Tag: SPCC Plan

Tips for Assessing Applicability with the SPCC Rule

 Tips for Assessing Applicability with the SPCC Rule   Tip—Know the qualifying factors for coverage under the SPCC rule. The SPCC rule applies when the following are met at a facility*: The facility stores, transfers, uses, or consumes oil or oil products, such as diesel fuel, gasoline, lube oil, hydraulic oil, adjuvant oil, crop oil, […]

SPCC Inspection, Evaluation, and Testing—5 Specific Things Inspectors Are Looking For

SPCC Inspection, Evaluation, and Testing—5 Specific Things Inspectors Are Looking For 1) Regular leak testing of tanks that are completely buried. Any completely buried tank that was installed on or after January 10, 1974, must be leak tested regularly “in accordance with industry standards or at a frequency sufficient to prevent leaks.” While there are […]

SPCC Inspection, Evaluation, and Testing—5 General Things Inspectors Are Looking For

SPCC Inspection, Evaluation, and Testing—5 General Things Inspectors Are Looking For 1) A complete SPCC Plan that contains a description of “the scope and schedule of inspection, evaluation, and testing to be performed on bulk containers.” In its SPCC Guidance for Regional Inspectors, the EPA references the following sections of 40 CFR 112 that address […]

SPCC Compliance FAQs for Production, Drilling and Workover Facilities

SPCC Plan Compliance FAQs for Production, Drilling and Workover Facilities Q: Are there SPCC Plan requirements that apply to all covered oil production, drilling and workover facilities? A: Yes. 40 CFR part 112.7 provides the general requirements for SPCC Plans at all facilities covered by the regulations. Although these requirements are extensive, there are a […]

SPCC Applicability FAQs for Production, Drilling and Workover Facilities

SPCC Applicability FAQs for Production, Drilling and Workover Facilities Q: What different types of activities at non-transportation, onshore oil production, drilling and workover facilities are covered under the SPCC rule? A: The SPCC rule defines “facilities” as “any mobile or fixed, onshore or offshore building, property, parcel, lease, structure, installation, equipment, pipe, or pipeline (other […]

SPCC Secondary Containment Impracticability FAQs

SPCC Secondary Containment Impracticability FAQs Q: How does the Environmental Protection Agency (EPA) define “impracticability” in regard to secondary containment? A: According to the EPA, the meaning of “impracticability” relative to SPCC secondary containment requirements is the determination that a “facility owner/operator cannot install secondary containment by any reasonable method.” Q: What considerations are acceptable […]

SPCC Secondary Containment FAQs

SPCC Secondary Containment FAQs Q: What are the differences between general and specific secondary containment requirements in the SPCC rule? A: The general requirements address the potential for oil discharges from all regulated parts of a facility. Using good engineering practices, the containment method, design, and capacity should be determined to contain the most likely […]