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Southpark Court Ste 3, Bubuque, IA, which is not the site address of your facility. Submit a <br /> hazardous waste manifest with your facility's correct site address,for the two drums of De- <br /> scaler. <br /> c. Items found in a shed,west of the exterior truck wash: <br /> L Two steel drums labeled as Nitric Acid 42 Baume—Classified as a waste and disposed of. See <br /> attached manifest 012873968(Line 2&4)-This hazardous waste manifest has the generator <br /> site address, 2099 Southpark Court Ste 3, Bubuque, IA, which is not the site address of your <br /> facility. Submit a hazardous waste manifest with your facility's correct site address,for the two <br /> drums of Nitric Acid 42 Baume. <br /> ii. One poly-drum labeled as Zep-Classified as a waste and disposed of. See attached manifest <br /> 012873969(Line 1)—Manifest 012873969 was not provided. Both hazardous waste manifests <br /> submitted have the generator site address, 2099 Southpark Court Ste 3, Bubuque, IA,which is <br /> not the site address of your facility. Submit a manifest with your facility's correct site address, <br /> for the drum of Zep. <br /> iii. One blue poly drum, unlabeled -Classified as a waste and disposed of. See attached manifest <br /> 012873969(Linea)—Manifest 012873969 was not provided. Both hazardous waste manifests <br /> submitted have the generator site address, 2099 Southpark Court Ste 3, Bubuque, IA,which is <br /> not the site address of your facility. Submit a manifest with your facility's correct site address, <br /> for the unlabeled drum. <br /> 2. Violation#301 <br /> a. Staining from spillage observed surrounding items in the old shop: <br /> i. Materials were appropriately cleaned, see attached pictures.—Although pictures are not <br /> required, pictures were not submitted as stated. Submit a statement and supporting <br /> documentation (e.g. disposal record/hazardous waste manifest) explaining how the waste <br /> generated from the spill clean-up was managed. <br /> 3. Violation#406: <br /> a. Two totes without labeling and two poly drums with corrosive labels were found empty inside the <br /> exterior truck wash -transported to IA for disposal—Please clarify what IA is. <br /> b. Three totes, one containing corrosive label and one 30 gal. poly-drug were found empty adjacent to the <br /> truck wash—transported to IA for disposal—Please clarify what IA is. <br /> c. Four totes, two containing corrosive labels were found emptied adjacent to the exterior truck wash— <br /> transported to IA for disposal—Please clarify what IA is. <br /> d. The used oil container inside the old shop was marked with a date emptied of 6/27/13—This has been <br /> properly labeled with most recent empty date, see attached picture. - Since the container has been <br /> empty for over a year, immediately manage the container per Title 22 CCR section 66261.7. Provide a <br /> corrective action statement and supporting documentation. See attached guidance documents for more <br /> information on how to properly manage empty containers. <br /> Please note that all time spent brining the facility back into compliance will be billed to the facility at our agency's <br /> current rate of$1S2/hour.Also, the facility could face further enforcement action due to the outstanding violations. <br /> Contact me with any questions. <br /> FREE classes presented by NES Inc. are available to all San Joaquin County Hazardous Waste, Underground Storage <br /> Tank, and Aboveground Petroleum Storage Facility Business Owners and Operators. List and schedule of classes can be <br /> found here. <br /> Thank you, <br /> Elianna Florido, REHS <br /> San Joaquin County Environmental Health Department <br /> Registered Environmental Health Specialist <br /> 2 <br />