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This spill prevention, control and countermeasures (SPCC) Plan is divided into two volumes. Volume I addresses Y-12's compliance with regulations pertinent to the content of SPCC Plans. Volume II is the SPCC Hazardous Material Storage Data Base, a detailed tabulation of facility-specific information and data on potential spill sources at the Y-12 Plant. Volume I follows the basic format and subject sequence specified in 40 CFR 112.7. This sequence is prefaced by three additional chapters, including this introduction and brief discussions of the Y-12 Plant's background/environmental setting and potential spill source categories. Two additional chapters on containers and container storage areas and PCB and PCB storage for disposal facilities are inserted into the required sequence. The following required subjects are covered in this volume: Spill history, site drainage; secondary containment/diversion structures and equipment; contingency plans; notification and spill response procedures; facility drainage; bulk storage tanks; facility transfer operations, pumping, and in-plant processes; transfer stations (facility tank cars/tank tracks); inspections and records; security, and personnel, training, and spill prevention procedures.
The main objective of the project during the summer internship at CalPortland Company was creating "Spill Prevention, Control and Countermeasure (SPCC) Plan" for the company's Colton aggregate plant. The SPCC plan is required by 40 CFR Section 112, oil pollution prevention, of the Environmental Protection agency in order to prevent the discharge of oil from non-transportation-related onshore and offshore facilities into or upon the navigable waters of the United States or adjoining shorelines ("ECFR---code of federal regulations," 2016). Previously, CalPortland company's Colton plant operated as a cement plant until it was permanently shut down in the year of 2009, and many documents have been lost or misplaced ever since. Since then the plant restarted operations but this time as an aggregates plant which still requires an SPCC plan since it stores and uses oil products that are in the amounts requiring current SPCC plan. Thus, as an environmental engineering intern I was assigned to study all of the rules, and regulations set by environmental protection agency for the preparation and implementation of "Spill Prevention, Control and Countermeasure Plan" which eventually became company's official plan after it was approved and signed by my internship mentor, Licensed Engineer Desirea Haggard.
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