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COMPLIANCE INFO_2022
Environmental Health - Public
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EHD Program Facility Records by Street Name
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2800 - Aboveground Petroleum Storage Program
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PR0524264
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COMPLIANCE INFO_2022
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Entry Properties
Last modified
2/10/2023 2:10:29 PM
Creation date
8/22/2022 1:34:38 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2800 - Aboveground Petroleum Storage Program
File Section
COMPLIANCE INFO
FileName_PostFix
2022
RECORD_ID
PR0524264
PE
2832
FACILITY_ID
FA0006141
FACILITY_NAME
A L POWELL TRUCKING
STREET_NUMBER
23534
Direction
E
STREET_NAME
ARTHUR
STREET_TYPE
RD
City
ESCALON
Zip
95320
APN
22903010
CURRENT_STATUS
01
SITE_LOCATION
23534 E ARTHUR RD
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
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SJGOV\kblackwell
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EHD - Public
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3 <br />Sandy: <br />Some clients make a workday better.......you and Robert accomplish this every time. Have a great weekend <br />and I will work on the DRAFT submittals today. Hi to Garrett for me. <br />Paul <br />SPC Corp <br />From: apowelltrk@velociter.net <apowelltrk@velociter.net> <br />Sent: Friday, July 22, 2022 7:11 AM <br />To: DPaul McWhorter <spccorp@hotmail.com> <br />Subject: Re: Re: SPCC Questions <br /> <br />Good morning Paul, <br /> <br />Thank you for coming by yesterday and going over all this with us. We feel better having a plan to get compliant with the <br />county. There should not be any issues to try to complete everything and have back to you by Sunday. Thanks for all your <br />help! <br /> <br /> <br />Thank you & have a great day! <br /> <br />Sandy Bomer <br />A. L. Powell Companies Inc <br />23534 Arthur Rd <br />Escalon, CA 95320-9766 <br />PH: (209) 838-7470 <br />FX: (209) 838-6316 <br /> <br />"Agriculture is the key to health" <br /> <br /> <br />-----Original Message----- <br />From: "DPaul McWhorter" <spccorp@hotmail.com> <br />Sent: Thursday, July 21, 2022 7:08pm <br />To: "Sandy Bomer" <apowelltrk@velociter.net> <br />Subject: Re: Re: SPCC Questions <br />Sandy and Robert: <br />I don't know if you obtained copies of the two NOVs (notices of violations) and the two Requests to re-certify <br />(submit corrections)---but here they are. <br />Thanks again for the productive meeting today---here is our Recap: <br />1. First violation appears to be that the re-constructed masonry 2ndary containment was not annotated <br />in the file as meeting the federal requirement. The total volume (including displaced primary) is <br />13,000+ gallons which meets the Code requirement. I will re-enter this into the text of the SPCC plan <br />and re-submit to Kristina. <br />2. Robert to "process closure" of two ASTs (which we will identify)by: a) introducing CO2 (dry ice) in 30- <br />gallon increments into the primary vessel of each respective "closed" tank AND b) affixing the Out of <br />Service placards on each wall which is visible. We will provide photo proof of "inerting" the respective <br />tanks as well as provide a receipt for the said dry-ice. Please note: These two ASTs may be brought <br />back into use in the future pending notification of the CuPA if this is viable. <br />3. Robert to complete the 40-hr segment of the Training curriculum and: a) attempt to recover the <br />missing training roster which appears to have been relocated with the prior Facility Mgr, Garrett <br />Bomer (who is looking for the material); b) Robert to immediately implement a NEW training roster
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