Appenxi O - SPCC Plan FY22 Amendment FINAL.pdf

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Civil Engineering (CE) Base Operation Support (BOS), MacDill AFB, FL Federal contract opportunity
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FA481422R0011
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Department of the Air Force Air Mobility Command

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SPILL PREVENTION, CONTROL, AND COUNTERMEASURE PLAN

MACDILL AIR FORCE BASE

FLORIDA

DLA-Energy Contract Number/Task Order:

SP0600-01-D-5108/0065

Prepared for:

DLA-Energy 8725 John J. Kingman Road, Suite 4950

Fort Belvoir, Virginia 22060-6222

MacDill Air Force Base Florida

Prepared by:

Bhate Environmental Associates, Inc., June, 2007

Technical Amendment Prepared by:

6 CES/CEIE, May 2022

This page intentionally left blank.

MacDill AFB Spill Prevention Control & Countermeasure Plan May 2022 i

SPILL PREVENTION, CONTROL AND COUNTERMEASURE PLAN

MANAGEMENT APPROVAL

The Commander of MacDill Air Force Base (AFB) is committed to the prevention of discharges of oil to navigable waters and the environment, and maintains the highest standards for spill prevention, control and countermeasures through regular review, updating, and implementation of this SPCC Plan.

I have reviewed the recommendations for regulatory compliance as presented in this SPCC Plan.

By virtue of my office, I have authority to approve this document on behalf of MacDill Air Force Base and to commit the necessary resources to implement the required improvements to comply with existing applicable Federal and State laws.

Best engineering practice recommendations noted herein will be considered and may or may not be implemented depending on the priority of funding available.

Authorized Facility Representative: Colonel Benjamin R. Jonsson

Title: Commander, 6th Air Refueling Wing

Signature: Date:

ii

THIS PAGE INTENTIONALLY LEFT BLANK.

iii

RECORD OF SPCC PLAN REVIEWS/AMENDMENTS

In accordance with 40 CFR 112.3 and 112.5 of the SPCC Plan regulations, there are three situations that require an amendment to the MacDill AFB SPCC Plan. The dates listed below are based on a final rule effective January 2010.

Situation A If your onshore or offshore facility was in operation on or before 16 August 2002, you must maintain your SPCC Plan but amend it, if necessary, and implement it as soon as possible but not later than November 2010.

Situation B The owner or operator of a facility that meets the general applicability requirements of 40 CFR 112.1 must review and amend the SPCC Plan when there is a change in the facility design, construction, operation, or maintenance that materially affects its potential for a discharge of oil into or upon the navigable waters of the United States or adjoining shorelines … or that may affect natural resources belonging to, appertaining to, or under the exclusive management authority of the United States (including resources under the Magnuson Fishery Conservation and Management Act).

Examples of changes that may require amendment of the SPCC Plan include, but are not limited to, any of the following:

• Commissioning or decommissioning containers

• Replacement, reconstruction, or movement of containers

• Reconstruction, replacement, or installation of piping systems

• Construction or demolition that might alter secondary containment structures

• Changes of product or service

• Revision of standard operation or maintenance procedures at a facility

• Expansion of the military mission or additional aircraft or aircraft operations

An amendment made under this section after 31 October 2007 must be prepared within six months (of the facility change) and implemented as soon as possible but not later than six months following preparation of the amendment.

iv

Situation C The facility owner or operator must complete a review and evaluation of the SPCC Plan at least once every five years from the date your last review was required under this part. As a result of this review and evaluation, you must amend your SPCC Plan within six months of the review to include more effective prevention and control technology if the technology has been field-proven at the time of the review and will significantly reduce the likelihood of a discharge as described in §112.1(b) from the facility. For any amendment to the SPCC Plan, you must implement the amendment as soon as possible. An amendment made under this section after 31 October 2007 must be prepared within six months and implemented as soon as possible but not later than six months following preparation of the amendment. You must document your completion of the review and evaluation, and must sign a statement as to whether you will amend the SPCC Plan, either at the beginning or end of the SPCC Plan or in a log or an appendix to the SPCC Plan. The following words will suffice:

A licensed professional engineer must review and certify any technical amendments to this SPCC Plan for it to effectively satisfy the SPCC rules.

Tables for Record of Review and Amendment To facilitate SPCC Plan reviews and amendments, the following two tables are provided.

I have completed review and evaluation of the SPCC Plan for MacDill AFB on (date) and will (will not) amend the SPCC Plan as a result.

v

OWNER/OPERATOR RECORD OF SPCC PLAN 5-YEAR REVIEWS

I have completed review and evaluation of the SPCC Plan for MacDill AFB on the date indicated below and will (will not) amend the SPCC Plan as a result.

Signature of Reviewer Date of Review Will

Amend the SPCC Plan

Will Not Amend the SPCC Plan

March 2020 X March 2021 X March 2022 X

Due to the arrival/beddown of the U.S Army Reserve 81st Readiness Division and its’ Aviation Support Facility, the SPCC Plan has been amended to account for their petroleum and hazardous waste storage.

OWNER/OPERATOR RECORD OF SPCC PLAN AMENDMENTS

If applicable, briefly describe the type of amendment (i.e., administrative or technical). State how the amendment was completed (i.e., page change, addendum, etc.). Provide the date of the amendment and the printed name/position of person responsible for the amendment. A licensed professional engineer must review and certify all technical amendments. MacDill AFB must implement the amended SPCC Plan within six months (except as noted on the Management Approval page).

Description of Change (Administrative or Technical) Date Entered Posted By

Technical Amendment

Required Technical Amendment March 2012 SAIC Yes

In-house review – no changes October 2013 6 CEV No In-house review – no changes October 2014 6 CEV No Administrative Amendment October 2015 6 CEV No Administrative Amendment November 2016 6 CEIE No Administrative Amendments May 2017 6 CEIEC No

In-house review, admin. changes only May 2018 6 CEIEC No In-house review, admin. changes only May 2019 6 CES/CEIE No In-house review, admin. changes only March 2020 6 CES/CEIE No In-house review, administrative only March 2021 6 CES/CEIE No Admin. review, amendment required March 2022 6 CES/CEIE Yes

Technical Amendment May 2022 6 CES/CEIE Completed vi viii ix

MACDILL SPILL PREVENTION, CONTROL AND COUNTERMEASURE PLAN

AMENDMENT

The previous Technical Amendment to the MacDill AFB Spill Prevention, Control and Countermeasure Plan was prepared under the direction of 6th Civil Engineer Squadron, Environmental Element (6 CES/CEIE) in February 2012. The beddown of the new U.S Army Reserve 81st Readiness Division and its’ Aviation Support Facility in December 2021 represents an expansion of the military mission or additional aircraft or aircraft operations that materially affects the potential for a discharge of oil into or upon the navigable waters of the United States or adjoining shorelines. As such, a technical amendment to the SPCC Plan has been accomplished.

The following table documents the major items that were included in this amendment.

Item # Description

1 Made multiple updates throughout the plan to address the management and spill prevention/control of hazardous waste so that MacDill’s SPCC Plan will also fulfill the requirement for a hazardous waste contingency plan.

2 Added the Hazardous Waste Quick Reference Guide as Appendix I 3 Updated the Federal regulation citations which have changed in recent years, notably

40 CFR Part 265, Subpart D, which was replaced with 40 CFR Part 262 Subpart M.

4 Added the U.S. Army Reserve Medical Evacuation Squadron and Command

Aviation Company to Section 2.3 Facility Description (also called USAR Aviation Support Facility).

5 Updated the facility map.

6 Updated Table 2 to add new storage tanks, mobile tank, and 55-gallon drums as well as remove tanks and drums that no longer exist (these tank/drum updates are accomplished each year as part of the annual review process).

7 Updated Table 3 Transformer Inventory to include new transformers on base.

8 Updated Table 4 Spill Reporting to include reference to reporting requirement for the Clean Air Act that are required for the release of a regulated substance or an extremely hazardous substance.

9 Updated Section 3.6 Emergency Procedures to include discussion clarifying that MacDill’s SPCC Plan will serve as the hazardous waste contingency plan as described in 40 CFR 262 Subpart M Preparedness, Prevention, and Emergency Procedures for Large Quantity Generators

10 Updated Table 5 to include the new Oil Water Separator at the USAR Aviation Support Facility

11 Updated Section 8.1.3 Emergency Response Personnel Training to address changes in the hazardous materials training requirements for Emergency Management, Fire Department, Explosive Ordnance Disposal, and Bioenvironmental.

x xii xiii

Executive Summary

This spill prevention, control, and countermeasure (SPCC) plan is written to comply with EPA’s oil spill prevention rule. The federal SPCC rule (40 CFR §112) applies to owners or operators of facilities that drill, produce, gather, store, process, refine, transfer, distribute, use, or consume oil or oil products, and might reasonably be expected to discharge oil in quantities that may be harmful into or upon the navigable waters of the united states, waters of the State of Florida, or adjoining shorelines. MacDill AFB is subject to these regulations based on its total oil storage capacity.

In developing this plan, an assessment of oil storage and handling sites for compliance with regulatory requirements was conducted. Results of this assessment and recommendations for oil spill prevention planning and preparedness have been provided in writing to the 6 CES environmental manager.

xiv xv

CERTIFICATION OF SUBSTANTIAL HARM DETERMINATION FORM

FACILITY NAME: MacDill Air Force Base FACILITY ADDRESS: 7621 Hillsborough Loop Dr.

MacDill AFB, Fl. 33621

1. Does the facility transfer oil over water to or from vessels, and does the facility have a total oil storage capacity greater than or equal to 42,000 gallons?

YES NO X

2 Does the facility have a total oil storage capacity greater than or equal to 1 million gallons, and does the facility lack secondary containment that is sufficiently large to contain the capacity of the largest aboveground oil storage tank plus sufficient freeboard to allow for precipitation within any aboveground storage tank area?

3. Does the facility have a total oil storage capacity greater than or equal to 1 million gallons, and is the facility located at a distance (as calculated using the appropriate USEPA formula or a comparable formula)1 such that a discharge from the facility could cause injury to fish and wildlife and sensitive environments?

YES X NO

4. Does the facility have a total oil storage capacity greater than or equal to 1 million gallons, and is the facility located at a distance (as calculated using the appropriate USEPA formula or a comparable formula)1 such that a discharge from the facility would shut down a public drinking water intake?2

5. Does the facility have a total oil storage capacity greater than or equal to 1 million gallons, and has the facility experienced a reportable oil spill in an amount greater than or equal to 10,000 gallons within the last five years?

Certification I certify under penalty of law that I have personally examined and am familiar with the information submitted in this document, and that based on my inquiry of those individuals responsible for obtaining this information, I believe that the submitted information is true, accurate, and complete.

Signature Title

Name (please type or print) Date

Therefore, we have prepared and are maintaining a Facility Response Plan pursuant to 40 CFR 112 Subpart D.

1 If a comparable formula is used, documentation of the reliability and analytical soundness of the comparable formula must be attached to this form.

2 For the purposes of 40 CFR 112, public drinking water intakes are analogous to public water systems as described at 40

CFR 143.2(c).

xvi

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xvii

TABLE OF CONTENTS

SPCC Plan Management Approval .................................................................................................. i Record of SPCC Plan Reviews/Amendments................................................................................ iii Owner/ Operator Record of SPCC Plan 5-Year Review .................................................................v Professional Engineer’s Certification ........................................................................................... vii SPCC Plan Amendment ................................................................................................................. ix Professional Engineer Certification of Plan Amendment .............................................................. xi Executive Summary ..................................................................................................................... xiii Certification of Substantial Harm Determination Form ................................................................xv

1 INTRODUCTION

1.1 Regulatory Requirements

1.2 Relationship to Other Plans

1.3 SPCC Plan Organization and Format

1.4 Responsibility

1.5 Plan Update and Amendment

1.6 Plan Purpose

1.7 Plan Focus

2 FACILITY INFORMATION

2.1 Facility Owner/Operator, Address, and Telephone

2.2 Facility Contact(s)

2.3 Facility Description

2.3.1 Site Location

3 OIL STORAGE INFORMATION

3.1 Facility Diagram

3.2 Oil Storage

3.3 Countermeasures

3.3.1 Follow-up Spill Response Measures

3.4 Disposal

3.5 Spill Reporting

3.5.1 POL and Hazardous Substance Spills

3.5.2 Hazardous Waste Release Reporting Requirements

3.5.3 HQ AMC Reporting Requirements

3.5.4 DLA-Energy Spill Notification

3.6 Emergency Procedures

4 POTENTIAL SPILL PREDICTIONS, VOLUMES, RATES, AND CONTROL

4.1 Above and Underground Storage Tanks, Oil-filled Operational Equipment and Mobile/Portable Containers

4.2 Tank Truck Fuel Loading/ Unloading Operations

4.3 Secondary Containment Considerations

4.3.1 Oil Water Separators

xviii

4.4 Drainage Pathways and Distance to Navigable Waters

5 DISCHARGE PREVENTION, DIVERSIONARY STRUCTURES,

AND CONTAINMENT

6 IMPRACTICALITY OF SECONDARY CONTAINMENT

7 INSPECTION, TESTS, AND RECORDS

8 PERSONNEL TRAINING AND DISCHARGE PREVENTION PROCEDURES

8.1 Personnel Instructions

8.1.1 General Spill Prevention and Response Training

8.1.2 Tank Custodian Training

8.1.3 Emergency Response Personnel Training

8.1.4 Emergency Response Contractor Training

8.2 Designated Person Accountable for Discharge Prevention

8.3 Discharge Prevention Briefings

9 SITE SECURITY

9.1 Fencing and Gates

9.2 Flow and Drain Valves Secured

9.3 Starter Controls Secured

9.4 Pipeline Loading/Unloading Connections Secured

9.5 Lighting Adequate to Detect and Deter Spills

10 LOADING/UNLOADING OPERATIONS

10.1 General Transfer Operations

10.1.1 Fuel Loading/Unloading Racks Defined

10.1.2 General Fuel Loading/ Unloading Procedures

10.2 Adequate Secondary Containment for Vehicles

10.2.1 Containment Dimensions for Loading/Unloading Racks

10.3 Warning or Barrier System for Vehicles

10.4 Vehicles Examined for Lowermost Drainage Before Leaving

11 BRITTLE FRACTURE OR OTHER CATASTROPHE OF FIELD

CONSTRUCTED TANKS

12 CONFORMANCE WITH OTHER APPLICABLE REQUIREMENTS

12.1 State Rules

12.1.1 FAC 62-761 and FAC 62-762

12.2 Industry Standards

13 DRAINAGE CONTROL

13.1 Drainage from Diked Storage Areas

13.2 Valves Used on Diked Storage Areas

xix

13.3 Plant Drainage Systems from Undiked Areas

13.4 Final Discharge of Drainage

13.5 Facility Drainage Systems and Equipment

14 BULK STORAGE TANKS/SECONDARY CONTAINMENT

14.1 Tank Compatibility with its Contents

14.2 Diked Area Construction and Containment Volume for Storage Tanks

14.2.1 Freeboard Determination

14.2.2 Adequacy of Secondary Containment

14.3 Diked Area Inspection and Drainage of Storm water

14.4 Corrosion Protection of Buried Metallic Storage Tanks

14.5 Corrosion Protection of Partially Buried Metallic Tanks

14.6 Aboveground Tank Periodic Integrity Testing

14.6.1 Shop-Fabricated Tanks and Portable Containers

14.6.1.1 Inspection for Shop Fabricated Tanks

14.6.1.2 Inspection for Portable Containers

14.6.2 Field-Erected Tanks

14.6.3 Record Maintenance

14.7 Control of Leakage through Internal Heating Coils

14.8 Tank Installation Fail-Safe Engineered

14.9 Observation of Disposal Facilities for Effluent Discharge

14.10 Visible Oil Leak Corrections from Tank Seams and Gaskets

14.11 Appropriate Position of Mobile or Portable Oil Storage Tanks

15 FACILITY TRANSFER OPERATIONS, PIPING, AND PUMPING

15.1 Buried Piping Installation Protection and Examination

15.2 Not-in-Service and Standby Service Terminal Connections

15.3 Pipe Supports Design

15.4 Aboveground Valve and Pipeline Examination

15.5 Aboveground Piping Protection from Vehicular Traffic

16 SPILL REPORT GUIDELINES

16.1 Amendment of SPCC Plans by Regional Administrator

FIGURES

Figure 1 MacDill AFB Site Location Map

TABLES

Table 1 Regulatory Requirement and Cross-Reference Matrix Table 2 Facility Oil Storage Inventory and Hazard Identification Table 3 Initial Response Actions Table 4 Spill Reporting Requirements Table 5 Oil Water Separator Inventory Table 6 Routine Inspection Schedule xx

Table 7 Non-Routine Inspection and Integrity Testing Schedule Table 8 HAZMAT Emergency Response Training Levels Requirements Table 9 Tank Truck Fuel Loading/Unloading Racks Table 10 Loading/Unloading Areas Containment Dimensions Table 11 Florida Regulations for Underground and Aboveground Storage Tank Systems 85 Table 12 List of Standard Operating Procedures Table 13 API 653 Tank Bottom Plate Guidelines

APPENDICES

APPENDIX A FACILITY DIAGRAMS

APPENDIX B ACRONYMS AND REFERENCES

APPENDIX C SAMPLE INSPECTION CHECKLISTS

APPENDIX D SITE PHOTOGRAPHS

APPENDIX E 90-DAY HAZARDOUS WASTE STORAGE FACILITY CONTINGENCY

PLAN

APPENDIX F DEFICIENCIES AND RECOMMENDATIONS

APPENDIX G STI SP001, STANDARD FOR THE INSPECTION OF ABOVEGROUND

STORAGE TANKS, 6th EDITION, JANUARY 2018

APPENDIX H DLA- ENERGY (DESC) P-40 FUEL SPILL/LEAK/RELEASE REPORTING

APPENDIX I HAZARDOUS WASTE QUICK REFERENCE GUIDE

1 INTRODUCTION

1.1 REGULATORY REQUIREMENTS

Regulations issued by the U.S. Environmental Protection Agency (EPA) require a Spill Prevention, Control, and Countermeasure (SPCC) Plan for non-transportation-related, oil product-storing facilities that could possibly discharge oil in harmful quantities to navigable waters of the United States. The regulatory requirements and guidelines for the preparation of an SPCC Plan are set forth in Chapter 40, Code of Federal Regulations (CFR), Part 112, Oil Pollution Prevention. In addition, certain other federal regulations govern the drilling, producing, gathering, storing, processing, refining, transferring, distributing, using, or consuming of oil and oil products.

Additionally, this plan fulfills the requirement for a hazardous waste contingency plan in accordance with 40 CFR 264.56.

MacDill AFB is subject to these requirements based on its aboveground storage tank oil capacity.

The information in this SPCC Plan is based on the previous SPCC Plan (2007), a site survey performed by SAIC on October 2011 and information provided by MacDill AFB personnel.

This SPCC Plan contains all of the elements required by the oil spill prevention regulations currently in effect. The SPCC Plan also satisfies applicable requirements of AFI 10-2501. This Plan provides provisions for oil spill prevention based on the types and quantities of petroleum substances present and the conditions of storage and use. The SPCC Plan focuses on oil spill prevention measures at MacDill AFB associated with accidental releases.

1.2 RELATIONSHIP TO OTHER PLANS

The following documents provide useful information for oil spill prevention and response:

• Installation Emergency Management Plan (IEMP 10-2)

This plan identifies procedures for response and recovery from major accidents, natural disasters, attacks, and terrorist use of Chemical, Biological, Radiological, Nuclear, or High- Yield Explosive (CBRNE). The IEMP supersedes MacDill AFB Comprehensive Emergency Management Plan (CEMP) 10-2, dated 15 Nov 2018.

• Storm water Pollution Prevention Plan (SWPPP) The SWPPP documents existing storm water management practices at the base and serves as a guide for base personnel who are responsible for ensuring that the potential for storm water contamination is minimized. This plan provides detailed drainage descriptions and best management practices for storm water pollution prevention, consistent with Nation Pollutant Discharge Elimination System (NPDES) requirements found in 40 CFR §126.26.

• Facility Response Plan (FRP) Although the SPCC Plan provides general initial response and reporting measures for any spill or release at MacDill AFB, the FRP presents the necessary actions to respond to and remediate a major release or discharge of POL. The FRP will be implemented when the discharge could reasonably be expected to cause substantial harm to the environment. The FRP provides Oil Pollution Act 1990 (OPA 90) emergency response planning compliance for onshore facilities which have the potential for oil or hazardous substances release into waterways, as determined by OPA 90 regulations (40 CFR §112.20).

1.3 SPCC PLAN ORGANIZATION AND FORMAT

This plan is organized by key elements required in a SPCC Plan and as specifically stated in 40 CFR Part 112. Where applicable, regulatory requirements listed in 40 CFR Part 112 are cited in the section or subsection heading. In general, this plan follows the sequence of the regulatory requirements outlined in 40 CFR §112.7 and §112.8, and discusses the facility’s conformance to the applicable regulatory requirements of that section. Any regulatory deficiencies and best engineering practice recommendations are presented in the Executive Brief submitted as a separate document. State regulations including Florida Department of Environmental Protection; and, other recommended practices are referenced as necessary throughout the SPCC Plan.

Table 1 below provides a cross-reference matrix for each of the applicable regulatory citations of 40 CFR Part 112 on the following pages. For each citation, the matrix indicates the related section of the SPCC Plan.

TABLE 1 - REGULATORY REQUIREMENT AND CROSS-REFERENCE MATRIX

SPCC Citation Brief Description Plan Section

40 CFR §112.7

Petroleum Storage Information 3, Appendix A (a)(3) Physical Layout of the Facility 2.3, 3.1, A (a)(3)(i) Petroleum Storage Inventory 3.2, Tables 2 & 3, Appendix A (a)(3)(ii) Discharge Prevention Measures 3.2, 5, 10 (a)(3)(iii) Discharge or Drainage Controls 3.2, 5 (a)(3)(iv) Countermeasures for Discharge Recovery 3.3 (a)(3)(v) Methods of Disposal for Recovered Materials 3.4 (a)(3)(vi) Contact List and Phone Numbers 2.2 (a)(4) Discharge Reporting Responsibilities 2.2, 3.5 (a)(5) Discharge Emergency Response Procedures 3.6

(b) Potential Spill Predictions, Volumes, Rates, and Control 3.2, Table 2, 6, Appendix A

(c) Discharge Prevention, Diversionary Structures and Containment 5, Appendix A

(d) Impracticality of Secondary Containment 6.0

(e) Inspection, Tests, and Records 7, Appendix C

(f) (1-3) Personnel Training and Discharge Spill Prevention Procedures 8 (f)(1) Personnel Instructions 8.1 (f)(2) Designated Person Accountable for Discharge Prevention 2.2, 8.2 (f)(3) Discharge Prevention Briefings 8.3

(g) Site Security 9

(g) Fencing and Gates 9.1

(g) Flow and Drain Valves Secured 9.2

(g) Starter Controls Secured 9.3

(g) Pipeline Loading/Unloading Connections Secured 9.4, 10.1

(g) Lighting Adequate to Detect and Deter Spills 9.5

TABLE 1 - REGULATORY REQUIREMENT AND CROSS-REFERENCE MATRIX

SPCC Citation Brief Description Plan Section (h)(1-3) Loading/Unloading Operations 10, 10.1 (h)(1) Adequate Secondary Containment for Vehicles 10.2, Table 10 (h)(2) Warning or Barrier System for Vehicles 10.3 (h)(3) Vehicles Examined for Lowermost Drainage Outlets 10.1, 10.4

(i) Brittle Fracture or Other Catastrophe of Field-Constructed Tanks 7, 11

(j) Conformance with Other Applicable Requirements 12, Table 11, Table 13

40 CFR §112.8,

§112.12

(b)(1-5) Drainage Control 13 (b)(1) Drainage from Diked Storage Areas 13.1, Appendix C (b)(2) Valves Used on Diked Storage Areas 13.2 (b)(3) Plant Drainage Systems from Undiked Areas 13.3 (b)(4) Final Discharge of Drainage 13.4 (b)(5) Facility Drainage Systems and Equipment 13.5 (c)(1-11) Bulk Storage Tanks/Secondary Containment 14 (c)(1) Tank Compatibility with Its Contents 14.1 (c)(2) Diked Area Construction and Containment Volume 3.2, Table 2, 14.2 (c)(3) Diked Area Inspection and Drainage of Storm water 14.3, Appendix C (c)(4) Corrosion Protection of Buried Metallic Storage Tanks 14.4 (c)(5) Corrosion Protection of Partially Buried Metallic Tanks 14.5

(c)(6) Aboveground Tank Periodic Integrity Testing 7, Tables 6 & 7, 14.6, Appendix C

(c)(7) Control of Leakage Through Internal Heating Coils 14.7 (c)(8) Tank Installation Fail-Safe Engineered 3.2, Table 2, 14.8 (c)(9) Observation of Disposal Facilities for Effluent Discharge 14.9 (c)(10) Visible Oil Leak Corrections from Tank Seams and Gaskets 14.10 (c)(11) Appropriate Position of Mobile or Portable Oil Storage Tanks 14.11 (d)(1-5) Facility Transfer Operations, Piping, and Pumping 15 (d)(1) Buried Piping Installation Protection and Examination 15.1 (d)(2) Not-In-Service and Standby Service Terminal Connections 15.2 (d)(3) Pipe Supports Design 15.3 (d)(4) Aboveground Valve and Pipeline Examination 15.4, Appendix C (d)(5) Aboveground Piping Protection from Vehicular Traffic 15.5 Spill Report Guidelines 16 40 CFR §112.4 Amendment of SPCC Plans by Regional Administrator 16.1

1.4 RESPONSIBILITY

The 6 CES/CEIE has primary responsibility for environmental compliance at MacDill AFB.

Within the 6 CES/CEIE, the Spill Prevention and Response Coordinator (SPRC) is responsible for the Spill Prevention, Control, and Countermeasure Program. The 6 CES/CEIE must have the proper training, equipment, containment facilities, and other resources necessary to implement the spill prevention measures described herein.

1.5 PLAN UPDATE AND AMENDMENT

The SPRC is responsible for reviewing and evaluating the SPCC Plan every year to determine if it needs to be updated. The SPRC’s review should include a detailed inspection of all POL and hazardous waste sites at MacDill AFB and verification of the spill response equipment inventory and response teams. The following information should be documented as part of the review:

• New locations for POL and hazardous wastes

• Additions of new POL products stored/issued at MacDill AFB

• Changes in POL and hazardous waste processes, storage, use, and disposal methods that may affect potential spills

• Changes in probable spill routes resulting from construction

• New spill prevention and response technology

• Changes in adjacent land and water use that might affect spill prevention and response procedures, methods, or equipment

• Changes in notification procedures

• Most current regulations and reportable spill quantities

If harmful quantities of POL or a hazardous substance are spilled or discharged at MacDill AFB, the Emergency Operations Center (EOC) and 6 CES/CEIE will review the SPCC Plan. This review is designed to determine the adequacy of the plan to prevent similar spills or discharges in the future and can be conducted as part of a regularly scheduled meeting. The reviewers will consider the following issues in conducting the review:

• The cause of such spill, including a failure analysis of the system or subsystem in which the failure occurred. The failure analysis should describe in detail the nature of the failure that caused the spill and explain why the failure occurred

• The corrective actions and/or countermeasures taken in response to the spill, including equipment repairs and/or replacements

• Additional preventive measures taken or contemplated to minimize the possibility of spill recurrence

The reviewers will decide if the plan presents adequate measures to prevent a similar spill from occurring in the future or if the plan must be updated or amended. If they decide the plan must be updated or amended, the SPRC is responsible for having the plan amended and for ensuring that amendments are implemented.

The SPCC Plan must be amended and recertified by a professional engineer within six months of the review to include more effective prevention and control technology if (1) such technology will significantly reduce the likelihood of a spill occurring at the facility, and (2) such technology has been field-proven at the time of the review. The following other situations require plan amendment and recertification:

• Whenever a change in facility design, construction, operation, or maintenance occurs that materially affects the potential for the facility to discharge oil or hazardous substances to the environment

• The U.S. Environmental Protection Agency (EPA) Regional Administrator requests amendment and recertification after reviewing an SPCC Plan submitted within 60 days because of a spill

• The Florida Department of Environmental Protection (FDEP) requests amendment and recertification after reviewing an SPCC Plan during an inspection

Forms for tracking SPCC Plan reviews and amendments are found on pages iv and v in the front of this plan. The SPRC is the key contact for plan maintenance.

A written report must be submitted within 60 days to the EPA Regional Administrator if MacDill AFB discharges 1,000 gallons of oil in a single discharge, or 42 gallons of oil in each of two discharges, into navigable waters, adjoining shorelines, etc. (as described in 40 CFR §112.4(a)) in a 12 month period. Section 16 provides greater details on these procedures.

This SPCC Plan reflects all the revisions enacted in the issuance of Final SPCC rules promulgated by the United States Environmental Protection Agency (USEPA).

1.6 PLAN PURPOSE

This SPCC Plan has been prepared in accordance with Title 40 of the Code of Federal Regulations (CFR), Part 112 (40 CFR Part 112), as well as, 40 CFR Part 109, and 40 CFR Part 262 Subpart M,. The purpose of the SPCC Plan is to establish procedures, methods, equipment, and other criteria to prevent the discharge of oil products from non-transportation related onshore and offshore facilities into or upon navigable waters of the United States or adjoining shorelines.

At a minimum, the SPCC Plan addresses the following:

• Spill Prevention – System components and characteristics, and operating procedures to prevent the occurrence of oil spills.

• Spill Control – Control measures to prevent a spill from entering navigable waters.

• Spill Countermeasures – Countermeasures to contain, clean up, and mitigate the effects of an oil spill that could impact navigable waters.

1.7 PLAN FOCUS

This SPCC Plan is designed to address oil and hazardous substances containers at MacDill AFB of 55 gallons or greater, including oil-containing operating equipment. The major or high-risk containing structures will receive special attention to expedite and simplify SPCC Plan development, implementation, and amendment. Low-risk containing structures such as drums and smaller storage tanks are also addressed in this SPCC Plan as well. The level of detail is intended to be commensurate with the level of risk.

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2 FACILITY INFORMATION

2.1 FACILITY OWNER/OPERATOR, ADDRESS, AND TELEPHONE

6th Air Refueling Wing 8208 Hangar Loop Dr., Suite 1 MacDill AFB, FL 33621-5502

Facility Phone Number: 813-828-4444

2.2 FACILITY CONTACT(S)

§112.7(a)(3)(vi): You must address in your Plan the contact list and phone numbers for the facility response coordinator, National Response Center, cleanup contractors with whom you have an agreement for response, and all appropriate Federal, State, and local agencies who must be contacted in case of a discharge as described in §112.1(b).

Primary Contact for the SPCC Plan Title: Spill Prevention and Response Coordinator

Organization: 6 CES/CEIE (Environmental) Phone Number: 813-828-0459 (Cell 813-614-5729)

The Spill Prevention and Response Coordinator’s primary responsibilities include keeping the SPCC Plan up to date, ensuring copies of the SPCC Plan are distributed to appropriate personnel on-Base and authorized emergency response agencies off-Base who request it, and ensuring Base personnel designated to respond to spills have been appropriately trained.

Fuels Management Flight Title: Superintendent, Fuels Management Flight

Organization: 6 LRS/LGRF (Fuels) Phone Number: 813-828-3463 (day)

For after hours contact the Fuels Mobility Support at 813-828-2402.

The Fuels Management Flight’s primary responsibilities within the SPCC Plan include tracking all petroleum product movements, ensuring an updated copy of the SPCC Plan is maintained at all Hydrant pumphouse and the military service station and ensuring fuels personnel designated to respond to spills are familiar with the SPCC Plan and have been appropriately trained.

Incident Commander (IC) Primary:

Title: Commander, 6th Mission Support Group

Phone Number: 813-828-4545 (day) 24 hrs: 813-828-4361

Alternate:

Title: Deputy Commander, 6th Mission Support Group Phone Number: 813-828-4545 (day) 24 hrs: 813-828-4361

The IC’s primary responsibilities include responding to a spill, notifying appropriate Base personnel and off-site emergency response agencies, and directing the spill response under the Base incident command system.

Agencies to Contact when a Discharge of Oil or Hazardous Material Occurs Agency Number National Response Center /USCG 800-424-8802 or 202-267-2675 Florida Watch Office 800-320-0519 USCG Marine Safety Office, Tampa 727-824-7506 EPA Region IV Atlanta, Georgia 404-562-9900 FDEP Bureau of Emergency Response 813-470-5954 Local Emergency Planning Commission (LEPC) 727-570-5151 ext. 29 State Emergency Response Commission (SERC) 850-815-4319 Hillsborough Co. Emergency Management 813-272-6600 (non-emergency)

Base Contacts Organization Number Fire Emergency Services (6 CES/CEF) 911 or 813-828-3630 Medical Group (6 MG) 813-828-2273 Security Forces (6 SFS) 813-828-2598 Command Post 813-828-4361 Fuels Resource Control Center (RCC) 813-828-2074

Oil Spill Response Organizations (OSRO) Organization Number NRC Corporation 800-899-4672 Navy Emergency Operations Center 202-781-1731 Navy Emergency Operations Center (After hours) 202-781-3889

Other Spill Response Contractors Organization American Compliance Technologies 1-800-226-0911 Clean Harbors 1-800-645-8265 Cliff Berry 1-800-899-7745

HEPACO 1-800-888-7689

For detailed spill response information refer to the MacDill AFB FRP.

2.3 FACILITY DESCRIPTION

2.3.1 Site Location

MacDill AFB is located in west central Florida at the southern tip of the Interbay Peninsula in Hillsborough County.

The 6th Air Refueling Wing (ARW) is the host unit at MacDill AFB and reports to the Air Mobility Command (AMC), headquartered at Scott AFB, Illinois. MacDill AFB is home to the 91st Air Refueling Squadron (91 ARS), and the 50th Airlift Refueling Squadron (50 ARS). The mission of the wing is to provide worldwide air refueling and airlift in support of the Air Force’s Global Reach, Global Power mission, and administrative, medical, and logistical support for United States Central Command (USCENTCOM) and the United States Special Operations Command (USSOCOM). The organizational structure of 6 ARW consists primarily of a maintenance group, medical group, operations group, and mission support group.

Other major tenants of MacDill AFB include the Joint Communications Support Element (JCSE), 622nd Aeromedical Evacuation Squadron, and 290th Joint Communications Support Squadron (JCSS) and the U.S. Army Reserve Medical Evacuation Squadron and Command Aviation Company.

Figure 1: MacDill AFB Site Location Map

3 OIL STORAGE INFORMATION

3.1 FACILITY DIAGRAM

§112.7(a)(3): Describe in your Plan the physical layout of the facility and include a facility diagram, which must mark the location and contents of each fixed oil storage container and the storage area where mobile or portable containers are located. The facility diagram must identify the location of and mark as “exempt” underground tanks that are otherwise exempted from the requirements of this part under §112.1(d)(4). The facility diagram must also include all transfer stations and connecting pipes, including intra-facility gathering lines that are otherwise exempted from the requirements of this part under §112.1(d)(11).

Appendix A, Figure A-1, Facility Diagram, shows the locations of all primary oil storage structures (e.g. ASTs, USTs, OWSs, mobile tank locations, and 55-gallon drum storage sites) with respect to major buildings, roadways, and drainage paths on the base among other layers. Additionally, Appendix D contains site photographs of the tanks and indicates the locations and storage volumes of each tank.

3.2 OIL STORAGE

§112.7(a)(3)(i): You must also address in your Plan the type of oil in each fixed container and its storage capacity. For mobile or portable containers, either provide the type of oil and storage capacity for each container or provide an estimate of the potential number of mobile or portable containers, the types of oil, and anticipated storage capacities Table 2 summarizes all ASTs, USTs, mobile tanks, buildings with POL drum storage and oil-filled operational equipment (e.g., electrical transformers) at MacDill AFB. Information provided regarding these storage tanks includes: number designation (if applicable), building number, location, tank/pipe material, whether double-walled, year installed, good engineering practices, contents, and capacity.

Secondary containment capacity estimates are based on field measurements and information provided by facility personnel.

With the exception of AAFES and Marina USTs, all vehicular fuel tanks (including the mobile refueling trucks) are operated by fuels management personnel and maintained by refueler maintenance personnel. All generator tanks and associated day tanks are managed by 6 CES Power Production, and all used oil tanks are managed by the used oil-generating activity.

Small quantities of POL and hazardous waste (typically 55 gallons or less) are found throughout the base. For collection and management of the hazardous waste, 6 CES/CEIE has designated numerous initial accumulation points (IAPs) and one 90-day accumulation point for the collection and management of hazardous waste.

Hydrant System

The Type III System, completed in 2004, consists of a pumphouse (Pumphouse 105), two 1,200,000-gallon field erected bulk storage tanks, one 5,000-gallon UST for recovered fuel, one Type III loading/off-loading stand with two off-loading headers, two fill stands, and a test stand. An underground steel pipeline runs from the pumphouse to the loading/off-loading rack and then in a loop out on the flightline. There are 12 hydrant pits collocated with aircraft parking on the North ramp.

Table 2 - MacDill AFB Facility Oil Storage Inventory and Hazard Identification

ABOVEGROUND STORAGE TANKS

Facility No.

Facility Description

Tank

ID

Product Stored

Capacity (gal)

Primary/Secondary Tank/ Pipe Material

Double WallTank

/Pipe

Year Install ed Good Eng Practices

Sec Cont Cap (gal)

Flow Dir/Distance

Receiver

Containment/ Diversion Structure

2 Phase Dock 2 Used Oil 280 S/S/NA Y / NA 2004 SG, SB >100% Inside Bldg. DW

2 Hangar 2 2 Diesel 164 S/S Y / NA 2017 SG, SB >100% Inside Bldg DW

Hangar Maintenance /

Emergency Generator

3 Diesel 800 S/S/Flex Y / N 2009 SG, SB >100% Pool by Bldg. DW

Civil Engineer Operations/ Emergency Generator

11 Diesel 120 S/S/Flex Y / N UK SG, LLA, LD >100% Pool by Bldg. DW

Emergency Operations

Center/ Emergency Generator

12 Diesel 500 S/S Y/NA 2003 SG >100% Pool by Bldg. DW

Sewage Lift Station/

Emergency Generator

22 Diesel 300 S/S/Flex Y / N 2007 SG, LD, HLA, LLA >100% E to grass DW

Facility Oil Storage Inventory and Hazard Identification

ABOVEGROUND STORAGE TANKS

Facility No.

Facility Description

Tank

ID

Product Stored

Capacity (gal)

Primary/Secondary Tank/ Pipe Material

Double WallTank

/Pipe

Year Install ed Good Eng Practices

Sec Cont Cap (gal)

Flow Dir/Distance

Receiver

Containment/ Diversion Structure

Fire Department/ Emergency Generator

26 Diesel 150 S/S/S Y / N 2004 SG, SB >100% Pool by Bldg. DW

Power pro/ Emergency Generator

34-A Diesel 500 S/S/NA Y / NA 2003 SG, SB >100% NE 50' to Parking Lot DW

34 Power Pro 34-B Used Oil 280 S/S/NA Y / NA 1996 SG, SB >100% NE 50' to Parking Lot DW

Mobility Processing Ctr / Emergency Generator

48 Diesel 220 S/S/Flex Y / N 1998 SG, HLA, IM >100% Pool by Bldg. DW

49 Emergency Generator 49 Diesel 165 S/S Y / NA 2017 SG >100% N to grass DW

Command Post/

Emergency Generator

54 Diesel 1,200 S/S Y / N 2016 SG, IM, SB, LD >100% N 30' to

Grass DW

Airfield Lighting/

Emergency Generator

58-A Diesel 2,000 S/S/Flex Y / N 1998 SG,HLA,LD,SB >100% S to Grass DW

Facility Oil Storage Inventory and Hazard Identification

ABOVEGROUND STORAGE TANKS

Facility No.

Facility Description

Tank

ID

Product Stored

Capacity (gal)

Primary/Secondary Tank/ Pipe Material

Double WallTank

/Pipe

Year Install ed Good Eng Practices

Sec Cont Cap (gal)

Flow Dir/Distance

Receiver

Containment/ Diversion Structure

East Coast Radar/

Emergency Generator

(old

1600) Diesel 320 S/S/Flex Y / N 2004 SG >100% Pool by

Bldg. DW

Lift Station/ Emergency Generator

63 Diesel 500 S/S/Flex Y / N 2007 SG, SB, LD >100% W 10' to Grass DW

Wastewater Treatment

Plant/ Emergency Generator

66 Diesel 2,000 S/S/Flex Y / N 1999 SG, HLA, LD, SB >100% NW to

Grass DW

Det-1 Deployed Aircraft

Maintenance

70 Used Jet-A 500 S/S Y/N 2016 SG >100% N of Bldg toward

Flight Line

DW

Det-1

Deployed Aircraft

Maintenance

70 Used Oil 250 S/S Y/N 2016 SG >100% N of Bldg toward

Flight Line

DW

89 JCSE 89 Diesel 500 S/S Y/N 1995 SG >100% To grass DW

90 Alternate Command Post 90 Diesel 366 S/S/Flex Y/N 2008 SG, LD >100%

Towards adjacent

Bldg.

DW

Facility Oil Storage Inventory and Hazard Identification

ABOVEGROUND STORAGE TANKS

Facility No.

Facility Description

Tank

ID

Product Stored

Capacity (gal)

Primary/Secondary Tank/ Pipe Material

Double WallTank

/Pipe

Year Install ed Good Eng Practices

Sec Cont Cap (gal)

Flow Dir/Distance

Receiver

Containment/ Diversion Structure

Pumphouse/ Bulk Storage

Tank 105-A Jet A 1,200,000 S/NA/S N / N 2003 ATG,HLA 1,393,880

E towards grass and retention pond*

Concrete berm*

Pumphouse/ Bulk Storage

Tank 105-B Jet A 1,200,000 S/NA/S N / N 2003 ATG, HLA 1,393,880

E towards grass and retention pond*

Concrete berm*

Pumphouse/ Emergency Generator

105-C Diesel 350 S/S/Flex Y / N 2004 ATG, HLA, IM >100% Radial to Grass DW

Fire Station/ Emergency Generator

107-1 Diesel 560 S/S/Flex Y / N 2005 SG, HLA,IM,SB >110% W 50' to

Wetland DW

107 Fire Station 107-2 Used Oil 280 S/S/Flex Y / N 1996 SG, SB 366 gal W 60' to wetland DW

142 Airfield Lighting Vault 142 Diesel 2,992 S/S/Flex Y / N 2021 ATG, HLA, SB >110% West 5 feet to grass DW

Security Forces/

Emergency Generator

203 Diesel 2,000 S/S/S Y / N 2009 SG, IM, HLA, LLA SB >100% Pool in

Courtyard DW

Facility Oil Storage Inventory and Hazard Identification

ABOVEGROUND STORAGE TANKS

Facility No.

Facility Description

Tank

ID

Product Stored

Capacity (gal)

Primary/Secondary Tank/ Pipe Material

Double WallTank

/Pipe

Year Install ed Good Eng Practices

Sec Cont Cap (gal)

Flow Dir/Distance

Receiver

Containment/ Diversion Structure

Base LAN/ Emergency Generator

261 Diesel 10,200 S/S/S Y / N 2012 SG, SB >100% S 30' to asphalt parking

DW

305 Auto Hobby Shop 305 Used Oil 500 S/S/S Y / N 2014 SG, SB >100%

W 15' to Concrete

Slab

DW

CE Computer Building/

Emergency Generator

347 Diesel 500 S/S/S Y / N 2004 SG >100% Pool by Bldg. DW

Mission Planning/

Emergency Generator

359 Diesel 225 S/S/Flex Y / N 2003 SG, HLA >100% SW 15' to Storm Drain DW

SOCOM OSF /

Emergency generator

493-A Diesel 16,000 S/S/S Y/N 2018 ATG, HLA, SG, SB, >100% Inside Bldg DW

SOCOM OSF /

Emergency generator

493-B Diesel 16,000 S/S/S Y/N 2018 ATG, HLA, SG, SB >100% Inside Bldg DW

SOCOM/

Emergency Generator

497-A Diesel 4,800 S/S/Flex Y / N 2005 SG, IM, HLA, LLA, SB >100%

To Bldg.

floor then through door towards street

Facility Oil Storage Inventory and Hazard Identification

ABOVEGROUND STORAGE TANKS

Facility No.

Facility Description

Tank

ID

Product Stored

Capacity (gal)

Primary/Secondary Tank/ Pipe Material

Double WallTank

/Pipe

Year Install ed Good Eng Practices

Sec Cont Cap (gal)

Flow Dir/Distance

Receiver

Containment/ Diversion Structure

SOCOM/

Emergency Generator

497-B Diesel 4,800 S/S/Flex Y / N 2005 SG, IM, HLA, LLA, SB >100%

To Bldg.

floor then through door towards street

DW

SOCOM/

Emergency Generator

156-A Diesel 5,400 S/S/Flex Y / N 2010 SG, IM,HLA, SB >100% To drain inside Bldg. DW

SOCOM/

Emergency Generator

156-B Diesel 5,400 S/S/Flex Y / N 2010 SG, IM,HLA, SB >100% To drain inside Bldg. DW

SOCOM/

Emergency Generator

156-C Diesel 5,400 S/S/Flex Y / N 2010 SG, IM,HLA, SB >100% To drain inside Bldg. DW

500 Vehicle Maint.

Shop 500-A Used oil 480 S/NA/NA Y / NA 1996 SG, SB >100% Inside Bldg. DW

500 Vehicle Mix 500-B 15 w 40 270 S/S/Flex Y / N UK SG >100% Inside Bldg. DW

500 Vehicle Mix 500-C 10 w 270 S/S/Flex Y / N UK SG >100% Inside Bldg. DW

500 Vehicle Mix 500-D Dexron Oil 270 S/S/Flex Y / N UK SG >100% Inside Bldg. DW

Facility Oil Storage Inventory and Hazard Identification

ABOVEGROUND STORAGE TANKS

Facility No.

Facility Description

Tank

ID

Product Stored

Capacity (gal)

Primary/Secondary Tank/ Pipe Material

Double WallTank

/Pipe

Year Install ed Good Eng Practices

Sec Cont Cap (gal)

Flow Dir/Distance

Receiver

Containment/ Diversion Structure

SOCOM MISO

(old-3006) / Emergency Generator

MISO Diesel 1,500 S/S/Flex Y / N 2010 SG, HLA, IM >100% N to 10’ to grass DW

501 SOCOM/NOSC 501A Diesel 3,000 S/S/S Y / N 2010 SG, SB, HLA, IM >100% To Storm

Drainage DW

MARCENT/

Emergency Generator

535 Diesel 1,800 S/S/Flex Y / N 2009 SG, SB, HLA, LLA, IM >100%

To Bldg.

floor then NE 5' to grass

DW

552 AGE/ Gas Station 552 Jet A 4,000 S/S/S Y / Y 2019 ATG,HLA, IM, SB >100% SE 30' to Grass DW

552 AGE 552-B Used Jet A 480 S/NA/NA Y / NA 1997 SG,SB >100% N 20' to Storm Drain DW

552 AGE 552-C Used Oil 480 S/NA/NA Y / NA 1996 SB >100% N 20' to Storm Drain DW

JIC/

Emergency Generator

567-A Diesel 25,000 S/S/Flex Y / Y 2007 HLA, IM for tank and pipeline, >100% NE to grass area inside

Bldg.

DW

JIC/

Emergency Generator

567-B Diesel 25,000 S/S/Flex Y / Y 2007 HLA, IM for tank and pipeline, >100% NE to grass area inside

Bldg.

Facility Oil Storage Inventory and Hazard Identification

ABOVEGROUND STORAGE TANKS

Facility No.

Facility Description

Tank

ID

Product Stored

Capacity (gal)

Primary/Secondary Tank/ Pipe Material

Double WallTank

/Pipe

Year Install ed Good Eng Practices

Sec Cont Cap (gal)

Flow Dir/Distance

Receiver

Containment/ Diversion Structure

567 JIC 567-C Diesel 300 S/S/S N / N 2007 HLA, HHLA, LLA, SG 473 gal Inside Bldg. Dike

567 JIC 567-D Diesel 300 S/S/S N / N 2007 HLA, HHLA, LLA, SG 473 gal Inside Bldg. Dike

567 JIC 567-E Diesel 300 S/S/S N / N 2007 HLA, HHLA, LLA, SG 473 gal Inside Bldg. Dike

567 JIC 567-F Diesel 300 S/S/S N / N 2007 HLA, HHLA, LLA, SG 473 gal Inside Bldg. Dike

567 JIC 567-G Diesel 300 S/S/S N / N 2007 HLA, HHLA, LLA, SG 473 gal Inside Bldg. Dike

567 JIC 567-H Diesel 300 S/S/S N / N 2007 HLA, HHLA, LLA, SG 473 gal Inside Bldg. Dike

608 Marina Maintenance 665 Used Oil 200 S/R N / N 2003 SG >100% To grass

Rubber containment basin

805 DISA 805 Diesel 372 S/Flex Y/N 2011 SG >100% S 5’ to grass DW

MSA/

Emergency Generator

825 Diesel 105 S/S/Flex Y / Y 2008 SG, LD, HLA, IM >100% SW to grass drainage DW

Facility Oil Storage Inventory and Hazard Identification

ABOVEGROUND STORAGE TANKS

Facility No.

Facility Description

Tank

ID

Product Stored

Capacity (gal)

Primary/Secondary Tank/ Pipe Material

Double WallTank

/Pipe

Year Install ed Good Eng Practices

Sec Cont Cap (gal)

Flow Dir/Distance

Receiver

Containment/ Diversion Structure

SOCOM

Deployment Cell

847 Used Oil 200 S/S/NA Y / N NA SG >100% Inside Bldg DW

JCSE/

Emergency Generator

861-A Diesel 194 S/S/Flex Y / N 2005 SG >100%

Direct to floor and then SE to parking area

DW

JCSE/

Emergency Generator

861-B Diesel 500 S/S/Flex Y / N 2007 SG >100%

Direct to floor and then SE to parking area

DW

862 JCSE Vehicle Maintenance 862-A Used Oil 480 S/S/NA Y / NA 1996 SG, SB >100% Pool in

Bldg. DW

JCSE Vehicle Maintenance/ Lube Oil Rack

862-B Lube Oil Rack 360 S/S/NA Y / N UK SG >100% Pool in room DW

Localizer/

Emergency Generator

867 Diesel 120 S/S/Flex Y / N 2000 SG, SB >100% Drain to floor into cables trap

DW

JCSE/

Emergency Generator

913 Diesel 1,400 S/S/Flex Y / N 2011 HLA, IM, ATG, SG >100%

To floor and then to grass

Facility Oil Storage Inventory and Hazard Identification

ABOVEGROUND STORAGE TANKS

Facility No.

Facility Description

Tank

ID

Product Stored

Capacity (gal)

Primary/Secondary Tank/ Pipe Material

Double WallTank

/Pipe

Year Install ed Good Eng Practices

Sec Cont Cap (gal)

Flow Dir/Distance

Receiver

Containment/ Diversion Structure

924 Firestone Automotive 924-A Lube Oil 240 P/P/Flex N / N 2022 Visible plastic >100%

To floor then 100’ across asphalt to grass

HDPE

containment basin

924 Firestone Automotive 924-B Lube Oil 200 S/S/NA N / N Unk SG None

To floor, 100’ across asphalt to grass

None

924 Firestone Automotive 924-C Used Oil 400 S/S/Flex Y / N Unk SG >100%

To floor, 100’ across asphalt to grass

DW

Commissary Store/

Emergency Generator

925 Diesel 300 S/S/Flex Y / N 2004 SG, SB >100% NW 20' to Truck Bay DW

New

Clinic/Emergen cy Generator

1041-A Diesel 12,000 S/S/Flex Y / Y 2009 ATG, HLA, LLA, IM,SB >100%

To gravel floor

(No slope)

DW

New

Clinic/Emergen cy Generator

1041-B Diesel 12,000 S/S/Flex Y / Y 2009 ATG, HLA, LLA, IM,SB >100%

To gravel floor

(No slope)

DW

1043 SOCCENT 1043A Diesel 3,400 S/S/Flex Y / N 2011 SG, SB, HLA, IM >100%

Across concrete pad to soil

Facility Oil Storage Inventory and Hazard Identification

ABOVEGROUND STORAGE TANKS

Facility No.

Facility Description

Tank

ID

Product Stored

Capacity (gal)

Primary/Secondary Tank/ Pipe Material

Double WallTank

/Pipe

Year Install ed Good Eng Practices

Sec Cont Cap (gal)

Flow Dir/Distance

Receiver

Containment/ Diversion…

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