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COMPLIANCE INFO_2019
Environmental Health - Public
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2200 - Hazardous Waste Program
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PR0516115
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COMPLIANCE INFO_2019
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Last modified
6/29/2020 12:19:03 AM
Creation date
6/26/2020 2:34:32 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
2019
RECORD_ID
PR0516115
PE
2226
FACILITY_ID
FA0012466
FACILITY_NAME
PREMIER FINISHING
STREET_NUMBER
7910
Direction
S
STREET_NAME
LONGE
City
STOCKTON
Zip
95206
APN
17726034
CURRENT_STATUS
01
SITE_LOCATION
7910 S LONGE
P_DISTRICT
001
QC Status
Approved
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SJGOV\dsedra
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EHD - Public
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Alaniz, John <br /> From: Chris Young <chris@premierfinishing.com> <br /> Sent: Tuesday, October 8, 2019 6:28 AM <br /> To: Alaniz, John <br /> Subject: RE: RTC Hazardous Waste <br /> Attachments: burn off ash and paint booth filter analytical.pdf; Storm drain analytical.pdf <br /> Good morning John, <br /> Violation 102: <br /> 1) Waste Powder Coating: NOT OK <br /> 2) Oily Water: OK <br /> 3) Three blue drums: OK <br /> 4/5) Burned off ash/4x4 area: NOT OK <br /> 6) Storm Drain waste: NOT OK <br /> 7) Sanding waste: OK <br /> 8) Paint Booth Filters: NOT OK <br /> 9) Red 5 gallon bucket: OK <br /> 10)Sand Blast Media: OK <br /> Did my previous statement close out#1)the powder waste or is the powder still open? <br /> AS for#4/5)the burn off ash, the test results are attached <br /> As for#8)the paint booth filters, the test results are attached <br /> As for#6)the storm drain,the test results are attached <br /> From: Chris Young <br /> Sent: Wednesday, September 11, 2019 2:36 PM <br /> To:Alaniz,John <jalanizl@sjgov.org> <br /> Subject: RE: RTC Hazardous Waste <br /> Good afternoon John, <br /> 1) Waste Powder Coating: For us to accept the results of Cardinal,we need to receive more information showing the <br /> powder coatings that were tested are one of the products that the facility uses. This can be provided to us via <br /> statements and SDS sheets. <br /> 4) 1 did not see a TCLP test done on barium for the burned off ash. Was TCLP testing done on the waste? <br /> 5) See 4. <br /> In regards to violation 102,#1,#4 and #5, regarding Barium TCLP results for the waste streams associated with these <br /> open violations,TCLP was not performed because these waste contain Barium sulfate as opposed to barium (Cardinal <br /> confirmed that all of their products contain barium sulfate not barium). Per 22 CCR 66261.24(x)(1) Barium (CAS number <br /> 7440-39-3) has a TCLP limit, however Barium Sulfate (CAS number 7727-43-7) is not listed nor does it have a TCLP limit. <br /> Also, 22 CCR 66261.24(a)(2), refer to footnote c (see attached), specifically excludes Barium sulfate. Since Barium sulfate <br /> is not regulated the TCLP for these waste streams was not performed. If you have any question please contact me. <br /> From:Alaniz,John <jalanizl@sigov.or > <br /> Sent:Wednesday, September 11, 2019 9:35 AM <br /> To: Chris Young<chris@premierfinishing.com> <br /> Cc: Craig Walters<craig@premierfinishing.com>; Backus, Garrett<gbackus@sogov.org> <br /> Subject: RE: RTC Hazarodus Waste <br /> 1 <br />
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