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COMPLIANCE INFO_PRE 2019
Environmental Health - Public
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2800 - Aboveground Petroleum Storage Program
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PR0516327
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COMPLIANCE INFO_PRE 2019
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Last modified
12/29/2021 6:08:55 PM
Creation date
8/19/2021 8:45:35 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2800 - Aboveground Petroleum Storage Program
File Section
COMPLIANCE INFO
FileName_PostFix
PRE 2019
RECORD_ID
PR0516327
PE
2832
FACILITY_ID
FA0006674
FACILITY_NAME
OWENS-BROCKWAY GLASS CONTAINER INC
STREET_NUMBER
14700
Direction
W
STREET_NAME
SCHULTE
STREET_TYPE
RD
City
TRACY
Zip
95376
APN
209-240-24
CURRENT_STATUS
01
SITE_LOCATION
14700 W SCHULTE RD
P_LOCATION
99
P_DISTRICT
005
QC Status
Approved
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SJGOV\kblackwell
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EHD - Public
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The following is an itemized list of aboveground petroleum storage act violations that <br /> have not been addressed for OWENS-BROCKWAY GLASS CONTAINER INC as of <br /> October 04, 2016. <br /> Open violations from April 14, 2016 inspection <br /> Violation#706 - Failed to provide and maintain adequate secondary containment. <br /> According to the site inspection and according to the reviewed tank assessment report, prepared by <br /> Canestoga-Rove rs&Associ ates(dated August 15, 2012), the 450-gallon and 1750-gallon waste oil tanks appear to have <br /> insufficient secondary containment. The reviewed waste oil tank assessment, indicated the oil water separator pit used as <br /> secondary containment for the 1,750-gallon tank"doesn't appear to meet the requirements of 22 CCR 66265.193 and it <br /> didn't appear to be lined and cracks were observed in concrete above the liquid level in the pit". Furthermore, according to <br /> the same tank assessment, the 450-gallon waste oil tank has no secondary containment. Also,the oily waste mixture, <br /> referred to as"biosol" and used in the glass making process, discharges directly from the glass making area into an <br /> unlined area where it pools and subsequently flows into the in-ground oil water separators. All bulk storage tanks must be <br /> provided with a secondary means of containment for the entire capacity of the tank and sufficient freeboard to contain <br /> precipitation. Immediately provide sufficient secondary containment for this and all other tanks at this facility. <br /> #706 RESPONSE TO THE RECEIVED RETURN TO COMPLIANCE CORRECTIVE ACTION <br /> STATEMENT(RTC): The submitted SPCC plan is conditional pending the installation of <br /> adequate secondary containment for above ground storage containers. As such, this facility is <br /> still out of compliance until the adequate secondary containment is provided. Submit proof of <br /> correction to the EHD. <br /> Violation#710 - Failed to maintain records of drainage from diked areas. <br /> Records of drainage of uncontaminated rainwater from diked areas were not found on site. Adequate records (or NPDES <br /> permit records) of drainage from diked areas shall be retained. Immediately begin maintaining adequate records (or <br /> NPDES permit records) of drainage from diked areas. Submit proof of correction to the EHD. <br /> #710 RESPONSE TO THE RECEIVED RETURN TO COMPLIANCE CORRECTIVE ACTION <br /> STATEMENT(RTC): The submitted return to compliance documentation indicates that"Owens <br /> will. [...], create an inspection record[drainage record]to use in the event when we have a <br /> discharge."The reviewed SPCC plan indicated that facility is not required to maintain and <br /> complete a drainage release log. Please clarify this inconsistency, and submit a revised <br /> corrective action statement, as necessary. <br /> Violation#712 -Failed to perform tank inspections that take into account size, configuration, and design. <br /> API-653 Tank reports (dated 6-13-2012), prepared for the 450-gallon and the 1,750 gallon waste oil tanks, were reviewed at <br /> the time of inspection. No integrity testing reports were available for the rest of the onsite tanks. The reviewed API-653 Tank <br /> reports could only be utilized for these tanks, if these tanks were built according to the APA-650 standards. However, <br /> according to the reviewed API-653 Tank reports reports, these tanks (for which these integrity testing reports were prepared, <br /> the 450-gallon and the 1,750-gallon tanks), "were not built to any observed codes". Each aboveground container shall be <br /> tested and inspected for integrity on a regular schedule and whenever repairs are made. The qualifications of personnel <br /> performing tests and inspections, frequency and type of testing and inspections that take into account container size, <br /> configuration, and design shall be determined in accordance with industry standards. Examples of these integrity tests <br /> include, but are not limited to: visual inspection, hydrostatic testing, radiographic testing, ultrasonic testing, acoustic emissions <br /> testing, or other systems of non-destructive testing. Comparison records and other records of inspections and tests must be <br /> maintained on site. Immediately conduct the necessary testing and submit a copy of the test results to the EHD, or provide <br /> equivalence as allowed by CFR 112.7(a)(2). Submit proof of correction to the EHD. <br /> #712 RESPONSE TO THE RECEIVED RETURN TO COMPLIANCE CORRECTIVE ACTION <br /> STATEMENT(RTC): The submitted return to compliance documentation for this violation ndicates <br /> that"Owens is currently performing daily inspections of its hazardous waste used oil tank system." <br /> According to the reviewed SPCC plan (page 31), for all existing site tanks(category A, B, C and D <br /> tanks) visual inspections, as well as formal external inspections by a certified inspector and a leak <br /> testing every 10 years, and a leak testing every 5 years per California Hazardous Waste are <br /> required. As such, implement all appropriate inspections/testing for all regulated containers, and <br /> submit proof of correction to the EHD. <br /> Page 3 of 4 <br />
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