Laserfiche WebLink
SAN JOAQUIN Environmental Health Department <br /> —COUNTY <br /> CP26 - UST FULL Inspection Report <br /> Facility Name: Facility Address: Date: <br /> STOP N SHOP 11856 W COUNTRY CLUB BLVD, STOCKTON June 12, 2026 <br /> 4 23 CCR 16 2613(a)(4) and (b), 2650(a), (c), and (e) 2011012 - Facility has submitted and maintains a monitoring site <br /> plan <br /> OBSERVATION: Owner/Operator failed to submit and maintain a monitoring site plan for approval by the UPA. The <br /> following elements were missing: <br /> - no monitoring panel <br /> - no annular sensor indicated <br /> -floats &chains not on map for UDCs <br /> - no Line Leak Detector indicated <br /> REGULATION GUIDANCE: (c) Monitoring Site Plan —Owners or operators must submit a monitoring site plan for <br /> approval by the Unified Program Agency. The monitoring site plan must include, but is not limited to, the following: (1)A <br /> scaled diagram indicating the layout of the tank(s) and piping to the extent known, including containment sumps; (2) <br /> Locations of all release detection equipment; and (3) If applicable, each vacuum, pressure, or hydrostatic interstitial <br /> monitoring zone. <br /> CORRECTIVE ACTION: Submit and maintain a monitoring site plan. <br /> This is a Repeat(Class 2)Violation. <br /> 5 23 CCR 16 2613(a)(6) and (b), 2650(a), (d), and (e) 2011013 - Facility has submitted a complete and accurate UST <br /> Response Plan <br /> OBSERVATION: Owner/Operator failed to submit a complete and accurate UST Response Plan. <br /> -The response plan is not approved by the EHD. The Hazardous Materials Business Plan: Emergency Response <br /> Contingency Plan was submitted as the UST Response Plan, which does not meet the requirements of the UST <br /> Response Plan. <br /> REGULATION GUIDANCE: (d) Response Plan —Owners or operators must submit a response plan to the Unified <br /> Program Agency which demonstrates, to the satisfaction of the Unified Program Agency, that any unauthorized release <br /> will be removed from the secondary containment as soon as practical. This must be within a time consistent with the <br /> ability of the secondary containment to contain the hazardous substance but must not exceed 30 days. The response <br /> plan must include, but is not limited to, the following: (1)A description of the proposed methods and equipment to be <br /> used for removing and properly disposing of any hazardous substances, including the location and availability of the <br /> required equipment if not permanently on site, and an equipment maintenance schedule for the equipment located on <br /> site. (2) For methods of monitoring where the presence of the hazardous substance in the interstitial space cannot be <br /> determined directly, for example, where liquid level measurements are used as the basis for determination, the response <br /> plan must specify the proposed method(s)for determining the presence or absence of the hazardous substance if the <br /> indirect method indicates a possible unauthorized release of hazardous substance. (3)The name(s), title(s) and <br /> emergency contact information of the person(s) responsible for authorizing any work necessary under the response plan <br /> or, if applicable, identify that there is a continuously staffed emergency operations center authorized to coordinate such a <br /> response and provide a 24-hour phone number for that center. <br /> CORRECTIVE ACTION: Submit a complete and accurate UST Response Plan. <br /> This is a Repeat(Class 2)Violation. <br /> EHD-CUPA Inspection Report IS03 Page 5 of 8 FA0001909 PR0231069 4660247 6/16/2026 <br /> a <br /> CP26-UST FULL g <br /> 1868 E. Hazelton Avenue I Stockton, California 95205 1 T 209 468-3420 1 F 209 464-0138 1 www.sjgov.org/EHD <br />