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COMPLIANCE INFO_2024
Environmental Health - Public
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EHD Program Facility Records by Street Name
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2300 - Underground Storage Tank Program
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PR0231223
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COMPLIANCE INFO_2024
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Entry Properties
Last modified
4/2/2025 9:09:34 AM
Creation date
8/6/2024 7:47:45 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2300 - Underground Storage Tank Program
File Section
COMPLIANCE INFO
FileName_PostFix
2024
RECORD_ID
PR0231223
PE
2361 - UST FACILITY
FACILITY_ID
FA0002324
FACILITY_NAME
PACIFIC AVE
STREET_NUMBER
6131
STREET_NAME
PACIFIC
STREET_TYPE
AVE
City
STOCKTON
Zip
95207
APN
09746418
CURRENT_STATUS
Active, billable
QC Status
Approved
Scanner
SJGOV\lsauers1
Supplemental fields
Site Address
6131 PACIFIC AVE STOCKTON 95207
Tags
EHD - Public
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attach our list of free classes, but it is not a requirement for Abdul or anyone who trains your employees <br />to attend one of these —they're just a free option. But there are many options out there, so as long as <br />you can demonstrate that your employees have been provided with training on hazardous waste <br />managementthat was directed by a person trained in hazardous waste management procedures (Abdul <br />or anyone else), I'm happy to close this one out. - I spoke to Felix from Eco-Chek (our DO inspector for <br />this site) and he confirmed that he is qualified to perform the hazmat training and will conduct the <br />refresher training with the staff at the next scheduled DO inspection this month. He will send me the <br />completion checklist, which I will forward over once completed. <br />1 also want touring to your attention that I tried signing up for the webinar course for the <br />basic hazmat training prior to speaking with Felix and it would not allow me to add the course to <br />the cart and instead gave mean error message. I tried it from multiple browsers and computers <br />and it seems to bean issue with the site, so you may want to notify the powers that be about this <br />issue, in case others would like to sign up for this course. <br />Cal. Code Regs. Tit. 22, § 66265.16 -Personnel Training <br />State Regulations Compare <br />(a) Notwithstanding subsection (g), an owner or operator of a hazardous waste transfer, treatment, storage, of disposal facility shall ensure <br />that facility personnel successfully complete a training program through classroom, computer-based, or electronic instruction or on-the- <br />job training that teaches facility personnel to perform their duties in a way that ensures the facility's compliance with the requirements of <br />this chapter and section 5192, subsection (p), of Title 8, California Code of Regulations. Facility personnel engaged In shipping hazardous <br />waste shall be triennially trained commensurate with their responsibilities to meet the requirements in section 172.704 of Title 49, Code of <br />Federal Regulations. <br />(1) The owner or operator shall ensure that the training program Includes all the elements specified In this section. <br />II. - .,M -. 4 0. . 0 a I . . I and <br />must include Instruction that teaches facility personnel hazardous waste management procedures (Including, but not limited to, <br />contingency plan implementation and the identification and segregation of incompatible hazardous waste or product) relevant to <br />the positions in which they are employed. <br />• #11 —Resolved <br />• #38 —Resolved <br />• #48 — Resolved. The modified contingency plan being posted on site will be verified at the next <br />Hazardous Waste inspection. <br />Underground Storage Tank (UST) inspection: <br />• #2 —Resolved <br />• #3—Resolved <br />• #5—Resolved <br />• #10—Resolved <br />• #13 — Resolved <br />• #53—Resolved <br />• #56 & 59—These two are very closely related. Please provide an updated RTC statement for each that <br />takes into consideration our conversation yesterday and my notes below. Make sure to address your <br />plan for avoiding these issues in the future and the requirement to maintain records on site for 36 <br />months. <br />o I spoke with the program lead about this and she actually had some really good insight that I <br />wanted to share with you. One of the requirements for all UST facilities is to keep a written <br />record of all alarms and all responses to those alarms. Since the DO reports require <br />documentation of compliance issues and a response from the facility, we usually use the DO <br />
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