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COMPLIANCE INFO_2020
Environmental Health - Public
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EHD Program Facility Records by Street Name
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2200 - Hazardous Waste Program
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PR0518767
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COMPLIANCE INFO_2020
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Last modified
5/21/2020 11:21:35 AM
Creation date
5/21/2020 10:26:02 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
2020
RECORD_ID
PR0518767
PE
2220
FACILITY_ID
FA0011160
FACILITY_NAME
ADVANCED INDUSTRIAL COATINGS INC
STREET_NUMBER
950
STREET_NAME
INDUSTRIAL
STREET_TYPE
DR
City
STOCKTON
Zip
95206
APN
17728052
CURRENT_STATUS
01
SITE_LOCATION
950 INDUSTRIAL DR
P_DISTRICT
001
QC Status
Approved
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EHD - Public
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You do not need to do additional testing for Zinc because it is not a federally regulated metal. You do need to run the <br /> TCLP for Cadmium though because it is federally regulated. I am still running STLC&TCLP on both. I'll send the results <br /> we they come in. should be anytime now. <br /> The ash from the burn off oven is used for the Line Department. Which consist of the Cardinal powder. <br /> I am OK with the answer for the ash burn off. <br /> Note* the liquid paints that need to be stripped is done in the Chemical stripper which is already being handled as <br /> hazardous and shipped as stripper waste/sludge. <br /> Violation 113: No consolidated manifest. I wrote the following for the report: Used oil that is generated from the compressor <br /> area is taken to San Joaquin County Business Hazardous Waste. Copies of hazardous waste disposal records for the last three years <br /> were not found on site. <br /> You said that you were going to double check to see if you could locate any more records. If not,that is fine, I just need a statement <br /> and I will close the violation. <br /> I did check and did not find any other records. Since then, we have contracted a different company to handle <br /> maintenance on our compressors and they are responsible for disposing all waste generate during service checks. We no <br /> longer have used oil in our facility. <br /> VIOLATION 113-CLOSED <br /> Violation 605: Failed to label hazardous waste containers. <br /> The following violation was written: In the paint area, one 275 gallon container that had powder waste and two 16 gallon drums <br /> containing nylon waste were observed without hazardous waste labels. <br /> During our discussion you mentioned that the waste was not hazardous but that it had to be disposed of as hazardous so <br /> it could be gotten rid of. While I understand what you are saying, since the facility handles the waste as hazardous, it <br /> needs to be labeled as such. <br /> You are absolutely correct. We were using those 16 gallon drums as a satellite until we can place it into the 275 gallon <br /> tri-wall bin. We are now moving the Nylon directly into the 275 Gallon bin. We no longer hold waste Nylon is the 16 <br /> Gallon containers. <br /> So the 275 gallon bin is labeled as hazardous waste with a complete label? <br /> Yes sir!This waste stream is coded with CA waste 291 Dried Paint Dust <br /> Hope this clears everything up. But, please let me know if you need further clarification. <br /> Thanks, <br /> Arcee <br /> From:Alaniz,John [mailto:lalanizl@sigov.org] <br /> Sent:Tuesday, April 14, 2020 12:08 PM <br /> To: 'Arcee San Pablo' <arcee@aic-coatings.com> <br /> Cc:Steve Hockett<steve@aic-coatings.com> <br /> Subject: RE:Automatic reply: Update <br /> Hi Arcee, <br /> Thank you for getting back to me. I have a couple of questions/comments with the open violations. <br /> Violation 102-Failed to determine: <br /> When I reviewed my records,there are three waste streams currently still in question: <br /> 2 <br />
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