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The following is an itemized list of hazardous waste violations that have not been <br /> addressed for PREMIER FINISHING as of June 27, 2019. <br /> Open violations from January 15, 2019 inspection <br /> Violation #102 -Failed to determine if a waste is a hazardous waste. <br /> 1) Waste powder coating is dried in an oven on site and then disposed of via landfill. Immediately cease disposal <br /> and make a complete hazardous waste determination on the waste powder coating at the point of the waste <br /> generation (before it gets placed in an oven). <br /> 2) Nine 5 gallon buckets containing an oily water liquid were observed near a compressor. <br /> 3) Three blue 55 gallon steel drums, one labeled "pressure washer gutter waste", were observed in the external <br /> power washing containment area. <br /> 4) One open tray (4ft x 4ft) containing a pile of"burn-off" residue was underneath a cover in the external power <br /> washing area. <br /> 5) One metal garbage can (3/4 full) containing an absorbent and a dark solid was located in the external power <br /> washing containment area. <br /> 6) Liquid from the external power washing area was observed going into the storm drain. There were also pools of <br /> the liquid in a secondary containment. <br /> 7)Two open 10-gallon buckets capture powder discharged from the air filtering system in the north building. <br /> 8) Paint booth filters from several locations around the facility are changed daily. <br /> 9) One red five gallon can partially full of solid paint waste was observed in the new maintenance area. <br /> 10) Sand blast media was covering the ground in a trailer. <br /> Any person who generates a waste shall determine if the waste is a hazardous waste. Immediately cease disposal <br /> and make a complete hazardous waste determination for the above listed wastes. Manage them according to Title <br /> 22 hazardous waste regulations. Submit a statement and supporting documentation explaining how each waste <br /> was managed. <br /> Violation #122 -Failed to provide information for>100 kg/mo recyclable material to claim the exclusion or <br /> exemption. <br /> Acetone and Jem Strep 427 are being recycled and all required information to claim the exclusion or exemption has <br /> not been submitted. <br /> The following items were missing from both recyclable material reports: the beginning and end date of the reporting <br /> period, the signature of the certifier, the recyclable material number, the quantity during the two year reporting <br /> period, and the authorizing provision of HSC Section 25143.2. <br /> To claim an exclusion or exemption from classifying this as a waste, the following information shall be submitted <br /> every two years: <br /> - name, site address, mailing address, and telephone number of the owner or operator of the facility that recycles <br /> the material; <br /> - name and address of the generator of the recyclable material; <br /> -documentation that the requirements of any exemptions or exclusions pursuant to HSC 25143.2 are met. <br /> Immediately provide all required information for every recyclable material that you wish to claim the exclusion or <br /> exemption and provide that information every two years. If the required information cannot be provided, the <br /> materials must immediately be handled as a hazardous waste. <br /> Violation #501 - Failed to completely label stationary hazardous waste tanks. <br /> The 234 gallon hazardous waste tank on the plating line in the north section of the facility was observed without a <br /> label. The tank is used to store hazardous waste before going through the pipe to the other side for treatment. All <br /> hazardous waste tanks shall be marked with the words"Hazardous Waste" and the accumulation start date. <br /> Immediately ensure that all hazardous waste tanks are marked with the required information. <br /> Page 1 of 2 <br />