alameda county cupa inspection of oakland hazardous facility

47

Upload: darwinbondgraham

Post on 02-Feb-2016

45 views

Category:

Documents


0 download

DESCRIPTION

The Alameda County CUPA cited the Oakland Fire Department in August 2015 for numerous violations at its Oakland hazardous waste storage facility.

TRANSCRIPT

Page 1: Alameda County CUPA Inspection of Oakland Hazardous Facility
Page 2: Alameda County CUPA Inspection of Oakland Hazardous Facility

Violation Code Definition/Section:

Failure to properly complete the Hazardous Waste manifest. 22 CCR 12 66262.23(a)

Violation Comments: OBSERVATION: During the inspection, OFD personnel said there were no available disposal records (uniform hazardous waste manifest, receipts for disposal to Alameda County household hazardous waste) for the facility. According to OFD, hazardous waste is disposed every 90 days which should result to a minimum of 12 manifests. According to DTSC's hazardous waste tracking system, there are two manifests for the facility - 2075017 FLE dated 5/9/14 and 4772459 SKS dated 3/27/15.

Copies of hazardous waste disposal records for the last three years were not found on site. Hazardous waste generators shall retain copies of all manifests and receipts signed off by the disposal facility and have them readily available for review.

Violation Code Definition/Section: Failure to complete the uniform hazardous waste manifest exception requirements. 22 CCR 12 66262.42

OBSERVATION: Copies of hazardous waste disposal records for the last three years were not found on site.

o NVO 0 UD 0 NA • VO 0 COS 0 RPT

Violation Code Definition/S,ection: "Failure to maintain uniform hazardous waste manifest, consolidated manifest, or bills of lading copies for three years. 22 CCR 12 66262.40(a)"

Violation Comments: OBSERVATION: During the inspection, OFD personnel said there were no available disposal records (uniform hazardous waste manifest, receipts for disposal to Alameda County household hazardous waste) for the facility. According to OFD, hazardous waste is disposed every 90 days which should result to a minimum of 12 manifests. According to DTSC's hazardous waste tracking system, there are two manifests for the facility - 2075017 FLE dated 5/9/14 and 4772459 SKS dated 3/27/15.

Copies of hazardous waste disposal records for the last three years were not found on site. Hazardous waste generators shall retain copies of all manifests and receipts signed off by the disposal facility and have them readily available for review.

Violation Code Definition/Section: Failure to send hazardous waste manifest copies to DTSC. 22 CCR 12 66262.23(a)(4)

Violation Comments: OBSERVATION: During the inspection, OFD personnel said there were no available disposal records (uniform hazardous waste manifest, receipts for disposal to Alameda County household hazardous waste) for the facility. According to OFD, hazardous waste is disposed every 90 days which should result to a minimum of 12 manifests. According to DTSC's hazardous waste tracking system, there are two manifests for the facility - 2075017 FLE dated 5/9/14 and 4772459 SKS dated 3/27/15.

Copies of hazardous waste disposal records for the last three years were not found on site. Hazardous waste generators shall retain copies of all manifests and receipts signed off by the disposal facility and have them readily available for review.

Version Ala1.3L Page 2 of16

Page 3: Alameda County CUPA Inspection of Oakland Hazardous Facility

NVO = No Violation Observed UD = Undetermined NA = Not Applicable VO = Violation Observed COS = Corrected On Site RPT =

D NVO D UD • NA D VO D COS D RPT

Violation Code Definition/Section: "Failure to meet any of the following consolidated manifest requirements: 1) Legible receipts for each quantity of hazardous waste that is received from a generator, 2) The generator's information (name, address, identification number, contact person, telephone number of the generator, the signature of the generator or the generator's representative), 3) Date of the shipment, 4) The manifest number, 5) The volume or quantity of each waste stream received, 6) The name, address, and identification number of the authorized facility to which the hazardous waste will be transported, 7) The transporter's information (name, address, and identification number, the driver's signature), 8) A statement, signed by the generator, certifying that the generator has established a program to reduce the volume or quantity and toxicity of the hazardous waste to the degree economically practicable. 9) The generator shall retain each receipt for at least three years. 22 CCR 12 66262.40(a); HSC 6.5 25160.2"

OBSERVATION: Consolidated hazardous waste manifest does not apply to the facility's waste stream.

Violation Code Definition/Section: Failure to retain paperwork documenting disposal of used oil for three years. HSC 6.5 25250.19(c)

Violation Comments: OBSERVATION: During the inspection, OFD personnel said there were no available disposal records (uniform hazardous waste manifest, receipts for disposal to Alameda County household hazardous waste) for the facility. According to OFD, hazardous waste is disposed every 90 days which should result to a minimum of 12 manifests. According to DTSC's hazardous waste tracking system, there are two manifests for the facility - 2075017 FLE dated 5/9/14 and 4772459 SKS dated 3/27/15 - which did not include used oil.

Copies of hazardous waste disposal records for the last three years were not found on site. Hazardous waste generators shall retain copies of all manifests and receipts signed off by the disposal facility and have them readily available for review.

Violation Code Definition/Section: Failure to retain disposal records of spent lead acid batteries for three years. Note: A manifest or bill of lading is not required for the disposal of 10 or less intact (undamaged) spent lead-acid batteries. 22 CCR 16 66266.81 (a)(4)(B)

Violation Comments: OBSERVATION: During the inspection, OFD personnel said there were no available disposal records (uniform hazardous waste manifest, receipts for disposal to Alameda County household hazardous waste) for the facility. According to OFD, hazardous waste is disposed every 90 days which should result to a minimum of 12 manifests. According to DTSC's hazardous waste tracking system, there are two manifests for the facility - 2075017 FLE dated 5/9114 and 4772459 SKS dated 3/27115 - which did not include spent lead acid batteries.

Copies of hazardous waste disposal records for the last three years were not found on site. Hazardous waste generators shall retain copies of all manifests and receipts signed off by the disposal facility and have them readily available for review.

Verslon Ala1.3L Page 3 of 16

Page 4: Alameda County CUPA Inspection of Oakland Hazardous Facility

NVO = No Violation Observed UD = Undetermined NA = Not Applicable VO = Violation Observed COS = Corrected On Site RPT = Repeat Violation

Violation Code Definition/Section:

"Failure to determine if the waste generated is a hazardous waste and to maintain analysis results for three years. 22 CCR 12 66262.11, 66262.40(c)"

Violation Comments: OBSERVATION: During the inspection, OFD personnel said there were no available disposal records (uniform hazardous waste manifest, receipts for disposal to Alameda County household hazardous waste) and hazardous waste profile documentation for the facility. According to OFD, hazardous waste is disposed every 90 days which should result to a minimum of 12 manifests. According to DTSC's hazardous waste tracking system, there are two manifests for the facility - 2075017 FLE dated 5/9/14 and 4772459 SKS dated 3/27/15.

Copies of hazardous waste profiles for the last three years were not found on site.

DNVO DUD DNA .VO DCOS DRPT

Violation Code Definition/Section: Failure of the generator to determine if the waste is restricted from land disposal. 22 CCR 18 66268.7(a)

Vio/ation Comments: OBSERVATION: During the inspection, OFD personnel said there were no available disposal records (uniform hazardous waste manifest, receipts for disposal to Alameda County household hazardous waste) and land disposal restriction (LDR) documentation for the facility. According to OFD, hazardous waste is disposed every 90 days which should result to a minimum of 12 manifests. According to DTSC's hazardous waste tracking system, there are two manifests for the facility - 2075017 FLE dated 5/9/14 and 4772459 SKS dated 3/27/15.

Copies of LOR documentation for the last three years were not found on site.

D NVO D UD • NA D VO D COS D RPT

Violation Code Definition/Section:

Failure of any person who recycles more than 100 kilograms per month of recyclable material under a claim that the material qualifies for exclusion or exemption, to provide the following information every two years: 1) The name, site address, mailing address, and telephone number of the owner or operator of any facility that recycles the material. 2) The name and address of the generator of the recyclable material. 3) Documentation that the requirements of any exemptions or exclusions pursuant to HSC 25143.2 are met, including the following: A) Where a person who recycles the material is not the same person who generated the recyclable material, documentation that there is a known market for disposition of the recyclable material and any products manufactured from the recyclable material. B) Where the basis for the exclusion is that the recyclable material is used or reused to make a product or as a safe and effective

substitute for a commercial product, a .general description of the material and products, identification of the constituents or group of constituents, and their approximate concentrations, that would render the material or product hazardous under the regulations adopted oUlsu;amtoHSC25140and251 if it were a and which the I used.HSC6.525143.10

Version Ala1.3L Page4of16

Page 5: Alameda County CUPA Inspection of Oakland Hazardous Facility

Violation Code Definition/Section: "Failure to properly label hazardous waste accumulation containers with the following requirements: ""Hazardous Waste"", name and address of the generator, physical and chemical characteristics of the Hazardous Waste, and starting accumulation date. 22 CCR 12 66262.34(1)"

Violation Comments: OBSERVATION: Hazardous waste containers were not labeled or not properly labeled. Hazardous waste containers shall be marked with the following information: 1) the words "Hazardous Waste"; 2) name and address of generator; 3) hazardous properties; 4) physical state; 5) composition (contents); 6) accumulation start date.

CORRECTIVE ACTION: Immediately label all hazardous waste containers with the' required information and empty containers with "EMPTY". Facility will be re-inspected after 30 days for compliance.

Violation Code Definition/Section:

"Failure to dispose of hazardous waste within 180 days (or 270 if waste is transported over 200 miles) for the generator who generates less than 1000 kilogram per month, but more than 100 kilograms per month. 22 CCR 12 66262.34(d)"

OBSERVATION: OFD CCF is an emergency response hazardous waste storage facility and operates under an emergency transportation variance (6191)which requires disposal every 90 days.

Violation Code Definition/Section: Failure to dispose of hazardous waste after the first 100-kilogram threshold amount was accumulated within a 90 day period. 22 CCR 12 66262.34(b)(1)

OBSERVATION: OFD CCF is an emergency response hazardous waste storage facility and operates under an emergency transportation variance (6191) which requires disposal every 90 days.

Violation Code Definition/Section:

Failure to accumulate hazardous waste in a container that is in good condition. 22 CCR 12 66262.34(d)(2); 40 CFR 1 265.171

Violation Comments: OBSERVATION: Generator failed to accumulate hazardous waste in a container(s) that are in good condition. Containers that were corroded, cut open, not secured, damaged and leaking were observed during inspection.

CORRECTIVE ACTION: Immediately transfer all hazardous wastes into containers that are in good condltion or have hazardous wastes properly disposed of by a licensed hazardous waste hauler under a proper manifest within 30 days.

Version Ala1.3L Page 5 of16

Page 6: Alameda County CUPA Inspection of Oakland Hazardous Facility

NVO = No Violation Observed UD = Undetermined NA = Not Applicable VO = Violation Observed COS = Corrected On Site RPT = Repeat Violation

Violation Code Definition/Section:

Failure to accumulate or store hazardous waste in a lined/compatible container. 22 CCR 12 66262.34(d)(2); 40 CFR 1265.172

Violation Comments: OBSERVATION: Containers with unknown contents were observed outside the secured outdoor safety storage cabinet.

CORRECTIVE ACTION: Properly label and store hazardous waste in the secured outdoor safety storage cabinet. Facility will be re-inspected after 30 days for compliance.

DNVO DUD DNA -va DCOS DRPT

Violation Code Definition/Section: Failure to properly close hazardous waste containers when not in active use. 22 CCR 12 66262.34(d)(2); 40 CFR 1 265.173

Violation Comments: OBSERVATION: An unlabeled 5-gallon polyethylene bucket that was identified by OFD as solvent waste did not have a tightly-fitting lid and other containers that were cut open were observed during inspection.

CORRECTIVE ACTION: Immediately transfer all hazardous wastes into containers that are in good condition or have hazardous wastes properly disposed of by a licensed hazardous waste hauler under a proper manifest within 30 days.

D NVO D UD D NA _ va D cos D RPT

Violation Code Definition/Section: Failure to inspect hazardous waste storage areas at least weekly. 22 CCR 12 66262.34(d)(2); 40 CFR 1 265.174

Violation Comments: OBSERVATION: The sump in locker no. 3 contained free liquid from stored containers. No inspection log was found during inspection. Improper handling and storage of hazardous waste at the facility was observed during inspection.

CORRECTIVE ACTION: Properly clean and dispose of the sump waste immediately. Implement inspection at least weekly and maintain an inspection log at the facility. Thoroughly inspect the facility immediately and provide a log of inspections within 30 days.

Violation Code Definition/Section: "Failure to ensure incompatible waste and/or materials are not placed or stored in the same container or nearby or into an unwashed container, which previously contained incompatible waste and/or materials, so that it does not potentially result in the following: 1) Generate extreme heat or pressure, fire or explosion, or violent reaction; 2) Produce uncontrolled toxic mists, fumes, dusts, or gases in sufficient quantities to threaten human health or the environment; 3) Produce uncontrolled flammable fumes or gases in sufficient quantities to pose a risk of fire or explosions; 4) Damage the structural integrity of the device or facility containing the waste; or 5) Through other like means threaten human health or the environment. 22 CCR 12 66262.34(d)(2); 40 CFR 1 265.17(b), 265.177"

OBSERVATION: Facility has individual storage lockers to separate incompatible wastes.

Version Ala1.3L Page 6 of16

Page 7: Alameda County CUPA Inspection of Oakland Hazardous Facility

NVO :::: No Violation Observed UD = Undetermined NA = Not Applicable VO = Violation Observed COS = Corrected On Site RPT:::: Repeat Violation

ONVO DUD _NA OVO OCOS ORPT

Violation Code Definition/Section: inSIJection of the discharge systems, monitoring equipment, and tank levels. 22 CCR 12 66262.34(d)(2); 40

Violation Code Definition/Section: sUiTollOdine areas of the hazardous waste tanks. 22

Violation Code Definition/Section: "Failure to remove all hazardous waste from tanks, discharge control equipment, and discharge confinement structures upon closure. 22

Violation Code Definition/Section:

No shall remove, transfer, or dispose of the hazardous waste until permission for removal, transfer, or disposal is given by an HSC 6.5 25181.6

Violation Code Definition/Section: I or treat hazardous waste or provided false information submitted on the permit application and ather

Violation Code Definition/Section: Failure to handle contaminated used oil (other than minimal amounts of vehicle fuel) as a hazardous waste. HSC 6.5 25250.7

Violation Comments: OBSERVATION: Copies of hazardous waste disposal records for the last three years, were not found on site. No documentation was observed that generator handled contaminated used oil as hazardous waste.

Violation Code Definition/Section: recluil'enlerlts. as a generator, when handling, storing, and transporting more than 10 lead acid batteries

Version Ala1.3L Page 7 of 16

Page 8: Alameda County CUPA Inspection of Oakland Hazardous Facility

o NVO 0 UD • NA 0 VO 0 COS 0 RPT

Violation Code Definition/Section: Failure to meet hazardous waste storage requirements while operating a spent lead-acid battery exchange or partial exchange for operable lead-acid storage operation by either: 1) Storing more than one ton of spent batteries at anyone location for more than 180 days. 2) Storing one ton or less of spent batteries at anyone location for more than one year, or 3) Removing the electrolyte. 22 CCR 16

ONVO ~UD .NA OVO OCOS ORPT

Violation Code Definition/Section: "Failure to properly manage, store, and label a damaged lead acid batteries so as to minimize the release of acid and lead into the environment. 22 CCR 16 66266.81

o NVO 0 UD • NA 0 VO 0 COS 0 RPT

Violation Code Definition/Section: "Failure to properly handle, manage, label, and recycle used oil and fuel filters. 22 CCR 16 66266.130"

Vio/ation Code Definition/Section: Failure to meet the following requirements of excluded recyclable materials: 1) Used or reused as an ingredient in an industrial process to make a product if the material is not being reclaimed, 2) Used or reused as a safe and effective substitute for commercial products if the material is not being reClaimed, 3) Returned to the original process from which the material was generated, without first being reclaimed, if the material is returned as a substitute for raw material feedstock, and the process uses raw materials as principal feedstocks, 4) The material is recycled and used at the same facility at which the material was generated, or by the same corporate entity, 5) The material is recycled within the applicable generator accumulation time, 6) The material is managed in accordance with all applicable requirements for generators of hazardous wastes, 7) If the material is held in a container or tank, the container or tank is labeled, marked, and placarded in accordance with the department's hazardous waste labeling, marking, and placarding requirements which are applicable to generators, except that the container or tank shall be labeled or marked clearly with the words "Excluded Recyclable Material" instead of the words "Hazardous Waste," 8) If the material is used oil, the containers, aboveground tanks, and fill pipes used to transfer oil into underground storage tanks shall also be labeled and clearly marked with the words "Used Oil", 9) The owner or operator of the business location where the material is located has a business plan that meets the following minimal requirements: emergency response plans and procedures, which specifically address the material or that meets the emergency response and contingency requirements which are applicable to generators of hazardous waste, and

The material shall be stored and handled in accordance with all local ordinances and codes. HSC 6.5 251

Violation Code Definition/Section: Failure to use a registered hazardous waste hauler to transport hazardous wast~. 22 CCR 13 66263.41; HSC 6.5 25163(a)

Violation Comments: OBSERVATION: During the inspection, OFD personnel said there were no available disposal records (uniform hazardous waste manifest, receipts for disposal to Alameda County household hazardous waste) for the facility. According to OFD, hazardous waste is disposed every 90 days which should result to a minimum of 12 manifests. OFD also stated that prior to 3/27115 a company named Arthur Young was used by OFD to dispose of hazardous waste from the facility. Arthur Young was not found in DTSC's list of active transporters.

Version Ala1.3L Page 8 of 16

Page 9: Alameda County CUPA Inspection of Oakland Hazardous Facility

Violation Code Definition/Section: Failure to properly dispose of hazardous waste at an authorized location. HSC 6.5 25189.5(a)

Violation Comments: OBSERVATION: During the inspection, OFD personnel said there were no available disposal records (uniform hazardous waste manifest, receipts for disposal to Alameda County household hazardous waste) for the facility. According to OFD, hazardous waste is disposed every 90 days which should result to a minimum of 12 manifests. According to DTSC's hazardous waste tracking system, there are two manifests for the facility - 2075017 FLE dated 5/9/14 and 4772459 SKS dated 3/27/15. Copies of hazardous waste disposal records for the last three years were not found on site.

OFD did not use a registered hazardous waste hauler to transport hazardous waste and did not have records of the final destination of the hazardous waste.

Violation Code Definition/Section: "Failure to post, next to the telephone, Emergency Information (SQG) containing the location of emergency equipment, contact names and numbers. 22 CCR 12 66262.34(d)(2); 40 CFR 1 262.34(d)(5)(ii)"

Violation Comments: OBSERVATION: Generator failed to post, next to the telephone or a conspicuous area, emergency information containing the location of emergency equipment, contact names and numbers.

CORRECTIVE ACTION: Generator shall immediately post, next to the telephone or in a conspicuous area, emergency information that contains the required information in accordance with Title 22. Facility will be re-inspected after 30 days for compliance.

o NVO 0 UD • NA 0 va 0 cos

Violation Code Definition/Section:

Violation Code Definition/Section: "Failure to maintain and operate the facility to minimize the possibility of a fire, explosion, or any unplanned sudden or non-sudden release of hazardous waste or hazardous waste constituents to the air, soil, or surface water which could threaten human health or the environment. 22 CCR 12 66262.34(d)(2); 40 CFR 1265.31"

Violation Comments: OBSERVATION: Containers with unknown contents and over 20 compressed gas cylinders were observed outside the secured outdoor safety storage cabinet. The sump/secondary containment in locker no. 3 contained free liquid.

CORRECTIVE ACTION: Facility must properly label, store and dispose of all hazardous waste. Facility will be re-inspected after 30 days.

VersIon Ala1.3L Page 9 of16

Page 10: Alameda County CUPA Inspection of Oakland Hazardous Facility

NVO = No Violation Observed UD = Undetermined NA = Not Applicable VO = Violation Observed COS = Corrected On Site RPT = Repeat Violation

o NVO 0 UD 0 NA • va 0 cos 0 RPT

Violation Code Definition/Section: "Failure of the facility to maintain the following emergency equipment or equivalents: 1} An internal communications or alarm system capable of providing immediate emergency instruction (voice or signal) to facility personnel; 2) A device, such as a telephone (immediately~ available at the scene of Operations! Maintenance) or a hand-held two-way radio, capable of summoning emergency assistance from local police departments, fire departments, or State or local emergency response teams; 3) Portable fire extinguishers, fire control equipment (including special extinguishing equipment, such as that using foam, inert gas, or dry chemicals), spill control equipment, and decontamination equipment; and 4} Water at adequate volume and pressure to supply water hose streams, or foam producing equipment, or automatic sprinklers, or water spray systems. 22 CCR 12 66262.34(d)(2); 40 CFR 1 265.32"

Violation Comments: OBSERVATION: Generator failed to maintain at the facility one or more of the following emergency equipment or equivalents: 1} An internal communications or alarm system capable of providing immediate emergency instruction (voice or signal) to facility personnel; 2) A device, such as a telephone (immediately available at the scene of Operations! Maintenance) or a hand-held two-way radio, capable of summoning emergency assistance from local police departments, fire departments, or State or local emergency response teams; 3) Portable fire extinguishers, fire control equipment (including special extinguishing equipment, such as that using foam, inert gas, or dry chemicals), spill control equipment, and decontamination equipment; and . 4) Water at adequate volume and pressure to supply water hose streams, or foam producing equipment, or automatic sprinklers, or water spray systems.

OFD stated emergency equipment was last serviced in 2013 which was when the storage units were installed. During the inspection, OFD staff worked alone in the facility - loading/unloading/handling unknown hazardous waste. It is recommended that handlers of hazardous waste at the facility work in a buddy system for safety.

o NVO 0 UD 0 NA • VO 0 COS 0 RPT

Violation Code Definition/Section: "Failure of the facility to test and maintain all communications or alarm systems, fire protection equipment, spill control equipment, and decontamination equipment. 22 CCR 12 66262.34(d)(2); 40 CFR 1265.33"

Violation Comments: OBSERVATION: Generator failed to maintain at the facility one or more of the following emergency equipment or equivalents: 1) An internal communications or alarm system capable of providing immediate emergency instruction (voice or signal) to facility personnel; 2) A device, such as a telephone (immediately available at the scene of Operations/ Maintenance) or a hand-held two-way radio, capable of summoning emergency assistance from local police departments, fire departments, or State or local emergency response teams; 3) Portable fire extinguishers, fire control equipment (including special extinguishing equipment, such as that using foam, inert gas, or dry chemicals), spill control equipment, and decontamination equipment; and 4) Water at adequate volume and pressure to supply water hose streams, or foam producing equipment, or automatic sprinklers, or water spray systems.

OFD stated emergency equipment was last serviced in 2013 which was when the storage units were installed. During the inspection, OFD staff worked alone in the facility - loading/unloading/handling unknown hazardous waste. It is recommended that handlers of hazardous waste at the facility work in a buddy system for safety.

Version Ala1.3L Page10of16

Page 11: Alameda County CUPA Inspection of Oakland Hazardous Facility

Violation Code Definition/Section: Failure to maintain aisle space to allow the unobstructed movement of personnel, fire protection, spill control equipment, and decontamination equipment to any area of facility operation in an emergency, unless it can be demonstrated to the Department that aisle space is not needed for any of these purposes. 22 CCR 12 66262.34(d)(2); 40 CFR 1265.35

Violation Comments: OBSERVATION: Generator failed to maintain aisle space to allow the unobstructed movement of personnel, fire protection, spill control eqUipment, and decontamination equipment to all areas of facility operation in an emergency and/or failed to demonstrate to the CUPA that aisle space is not needed for any of these purposes.

Violation Code Definition/Section: Failure to have an emergency coordinator or a designee onsite during operating hours. 22 CCR 12 66262.34(d)(2); 40 CFR 1 262.34(d) (5)(i)

Violation Comments: OBSERVATION: An emergency coordinator has not been designated and the Emergency Response Plan information is lacking or not updated and/or is not posted by phone or in a conspicuous area. There must be at least one emergency coordinator on site or on call to coordinate emergency response measures, and the following information must be posted by a phone: the name and phone number of the emergency coordinator; location of fire extinguishers, spill control equipment, and if present, fire alarm; and the phone number of the fire department, unless the facility has a direct alarm.

Facility has not submitted information to CERS.

CORRECTIVE ACTION: Immediately appoint an emergency coordinator and post the required information by a phone or in a conspicuous area. Submit required information to CERS within 30 days.

Violation Code Definition/Section: "Failure to notify the USEPA and obtain a federal 10 number prior to storing 5,000 kg or more of universal waste. 22 CCR 23 66273.32(a)"

Violation Code Definition/Section: "Failure of the universal waste handler, prior to storing 5,000 kg or more of non-RCRA universal waste, to obtain an ID number from the DelJartmelot. 22 23 '

Verslon Ala1.3L Page 11 of 16

Page 12: Alameda County CUPA Inspection of Oakland Hazardous Facility

Violation Code Definition/Section:

"Failure of the universal waste handler to initially train and provide annually, thereafter, all personnel who manage or who supervise those who manage universal wastes and to maintain a written record by date indicating the names of personnel who received the information. The universal waste handler shall maintain these records lor at least three years from the date the person last managed any universal waste at the facility. This training shall include: 1) The types and hazards associated with the universal waste that personnel may manage at the facility; 2) The proper disposition of universal wastes managed at the facility; 3) The proper procedures for responding to releases of universal wastes including the position titles and the means of contacting those personnel at the facility who are designated to respond to reports of releases and/or to respond to questions received from other personnel at the facility; and 4) The requirements of universal waste regarding labeling, collecting, handling, consolidating, and shipping universal wastes at the but not limited to, the prohibition on the disposal of universal wastes, and for personnel involved in shipping

"hazmat I ' . 22 CCR 23 66273.36"

Violation Code Definition/Section: "Failure to properly label the following categories of universal waste as: 1) Each batteries or the container in which the batteries are contained as ""Universal Waste-Battery(ies)"". 2) Each mercury-containing equipment or the container in which the mercury-containing equipment is contained as ""Universal Waste -Mercury-Containing Equipment''''. 3) Each Florescent lamp or the container or package in which the lamps are contained as ""Universal Waste-Lamp(s)''''. 4) Each electronic devices or the container or pallet in or on which the electronic devices are contained as ''''Universal Waste-Electronic Oevice(s)"". 5) Each CRTs or the container or pallet in or on which the CRTs are contained as ""Universal Waste-CRT(s),,". 6) A container of CRT glass shall be labeled or marked clearly with the following phrase: ""Universal Waste-CRT glass"". 7) In lieu of labeling individual electronic devices, CRTs, and/or containers of CRT glass pursuant to subsections d) through f) of this section, a universal waste handler may combine, package, and accumulate those universal wastes in appropriate containers or within a deSignated area demarcated by boundaries that are clearly labeled with the applicable portiones) of the following phrase: ""Universal , ,

Violation Code Definition/Section:

Failure to properly manage small sealed lead batteries destined for reclamation or recycling. 22 CCR 23 66273.2(a)

Violation Code Definition/Section: Failure to properly manage Mercury and Rechargeable batteries as a universal waste. 22 CCR 23 66273.2(b)(2)

Violation Code Definition/Section: nrnn~r'lv manage electronic waste that exhibits a hazardous characteristic of toxicity or destined to a class I landfill for disposal.

Version Ala1.3L Page 12 of16

Page 13: Alameda County CUPA Inspection of Oakland Hazardous Facility

Violation Code Definition/Section:

Violation Code Definition/Section:

P!~p::.~y_~manage m~rcury containing switches, amalgam, equipment, flooring, etc., which is destined for reclamation or

Violation Code Definition/Section: oroper'lv trlan,.oe mercurY o<,nt"iniI10 lamp bulbs which are destined for reclamation or recycling from the date the bulbs were

discalrde

Violation Code Definition/Section:

Failure to properly manage CRT tubes and glasses which are destined for reclamation or recycling from the date the equipment was first discarded or broken. 22 CCR 23 .66273.7

Violation Code Definition/Section: "Failure of the universal waste handler to manage universal waste aerosol cans in a manner that prevents fire, explosion, and the

unive,'sall i I "

Violation Code Definition/Section: "Failure to meet the following accumulation standards for universal waste aerosol cans: 1) A) Except when waste is added or removed or as provided in B), the container shall be· closed, structurally sound, and compatible with the contents of the universal waste aerosol can, and shall show no evidence of leakage, spillage, or damage that could cause leakage under reasonably foreseeable conditions. B) The closed container requirement in subparagraph (A) does not apply to a container used to accumulate universal waste aerosol cans prior to processing the cans or prior to shipping the cans offsite, except that the container shall be covered at the end of each workday. 2) The container shall be placed in a location that has sufficient ventilation to avoid formation of an explosive atmosphere, and shall be designed, built, and maintained to withstand pressures reasonably expected during storage and transportation. 3) A) The container shall be placed on or above a floor or other surface that is free of cracks or gaps and is sufficiently impervious and bermed to contain leaks and spills. B) Subparagraph (A) does not apply to a container used to accumulate universal waste aerosol cans prior to processing the cans or prior to shipping the cans offsite. 4) Incompatible materials shall be kept segregated and managed appropriately in separate containers. 5) A container holding flammable wastes shall be kept at a safe distance from heat and open flames.

A container used to hold universal waste aerosol cans shall be labeled or marked I with one of the following phrases: "

Version Ata1.3L Page 13'of16

Page 14: Alameda County CUPA Inspection of Oakland Hazardous Facility

Violation Code Definition/Section:

Failure of the universal waste handler to transfer universal waste to the appropriate designation facility. 22 CCR 23 66273.31(a)

o NVO 0 UD • NA 0 VO 0 COS 0 RPT

Violation Code Definition/Section:

Failure of the universal waste handler to properly process accumulated universal waste within a maximum accumulation time of one year and lor demonstrate the length of time that the universal waste has been accumulated from the date it became a waste or was received. The universal waste handler may make this demonstration by: 1) Placing the universal waste in a container and marking or labeling the container with the earliest date that any universal waste in the container became a waste or was received; 2) Marking or labeling the individual item of universal waste (e.g., each battery or thermostat) with the date it became a waste or was received; 3) Maintaining an inventory system onsite that identifies the date the universal waste being accumulated became a waste orwas received; 4) Maintaining an inventory system onsite that identifies the earliest date that any universal waste in a group of items of uniyersal waste or a group of containers of universal waste became a waste or was received; 5) Placing the universal waste in a specific accumulation area and marking or labeling the area to identify the earliest date that any universal waste in the area became a waste or was received; or

Any other method which demonstrates the length of time that the universal waste has been accumulated from the date it

Violation Code Definition/Section:

"Failure of the universal waste handler who either: 1) accepts more than 100 kilograms (or 220 pounds) of electronic devices, CRTs, and CRT glass calculated collectively, from any offsite sources in a calendar year shall, or 2) generates 5,000 kilograms (or 11,000 pounds; e.g., about 200 CRTs) or more of electronic devices, CRTs, and CRT glass calculated collectively, in a calendar year shall by February 1 of the following year, submit to the Department the following information: 1) Name of universal waste handler; 2) 10 Number of the universal waste handler, if applicable; 3) Telephone number of universal waste handler; 4) Mailing address of universal waste handler, and physical address, including county, if different from the mailing address; 5) Name of the contact person at the universal waste handler's site who should be contacted regarding universal waste management activities; 6) Telephone number of the contact person; 7) An e-mail address for the contact person or organization, if available; 8) The types of electronic devices, CRTs, and CRT glass handled; 9) The following quantities handled, which include any quantities handled but not shipped: a. The total quantity of electronic devices that are also CRT devices (count), handled during the previous calendar year; b. The total quantity of CRTs (count) handled during the previous calendar year; c. The total quantity of CRT glass (weight) handled during the previous calendar year; and d. The total quantity of electronic devices that are not also CRT devices (count or weight) handled during the previous calendar year; 10) A list conSisting of: a. The name, address, and telephone number for each of the locations to which the universal waste handler shipped electronic devices, CRTs, and CRT glass during the previous calendar year; and b. The following quantities shipped to each of those locations: 1. The total quantity of electronic devices that are also CRT devices (count), shipped to that location ring the previous calendar year; 2. The total quantity of CRTs (count) shipped to that location during the previous calendar year; 3. The total quantity of CRT glass (weight) shipped to that location during the previous calendar year; and 4. The total quantity of electronic devices that are not also CRT devices (count or weight) shipped to that location during the previous calendar year; 11) Whenever necessary, a universal waste handler who utilizes a mass-based inventory system to quantify electronic devices that are also CRT devices, CRTs, and electronic devices that are not also CRT devices, may convert mass data to count data through application of an appropriate conversion factor (e.g., 30 pounds per CRT) to fulfill the annual reporting requirement of subsection (d) of this section. A universal waste handler who performs such a data conversion(s) shall indicate that the count data were derived from mass data and shall

I i in the annual . 22 CCR 23 "

Version Ala1.3L Page-140f16

Page 15: Alameda County CUPA Inspection of Oakland Hazardous Facility

Vio/ation Code Definition/Section: Failure of the universal waste handler of electronic devices, CRTs, and CRT glass to prevent the release of the universal waste to the environment under reasonable conditions by the following methods: 1) Immediately clean spills and leaks of universal wastes; and 2) Place all universal waste spills and leaks in containers that are structurally sound and compatible with the universal waste. 22 CCR 23

Violation Code Definition/Section: Failure of the universal waste handler of electronic deVices, CRTs, and CRT glass who might accept and accumulate, but not treat, any electronic device, CRT, and/or CRT glass from an offsite source to submit to the Department, no later than 30 calendar days prior to accepting any electronic device, CRT and/or CRT glass, the following information: 1) Name of universal waste handler (If the facility owner is different than the facility operator, also include the owners name.); 2) ID Number of the universal waste handler, if applicable; 3) Telephone number of universal waste handler; 4) Mailing address of universal waste handler, and physical address, including county, if different from the mailing address; 5) Name of the contact person at the universal waste handler's site who should-be contacted regarding universal waste management activities;

Telephone number of the contact person; An e-mail address for the contact person or organization, if available; The types of electronic devices, CRTs, and/or CRT glass expected to be handled; The sources of the electronic devices, CRTs, and/or CRT glass (i.e., residential collections, business asset recovery, other collectors,

and statement whether the universal waste handler accumulate or more of universal waste at one time.

Violation Code Definition/Section: Failure of the universal waste handler who sends electronic devices, CRTs, and/or CRT glass to any foreign destination to complete the follow'lng: (1) Notify the Department 60 days prior to the intended export before any electronic devices, CRTs, and/or CRT glass are scheduled to leave the United States and cover all export activities extending over the next twelve (12) month or lesser period; (2) Concurrently send a copy of the notification required pursuant to subsection of this section, to the CUPA having jurisdiction over the universal '22

Version Ala1.3L Page150f16

Page 16: Alameda County CUPA Inspection of Oakland Hazardous Facility
Page 17: Alameda County CUPA Inspection of Oakland Hazardous Facility

Inspection Report

Q DEPARTMENT OF ENVIRONMENTAL HEALTH 1131 HARBOR BAY PARKWAY

'a ALAMEDA, CA 94502--654 (510) 567-6700

• hllQ:/Iwww.acgQv.org/acelV

10. I Address: City/State: I Zip Code: Date: 0"-0 " ."" • """ COLLECTION 7101 EDGEWATER DR OAKLAND, CA 94621 09/01/2015

g~e~F OAKLAND Facility email: Telephone None specified

FA#: I PR: I Program Element: Inspection Type: FA0322483 PR0521779 HMBP 6-10 TYPES HM, CATEGORY 1 COMPLAINT INSPECTION (FIELD) - HMBP

NVO : No Violation· UD: NA: Nnt, VO : Violation ' COS :, I On Site RPT: Repeat Violation

Has a .Ii" . m"" , ., nit CUPA Minor 0

D NVO DUD DNA . VO DCOS DRPT COMPLY BY: 10/1/2015

Violation Code Definition/Section: ALCO Title 6 6 .92 .050

Violation Comments:

Business Plan

I land . I a business plan CUPAClass2 1

DNVO DUD DNA . VO DCOS DRPT COMPLY BY: 10/1/2015

Violation Code Definition/Section: Failed to adequately establish and implement a Hazardous Materials Business Plan (HMBP) when storing andlor handling a hazardous material in reportable ·quantities. Emergency shutoffs for chemical processes or equipment are labeled. Emergency equipment (such as fire extinguishers, spill prevention & alarm equipment) tested & maintained as necessary (e.g. fire extinguishers assessed annually). Spill control and spill mitigation materials are available (e.g. absorbents, rags, or shop vacuum) . All containers are kept closed unless in use. All containers are in good condition. Containers stored in a manner to prevent rupture, leaking or structural deterioration.

, [

Containers are compatible with contents. Containers are properly labeled. All spills promptly addressed to prevent discharge to air, sailor surface water. Storage area is maintained to separate incompatible materials. 19 CCR 4 2729.1, 2731(c), 2732; HSC 6.95 25507 HSC 6.95 25507.

Containers of hazardous materials are disposed of properly when empty. 22 CCR 66261.7.

Violation Comments: OBSERVATION: The training program for safe handling of hazardous materials has not been adequately implemented as demonstrated by the UNSAFE HANDLING of CONTAINERS, CONTAINERS MUST BE KEPT CLOSED UNLESS IN USE; STORED IN A MANNER TO PREVENT RUPTURE, LEAKING, OR STRUCTURAL DETERIORATION; COMPATIBLE WITH CONTENTS. STORAGE AREA MAINTAINED TO SEPARATE INCOMPATIBLES.

CORRECTIVE ACTION : Submit documentation demonstrating employees have received training on safe handling of hazardous materials. A reinspection of the facility will be preformed within 30 days.

Business Plan

Version Ala1 .3L Page 1 of 5

Page 18: Alameda County CUPA Inspection of Oakland Hazardous Facility

o NVO 0 UD 0 NA • VO 0 COS 0 RPT COMPLY BY: 1011/2015

Violation Code Definition/Section:

"Failed to complete andlor electronically submit a complete Hazardous Materials Business Plan (HMBP) when storing andlor handling hazardous materials or a mixture containing a hazardous material at or above the threshold quantities: (1) equal to or greater than 500 pounds for a solid, 55 gallons for a liquid, or 200 cubic feet for a compressed gas, or (2) equal to or greater than the applicable f!3deral threshold planning quantity (TPQ) for an extremely hazardous substance (EHS) listed in Appendix A, Part 355, Title 40, of the Code of Federal Regulations. (3) radioactive materials that are handled in quantities for which an emergency plan is required to be adopted pursuant to Part 30 (commencing with Section 30.1), Part 40 (commencing with Section 40.1), or Part 70 (commencing with Section 70.1), of Chapter 10 of Title 10 of the Code of Federal Regulations (54 Federal Register 14051), or pursuant to any regulations adopted by the state in accordance with those regulations. HSC 6.95 25505, 25508(a)(1), 25508(d)"

Violation Comments: OBSERVATION: A business plan has not been received in CERS.

CORRECTIVE ACTION: Submit the business plan electronically in the California Environmental Reporting System (CERS) and implement immediately.

Notified property owner in writing that business is subject to HMBP program and has complied 3 o NVO 0 UD • NA 0 VO 0 COS 0 RPT

Violation Code Definition/Section: the owner or provide a copy of the Hazardous Materials Business Plan

4 o NVO 0 UD 0 NA • VO 0 COS 0 RPT COMPLY BY: 10/1/2015

Violation Code Definition/Section: "Failure to complete and electronically submit hazardous material inventory information for all reportable hazardous materials on site. HSC 6.95 25506, 25505(a)(1), 25508(a)(1)"

Violation Comments: OBSERVATION: The facility has not submitted the Hazardous Materials Inventory Chemical Description pages for the materials.

CORRECTIVE ACTION: Complete and submit the Hazardous Materials Inventory Chemical Description page for all materials stored in the CFF electronically in the California Environmental Reporting System (CERS).

Adequate completion and electronic submission of Owner/Operator and Business Activities Forms 5 o NVO 0 UD 0 NA • VO 0 COS 0 RPT

Violation Code Definition/Section:

CUPAMinor

COMPLY BY: 10/1/2015

"Failure to complete and electronically submit the Business Activities Page andlor Business Owner Operator Identification Page. HSC 25508(a)(1), 19 CCR 42729.2(a)(1)"

Violation Comments: OBSERVATION: An Emergency Response Plan and procedures has not been completed and submitted electronically to the CUPA.

CORRECTIVE ACTION: SUBMIT THE Emergency Response Plan and procedures TO CERS WITHIN 30 DAYS.

Version Ala1.3L Page 2 015

Page 19: Alameda County CUPA Inspection of Oakland Hazardous Facility

6 COMPLY BY: 10/1/2015

Violation Code Definition/Section: "Failure to complete and electronically submit an annotated site map with all required content (north orientation, loading areas, internal roads, adjacent streets, ,storm and sewer drains, access and exit points, emergency shutoffs, evacuation staging areas, hazardous material handling and storage areas, and emergency response equipment). Updates to existing maps to meet these requirements shall be completed by January 1, 2015. HSC 25505(a)(2), 25508(a)(1)"

Violation Comments: OBSERVATION: The annotated site map has not been completed and submitted to the CUPA.

CORRECTIVE ACTION: Complete an annotated site map and submit electronically in the California Environmental Reporting System (CERS).

o NVO 0 UD 0 NA • VO 0 COS 0 RPT COMPLY BY: 10/1/2015

Violation Code Definition/Section:

"Failure to establish and electronically submit an adequate Emergency Response Plan and procedures in the event of a reportable release or threatened release of a hazardous material, including, but not limited to, all of the following: . (A) Immediate notification to the appropriate local emergency rescue personnel and to the unified program agency. (B) Procedures for the mitigation of a release or threatened release to minimize any potential harm or damage to persons, property, or the environment. (C) Evacuation plans and procedures, including immediate notice, for the business site. HSC 6.95 25505(a)(3), 25508(a)(1)"

Violation Comments: OBSERVATION: An Emergency Response Plan and procedures has not been completed and submitted electronically to the CUPA.

CORRECTIVE ACTION: Complete the emergency response plan and procedures to include all required content and submit electronically in the California Environmental Reporting System (CERS).

"Annually reviewed and electronically certified that HMBP is complete, accurate and,up-to-date" 8 o NVO 0 UD • NA 0 VO 0 COS 0 RPT

Violation Code Definition/Section:

"Failure to annually review and electronically certify that the Hazardous Materials Business Plan (HMBP) is complete, accurate, and up-to-date. HSC 6.95 25508(c), 25508.2"

NO PLAN SUBMITTED AS OF TODAY- ANNUAL RENEWAL WILL BE BASED ON START DATE OF NEW PLAN

o NVO 0 UD • NA 0 VO 0 COS 0 RPT

Violation Code Definition/Section:

"Failure to electronically update the Hazardous Materials Business Plan (HMBP) information within 30 days of: (a) A 100 percent or more increase in the quantity of a previously disclosed material, (b) Any handling of a previously undisclosed hazardous material, (c) Change of business address, (d) Change of business ownership, (e) Change of business name. HSC 6.95 25508.1 (a)-(e)."

NO PLAN SUBMITTED TO UPDATE

Version Ala1.3L Page 3 of 5

Page 20: Alameda County CUPA Inspection of Oakland Hazardous Facility

Business plan electronically updated within 30 days of substantial changes in operations 10~~~-=~--~~~~~~-=~~--------------------------------~

o NVO 0 UD • NA 0 VO 0 COS 0 RPT

Violation Code Definition/Section: Failure to electronically update the Hazardous Materials Business Plan (HMBP) information within 30 days of a substantial change in the handler's operations that requires modification to any portion of the HMBP. HSC 6.95 25508.1 (f)

PLAN WILL BE UPDATED AFTER INITIAL SUBMITTAL

Training program submitted and adequate for the size of the business and materials handled 11 o NVO 0 UD 0 NA • VO 0 COS 0 RPT

Violation Code Definition/Section:

CUPAMinor

COMPLY BY: 10/1/2015

Failure to include and electronically submit an adequate training program in the Hazardous Materials Business Plan (HMBP), which is reasonable and appropriate for the size of the business and the nature of the hazardous material handled. HSC 6.95 25505(a)(4), 25508(a)(1)

Violation Comments: OBSERVATION: RECORDS NOT AVAILABLE FOR REVIEW.

CORRECTIVE ACTIONS: PROVIDE WRITTEN RECORDS FOR HMBP TRAINING FOR EVALUATION WITHIN 30 DAYS.

Initial and annual employee training completed, documented and records made available for 3 years 12~~~-=~~~--~~~~-=~~--------------------------------~ o NVO 0 UD 0 NA • VO 0 COS 0 RPT

Violation Code Definition/Section:

CUPAMinor

COMPLY BY: 10/1/2015

Failure to (1) provide initial training and annual training, including refresher courses, to all employees in safety procedures in the event of a release or threatened release of a hazardous material, including, but not limited to, the Emergency Response Plan, and (2) document electronically or by hard copy and make available for a minimum of three years. HSC 6.95 25505(a)(4)

Violation Comments: OBSERVATION: INITIAL! ANNUAL training documentation for all applicable employees was not available.

CORRECTIVE ACTION: Submit documentation to the CUPA demonstrating that employees have received training on safe handling of hazardous materials and the Emergency Response Plan.

Violation Code Definition/Section: imlmArli"tA verbal report of a release or threatened release of a hazardous material to the CUPA and

Fm"rne,nr.v

Version Ala1.3L Page 4 of 5

Page 21: Alameda County CUPA Inspection of Oakland Hazardous Facility
Page 22: Alameda County CUPA Inspection of Oakland Hazardous Facility

~ .. -

.'

Page 23: Alameda County CUPA Inspection of Oakland Hazardous Facility
Page 24: Alameda County CUPA Inspection of Oakland Hazardous Facility

I -

I I !

i ,. ['

i r

Page 25: Alameda County CUPA Inspection of Oakland Hazardous Facility

f

f I

Page 26: Alameda County CUPA Inspection of Oakland Hazardous Facility
Page 27: Alameda County CUPA Inspection of Oakland Hazardous Facility

. f i

r t

t •

f I

t :.

Page 28: Alameda County CUPA Inspection of Oakland Hazardous Facility

t

I I' I,

i , , I ,

Page 29: Alameda County CUPA Inspection of Oakland Hazardous Facility

Overp"k arum storage containers

:. i ~ .

,. "

Page 30: Alameda County CUPA Inspection of Oakland Hazardous Facility

~ r ' ,.'

, I l r ~

i r ! t k

• ~.

~ > ~ I.

r I ! , ·

Page 31: Alameda County CUPA Inspection of Oakland Hazardous Facility

,---_.:-..-I

f '. I

I,

I t

Page 32: Alameda County CUPA Inspection of Oakland Hazardous Facility

" ,

Page 33: Alameda County CUPA Inspection of Oakland Hazardous Facility

I I' I

I· I· i

I

i I

I

f

~ I

I ,

r , f

I, f ,

l r

t . I

Page 34: Alameda County CUPA Inspection of Oakland Hazardous Facility

i· I.

Page 35: Alameda County CUPA Inspection of Oakland Hazardous Facility

, '>

, ;~.

"

(

1-

f, f f t·

f f

Page 36: Alameda County CUPA Inspection of Oakland Hazardous Facility

FIRE SUPPRESSION SYSTEM

~ I

f"

1--

i i.; I.

t· f ,-

,

!

! I-

Page 37: Alameda County CUPA Inspection of Oakland Hazardous Facility

( DANGER) HAZAllDOUI WMTE

ITORAa! ARIA UIIAU11fCHIIIIII'IIIIOIII

1lUP0IIr

..

Page 38: Alameda County CUPA Inspection of Oakland Hazardous Facility

, "''''UI: SPACE TO

'"'C'Dn,''' CONTAINERS

LOCKER # 2

FIR! HAZARD 2 GAUII ON Ct)l lltmslll IlijUl(j fUsI1 pOIOI 01 100 f 'e '~ I

I Ctlmbu ~tlllll: I' heal111

o Nor rllmh

INSTABILITY HAZARD

..

Page 39: Alameda County CUPA Inspection of Oakland Hazardous Facility

~.\U. I:::~~~:"~~._ . .-UL, LL._~L':". ~'";"~+:$;:~~~~~

HAZARDOUS WASTE

STATE AND FEDERAL LAW PROHIBITS IMPROPER IJISI'IOML. IF FOUND. CONTACT THE NEAREST POlICE. OR PUBIJC SV'ETY

AUTHDRI1Y. OR THE U.S. ENVIRONMENTAl PROTECTJClNAGEM:Y OR THE CALIFORNIA DEPARTMENT OF TOXIC SlJllS1llM:ES CONTIIIlL

GENERATOR INFORMATION:

NAA' E Oakland Fire Department

ADORE.<;s 250 Frank Ogawa Plaza Suite 3341 PHONE ...J(fm?M:llll em Oakland STATE CA 111' M!lf2

EP' I MANIFEST 10 NO TRAcKING NO. CAS111111001 1 ____ --

ACQM'PDIf ,_ '-7 EPA. CA STARTIMlE WASTE NO. WASTE NO. ___ _

iiiiI-

HANDLE WITH CAREl

:";'-' ,;.:.

Page 40: Alameda County CUPA Inspection of Oakland Hazardous Facility

== J':':'~;:'X':O;~·O;:K ;;::.~. ~ ::;.. ... L:::...~.:.:i -~

HAZARDOUS WASTE

- :;.::~~."-,,

STATE AND FEDERAl LAW PROHIBITS IIIPROI'BI DIS DStIL IF FOUND. CONTACT THE NEAREST POUCE. OR PUIIIJC SIIF£TY

AUTHORITY. OR THE U.S. ENVIRONMENTAl. PROTECTJ(INAGBiCY OR THE CAUFORNIA DEPARTMENT OF TOXIC SUIISllWCES camIIlL

GENERATOR INFORMATlON:

NAME Oakland Fire Department ....... ss 250 Frank Ogawa Plaza SuIte 3341 _ 151111"..".

CITY Oak~nd ~A~ CA a. MIl

~~o I ~~NO. <;M111111001 1 _____ -::--:-EPA CA Wot.STENO. WASTENO. ___ _

""""--.:.:~ :",~,:,:--.,~~

Page 41: Alameda County CUPA Inspection of Oakland Hazardous Facility

DATE,oP ACCUMULAT ,: ¥; ii,

ON 4-5-2015, ,',~ ! EXCEEDS 90 4' DAYS

- ~ G~-'" .. :.;~ v- .f " . l,... ' ~ '"

I I

t

I I I

Page 42: Alameda County CUPA Inspection of Oakland Hazardous Facility

, :

I i I I-

I­I

f

t f-I:

Page 43: Alameda County CUPA Inspection of Oakland Hazardous Facility

------1

r"' r:

I

I

..

r'

i !, I

I ! I I

Page 44: Alameda County CUPA Inspection of Oakland Hazardous Facility

;--

..

:

I f

>

L I

Page 45: Alameda County CUPA Inspection of Oakland Hazardous Facility

,

~'. r j'

I

I I

[ !. f

I

I I ~

Page 46: Alameda County CUPA Inspection of Oakland Hazardous Facility

r .. ______ WAI"'" lfT'SiXIWWIiiON

I tMlAAOOUS I"ROPEATISI: t I I 6. n COMOIIvL C JIIACTMTY 0 0 1, -----

i:

l

Page 47: Alameda County CUPA Inspection of Oakland Hazardous Facility

t

r ! .

f F • i .

r •

• r ~ I .

I t