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340 Begonia Street FDEP Ltr 08.30.1999 (Dagley) Department of z ? Environmental Protection FLOR — — ' Northeast District Jeb Bush 7825 Baymeadows Way, Suite B200 David B.Struhs Governor Jacksonville, Florida 32256-7590 Secretary August 30, 1999 Raymond Dagley Raymond Auto Service Center 344 Begonia Street Atlantic Beach, Florida 32233 Dear Mr. Dagley: Raymond Auto Service Center DEP/EPA ID#FLR 000 057 745 Duval County-Hazardous Waste Thank you for your assistance during the hazardous waste RCRA Compliance Assistance Site Visit conducted by this Department at your facility on June 17, 1999. Enclosed are the checklists which documents this inspection. During the visit, numerous areas of concern were noted. These items should be addressed within 30 days in order to bring your facility back into compliance with the hazardous waste and used oil regulations: • All containers and tanks of used oil, antifreeze, used oil filters or other wastes should be labeled to identify their contents. • All used oil contaminated soil must be excavated, containerized and sent off-site for proper disposal. • All used batteries must be stored in a manner that will cause them not to become damaged or leak. All damaged open or leaking batteries must be containerized and sent off-site for recycling. • Used oil filters must be containerized and sent off-site to be recycled. • Solid waste, hazardous waste aerosol cans or used oil filters may not be burned on-site. • All vehicles that are crushed must first be drained of fluids and any residual fluids that result from vehicle crushing operations must be collected and properly disposed of. • Various types of solid waste have been buried on-site. A separate solid waste inspection report is being prepared to address these areas. "Protect, Conserve and Manage Florida's Environment and Natural Resources" Printed on recycled paper. Raymond Auto Service Center Page Two Your continued cooperation is appreciated. If you have any questions regarding this report or the used oil and hazardous waste regulations in general, please contact me at (904) 448-4320, ext. 380. S' erely, g,,)i 4 J, 6,, _, Pamela Green Environmental Specialist Hazardous Waste Section C/aw Enclosure / Cc: Karl Grunewald City of Atlantic Beach FAG'ttiiOV *, Department of FLOR Environmental Protection Northeast District Jeb Bush 7825 Baymeadows Way, Suite B200 David B. Struhs Governor Jacksonville, Florida 32256-7590 Secretary HAZARDOUS WASTE INSPECTION REPORT 1. INSPECTION TYPE: ['Compliance Assistance ®Complaint ❑Follow-Up ❑Permitting FACILITY NAME: Raymond Auto Service Center DEP/EPA ID FLR 000 057 745 STREET ADDRESS: 344 Begonia Street, Atlantic Beach, FL 32233 MAILING ADDRESS: same COUNTY: Duval PHONE: (904) 249-4163 DATE: 6/17/99 TIME: 8:45 AM HW facility status Used oil facility status Hg facility status ❑ non-handler ® generator ❑ exempt CESQG ❑ SQG ❑ transporter ❑ generator transfer facility ❑ transporter ❑ LQG ❑ ❑ marketer ❑ Hg recovery facility ❑ processor ❑ Hg reclamation facility ❑ transporter ❑ on-spec. burner ❑ transfer facility ❑ off-spec. burner PCW facility status ❑ TSD ❑ filter generator ❑ filter transporter ❑ producer ❑ SQH El filter transfer facility ❑ transporter DI LQH p ❑ filter processor ❑ recovery facility 2. APPLICABLE REGULATIONS: Z40 CFR 261.5 ❑ 40 CFR 262 ❑ 40 CFR 263 El 40 CFR 264 ❑ 40 CFR 265 ❑ 40 CFR 266 ® 40 CFR 268 ❑ 40 CFR 273 ® 40 CFR 279 ® 62-710, FAC ❑ 62-737, FAC ❑ 62-740, FAC 3. RESPONSIBLE OFFICIAL: Mr. Raymond Dagley 4. INSPECTION PARTICIPANTS: Mr. Raymond Dagley Mr. Donald Dagley George Worley, III, City of Atlantic Beach Karl Grunewald, City of Atlantic Beach Pamela Green -FDEP 5. LATITUDE/LONGITUDE: 30°19'39"/ 81°25'28" 6. TYPE OF OWNERSHIP: private federal state county municipal "Protect, Conserve and Manage Florida's Environment and Natural Resources" Printed on recycled paper. ci.J CESQG CHECKLIST,( ar,k1 FacilityName: jet) tate: ;(.,�.o l )� i4c ROLtylINL_c9, Facility Representative: Yls-f s..1 MCMV_ ` Facility ID #: FL— b O O -r )yc SIC Codes: �1 C Inspector: ° `-' 40 CFR 261.5 1. Describe the facility's hazardous and potentially hazardous waste streams 40 CFR 262.11: Waste EPA Waste I Generation Disposal facility? Proper #s I Rate Waste ID? 0Ir Jltrt-k aDDI 11a(�ei) 1A ,,J1 (Ad Oil 1)004 kk-07e4 re(39Litid Ari__, M 40eM t 8D Db7d _ ioCce, c'h.S • ain e )-t com,5 0--- 004,e4.1 t u -t-ro 5 k 7 rte d ao irv)c)6, SrnalD I n 11,t.,t.kui I nI Q, EY'p Giv\a 1111\Xz� ()di ()/(Y 01 (describe discrepancies in waste identification in narrative) Standards for Conditionally Exempt Small Quantity Generators -40 CFR 261.5 2. Does the facility generate less than 100 kg/mo (220 lb/mo) of all hazardous wastes?Y X N And less than 1kg/mo of acutely toxic (P-listed, 40 CFR 262.33) hazardous wastes? Y X N // �� 3. Has the facility obtained an EPA ID#? (not required for CESQGs) Y N /'� 4. Is the facility disposing of all its hazardous wastes to facilities permitted to accept Y N x the waste? (40 CFR 261.5) Describe discrepancies in narrative. 5. Is the facility disposing of hazardous waste by ixing with used oil? Y 7c N nn t o '�t3 (- ¼ 5. Can the facility document proper disposal of all hazardous wastes? Y N 6. Are any hazardous wastes treated or disposed of on site? Describe in narrative: Y $ N 7. Are there any unpermitted discharges of other wastes to the environment? Y )( N h 0.t ( re 00144 I avAJ NCL Rev. 12-8-95 CESQG 1 of 1 USED OIL GENERATOR CHECKLIST A 4 yi_q-Y4-fi Facility Name: 60,urco `o,lD 10 4 r : e: Facility Representative: fiPJYYIC1VJDX' Facility ID #: F cDO D c2247'S SIC Codes: Inspector: t /- -) 40 CFR 279 Subpart C -- Generator Standards 1. Describe the facility's used oil streams: WASTE ON/Off Testing or Process Generation Disposal Facility So DESCRIPTION ! Specification Knowledge Rate and EPA ID 09d 0II ¢,6 . OaAte13tfltS HLSk 2. Does the generator mix hazardous waste with the used oil?(279.10) Y 74. N (Yl r I-5 3. If so, is the facility a CESQG? Y N L_a_q Jef 4. If not, Is the oil mixed with a characteristic hazardous waste? (describe waste) If so, does the facility document that the resultant mixture does not exhibit any characteristic of hazardous waste? Y N Or, if the hazardous waste is only D001, that the resultant mixture is not ignitable? Y N If the facility is not a CESQG, and oil is mixed with a listed hazardous waste, it must be managed as a hazardous waste. 07 LI reLJ 5. Does the facility generate other materials contaminated with used oil? Y )( N O;(i \1 If so, are the materials burned for energy recovery as used oil? Y N X or, Does the facility have records documenting the residuals are not Y Ntook- i&41-) +(-1-(-5\'\ hazardous waste? 6. Does the generator claim that the used oil meets the specification in 279.11?Y N If so, and the oil is to be burned for energy recovery, the generator is a marketer subject to 40 CFR 279 Subpart H DRAFT Rev. 9-21-95 OIL GEN 1of 2 Facility: Date: Subpart C 1. Does the facility store used oil only in tanks, containers or permitted hazardous waste storage units? Y N Are containers/tanks in good condition? (279.22(b)(1)) Y N Are containers/tanks leaking? (279.22(b)(2)) Y N Are containers/tanks storing used oil marked with the words "Used Oil", Including fill pipes used to fill underground tanks? (279.22(c)) Y N vlDic1Yl 2. Are used oil filters stored in above ground containers which are: (62-710.850(6)) _. vS�,S 0 In good condition? Y N clEVts Closed or otherwise protected from weather? Y N h0((\GQ Labeled "Used Oil Filters"? Y N Stored on an oil impervious surface? Y N V,I`J IAC 3. Have any releases to the environment occurred, other than a leak from a UST? Y N If so, did the facility stop the release, contain the oil, clean up the release V \ h° and manage the contaminated material properly and repair or replace the leaking units prior to returning them to service? (279.22(d)) Y N 4. Does the generator burn on site in a space heater? (279.23) Y N If so, does he burn only DIY oil or oil generated on site? Y N Does the heater have a capacity of no more than 0.5 million BTU/hr? Y N Are combustion gasses vented to the atmosphere? Y N 5. Does the generator only use transporters who have received EPA Identification numbers? Name and number O USQ0 O I ( CO 4-6) 6. If not, does the generator self-transport only used oil generated on site or DIY oil to used oil collection centers or aggregation point owned by the generator? Y N Name and location of center: Location of generator aggregation point If so, is this only in vehicles owned by the facility or facility employees? Y N Is no more than 55 gallons transported at one time? Y N 7. Alternatively, does the generator have a tolling arrangement with a used oil ( reclaimer? Y N Is a copy of the contract kept on site specifying type and frequency of shipments? Y N that the transport vehicle is owned by the processor? Y N that the reclaimed oil will be returned to the generator? Y N DRAFT Rev. 9-21-95 OIL GEN 2 of 2