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Oil Spill Prevention Control and Countermeasure Training

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Title: Oil Spill Prevention Control and Countermeasure Training


1
Oil Spill Prevention Control and Countermeasure
Training
  • Prepared for
  • Middle Georgia State College

2
Introduction and Overview
  • The EPA has passed Oil Pollution Prevention
    regulations to implement the requirements of the
    Clean Water Act and the Oil Pollution Prevention
    Act.
  • These regulations can be found at 40 CFR Part 112
    and require certain facilities to prepare Oil
    Spill Prevention Control and Countermeasure
    (SPCC) Plans.

3
Oil SPCC Training
  • All facilities that operate under Oil SPCC Plans
    must provide training to all oil-handling
    employees.
  • Frequency of training is not specified in the
    rule, but must be sufficient to prevent a
    discharge.
  • Training must be documented and records kept with
    the Plan for at least three years.

4
Discharge Prevention Briefings
  • In addition to the Oil SPCC training, facilities
    must also conduct discharge prevention briefings
    for all oil-handling employees on an annual
    basis, or more frequently, where appropriate.
  • Briefings should
  • Remind employees of plan provisions
  • Update employees on the latest prevention and
    response techniques
  • Highlight and describe known discharges and
  • Discuss malfunctioning components.

5
Training Objectives
  • Attendees should understand
  • What an Oil SPCC Plan is and why it is
    needed
  • Potential spill sources on campus
  • Oil transfer and delivery procedures
  • Inspection and testing procedures and
  • How to respond to a spill

6
Regulatory Overview
7
Oil SPCC Planning Applicability
  • Plan requirements are applicable to
  • Non-transportation related facilities (fixed or
    mobile) involved in oil production, refining,
    storage or well-drilling
  • That store oil of any kind above planning
    thresholds with
  • A reasonable expectation that a discharge in a
    harmful quantity (causes a sheen) could get to
    navigable waters (waters of the U.S.)

8
What is Oil?
  • EPA defines oil as oil of any kind or in any
    form, including, but not limited to
  • Fats, oils, or greases of animal, fish, or marine
    mammal origin
  • Vegetable oils, including oils from seeds, nuts,
    fruits, or kernels and
  • Other oils and greases, including petroleum, fuel
    oil, sludge, synthetic oils, mineral oils, oil
    refuse, or oil mixed with waste other than
    dredged spoil.
  • See 40 CFR 112.2

9
Oil SPCC Planning Thresholds
  • Underground Storage (40 CFR 112.1(d)(2)(i))
  • Facilities with a total underground storage
    capacity of 42,000 gallons or more of oil are
    subject to Oil SPCC planning requirements.
  • Underground tanks that are currently subject to
    all of the technical requirements of Chapter
    391-3-16 of the Georgia DNR Rules do not need to
    be included in the calculation of underground
    storage capacity.
  • Consumptive use tanks that are exempted from
    the technical requirements are subject to the Oil
    SPCC planning requirements.

10
Oil SPCC Planning Thresholds
  • Aboveground Storage (40 CFR 112.1(d)(2)(ii))
  • Facilities with a total aboveground storage
    capacity of 1,320 gallons or more of oil are
    subject to Oil SPCC planning requirements.
  • Only containers or oil containing equipment with
    a capacity of 55 gallons or greater are counted.
  • Thresholds apply to storage capacity contained in
    operating equipment as well as tanks/containers.

11
What is an Oil SPCC Plan?
  • Detailed plan that describes a facilitys
  • Oil storage containers and secondary containment.
  • Oil handling and management practices.
  • Designated roles and responsibilities.
  • Measures taken to prevent and/or control
    an oil spill.
  • Countermeasures to address a
    spill should one occur

12
Plan Certification and Review
  • Oil SPCC Plans must be certified by a
    Professional Engineer (P.E.).
  • Plans must be reviewed at least once every five
    years and completion of the review and evaluation
    must be documented.
  • If amendments are required, they must be
    completed within six months.
  • Technical amendments must be certified by a P.E.
    (e.g., Changes to storage capacity,
    prevention/control technology, or inspection and
    testing procedures).

13
MGSC Eastman CampusOil SPCC Plan
14
Eastman Campus Oil SPCC Plan
  • The overall goal is to prepare/implement plan
    that satisfies the legal requirements and allows
    quick reference in the event of a spill/release.
  • Copies of the Plan can be found
  • EHS Office and
  • Hanger.

15
Identification of Potential Releases
  • Preparation of the Plan included an evaluation of
    potential releases from each of the bulk oil
    storage containers on campus.
  • Two potential release scenarios were identified
  • A release due to tank or piping failure
  • A release during fuel deliveries or pumping of
    the waste fuel tanks.

16
Identification of Potential Releases
  • In order to reduce the potential of a release
    from one of these two scenarios, the Plan
    includes
  • Oil transfer and delivery procedures designed to
    prevent overfills and accidents and
  • A comprehensive inspection, testing and
    preventative maintenance program to detect
    releases and ensure proper function of all tank
    systems.

17
Oil Transfer and Delivery Procedures
  • Oil Transfer and Delivery Procedures are
    described in Section 3.5 of the Plan.
  • Bulk transfers include
  • Jet A Fuel
  • 100 Octane Aviation Fuel
  • Gasoline
  • Waste Fuel/Oil

18
Oil Transfer and Delivery Procedures
  • Prior to Unloading
  • Determine the available capacity of the receiving
    tank using the tank monitoring system or level
    gauge. This information should then be
    communicated to the individual responsible for
    the transfer.
  • Move spill containment equipment, such as booms
    or spill barriers, into the unloading area
  • Ensure that the drip pans are placed under all
    pump hose fittings (if applicable) after the hose
    is hooked up to the tank and prior to unloading
  • Ensure that the fill nozzle is placed in the
    appropriate tank appurtenance

19
Oil Transfer and Delivery Procedures
  • During unloading
  • All oil transfers must be attended. The
    individual responsible for the transfer must
    remain with the vehicle at all times during
    loading or unloading
  • Periodically check the tank monitoring system to
    ensure that the available capacity is not
    exceeded.
  • Prohibit smoking, lighting matches or the use of
    cellular telephones near the tank truck during
    unloading.

20
Oil Transfer and Delivery Procedures
  • After fuel unloading is completed
  • Prior to disconnecting and removing the flexible
    hoses, ensure that they are drained
  • Pour any fuel accumulated in the drip pans into
    the appropriate waste tank
  • Cap and secure the fill port and
  • Inspect that area around the tank truck prior to
    departure for any leaks.

21
Inspections and Testing Procedures
  • The Inspection and Testing program described in
    Chapter 4.0 of the Plan consist of
  • Monthly Visual Inspections of all ASTs and
    55-gallon drums performed by MGC personnel
  • Tank Integrity Tests of ASTs performed, as
    needed, by a qualified contractor and
  • Preventative maintenance to ensure that equipment
    remains in good working order.

22
Monthly AST Inspections
  • ASTs, piping, and secondary containment are
    inspected on a monthly basis and documented
    using the tank inspection forms in Appendix B.
  • These inspections also include oil storage in
    55-gallon drums.

23
Monthly AST Inspections
24
Tank Integrity Testing
  • MGSC will retain the services of a Certified Tank
    Testing Contractor to perform an integrity test
    of an AST under the following circumstances
  • Whenever material repairs or alterations are made
    to the tank
  • If evidence of a leak occurs
  • In the event of damage to the tank or containment
    structure or
  • If the results of a tank inspection reveal
    evidence of leakage or deterioration.

25
Preventative Maintenance Program
  • MGSC routinely inspects and replaces equipment as
    part of its preventative maintenance program.
  • If an inspection shows that continuation of an
    operation or practice is likely to result in an
    imminent release, prompt action is taken.
  • If there is no imminent threat to cause a
    release, visible leaks are promptly corrected.

26
Release Response and Notification
27
Response to Spills or Releases
  • Trained personnel may respond to small leaks or
    spills that do not pose significant risks to
    health or safety.
  • First Responders are trained to respond in a
    defensive fashion without actually trying to stop
    the release.
  • Their function is to contain the release from a
    safe distance, keep it from spreading, and
    prevent exposure to the environment.
  • Do not endanger yourself or others by attempting
    to act outside of your role.

28
Response to Spills or Releases
  • Immediately notify the Oil SPCC Coordinator, Gene
    Cravey.
  • If Gene is not available contact Roy Woods.
  • Follow the steps on the Spill Response Flow
    Chart.

29
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30
Response to Spills or Releases
  • Any release into a storm sewer or a visible sheen
    on surface water is a reportable release.
  • The Oil SPCC Coordinator will determine whether
    the release requires action beyond the
    capabilities of facility personnel.
  • After notification, trained personnel will
    attempt to control the release at its source and
    contain the material that has already been
    released using the appropriate emergency response
    and cleanup equipment.

31
Response to Spills or Releases
  • Released material should be contained by placing
    absorbent booms and pads down gradient of the
    source to control and divert the flow of oil.
    When possible the oil should be contained on
    pavement or concrete.
  • All nearby catch basins and manholes should be
    covered and/or bermed with absorbent materials.

32
Clean-up and Disposal Procedures
  • All contaminated PPE, equipment, and clean-up
    waste will be contained in labeled 55-gallon
    drums and labeled.
  • A private environmental clean-up contractor will
    be retained to perform any necessary remediation
    and remove all contaminated material and clean-up
    equipment.

33
Internal and External Notifications
  • All spills, regardless of quantity must be
    immediately reported to the Oil SPCC Coordinator.
  • The Oil SPCC Coordinator is the designated party
    accountable for spill prevention and will assess
    whether a release has exceeded any reportable
    conditions and notify the proper authorities as
    necessary.

34
Oil SPCC Training Summary
  • Know where the Oil SPCC Plan can be found
  • Be familiar with the procedures for fuel
    deliveries and monthly inspections contained in
    the Oil SPCC Plan
  • Know who the Oil SPCC Coordinators are and when
    they should be notified of a spill or release
    and
  • Always remember to respond to a release in a
    defensive fashion to contain the release from a
    safe distance and keep it from spreading. Do not
    endanger yourself or others by attempting to act
    outside of your role.

35
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