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COMPLIANCE INFO_2012-2018
Environmental Health - Public
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2300 - Underground Storage Tank Program
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PR0505615
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COMPLIANCE INFO_2012-2018
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Last modified
4/20/2021 11:43:46 AM
Creation date
6/3/2020 9:58:54 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2300 - Underground Storage Tank Program
File Section
COMPLIANCE INFO
FileName_PostFix
2012-2018
RECORD_ID
PR0505615
PE
2361
FACILITY_ID
FA0006898
FACILITY_NAME
RAMOS OIL-FRENCH CAMP
STREET_NUMBER
10842
Direction
S
STREET_NAME
HARLAN
STREET_TYPE
RD
City
FRENCH CAMP
Zip
95231
APN
19333028
CURRENT_STATUS
01
SITE_LOCATION
10842 S HARLAN RD
P_LOCATION
99
P_DISTRICT
001
QC Status
Approved
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SJGOV\rtan
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FilePath
\MIGRATIONS\UST\UST_2361_PR0505615_10842 S HARLAN_2012-2018.tif
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EHD - Public
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The following is an itemized list of underground storage tank violations that have not <br /> been addressed for RAMOS OIL-FRENCH CAMP as of December 28, 2016. <br /> Open violations from October 27, 2016 inspection <br /> Violation #210 -Designated operator monthly inspection reports not maintained on site for at least 12 <br /> months. <br /> The monthly reports for January-April 2016 were completed today on site before I arrived. <br /> Accurate designated operator monthly inspection reports for the previous twelve months shall be retained on site. <br /> Immediately begin this practice. <br /> This is a repeat violation (which is currently still open) from 2015. Monthly reports noted on the 2015 EHD <br /> inspection report include November 2014 and June 2015. Copies were requested and have not been provided. <br /> Violation #211 -Designated operator employee training not performed or log not kept. <br /> The designated operator employee training was not complete. The log on site did not have the name of the trainer, <br /> and the information employees were trained on. <br /> Immediately provide training for employees and submit a completed training log to the EHD. <br /> This is a repeat violation (which is currently still open)from 2015. <br /> Violation#313 - Failure to construct, operate,and maintain primary containment as product-tight. <br /> Diesel liquid was discovered in UDCS 1-2, 2S-3, 3-4 and 4S-5S dispensers, during the 2015 routine inspection, <br /> indicating a leak in the primary piping. All primary containment for the UST system must be tight. Immediately have <br /> a properly licensed, trained, and certified contractor repair or replace the failed component under permit and <br /> inspection of the EHD. <br /> This is a repeat violation (which is currently still open)from 2015. <br /> Open violations from October 29, 2015 inspection <br /> Violation#103 -Current financial responsibility documents not submitted. <br /> Complete financial responsibility documents have not been submitted to the EHD. The date is missing on the <br /> Certification of Financial Responsibility. Current financial responsibility documents are required to be submitted <br /> annually. Immediately log into the California Environmental Reporting System (CERS) at http://cers.calepa.ca.gov/, <br /> and upload the required documents. <br /> Violation #104- UST Operating Permit Application for Facility and Tank information not submitted or <br /> current. <br /> The UST Tank Information form for the diesel tank(TA0505616) is not current in CERS. Primary containment tank <br /> construction, piping construction and piping primary containment, vent primary and secondary containment <br /> construction, vapor recovery primary and secondary containment construction, riser pipe primary and secondary <br /> containment construction, vent piping transition sumps construction, and corrosion protection were not provided or <br /> were incorrect. Also the applicant's name on the UST Tank Information form is outdated. Any change of <br /> information must be updated in CERS within 30 days of the changes. Immediately log into CERS, update the <br /> required information, and submit for review by the EHD. <br /> Violation#107 - Plot plan/site map not submitted or failed to completely show where monitoring is <br /> performed. <br /> An accurate UST Monitoring Site Plan was not submitted. Missing are the UDC sensors, annular sensor, and fill <br /> sump sensor. A site plan must be submitted identifying the locations where monitoring will be performed. <br /> Immediately log into the California Environmental Reporting System (CERS) at http://cers.calepa.ca.gov/and upload <br /> a copy of the UST Monitoring Site Plan. <br /> Page 3 of 5 <br />
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