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COMPLIANCE INFO_2020
Environmental Health - Public
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PR0513799
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COMPLIANCE INFO_2020
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Last modified
5/14/2020 4:35:27 PM
Creation date
5/14/2020 4:02:49 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
2020
RECORD_ID
PR0513799
PE
2220
FACILITY_ID
FA0009375
FACILITY_NAME
LOPEZ CUSTOM COMPOSITES
STREET_NUMBER
4221
Direction
E
STREET_NAME
MARIPOSA
STREET_TYPE
RD
City
STOCKTON
Zip
95215
APN
17907015
CURRENT_STATUS
01
SITE_LOCATION
4221 E MARIPOSA RD BLDG D
P_LOCATION
01
P_DISTRICT
002
QC Status
Approved
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The following is an itemized list of hazardous waste violations that have not been <br /> r addressed for LOPEZ CUSTOM COMPOSITES as of January 08, 2020. <br /> Open violations from November 22, 2019 inspection <br /> Violation#102-Failed to determine if a waste is a hazardous waste. <br /> OBSERVATIONS <br /> -Spent paint booth filters are being disposed of into the trash without first making a hazardous waste determination. <br /> -Five 1 gallon metal containers of samples (Stonecast)were observed in the hazardous waste storage area. Per <br /> Noe t,opez(Owner) he needs to decide if they will be used or disposed of. <br /> REGULATION GUIDANCE: Any person who generates a waste shall determine if the waste is a hazardous waste <br /> as specified in Title 22 California Code of Regulations (CCR). There are wastes that are listed as hazardous <br /> wastes. There are wastes that exhibit one or more of the hazardous waste characteristics: toxic, corrosive, reactive <br /> or ignitable. <br /> CORRECTIVE ACTION: Immediately stop disposing of paint booth filters to the trash, make a hazardous waste <br /> determination for the paint booth filters & samples and manage it according to Title 22 GCR. Use safety Data <br /> Sheets (SDS), waste sampling and test results or other knowledge to support your hazardous waste determination. <br /> Waste testing must be done using methods specified in Title 22 CCR including sections 66261.20-24. <br /> Submit a statement and supporting documentation with your hazardous waste determination. Demonstrate current <br /> storage and labeling for wastes determined to be hazardous wastes. Provide disposal records for wastes <br /> determined to be hazardous wastes and stored longer than the number of days specified in Title 22 GCR for your <br /> hazardous waste generator status. <br /> l/This violation was corrected P This violation will be corrected by (date): ��IZ /2,0 <br /> VSupporting documents included <br /> Describe actions taken or will be taken to correct violation. Ifers Lt►, a t4ere— <br /> been ■` e : �- � • , � �..`n ��a� �� � �'� WJE. n+z� <br /> LJ 4 �L � ��K"fel A S i7� `�W•� �QS ►Lri �V{,f�'�. f�r� i.{rll-� L+� ..7 YR � �s.� ' <br /> !`e �'.7J+� .�rx Fe.r �[t ! I—r-e A0W Yi" ,� Ls.k '_ K. .4e6J 4r <br /> par <br /> Violation #106 -Failed to train employees on waste handling and emergency procedures. <br /> OBSERVATION At the time of inspection, it could not be demonstrated (not necessarily documented) that <br /> employees who handle hazardous waste were properly trained. Per Noe Lopez (Owner) employees have not be <br /> trained on hazardous communication since 2017. <br /> REGULATION GUIDANCE. The business owner must ensure that all employees are thoroughly familiar with proper <br /> waste handling and emergency procedures, relevant to their responsibilities during normal facility operations and <br /> emergencies. <br /> CORRECTIVE ACTION. Immediately train the employees. Provide proof of training within 30 days to the San <br /> doaquirl County Environmental Heaith Department (EHD) for employees whose responsibilities include hazardous <br /> waste. <br /> G This violation was corrected qYThis violation will be corrected by (date): <br /> GY"'Supporting documents includes! <br /> Describe actions taken or will betaken to correct violation: 6v,,IZ- &- -t. �c1 C,S �U_1' . <br /> ijvtj 194v— ct".,i 0=9(" �UIJJII�" aLt'-d <br /> Page 1 of 4 <br />
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