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Subject: RE:Aztlan Ornamental Iron - 2020 Hazardous Waste Inspection <br /> Importance: High <br /> Hi Jose, <br /> I received and reviewed the return to compliance paperwork you submitted in response to the 1/27/2020 hazardous <br /> waste inspection.The following information is missing and needed to correct the following violations: <br /> 1. Violation 102: <br /> a. Submit a written statement or an example of a label(s), documenting how you have labeled the <br /> hazardous waste containers of used paint rags and used paint booth filters. Please see the attached <br /> guidance document on how to properly label containers of hazardous waste. <br /> b. Submit a written statement documenting how you managed the metal shavings/fines observed on a <br /> table and on the ground at the time of inspection. If managed as hazardous waste, submit a statement <br /> or an example of a label, documenting how you labeled the metal shavings. Also provide a disposal <br /> record for the metal shavings, if they were disposed as hazardous waste. <br /> c. Submit a written statement and supporting documentation (e.g. a disposal record) documenting how <br /> you managed the four containers of residual paint mixed with water observed at the time of inspection. <br /> 2. Violation 708: <br /> a. The Used Aerosol Can label must be visible from the outside of the storage container. Submit a written <br /> statement documenting that the Used Aerosol Can container label is visible from the outside of the <br /> container. <br /> b. Submit a written statement documenting whether or not the Used Aerosol Can storage container is <br /> placed on a surface that is bermed to contain leaks and spills. <br /> 3. Violation 713: <br /> a. Submit the disposal record for the aerosol cans observed at the time of inspection. <br /> 4. Violation 714: <br /> a. The Universal Waste Training Record and training description you submitted includes metal shavings <br /> and used paint booth filters. However, metal shavings and used paint booth filters are not universal <br /> wastes.Also, ensure employees are trained on the storage time limit for Universal Waste, that is <br /> Universal Waste may not be stored onsite longer than one year. Revise your Universal Waste training, <br /> re-train your employees, and submit proof of training and a description of the training. <br /> Submit this information to me by 3/31/2020 to avoid being billed by our department for non-compliance. Submission of <br /> this information via email is preferred at this time in light of the COVID-19 virus spread. <br /> Please don't hesitate to contact me if you have any questions. <br /> Thank you, <br /> Elianna Florido, REHS <br /> San Joaquin County Environmental Health Department <br /> Registered Environmental Health Specialist <br /> 1868 East Hazelton Ave <br /> Stockton, CA 95205 <br /> P: (209)468-0343 1 F: (209) 468-3433 1 E: eflorido@sigov.org <br /> Please note that my email has changed to eflorido@sigov.org <br /> SAN JOAQU IN <br /> (_QONrY <br /> Greatness grows here. <br /> 2 <br />