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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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1900 - Hazardous Materials Program
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PR0547093
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COMPLIANCE INFO_2021
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Entry Properties
Last modified
10/20/2021 10:01:05 AM
Creation date
8/9/2021 1:10:55 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
1900 - Hazardous Materials Program
File Section
COMPLIANCE INFO
FileName_PostFix
2021
RECORD_ID
PR0547093
PE
1958
FACILITY_ID
FA0026705
FACILITY_NAME
BONNIE PLANTS
STREET_NUMBER
23975
Direction
E
STREET_NAME
MILTON
STREET_TYPE
RD
City
LINDEN
Zip
95236
CURRENT_STATUS
01
SITE_LOCATION
23975 E MILTON RD
QC Status
Approved
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SJGOV\kblackwell
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EHD - Public
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Robert Lopez [EHD] <br /> From: Mike Sonke <mike.sonke@oneatlas.com> <br /> Sent: Monday, October 18, 2021 3:03 PM <br /> To: Robert Lopez [EHD] <br /> Cc: Manuel (Manny) Plata (manuel.plata@bonnieplants.com);Tim Jacobsen <br /> Subject: PR0547093 Bonnie Plants 23975 E Milton Rd Return to Compliance <br /> Attachments: HazMat MasterFile Record Form10112021.pdf, PR0547093; 23975 E Milton Rd; RETURN <br /> TO COMPLIANCE CERTIFICATION.pdf, 10877935_Documents.pdf, Annotated Site <br /> Map.pdf, Bonnie Plants Linden HMBP Training Record 2021.pdf <br /> CAUTION:This email is originated from outside of the organization. Do not click links or open attachments unless you recognize the <br /> sender and know the content is safe. <br /> Hi Mr. Lopez, <br /> Atlas Technical Services LLC was contracted by Bonnie Plants to finish what they had started in regards to correcting the <br /> violations you cited at the facility during a recent inspection. <br /> Today I was able to secure the final site map details and performed a new submittal to CERS. <br /> I have attached much of what was included in the submittal and also the submittal summary as received from CERS. <br /> In regards to their inventory... it appears that the ammonium nitrate that you saw on the day of the inspection has been <br /> removed from the facility and facility management states that they have no intent to use it in the future but will use <br /> substitute other fertilizers moving forward. Regarding diesel,the facility intends to only enough diesel on site to meet <br /> their needs emergency needs keeping it in a container that is less than 55 gallons in capacity. I am working with them to <br /> get any existing tanks greater than 55-gallons removed from the site or affix proper signage to show they are not in use. <br /> I believe that that should take care of everything. I realize that you will need to review the attached and the content in <br /> CERS. <br /> Please let me know if you have any questions or concerns at (209) 356-5018 or mike.sonke@oneatlas.com. <br /> Thanks! <br /> Mike <br /> Michael D. Sonke <br /> Project Manager I GHG Specialist I Business Development <br /> A All <br /> Mir Il IEW <br /> 1117 Lone Palm Avenue, Suite 201 B <br /> Modesto, California 95358 <br /> C: 209.356.5018 0: 209.579.2221 <br /> mike.son ke(aDoneatlas.com <br /> OneAtlas.com I Linkedln I Facebook I Twitter <br />
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