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COMPLIANCE INFO_2019
Environmental Health - Public
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2200 - Hazardous Waste Program
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PR0541027
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COMPLIANCE INFO_2019
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Last modified
1/6/2022 2:42:35 PM
Creation date
1/6/2022 2:17:53 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
2019
RECORD_ID
PR0541027
PE
2247
FACILITY_ID
FA0023489
FACILITY_NAME
CVS PHARMACY #16223
STREET_NUMBER
2800
STREET_NAME
NAGLEE
STREET_TYPE
RD
City
Tracy
Zip
95304
CURRENT_STATUS
01
SITE_LOCATION
2800 NAGLEE RD STE B
QC Status
Approved
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SJGOV\kblackwell
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EHD - Public
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Item #118: Record (proof) of employee hazardous waste re-training <br />? Additional training provided by Chris Yerzy is attached for your reference. <br />Item #119: Record of 2016 and 2017 hazardous waste training for Deidra Lopez <br />? We have requested to our Human Resources Department the training records for the colleague <br />Deidra Lopez, but unfortunately they were unable to locate this colleague records at this location <br />and nearby locations. However, we have confirmed that all employees that currently handle <br />hazardous waste and sign manifest are properly trained. <br />Items #403, 605: How has CVS addressed the issue of warfarin -contaminated containers, and paper towels <br />used to clean-up warfarin residues being temporarily stored in the Akrobin? <br />Regarding to items #403 and 605 regarding to the management of empty warfarin containers, the <br />CVS's Hazardous Waste Program requires that empty containers that previously contained warfarin <br />be securely closed in storage, with packaging material such as seals and cotton contained therein <br />and placed directly in the labeled pharmacy hazardous waste container with the appropriate <br />accumulation start date. We have reviewed proper warfarin -container management procedures <br />with pharmacy personnel to ensure compliance with the CVS's hazardous waste program. We have <br />received confirmation that all warfarin empty bottles were placed in the Stericycle hazardous waste <br />tote and removed from the store during the pickup performed on April 10, 2019 (Manifests <br />attached). Also, additional training was provided on the proper disposition of cleaning <br />materials such as alcohol wipes, paper towels, etc. by following the hazardous waste <br />program. <br />- Item #113: SJC EHD will continue to cite this violation as long as CVS continues to not include the weight of <br />the warfarin -contaminated containers when completing a Uniform Hazardous Waste Manifest, per DTSC's <br />current position on this subject stated in a letter dated August 2,2018. SJC EHD to provide a formal response <br />letter addressing this issue, shortly. <br />9. CVS 16982 <br />- Submit the signed Return To Compliance Certification form. <br />- Item #118: Record (proof) of employee hazardous waste re-training (Chris Yerzy provided reinforcement <br />training to staff regarding proper labeling and storage of hazardous waste, per CVS's response letter) <br />? Additional training provided by Chris Yerzy is attached for your reference. <br />- Item #113: SJC EHD will continue to cite this violation as long as CVS continues to not include the weight of <br />the warfarin -contaminated containers when completing a Uniform Hazardous Waste Manifest, per DTSC's <br />current position on this subject stated in a letter dated August 2,2018. SJC EHD to provide a formal response <br />letter addressing this issue, shortly. <br />10. CVS 16294 <br />- Submit the signed Return To Compliance Certification form. <br />- Item #118: Record (proof) of employee hazardous waste re-training (Chris Yerzy "worked with the Pharmacy <br />Manger to review the process and ensure consistent implementation of the program," per CVS's response <br />letter) <br />? Additional training provided by Chris Yerzy is attached for your reference. <br />Item #113: SJC EHD will continue to cite this violation as long as CVS continues to not include the weight of <br />the warfarin -contaminated containers when completing a Uniform Hazardous Waste Manifest, per DTSC's <br />current position on this subject stated in a letter dated August 2,2018. SJC EHD to provide a formal response <br />letter addressing this issue, shortly. <br />11. CVS 16856 <br />- Submit the signed Return To Compliance Certification form. <br />9 Additional training provided by Chris Yerzy is attached for your reference. <br />
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