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COMPLIANCE INFO_2021
Environmental Health - Public
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EHD Program Facility Records by Street Name
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DR MARTIN LUTHER KING JR
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1900 - Hazardous Materials Program
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PR0520583
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COMPLIANCE INFO_2021
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Entry Properties
Last modified
4/15/2026 7:40:14 PM
Creation date
6/21/2021 11:29:41 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
1900 - Hazardous Materials Program
File Section
COMPLIANCE INFO
FileName_PostFix
2021
RECORD_ID
PR0520583
PE
1921 - HMBP-Regular-Primary Location
FACILITY_ID
FA0010975
FACILITY_NAME
O'REILY AUTO PARTS #3020
STREET_NUMBER
309
Direction
W
STREET_NAME
DR MARTIN LUTHER KING JR
STREET_TYPE
BLVD
City
STOCKTON
Zip
95206
APN
14708216
CURRENT_STATUS
Active, billable
QC Status
Approved
Scanner
SJGOV\kblackwell
Supplemental fields
Site Address
309 W DR MARTIN LUTHER KING JR BLVD STOCKTON 95206
Tags
EHD - Public
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CERS Consolidated Emergency Response /Contingency Plan <br /> H. EARTHQUAKE VULNERABILITY <br /> Identify areas of the facility that are vulnerable to hazardous materials releases due to seismic motion. These areas require immediate isolation and inspection. <br /> VULNERABLE AREAS (Check all that apply): n1. LOCATIONS (e.g., Shop, outdoor shed, lab): flz. <br /> © 1. HAZARDOUS MATERIALS AND/OR WASTE STORAGE AREAS Stockroom and retail storage area <br /> ❑ 2. PROCESS LINES AND PIPING <br /> ❑ 3. LABORATORY <br /> ❑ 4. WASTE TREATMENT AREA <br /> Identify mechanical systems vulnerable to releases/spills due to earthquake-related motion. Theses stems require immediate isolation and inspection. <br /> VULNERABLE SYSTEMS AND/OR EQUIPMENT(Check all that apply): 113• LOCATIONS: tta. <br /> © t. SHELVES, CABINETS AND/OR RACKS Retail storage area <br /> ❑ 2. TANKS AND SHUT-OFF VALVES <br /> ❑ 3. PORTABLE GAS CYLINDERS <br /> 0 4. EMERGENCY SHUT-OFF AND/OR UTILITY VALVES i See interior and exterior maps <br /> ❑ 5. SPRINKLER SYSTEMS <br /> ❑ 6. STATIONARY PRESSURIZED CONTAINERS (e.g.,Propane tank) <br /> I EMPLOYEE TRAINING <br /> Employee training is required for all employees and/or contractors handling hazardous materials and/or hazardous wastes during normal and/or emergency operations. <br /> Most facilities will need to submit a separate Training Plan. However, your CUPA may accept this section as the Training Plan for some small facilities. <br /> Employee training plans may include the following content: <br /> • Applicable laws and regulations; • Communication and alarm systems; <br /> • Emergency response plans and procedures; • Personal protective equipment; <br /> • Safety Data Sheets; • Use and maintenance of emergency response equipment and supplies <br /> • Hazard communication related to health and safety; (e.g. Fire extinguishers, respirators, spill control materials); <br /> • Methods for safe handling of hazardous substances; • Decontamination procedures; <br /> • Hazards of materials and processes (e.g., fire, explosion, asphyxiation); • Evacuation procedures and evacuation staging locations; <br /> Hazard mitigation, prevention and abatement procedures; • Identification of facility areas, equipment,and systems vulnerable to <br /> • Coordination of emergency response actions; earthquakes and other natural disasters. <br /> • Notification procedures for local emergency responders, CUPA, • OTHER(Specify): <br /> Cal OES, and onsite personnel; <br /> Check the applicable boxes below to indicate how the employee training program is administered. <br /> ❑ 1. FORMAL CLASSROOM ❑ 2. VIDEOS © 3. SAFETY MEETINGS ®4. STUDY GUIDES /MANUALS 11. <br /> ❑ 5. OTHER (Specify): 12. <br /> ❑ 6. NOT APPLICABLE SINCE FACILITY HAS NO EMPLOYEES <br /> ❑ 7. CHECK IF A SEPARATE EMPLOYEE TRAINING PLAN IS USED AND UPLOADED TO CERS AS A PDF DOCUMENT 13. <br /> ❑ 8. CHECK IF EMPLOYEE TRAINING IS COVERED BY THE ABOVE REFERENCED CONTENT AND OTHER DOCUMENTS ONSITE na. <br /> EMPLOYEE TRAINING FREQUENCY AND RECORDKEEPING TRAINING MUST BE: <br /> • Provided initially for new employees as soon as possible following the date of hire. New employees should not work in an unsupervised position that involves <br /> hazardous materials handling and/or hazardous waste management without proper training; <br /> • Provided within six months from the date of hire for new employees at a large quantity generator; <br /> • Ongoing and provided at least annually; <br /> • Amended prior to a change in process or work assignment; <br /> • Given upon modification to the Emergency Response/Contingency Plan. <br /> Large Quantity Generator Training: Large quantity generators (1,000 kg or more)must retain written plan and documentation of employee training which includes: <br /> •A written description of the type and amount of both initial and ongoing training that will be given to persons filling each job position having responsibility for hazardous <br /> waste management and/or emergency response. <br /> • The name,job title and job description for each position at the facility related to hazardous waste management. <br /> • Current employee training records must be retained until closure of the facility and former employee training records must be retained for at least three years after <br /> termination of employment. <br /> Small Quantity Generator Training: Small quantity generators (less than 1,000 kg) must include basic hazardous waste management and emergency response <br /> procedures but a written employee training plan and training records are not required. In order to show that the facility has met the small quantity generator employee <br /> training requirement, an employee training plan and training records may be made available. <br /> Hazardous Materials Business Plan Training: Businesses must provide initial and annual employee training that includes the content referenced above. The training <br /> may be based on the job position and training records must be made available for a period of at least three years. <br /> J. LIST OF ATTACHMENTS <br /> Check one of the following: 11. <br /> ❑ 1. NO ATTACHMENTS ARE REQUIRED; or <br /> FO 2. THE FOLLOWING DOCUMENTS ARE ATTACHED: Daily Image Maker Checklist; O'Reilly Auto Parts Supplemental Emergency Response Information 32. <br /> Rev. 03/07/I7 Page 4 of 4 <br />
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