, malfunctioning components, and any recently developed precautionary measures. Immediately schedule <br /> and conduct a discharge prevention briefing, ensure that they are scheduled and conducted at least once a year. <br /> ❑ This violation was corrected ❑ This violation will be corrected by (date): <br /> ❑ Supporting documents included <br /> Describe actions taken or will be taken to correct violation: <br /> Page 1 of 1 <br />