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SANJOARIN Environmental Health Department <br /> —COUNTY <br /> Aboveground Petroleum Storage Act Inspection Report <br /> Facil it,Nan.: I Facility Address: Oat.: <br /> Gemco Ripon Truck Plaza Inc. 1022 E FRONTAGE R0, RIPON February 10, 2020 <br /> SUMMARY OF VIOLATIONS <br /> (CLASS I,CLASS II,or MINOR-Nati..m Comply) <br /> Item M Remarks <br /> 720 CFR 112.8(dx1)Failed to provide corrosion protection for buried piping. <br /> The facility has buried piping and the SPCC plan states that piping is cathodically protected.Facility manager stated <br /> that the underground piping is fiberglass and that it is not cathodically protected. Pictures from previous inspections <br /> indicate that the piping is fiberglass. <br /> Facility transfer operations,pumping, and facility process.(1)Protide buried piping that is installed or replaced on or <br /> after August 18, 2002,with a protective wrapping and coating.You must also cathodically protect such buried piping <br /> installations or otherwise satisfy the corrosion protection standards for piping in part 280 of this chapter or a State <br /> program approved under part 281 of this chapter.If a section of buried line is exposed for any reason,you must <br /> carefully inspect it for deterioration.If you find corrosion damage, you must undertake additional examination and <br /> corrective action as indicated by the magnitude of the damage. <br /> The SPCC plan must address the correct corrosion protection for the buried piping.Amendment of this section will <br /> require a Professional Engineer Certification. <br /> This is a Class II violation. <br /> 721 CFR 112.8(dx2)Failed to cap blank-flange connection at transfer point and mark its origin if not in service. <br /> Piping inside the secondary containment structure of the 20,000 gallon tankswas not capped or blank-flanged and <br /> was not marked as to its origin.The piping was not in service.The piping was observed to be open at one end and it <br /> was not known where the piping terminated.There were three different pipes that were observed at the time of the <br /> inspection. <br /> Cap or blank-flange the terminal connection at the transfer point and mark it as to origin when piping is not in <br /> service or is in standby service for an extended time <br /> Cap or blank-flange the terminal connection and mark it as to origin for all piping that is not in service or is in <br /> standby service for an extended time. Provide statements to the EHD when this has been completed. <br /> This is a Class II violation. <br /> Overall Inspection Comments: <br /> An inspection checklist was provided to the facility operator on the day of inspection on 0211012020.The EHD <br /> has written the complete report on 02/14/2020 which replaces the initial checklist. <br /> Complete and submit a copy of the Return to Compliance Certification form to the EHD with a statement <br /> documenting the corrective actions that have been or will be taken for each violation, and any supporting <br /> paperwork,within 30 days of receiving the complete inspection report. <br /> FMOY5W PR05161S1 S0301 0210202t <br /> E11018U1 Rcr.QcQcW8 Page 15 of 18 Abaveg JPtlr SWr AC OR <br /> 1868 E. Hazelton Avenue I Stockton,California 95205 1 T 209 488-3420 1 F 209 4840138 1 www.sjoehd.com <br />