HomeMy WebLinkAbout2025-03-31 HMBP 2900 Calloway Dr. Lengthwise Brewing Company.pdfCurrent Date:03/31/2025 16:43
Occupant:Lengthwise Brewing Co.Inspection
Date:
03/31/2025
Occupant Name:Lengthwise Brewing Co.Inspection Date:03/31/2025
Street Number:2900 Occupant Code:100927
Street Name:Calloway City:Bakersfield
Street Type:Drive Postal Code:93312
Inspector:Pisano , Liseth State:California
Passed:Yes
Inspection Type:Hazmat Annual
Violations
No Violations Found On Inspection
Violation Count:0 Inspection Fee:0.00
Type First Name Last Name Signature Date Signature Graphic
Owner/Rep.Michael Ortiz 03/31/2025
Inspector Liseth Pisano 03/31/2025
Conducted a hazardous materials inspection. No violations found at the time of inspection.
Inspection Documents
Violation Documents
Location Attributes:HMBP
Complete Inspection Report - With Documents
Facility Information
Inspection Information
Signatures
Inspection Notes
Documents
Admin Information
Page 1 of 6
Occupant:Lengthwise Brewing Co.Inspection
Date:
03/31/2025
Current Date:03/31/2025 16:43
HazMat - APSA Tier I & II
Tier I or II
Question Answer Notes
Failure to obtain a permit for petroleum
storage in aboveground tanks
Failure to pay the APSA Program fee
Adequate completion/submission of
APSA data/documents annually in the
California Environmental Reporting
System (CERS).
Failure to submit a tank facility statement
on or before January 1 annually unless a
current Business Plan has been
submitted.
Failure to prepare a Spill Prevention,
Control, and Countermeasures (SPCC)
Plan. [(ref. 40 CFR 1 112.3, 112.6)]
Failure to prepare an SPCC Plan that
meets all applicable requirements. [(ref.
40 CFR 1 112.3, 112.6)]
Failure to maintain a complete copy of
the SPCC Plan at the facility if the facility
is normally attended at least four hours
per day, or at the nearest field office if
the facility is not so attended. [(ref. 40
CFR 1 112.3(e)(1)]
Failure to complete a review and
evaluation of the SPCC Plan at least
once every five years, document the
completion of the review, and sign a
statement as to whether the SPCC Plan
will be amended. [(ref. 40 CFR 1
112.5(b)]
Failure to prepare an appropriate SPCC
Plan within 6 months when the facility no
longer meets the Tier I or Tier II qualified
facility criteria. [(ref. 40 CFR 1 112.6(a)(2),
112.6(b)(2)]
Failure to complete and maintain at the
facility the Substantial Harm Criteria
certification form when owner or
operator determines that the facility
could not be reasonably expected to
cause substantial harm to the
environment form. [(ref. 40 CFR 1
112.20(e)]
Failure to have management or a
professional engineer certify the SPCC
Plan and comply with certification
requirements at a qualified facility. [(ref.
40 CFR 1 112.6(a)(1), 112.6(b)]
Failure to properly close tanks when
making a claim of "permanently closed."
[(ref. 40 CFR 1 112.1(b)(3),112.2)]
Page 2 of 6
Occupant:Lengthwise Brewing Co.Inspection
Date:
03/31/2025
Current Date:03/31/2025 16:43
Failure to implement the SPCC Plan.
[(ref. 40 CFR 1 112.3)]
Failure to implement SPCC Plan
amendments within 6 months. [(ref. 40
CFR 1 112.5(a),112.5(b)]
Failure to have secondary containment
and leak detection if piping connected to
a tank in an underground area (TIUGA)
cannot be directly viewed for the entire
length of the piping that is beneath the
surface of the ground.
Failure of an owner/operator of an
excluded tank in an underground area
(TIUGA) with less than 55-gallon capacity
to have secondary containment, conduct
monthly inspections, and/or maintain a
log of inspections.
Failure to meet one of the following
criteria for a tank in an underground area
(TIUGA)
Failure to report immediately upon
discovery spills or other releases of one
barrel (42 gallons) or more of petroleum
in or on any waters of the State in
accordance with Section 13272(a) of the
California Water Code to Cal OES and
UPA or 911.
Tier I
Question Answer Notes
Failure of a Tier I qualified facility to
certify the SPCC Plan according to 40
CFR 112.6(a)(1) if a technical change has
been made to the facility design,
construction, operation, or maintenance.
[(ref. 40 CFR 1 112.6(a)(2)]
Failure to include in the SPCC Plan a
prediction of direction and total quantity
of oil potentially discharged from the
facility as a result of each type of major
equipment failure. [(ref. 40 CFR 1
112.6(a)(3)(i)]
Failure to adequately describe in the
SPCC Plan, overfill prevention methods,
including a description of the systems or
procedures used to prevent overfills for
each container. [(ref. 40 CFR 1 112.6(a)
(3)(iii)]
Failure to provide bulk storage
containers with adequate secondary
containment large enough to contain the
entire capacity of the largest container
plus additional capacity to contain
precipitation when applicable, and/or
failure to position/locate mobile or
portable containers to prevent a
discharge. [(ref. 40 CFR 1 112.6(a)(3)(ii)]
Page 3 of 6
Occupant:Lengthwise Brewing Co.Inspection
Date:
03/31/2025
Current Date:03/31/2025 16:43
Failure to provide systems or follow
procedures to prevent overfills as
described in the SPCC Plan, and/or
failure to routinely test to ensure proper
operation. [(ref. 40 CFR 1 112.6(a)(3)(iii)]
Tier II
Question Answer Notes
Failure to have technical amendment(s)
certified by the owner or operator or a
professional engineer for a Tier II
qualified facility when required. [(ref. 40
CFR 1 112.6(b)(2),112.6(b)(2)(i)]
Failure to have a professional engineer
review and certify in writing one or more
of the following alternative measures for
a Tier II qualified facility
Failure of the owner or operator to
ensure a professional engineer makes all
required attestations in the SPCC Plan
when a professional engineer
certification is necessary due to an
alternative measure claim at a Tier II
qualified facility. [(ref. 40 CFR 1 112.6(b)
(4)(i)]
Page 4 of 6
Occupant:Lengthwise Brewing Co.Inspection
Date:
03/31/2025
Current Date:03/31/2025 16:43
HazMat - HMBP
Administration/Documentation
Question Answer Notes
Did the facility adequately establish and
implement a business plan when
storing/handling a hazardous material at
or above reportable quantities in CERS?
Yes
Did the facility annually review and
electronically certify in CERS that the
business plan is complete and accurate
on or before the required due date?
Yes
Does the facility have a copy of the
business plan readily available with
responsibilities for emergency response
or training for review?
Yes
Did the facility update CERS within 30
days of any one or more of the following
events: 1) A 100 percent or more
increase in the quantity of a previously
disclosed material. 2) Any handling of a
previously undisclosed hazardous
materials at or above reportable
quantities. 3) A change of business
address, business ownership, or business
name. 4) A substantial change in the
handler's operations that requires
modification to any portion of the
business plan.
Yes
Did the facility inform the property
owner in writing that an HMBP is
required for the facility?
Yes
Did the facility provide the property
owner a copy of the HMBP upon
request??
Yes
Did the facility report complete or
accurate information in the Business
Activities Page and/or Business Owner
Operator Identification Page in CERS?
Yes
Did the facility report complete and
accurate hazardous material inventory
information for all hazardous materials
on site at or above reportable quantities
in CERS?
Yes
Did the facility adequately establish an
emergency response plan in CERS?Yes
Did the facility submit a site map with all
the required content in CERS?Yes
Training
Question Answer Notes
Did the facility submit an adequate
training program with safety procedures
in the event of a release or threatened
release of a hazardous material in CERS?
Yes
Page 5 of 6
Occupant:Lengthwise Brewing Co.Inspection
Date:
03/31/2025
Current Date:03/31/2025 16:43
Did the facility provide initial and
refresher training to all employees and
maintain records for 3 years?
Yes
Operations/Maintenance
Question Answer Notes
Does the facility have adequate signage
for hazardous materials storage?Yes
Are hazardous materials separated form
incompatibles?Yes
Release/Leaks/Spills
Question Answer Notes
Did the facility fail to report a release or
threatened release of a hazardous
material to the unified program agency
and to Cal OES?
N/A
Page 6 of 6