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MELEVEn <br /> (c) An owner may comply with this article by entering into an agreement with the <br /> operator of the tank requiring the operator to demonstrate compliance with subdivision <br /> (a) . However, both the owner and the operator are in violation of subdivision (a) if <br /> evidence offrnancial responsibility is not established and maintained in accordance <br /> with this article . ' <br /> Title 23 , California Code of Regulations , Chapter 16 — 2711 (a) ( 11 ) : <br /> " (a) The permit application shall include, but not be limited to, the following <br /> information to the extent such information is known to the permit applicant.4 <br /> (I1) Documentation to show compliance with state and federal financial <br /> responsibility requirements applicable to underground storage tanks containing <br /> petroleum . " <br /> In this instance , the regulation pertaining to the recordkeeping requirement for the financial <br /> responsibility document is retention is CCR 2809 . 1 ( a) which states : <br /> " (a) Owners and operators must maintain evidence of all mechanisms used to <br /> demonstrate financial responsibility in accordance with the provisions of this article <br /> until the provisions of this article no longer require such maintenance. Such evidence <br /> must be maintained at the underground storage tank site or sites or the owner or <br /> operator 's place of business. " <br /> Again, 7 -Eleven makes efforts to ensure the financial responsibility document is on site , but as <br /> noted , this is not required . All 7 -Eleven Compliance staff have copies of the current document, <br /> and those can be sent electronically to anyone upon request . These documents are also maintained <br /> and available in the CERS data system as required . For completeness of this letter and your report, <br /> a copy of the current financial responsibility document is attached, and one has been delivered to <br /> the location for site records . <br /> Item 118 : On your inspection report your noted that the Overfill Prevention Equipment Test <br /> report from the testing performed on 06/ 14/ 2021 was not submitted until 08/ 23/2021 ; outside <br /> the 30- day submittal window . <br /> Resolution 118 : Tanknology has written a statement from addressing this issue as they are <br /> responsible for submitting the test documents on behalf of 7 - Eleven Inc . See attachment for <br /> reference . <br /> This letter should address the item ( s ) noted on the Inspection Report . 7- Eleven assumes that all <br /> issues regarding this report have been resolved and are closed at this time . The submittal of this <br /> response by 7- Eleven , Inc . shall not constitute, nor be deemed to constitute, an admission of <br /> liability or responsibility with respect to the alleged violations and may not be used in any <br /> administrative or judicial proceeding or otherwise . <br /> Very truly yours, <br /> 7-Eleven, 111C . <br /> P.O. Box 711 - Dallas, Texas 75221 -0711 <br />