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COMPLIANCE INFO_2019
Environmental Health - Public
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COMPLIANCE INFO_2019
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Last modified
1/13/2022 2:25:57 PM
Creation date
8/6/2020 12:39:36 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
2019
RECORD_ID
PR0540935
PE
2220
FACILITY_ID
FA0023422
FACILITY_NAME
SALLY BEAUTY SUPPLY #10229
STREET_NUMBER
10710
STREET_NAME
TRINITY
STREET_TYPE
PKWY
City
STOCKTON
Zip
95219
CURRENT_STATUS
01
SITE_LOCATION
10710 TRINITY PKWY # C
P_LOCATION
01
P_DISTRICT
003
QC Status
Approved
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EHD - Public
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Elianna Florido [EH] <br /> From: Middleton, Debbie <DMiddleton@Sallybeauty.com> <br /> Sent: Thursday, February 14, 2019 9:46 AM <br /> To: Elianna Florido [EH] <br /> Cc: Caldwell, Sheri <br /> Subject: Response to NOV Issued to Sally Store#10229 <br /> Attachments: Sally Beauty Supply#10229_10710 Trinity Pkwy_2018 HW Report_Amended.pdf; SBH <br /> Hazardous Waste Training Guide 2019.pdf, Hazardous Waste Categorization <br /> Supplement Training.pdf, Sally Beauty#10229 - Modified Contingency Plan.pdf; Sally <br /> Store 10229 -Training Log.pdf, 10229-STOCKTON-0922-17367377.pdf; Sally Store <br /> 10229 - Bins.pdf; Hazardous Waste - District Manager Compliance.pdf; Sally Store <br /> 10229 - Label.pdf, 8762-PINOLE-0438-17416742.pdf, Executed Return to Compliance <br /> Certification - SB 10229 by DWM.pdf <br /> Importance: High <br /> Follow Up Flag: Follow up <br /> Flag Status: Flagged <br /> Elianna, <br /> In response to your amended inspection report of January 4, 2019 for Sally Beauty store#10229 in Stockton, CA, please <br /> see the following: <br /> Item 103 CCR 66262.40(c) Failed to retain hazardous waste determination including waste analysis on site for 3 years. <br /> • CCR 66262.11 specifies how generators are to make waste determination; under subsection (b), listed wastes <br /> are presumed to be hazardous unless the generator has testing or generator knowledge to support a non- <br /> hazardous waste determination. SBH manages listed wastes as hazardous based on their listing and does not <br /> seek to exclude such wastes from regulation based on either testing or generator knowledge. No records are <br /> required for such determinations because they are based on regulatory listings. Subsection (b) provides that, for <br /> wastes that are not listed,the waste determination can be made based upon either testing or generator <br /> knowledge. SBH relies upon generator knowledge and training to make such waste determinations. Like most <br /> retailers,the basis of that knowledge is the classification scheme reflected in the SBH Hazardous Material <br /> Management poster displayed in the storage area,the HW Training Guide, HW Categorization Supplement, <br /> Safety Data Sheets, and any other relevant information that suppliers may provide to retailers. SBH does not <br /> individually evaluate each of the thousands of products its carries but instead relies upon general product <br /> classes for management; for example, aerosols, astringents,fragrances, hair sprays and nail polishes are <br /> indicative of the types of products that would be considered flammable. Employees are trained to look for <br /> these and similar products and management them accordingly. See copies of the training documents <br /> mentioned. <br /> Item 104 CCR 66262.34(d)(2) No modified contingency plan. <br /> • A modified contingency plan has been completed and placed near the telephone. See attached copy of the plan. <br /> Item 105 CCR 66262.34(d)(2) No emergency coordinator. <br /> • See above response. <br /> Item 106 CCR 66262.34(d)(2) Failed to train employees on waste handling and emergency procedures. <br /> • All associates have re-trained on waste handling and emergency procedures. See copy of training log*. <br /> 1 <br />
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