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County of San Diego DEPARTMENT OF ENVIRONMENTAL HEALTH UST and Used Oil Regulations Update. Ag Water Quality Research and Education Program Meeting June 15, 2004. Underground Fuel Storage Tanks in Agriculture. June 15, 2004 Lisa Leondis. Abbreviations & Definitions.
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County of San DiegoDEPARTMENT OF ENVIRONMENTAL HEALTHUST and Used Oil Regulations Update Ag Water Quality Research and Education Program Meeting June 15, 2004
Underground Fuel Storage Tanks in Agriculture June 15, 2004 Lisa Leondis
Abbreviations & Definitions • UST = underground storage tank • HMD = Hazardous Materials Division • “Farm” a place of agricultural production which has annual sales of agricultural products of $1000 or more.
Exemptions LG Bulletin 109-1 (7-94) HSC 25281(x) • Farm Tanks are exempt from state UST regulations • “Farm Tank” means a tank that: • is located on a farm • holds < 1100 gal. motor vehicle fuel • fuel used primarily for agricultural purposes • fuel is not held for resale.
Exemptions • Home Heating Oil Tanks are exempt from state UST regulations • “Heating Oil Tank” means a tank: • located on a farm or at a personal residence • that holds < 1100 gal. of home heating oil • which is used consumptively at the premises
Exemptions • Exempt Farm Tanks are not subject to UST installation, operating and closure requirements. • SWQCB maintains authority to require clean up or other pollution prevention measures if the tanks threaten water quality. • There is no exemption from liability.
How to Obtain Exemption • Complete the “Claim of Exemption from Underground Storage Tank Regulations and Law” form. • Submit to HMD at the address on the form. • Provides concurrence that HMD agrees that tank is exempt, may be needed for real estate transactions, lenders, etc.
Loss of Exemption If the tank is changed to a regulated use: • an operating permit must be obtained, or • the tank system must be closed in accordance with HSC Chapter 6.7.
Loss of Exemption • If a tank has lost its exemption, do not remove the tank system without a removal permit. • Contact the HMD Duty Desk at 619-338-2231 and request information on UST removal.
Regulated USTs To obtain an operating permit from HMD, tanks must comply with 1998 upgrades: • Corrosion protection • Spill buckets on fill tubes • Overfill prevention • Striker plates for “stickable” openings • Leak detection for pressurized piping
Regulated USTs Additional requirements: • Secondary containment and testing for tanks, piping and dispensers • Annual testing and certification of the monitoring system • Monitoring and Emergency Release Plans • Certification of Financial Responsibility
Special Concern • USTs within 1000 feet of a public drinking well must use enhanced leak detection with Tracer technology.
Training Plus RegulationsNew for USTs May 13, 2004 Sylvia Mosse
UST Training Plus Regulations • EffectiveMay 8, 2004 • Implements training requirements found in SB 989 • Clarifies double-wall pressurized piping monitoring • Addresses materials compatibility and permeability
SB 989 Required Training For: • UST Owners and Operators • UST Service Technicians • UST Installers, and • UST Inspectors • “…..meet minimum industry–established training standards..” HSC 25284.1(a)(4)(A)(i) • Adds23 CCR Section 2715
Owner Requirements: A signed statement must be submittedto the local agency, which: • indicates UST Owner understands and is in compliance with all applicable UST requirements • identifies the designated UST operator(s) for each facility owned • Any change of the designated operator must be reported to the local agency within 30 days of the change. • EffectiveJanuary1, 2005
Designated UST Operator Definition • An individual designated by the owner to have responsibility for: • Training facility employees, and • Conducting monthly visual inspections • The Designated Operator is not considered the UST “operator” as defined in HSC Chapter 6.7, although the same person may hold both positions.
Designated UST Operator Requirements • Pass the California UST System Operator exam administered by International Code Council (ICC) Effective January 1, 2005 • Perform monthly visual inspections for each facility and maintain a log • Effective January 1, 2005 • Provide on-the-job training for facility employees • Effective July 1, 2005
Designated UST Operator Facility Employee Training: Topics required to be covered: • Operation of the UST system consistent with facility’s best management practices • Monitoring equipment operation and alarm response • Spill/overfills response procedures • Emergency contact information • Effective July 1, 2005
Designated UST OperatorICC UST System Operator Exam • Access Candidate Bulletin at www.iccsafe.org • Promissor testing center in San Diego (Computer based testing center) • $70.00 cost • Open book test • All required references for the California UST Operator are available for free on the web
Designated UST OperatorICC UST System Operator Exam Topics • 20%:Tanks, piping containment, monitoring systems and operation authority • 30%: Operating Requirements • 25%: Release detection • 17%: Record keeping • 8%: release reporting and confirmation
Designated UST OperatorICC UST System Operator Exam Direct link to all references on our website: http://www.sdcounty.ca.gov/deh/hmd/docs/ust-training-requirements-04-30-04.doc • California Code of Regulations Title 23 • California Health & Safety Code Chapter 6.7 • Straight Talk on Tanks EPA 510-B-97-007 • Operating and Maintaining UST Systems EPA 510-B-00-008 • Dollars & Sense EPA 510-K-95-004
Designated UST OperatorMonthly Visual Inspection • Review UST Alarm History • Inspect Spill Containers and UDC • Inspect containment sumps that have had • an alarm, no service visit, and check for • proper placement of sensors (lowest point). • Check to assure that all required testing and • maintenance have been completed • Verify that all appropriate facility employees • have been trained
Designated UST OperatorMonthly Visual Inspection Report • Provide a copy of the report each month to owner or operator • Alert the owner/operator of any condition requiring follow-up • The owner or operator shall maintain a copy of the report and all attachments for the previous 12 months
Designated UST Operator Facility Employee Training Definition of Facility Employee: • an individual who is employed onsite, and • may be called upon to respond to spills, overfills • and other UST system problems • The “Facility Employee” is not considered the UST “operator” as defined in HSC Chapter 6.7, although the same person may hold both positions.
Designated UST Operator Facility Employee Training Training Topics required: • Operation of the UST system consistent with facility’s Best Management Practices • Monitoring equipment operation and alarm response • Spill/overfills response procedures • Emergency contact information • Effective July 1, 2005
Designated UST Operator Facility Employee Training • Required within 30 days of hire for new employee • Must be conducted every 12 months • At least one trained facility employee must be • present during normal operating hours • A list of trained facility employees shall be • maintained onsite and include: • Training dates • Hiring dates for all employees hired after 7/1/05
Frequency of UST Training/Certification • Designated UST Operators, Service • Technicians, Installers, and Inspectors must • be re-trained/re-certified every 24 months. • Facility Employees must be re-trained • annually
23 CCR 2631.1Compatibility and Permeability • UST Owner/operator must provide local agency with the compatibility and permeability testing results for UST components, upon request. • Results to include list of compatible products tested and the measured product permeation rates, if such testing is required by the industry code or engineering standard used to evaluate the component. • Required for new UST system components installed • after July 1, 2004
23 CCR 2636 (f) Monitoring of Double-walled Pressurized Piping • Requires automatic line leak detectors for all double-walled pressurized piping • Mechanical or Electronic LLD can be used • Added in response to sensor study findings • Consistent with recent API recommendation • Effective November 9, 2004
Monitoring of Double-walled Pressurized Piping • Modifies the annual 0.1 gph piping test equivalent alternative: • Requires a continuous monitoring system that: • Stops the flow of the product at the dispenser when a leak is detected within the UDC, and • Provides “fail-safe” pump shut-down when a leak is detected at any other point in the piping system (turbine and transition sumps) • Effective May 8, 2004
Monitoring of Double-walled Pressurized Piping Definition of Fail-safe • Monitoring system will shut down the turbine pump in the event of: • A power outage • When the monitoring system fails or • is disconnected
You can find the new regulations (and a whole lot more!) on the SWRCB website: http://www.swrcb.ca.gov/cwphome/ust/
Used Oil Regulations June 15, 2004 Lisa Leondis
What is Used Oil? • Any oil refined from crude oil, or any synthetic oil, that has been used, and as a result of use or consequence of extended storage, or spillage, has been contaminated with physical or chemical impurities.
What is Used Oil? • Vehicle crankcase oil • Engine lubricating oils • Transmission fluids • Gearbox & differential oils • Hydraulic oils • Compressor oils • Turbine, Bearing & Gear oils • Transformer/Electrical oils • Refrigeration oils • Metal working oils
What is not Used Oil? • Antifreeze, brake fluid, other auto wastes • Fuels: gasoline, diesel, kerosene… • Grease, Solvents • Oils mixed with hazardous waste • Oils with >1000 ppm total halogens or > 5ppm PCBs • Wastewater with small amounts of used oil • Cooking oils
Regulatory Status & Labeling • Used oil shall be managed as a hazardous waste (HSC 25250.4). • Must be labeled “used oil” • Must be stored in tanks or containers • Containers and tanks must include the accumulation start date • Containers must also include the generator’s name and address, physical state, hazardous properties, and be closed.
Improper Storage of Used Oil & Filters • No labels • Open containers • Containers in poor condition
Portable Tanks • DTSC is working on portable tank regulations. • For the meantime, these are regulated as containers.
Accumulation (Storage) Time • Used oil may be accumulated on site for 90 to 365 days depending on the total amount of hazardous waste produced by the generator in any given month. • 90 days for LQGs (>270 gal. or 2,200 lbs/mo.) • 180 days for SQGs (<270 gal. or 2,200 lbs/mo.) or 270 days for SQGs if waste is transported 200+ miles • 365 days under satellite accumulation (<55 gal., direct supervision, at the point of generation)
Record keeping • Hazardous waste manifests, disposal records must be kept on site for 3 years. • If self-hauling, keep a record of how much used oil is transported, when, and to what collection center. • For used oil and used oil filters • Documents exempt status, if applicable