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COMPLIANCE INFO_2011
Environmental Health - Public
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EHD Program Facility Records by Street Name
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THORNTON
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2200 - Hazardous Waste Program
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PR0517801
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COMPLIANCE INFO_2011
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Last modified
9/3/2020 9:51:02 AM
Creation date
9/1/2020 1:12:20 PM
Metadata
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Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
2011
RECORD_ID
PR0517801
PE
2220
FACILITY_ID
FA0012979
FACILITY_NAME
FLYING J TRAVEL PLAZA #617
STREET_NUMBER
15237
Direction
N
STREET_NAME
THORNTON
STREET_TYPE
Rd
City
Lodi
Zip
95242
APN
02519014
CURRENT_STATUS
01
SITE_LOCATION
15237 N Thornton Rd
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
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EHD - Public
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Similarly, the L7 87 T4 stp sump sensor fuel alarm 7-20-13 was not noted on the first <br /> page of the designated operator monthly inspection report. It was marked on the <br /> alarm history tape during the inspection and the appropriate PFJ response was <br /> verified. This alarm was captured remotely by the PFJ HelpDesk and store <br /> personnel verified that this alarm was caused by water intrusion. Water was <br /> removed and the alarm cleared. Also, per the instructions on the Monthly Visual <br /> Inspection Checklist, the designated operator performed a visual inspection of this <br /> sump and noted that it was free of water, debris and hazardous substances, as well <br /> as verifying that the sensor was in the proper position. With the sump found to be <br /> clean and dry (Section 6) and the alarms logged by store personnel, the designated <br /> operator determined that there was no follow up action needed. <br /> Please see the enclosed letter from Lance York, designated operator for this facility. <br /> The monthly reports have been amended (enclosed) and were placed in the UST <br /> Compliance binder during the designated operator inspection on May 20, 2014, and <br /> the incorrect paperwork has been removed to prevent any confusion in the future. <br /> PFJ has reviewed the proper procedure for documenting alarms and maintaining <br /> paperwork with both the facility and the designated operator. Although there were <br /> two alarms that were not included on the first page of the designated operator <br /> monthly inspection reports for this facility, it is PFJ's position that all alarms were <br /> monitored and responded to appropriately, and that PFJ has consistently operated <br /> this facility in compliance with the Permit to Operate and other regulations as <br /> required by the EHD. <br /> 2. The following was listed as a Note: <br /> Annual monitoring system certification, leak detector testing, and spill container <br /> testing were last performed on 5-2-13 and are due before June 2014. Testing was <br /> not completed today. These tests are required once every 12 months. Immediately <br /> schedule these tests and provide 48 hours notification to the EHD. Please be aware <br /> that a follow up inspection will be charged at our current hourly rate. <br /> While testing could not be completed at the time of the May 1, 2014 inspection, <br /> Jones Covey technicians were able to reschedule and complete the annual <br /> monitoring system certification testing on May 15, 2014. As noted in the UST <br /> Program Inspection Report from that date, all UST sensors, leak detectors, and spill <br /> container passed the annual tests and no violations were noted (enclosed). <br /> Hazardous Waste Program Inspection <br /> 1. Manifest numbers 007288521JJK, 008369456JJK, and 008369481JJK were found <br /> without a signed off copy from the destination facility. Hazardous waste generators <br /> shall retain copies of all manifests signed off by the destination facility onsite for <br /> three years and have them readily available for review. If the generator did not <br /> receive a copy of the manifest with the handwritten signature of the owner or <br /> operator of the facility to which the generator's waste was submitted within 60 days <br /> of the date the waste was accepted by the initial transporter, the generator shall <br />
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