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2. The satellite container information is not consistent with California regulation. <br />3. The document references RCRA empty containers. Empty containers at this facility must comply with California (non- <br />RCRA) empty container rules. <br />We have entered into NES partnership program which will provide required training to all necessary <br />employees. Their first onsite visit was October 12, at which point we are scheduling training for November. <br />My department offers free classes here in basic hazardous waste management: https://ehd- <br />training.sjgov.org/app/TrainingClasses.aspx <br />To date, we have 1 person that has completed basic hazardous waste management training. Cert attached. <br />We have 2 more registered to attend on October 19. <br />Violation 202 - I did not receive photos of the labeled and closed waste alodine containers. There were two containers <br />of this waste observed during the inspection. <br />Item 202 in the inspection report does not list a violation for the labeling of Alodine containers. Only one <br />container is contained in photo log of a waste Alodine container (IMG_6029). We do have a photo of this <br />container labeled (attached IMG _7365) that was included in the 'complete response'. There is no 2"d container <br />of Alodine waste. If you are referencing the 2 containers in IMG -6025 of the photo log, these are not waste. <br />Violation 605 - labeling <br />1. The "Paint Waste Accumulation" photo shows an accumulation start date of 2-11-20. Since this waste has been <br />accumulated greater than 180 days, please dispose of this waste and provide a disposal record. <br />See attached disposal record, "Manifest Paint Waste". <br />2. The "Warehouse, Used Oil " photo does not include the words "mineral spirits" in the composition <br />section. Since this is a combination of used oil and mineral spirits include the words "mineral spirits" and "used <br />oil" on the label. Mineral spirits is not the same as used oil due to a lower flash point. The label also shows an <br />accumulation start date of 11-21-20. Since this waste has been accumulated greater than 180 days, please <br />dispose of this waste and provide a disposal record. <br />a. See attached disposal record, "Used Oil". <br />b. See attached photo "IMG _0660". No accumulation had occurred at the time of the photo, so <br />accumulation start date is intentionally left blank. <br />3. The "Paint Waste Satellite" photo has an accumulation date of "satellite". Change to a specific date or use <br />"daily" or "weekly" if the container is dumped into the larger paint accumulation container. <br />See attached Photo "Paint Waste.jpg" Each week, or when the container is full, it's brought to the site <br />accumulation area and poured into the paint waste barrel. We are awaiting an air permit for our booth so we <br />are not currently generating paint waste. <br />4. The Assembly Area, Oil photos are labeled "used oil" and "used oil, emptied daily". Add complete hazardous <br />waste labeling to these containers including "hazardous waste", "used oil", company name and address, physical <br />property, hazardous property, accumulation date = "emptied daily". <br />See attached Photo "Used Oil.jpg". Used oil when drained out of the product is immediately emptied <br />into the pictured container. Each week, or when the container is full, it's brought to the site accumulation area <br />and poured into a used oil drum. <br />Provide corrected photos of 2, 3 and 4. Provide disposal records for 1 and 2. <br />"CONFIDENTIALITY NOTICE" <br />This VRC Metal Systems, LLC e-mail (including attachments) is covered by the Electronic Communications Privacy Act, 18 USC §§ 2510-2521. This email may <br />contain confidential and proprietary information of VRC (property of'VRC) and is intended solely for the addressee(s). If'you are not the intended recipient, you are <br />0 <br />