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Aboveground Petroleum Storage Act Requirements

Aboveground Petroleum Storage Act Requirements. Overview. Background and Scope of APSA Definitions APSA Facility Types SPCC plan Requirements Facility Diagram, Procedures, Training, Recordkeeping, Maintenance Inspection Timeframe & what to expect. APSA Background.

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Aboveground Petroleum Storage Act Requirements

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  1. Aboveground Petroleum Storage Act Requirements

  2. Overview • Background and Scope of APSA • Definitions • APSA Facility Types • SPCC plan Requirements • Facility Diagram, Procedures, Training, Recordkeeping, Maintenance • Inspection Timeframe & what to expect

  3. APSA Background • Aboveground Petroleum Storage Act is now part of CA H&SC, Chapter 6.67 • Gives local CUPAs authority over APSA • Federal Oil Spill Prevention Program is part of 40 CFR 112 • Federal EPA still has authority • Requirements of each program are similar but not identical

  4. Scope of APSA • Feds – “Navigable Waters” • CUPA – greater than 1,320 gallons

  5. Regulated Chemicals • “Petroleum” – crude oil fraction, liquid at room temperature and pressure • Includes fuels, lubricants, solvents, biodiesel • But NOT propane, LPG, LNG, or 100% biodiesel or synthetics or corn ethanol, some waxes, tars, or asphalts

  6. Aboveground Tank • 55 gallon or more capacity • Substantially or totally above ground

  7. NOT Aboveground Tanks • NOT • “Permanently Closed” tanks, Boiler, Haz Waste at TSD facility, crude oil production tank, oil-filled electrical equipment, UST, or a DOT regulated tank…

  8. “Permanently Closed” Tanks • All liquid and sludge removed from tank and connecting lines • All pipes and lines disconnected and blind flanged/blanked • All valves closed and locked out (except vent valves) • Tagged as “permanently closed” with closure date

  9. Transportation Related?

  10. APSA Facilities • 1,320 gallons or more of aggregate aboveground petroleum storage capacity • Based on Rated Design Capacity... • Modified overflow, vent, etc. does not always count • Procedural means of limiting capacity do not count

  11. APSA Exempt Facilities • A tank facility at a Farm, Nursery, Logging site, or Construction site is exempt if….. • No tank exceeds 20,000 gallons • AND total storage is less than 100,000 gallons • APSA Exempt facilities must still… • Conduct daily inspections • Allow CUPA to inspect periodically • Provide Secondary Containment if required by CUPA • Comply with applicable Federal rules

  12. What is an SPCC plan? • Spill Prevention, Control, and Countermeasure (SPCC) plan • Spill Prevention • Training, procedures, awareness • Control • Containment, immediate response • Countermeasure • Cleanup, notifications

  13. Three types of APSA facilities • Tier I Qualified Facility - Can use Template SPCC and self-certify • Tier II Qualified Facility - Can self-certify own SPCC plan • Non-qualified Facility - Must have SPCC plan certified by a Professional Engineer

  14. Qualified Facilities • To be a Qualified Facility… • Less than or equal to10,000 gallons of any aboveground oil storage – not just petroleum • No discharge greater than 1,000 gallons in past 3 years • No two discharges greater than 42 gallons within any 12 month period in the past 3 years

  15. Tier I Qualified Facilities • Less than or equal to10,000 gallon total aboveground oil storage capacity • No single tank more than 5,000 gallons • You must… • Complete and self-certify the Template SPCC Plan

  16. Tier II Qualified Facilities • Less than or equal to10,000 gallon total aboveground oil storage capacity • Individual aboveground tank more than 5,000 gallons • You must… • Prepare a self-certified SPCC plan

  17. Non-Qualified Facilities • Greater than 10,000 gallons total aboveground oil storage capacity • You must… • Have an SPCC plan certified by a Professional Engineer

  18. SPCC Plan Elements • Elements required in an SPCC plan include… - Facility description and diagram - Description of each storage location, and containment - Likely discharge scenarios - Tank inspection and testing program - Oil handler training - Security - Response and notifications - Plan must be reviewed at least every 5 years. Must be updated within 6 month of any significant change

  19. Inspection • Plan prepared properly? • Plan implemented as described? • Workers know about plan? • Plan vs. Real World • CUPA only inspecting APSA subject items • Plan must be implemented by Nov 10, 2010

  20. Sized Secondary Containment • Contents of largest container plus precipitation • Applies to… • Loading/unloading Racks • Storage tanks and containers • Includes portable totes and drums while stored (must also be located properly) • Non-transportation related tank trucks (i.e. mobile refuelers) during storage

  21. Sized Secondary Containment

  22. Sized Secondary Containment

  23. Secondary Containment (Drainage) • Water inside secondary containment must be inspected for oil contamination prior to discharge • Records should be kept for at least 3 years

  24. General Containment • “Most likely” discharges  spill kits, drain covers, spill buckets, etc. • Applies to… • Piping, oil-filled equipment, (non-rack) transfer areas, non-transportation related tank trucks (i.e. mobile refuelers) during use

  25. POOR General Containment

  26. General Containment

  27. General Containment

  28. Overfill Prevention • Describe Procedures and Hardware

  29. Overfill Prevention • High liquid level alarms/shutoffs • Liquid level indicators • Alarm should be heard or electronically sent to pumping station

  30. Loading Racks • Permanent Structure w/ piping, loading arm, valves, pumps, shut-offs, etc…

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