Florida Department of Environmental Protection

Hazardous Waste Facility Compliance History


Activity History Listing


Activity History for:

EPAID: FLD984178194, Ring Power Corporation


Note: ETA links to Enforcement Tracking Activity
Date Done Activity Type Activity Comments ETA Link
04/15/1997 Legacy Site Inspection Possible Rcra And Used Oil Violations - Report To Follow. Possible Rcra And Used Oil Violations - Report To Follow.
05/02/1997 Non-Compliance Letter Issued Corrective Actions W/30 Day Complaince Schedule. Corrective Actions W/30 Day Complaince Schedule.
06/17/1997 Telephone Conversation Telecon W/David Brindlecombe - Meeting Set Up At Site For Tomorrow. He Will Bring Additional Info. Telecon W/David Brindlecombe - Meeting Set Up At Site For Tomorrow. He Will Bring Additional Info.
06/18/1997 Followup Inspection Less Comprehensive Than Cse Follow Up Inspection - Report To Follow. Follow Up Inspection - Report To Follow.
06/26/1997 Letter Follow Up Inspection Summary - Rfi. Will Schedule Daytona And Palm Bay Inspection In July. Response Rec'D 7/31 Minus Media Analyticals And Training Schedule. Palm Bay Facility Scheduled 8/5/97. Follow Up Inspection Summary - Rfi. Will Schedule Daytona And Palm Bay Inspection In July. Response Rec'D 7/31 Minus Media Analyticals And Training Schedule. Palm Bay Facility Scheduled 8/5/97.
06/26/1997 Telephone Conversation Telecon W/David Brindlecombe - Dep Will Send Letter To Lance Ringhaver Requesting Management Support To Avoid Formal Enforcement. Telecon W/David Brindlecombe - Dep Will Send Letter To Lance Ringhaver Requesting Management Support To Avoid Formal Enforcement.
06/30/1997 Letter Letter To Lance Ringhaver W/Summary And Request For Support. Signed By Rts. Letter To Lance Ringhaver W/Summary And Request For Support. Signed By Rts.
09/16/1997 Telephone Conversation Telecon W/David Brindlecombe. Training And Analyticals Are On The Way. We Scheduled Daytona For October 10. Telecon W/David Brindlecombe. Training And Analyticals Are On The Way. We Scheduled Daytona For October 10.
10/24/1997 Letter Letter Requesting Training Information W/15 Day Time Frame. Letter Requesting Training Information W/15 Day Time Frame.
10/28/1997 Telephone Conversation Telecon W/Dave Brindlecombe And Rick Ooley. They Are Scheduled To Attend The Lion Course In Jan. A Training Schedule Will Be Developed For Branch Offices From This Training. They Will Submit A Letter W/Confirmation Next Week. Telecon W/Dave Brindlecombe And Rick Ooley. They Are Scheduled To Attend The Lion Course In Jan. A Training Schedule Will Be Developed For Branch Offices From This Training. They Will Submit A Letter W/Confirmation Next Week.
11/24/1997 Letter Letter Requesting Training Information With 5 Day Time Frame. Letter Requesting Training Information With 5 Day Time Frame.
12/01/1997 Letter Rec'D Fax Indicating David And Rick Are Confirmed For January 1998 Training. | Received Fax Of Certificates Of Completion For Dave And Rick On Thursday 1/29. Rec'D Fax Indicating David And Rick Are Confirmed For January 1998 Training. | Received Fax Of Certificates Of Completion For Dave And Rick On Thursday 1/29.
02/19/1998 Letter Letter To Dave Brindlecombe Requesting Training Agenda That Will Be Used For Employee Training With Schedule. Agenda Is To Be Submitted By End Of March. Letter To Dave Brindlecombe Requesting Training Agenda That Will Be Used For Employee Training With Schedule. Agenda Is To Be Submitted By End Of March.
03/03/1998 Telephone Conversation Telecon W/Dave Clarifying What Is Needed To Close Case. He Was Notified That The Orlando Facility Will Be Reinspected Sometime In The Next Two Months. Telecon W/Dave Clarifying What Is Needed To Close Case. He Was Notified That The Orlando Facility Will Be Reinspected Sometime In The Next Two Months.
03/30/1998 Telephone Conversation Rec'D Fax Agenda From Dave. Suggested He Add A Separate Agenda Item For Container Management. He Will Correct And Send Hard Copy With Training Schedule. Training Is Scheduled To Be Conducted With Rtk Later In The Year. Rec'D Fax Agenda From Dave. Suggested He Add A Separate Agenda Item For Container Management. He Will Correct And Send Hard Copy With Training Schedule. Training Is Scheduled To Be Conducted With Rtk Later In The Year.
04/10/1998 Telephone Conversation Telecon W/Dave - Rick Has Training Agenda And Dave Will Mail Us A Copy As Soon As It'S Finalized. | (Call At The End Of April If Not Received.) Telecon W/Dave - Rick Has Training Agenda And Dave Will Mail Us A Copy As Soon As It'S Finalized. | (Call At The End Of April If Not Received.)
05/05/1998 Telephone Conversation Telecon W/Dave. Training Is Scheduled For September. He Will Send Letter With New Agenda And Schedule By The End Of Next Week. Telecon W/Dave. Training Is Scheduled For September. He Will Send Letter With New Agenda And Schedule By The End Of Next Week.
05/11/1998 Compliance W/O Formal Enforcement Action
05/11/1998 Project Closed Letter No Further Action. No Further Action.
07/24/2000 Legacy Site Inspection Follow Up Inspection From Former Enforcement. Facility Was Lqg In 1999. Questions Regarding Status Of Safety Kleen'S Continued Use Program May Make Them Sqg In 2000 But Without Program Facility Is Still Lqg. Report To Follow. Follow Up Inspection From Former Enforcement. Facility Was Lqg In 1999. Questions Regarding Status Of Safety Kleen'S Continued Use Program May Make Them Sqg In 2000 But Without Program Facility Is Still Lqg. Report To Follow.
09/27/2000 Letter Letter To Steve Fowler Notifying Of Follow Up Document Review Inspection. Letter Listed Which Documents Need To Be Made Available On 10/6/00. Letter To Steve Fowler Notifying Of Follow Up Document Review Inspection. Letter Listed Which Documents Need To Be Made Available On 10/6/00.
09/27/2000 Telephone Conversation Telecon To Both Steve Fowler And David Brindlecombe Notifying Of Follow Up Inspection To Review Paperwork On Oct 6. Letter To Follow. Telecon To Both Steve Fowler And David Brindlecombe Notifying Of Follow Up Inspection To Review Paperwork On Oct 6. Letter To Follow.
10/10/2000 Followup Inspection Less Comprehensive Than Cse Follow Up Inspection To Review Paper Work. Follow Up Inspection To Review Paper Work.
01/18/2001 Warning Letter Issued
01/18/2001 Enforcement Project Initiated
01/18/2001 Significant Non-Complier - Yes
02/08/2001 Enforcement Meeting Meeting To Discuss Violations And Provide Draft Penalties Of 24,609. Meeting To Discuss Violations And Provide Draft Penalties Of 24,609.
02/22/2001 Letter Received Response Outlining Corrective Actions Performed To Date. Received Response Outlining Corrective Actions Performed To Date.
03/01/2001 File Review Reviewed Response And Inspection Report. Reviewed Response And Inspection Report.
03/01/2001 Interdepartmental Memo E-Mailed Comments To David Brimblecombe And Rick Ooley With Additional Information And Revisions Needed. | Rec'D Additional Information On April 6, 2001. E-Mailed Comments To David Brimblecombe And Rick Ooley With Additional Information And Revisions Needed. | Rec'D Additional Information On April 6, 2001.
04/18/2001 Interdepartmental Memo E-Mailed Additional Comments To Dave Brimblecombe. Emergency Coordinators Do Not Live In Area And Still Need Training Agenda. E-Mailed Additional Comments To Dave Brimblecombe. Emergency Coordinators Do Not Live In Area And Still Need Training Agenda.
05/07/2001 Interdepartmental Memo Rec'D E-Mail From Dave Inquiring If Contents Page Of Training Document Would Meet Requirements. He Is Sending Remaining Information. Rec'D E-Mail From Dave Inquiring If Contents Page Of Training Document Would Meet Requirements. He Is Sending Remaining Information.
06/04/2001 Interdepartmental Memo E-Mailed Comments To Dave. E-Mailed Comments To Dave.
06/06/2001 Interdepartmental Memo Rec'D Revised Agenda And Contingency Plan. Rec'D Revised Agenda And Contingency Plan.
07/26/2001 Interdepartmental Memo Supplied Additional Comments And Recieved Final Training Agenda. Supplied Additional Comments And Recieved Final Training Agenda.
08/02/2001 Telephone Conversation Telecon With Dave Brimblecombe. Enforcement Meeting Scheduled For 8/16 To Discuss Penalty Settlement. Telecon With Dave Brimblecombe. Enforcement Meeting Scheduled For 8/16 To Discuss Penalty Settlement.
09/14/2001 Consent Order Executed
09/14/2001 Significant Non-Complier - No
04/14/2003 Case Closed By District
12/10/2015 Site Inspection Routine; Used Oil Transporter On December 10, 2015, Michael Eckoff And Chris Rossing, Florida Department Of Environmental Protection, Accompanied By Brian Phelps, Ring Power Corporation, Inspected Ring Power Corporation For Compliance With State And Federal Used Oil Transportation Requirements. The Facility Most Recently Notified The Department Of Its Waste Activities On February 14, 2013 And Was Initially Issued Epa Id Fld984178194 On January 6, 2004. The Facility Is Currently Registered As A Used Oil Transporter, Used Oil Transfer Facility, Used Oil Filter Transporter, And Used Oil Filter Transfer Facility, Which Expires June 30, 2016. The Facility'S Most Current Liability Insurance Policy, On File With The Department, Expired April 1, 2015. Note: A Copy Of The Current Liability Insurance Policy, Expiring April 1, 2016, Was Displayed At The Facility During The Inspection. Mr. Phelps Was Asked To Forward A Copy To The Department'S Tallahassee Office For Processing. On December 22, 2015, Mr. Phelps Emailed A Copy Of An Internal Company Email Stating The Current Insurance Documentation Was Sent To Tallahassee. Inspection History The Facility Has Never Been Inspected By The Department For Compliance With State And Federal Hazardous Waste And Used Oil Regulations. | The Facility Is A Heavy Equipment Rental Company. Heavy Equipment Is Serviced At Job Sites By Facility Personnel. The Service Only Includes Oil Changes, Any Other Services Are Performed At The Facility. Records Service Records Include Site Identification, Purchase Order Number, Date Of Service, Gallons Of Used Oil Removed From Equipment, And Equipment Identification Number. Used Oil Is Picked Up From The Facility By Synergy Recycling Of Central Florida. Used Oil Registration And Current Liability Insurance Policy Was Posted At The Facility. Used Oil Filters Were Stored In 55-Gallon Drums, Not All Drums Were Properly Labeled, "Used Oil Filters" [62-710.850(5)(A), Florida Administrative Code (F.A.C.)]. Note: On December 22, 2015, Mr. Phelps Emailed Pictures Of The Drums Properly Labeled. Used Absorbents Were Stored In An Unlabeled Drum. The Inspectors Recommended The Drums Be Labeled. Used Oil Was Stored In A 5,000-Gallon Tank Located Outside. The Tank Was Properly Labeled, "Used Oil," Located Inside Secondary Containment, And Provided A Roof. Product Oil Tanks And A Used Antifreeze Tank Were Also Located In The Area. | Ring Power Corp Was Inspected As A Used Oil Transporter And Was Not In Compliance At That Time. Corrective Actions Were Provided Prior To The Issuance Of This Report. | John Reviewed | John Reviewed
12/29/2015 Informal Verbal Enforcement Compliance Assistance Offer Verbal for Informal Verbal Enforcement-12/10/2015 ; Compliance Assistance Correspondence for Informal Verbal Enforcement-12/22/2015 ; Finished-12/29/2015
12/03/2020 Site Inspection Routine; SQG (100-1000 kg/month) - Routine; Used Oil Transporter On December 3, 2020, Miranda Rothenberger, Florida Department Of Environmental Protection (Fdep Or Department), Inspected Ring Power Corporation (Ring Power Or Facility), Located At 9901 Ringhaver Dr, Orlando, Florida, For Compliance With State And Federal Used Oil Transporter And Hazardous Waste Regulations. Dalton Chesser, Branch Service Manager, Represented The Facility. The Department Received The 2019 “Annual Report By Used Oil And Used Oil Filter Handlers” On February 19, 2020 And Was Issued Registration Number Fld984178194. This Registration Will Expire On June 30, 2021. Ring Power Managed 61,831 Gallons Of Used Oil In 2019 From Automotive Sources. A Certificate Of Liability Insurance Was Received On August 7, 2020. Ring Power Originally Notified The State As A Small Quantity Generator (Sqg) Of Hazardous Waste On September 14, 1990 And Received Epa Identification Number Fld984178194. The Facility Most Recently Notified The State As An Sqg On March 27, 2013 And Retains Epa Identification Number Fld984178194. Inspection History (5 Years) Ring Power Was Last Inspected For Compliance With State And Federal Used Oil Transporter Requirements On December 10, 2015 And Was Not In Compliance At The Time Of The Inspection. The Facility Failed To Label Drums Of Used Oil Filters With The Words “Used Oil Filters”. Corrective Actions Were Received, And The Case Was Resolved Without Formal Enforcement On December 29, 2015. | Ring Power Is A Heavy Equipment Rental Company Who Operates Several Service Bays. Used Oil Is Generated From Vehicle Service And Hard Piped To Used Oil Tanks Outside. Oil Is No Longer Transported From Other Ring Power Locations But The Used Oil Transporter Registration Is Maintained. Throughout The Shop Floor Were Several Disposal Containers For “Oily Rags” Which Are Laundered Through Aramark. In Secondary Containment, And Under Cover Of An Awning Was One 5,000-Gallon Tank Of Used Oil Properly Labelled “Used Oil” And One 3,500-Gallon Tank Of Used Antifreeze Properly Labelled “Used Antifreeze”. Located Next To The Containment Area Were Four 200-Gallon Containers Of Used Oil Filters. The Labels Were Partially Obstructed, The Facility Was Reminded To Clearly Label All Containers Containing Used Oil Filters With The Words “Used Oil Filters”. In A Maintenance Area The Facility Punctures Aerosol Cans. Outside The Maintenance Area Was A Satellite Accumulation Area (Saa) With One 55-Gallon Drum Of Used Aerosol Cans That Was Labelled “Aerosol Cans For Recycling” But Were Unpunctured [40 Cfr 262.15(A)(5)]. An Email From Rick Vaughn, Environmental Manager, Dated January 6, 2021, Included A Photograph Of The Drum Labelled “Hazardous Waste” And Marked With The Hazard “Ignitable”. In The Same Area Was One 55-Gallon Drum Labelled “Excluded Solvent Contaminated Wipes”. When The Drum Was Opened It Was Noted That It Contained Trash Amongst The Rags. It Was Recommended That The Facility Cease This Activity As To Not Pose Issues With Laundering. Records For Disposal Or Laundering Of These Rags Was Requested Via Email On December 8, 2020. Records For The Last Year Of Laundering Through Aramark Were Received Via Email On December 29, 2020 From Mr. Vaugh And Were Found To Be In Compliance. Inside The Maintenance Area Was The Puncture Unit Consisting Of One 55-Gallon Drum Of Hazardous Waste Labeled “Hazardous Waste” And Marked Flammable With A Dot Diamond. The Drum Was Not Marked With An Accumulation Start Date [40 Cfr 262.16(B)(6)(I)(C)]. An Email Dated December 29, 2020 From Mr. Vaugh Contained A Photograph Of The Drum Dated 12/23/2020. The Puncture Device Is Removable And Replaced With A Closed Funnel When Not In Use. The Drum, Funnel, And Surrounding Areas Exhibited Signs Of Paint Splatter [40 Cfr 262.16(B)(8)(I)]. An Email Dated December 29, 2020 From Mr. Vaugh Contained A Photograph Of The Area Documenting That Paint Splatters Had Been Cleaned Up. The Filter On The Puncture Drum Did Not Have A Service Date, This Date
01/20/2021 Informal Verbal Enforcement Return to Compliance Letter Sent (RCL)for InformalVerbalEnforcement-01/15/2021 ; Finished-01/20/2021
05/13/2024 Site Inspection Routine; Transporter On May 13, 2024, Gina Laddick And Jennifer Parker, Florida Department Of Environmental Protection (Fdep Or Department), Inspected Ring Power Corporation (Ring Power Or Facility), Located At 9901 Ringhaver Dr, Orlando, Florida, For Compliance With State And Federal Used Oil Transporter And Hazardous Waste Regulations. James Byrne, Security And Housekeeping Manager, Represented The Facility. The Department Received The 2023 “Annual Report By Used Oil And Used Oil Filter Handlers” On March 7, 2024 And Was Issued Registration Number Fld984178194. This Registration Will Expire On June 30, 2025. Ring Power Managed 79,065 Gallons Of Used Oil In 2023. A Certificate Of Liability Insurance Was Received On July 11, 2023. Ring Power Originally Notified The State As A Small Quantity Generator (Sqg) Of Hazardous Waste On September 14, 1990 And Received Epa Identification Number Fld984178194. The Facility Most Recently Notified The State As An Sqg On February 22, 2022 And Retains Epa Identification Number Fld984178194. Inspection History (5 Years): Ring Power Was Last Inspected For Compliance With State And Federal Used Oil Transporter Requirements On December 3, 2020 And Was Not In Compliance At The Time Of The Inspection. The Facility Failed To Label Containers Of Hazardous Waste With The Words “Hazardous Waste” And An Indication Of The Hazards Of The Contents, Failed To Label Containers Of Hazardous Waste With An Accumulation Start Date, Failed To Prevent Releases Of Hazardous Waste To Surrounding Drums And Walls, And Failed To Conduct Weekly Inspections Consistently For The Past Three Years. The Facility Submitted Corrective Actions And The Case Was Closed Without Formal Enforcement. | Ring Power Is A Heavy Equipment Rental Company That Operates Several Service Bays. Used Oil Is Generated From Vehicle Service And Hard Piped To Used Oil Tanks Outside. Used Oil And Used Oil Filters Are Also Transported To The Facility When Employees Perform Services On Equipment And Vehicles From A Job Site Outside Of The Facility. Located Within Secondary Containment, And Under A Covered Awning, Was One 5,000-Gallon Tank Of Used Oil Which Was Labeled With The Words “Used Oil” And One 3,500-Gallon Tank Of Used Antifreeze Labeled “Used Antifreeze”. Next To The Containment Area Were Five Small Dumpsters Of Used Oil Filters. The Dumpsters Were Labeled With The Words “Used Oil Filters”. No Hazardous Waste Was Inspected; However, The Facility Was Reminded Of Sqg Requirements Per 40 Cfr 262.16. Records: Used Oil Disposal Receipts Were Reviewed Following The Inspection. Safety-Kleen Systems, Inc. Disposes Of The Used Oil, Used Oil Filters And Used Antifreeze. Annual Employee Training Records Relative To Used Oil Transportation Were Not Available For Review During Or Following The Inspection [Rule 62-710.600(2)(B), F.A.C.]. The Used Oil Registration And Liability Insurance Policy Was Posted At The Time Of The Inspection. | Ring Power Was Inspected For Compliance With State And Federal Used Oil And Used Oil Filter Transporter Requirements On May 13, 2024, And Was Found To Be Out Of Compliance.
07/11/2024 Issue Non-Compliance Letter Sent-07/11/2024 ; Submittal Received by Department-08/16/2024 ; Return to Compliance Letter Sent (RCL)-09/09/2024 ; Finished-09/12/2024

Violation History:

Vio# Area Regulation Opened By Date Determined Completed ETA Act Act Date Regulation Text Excerpt
(mouse over for full text)
1 XXS 62-762.401 Burson_L 04/15/1997 12/01/1997 5824 04/15/1997 Registration and Financial Responsibility.
2 XXS 62-710 Burson_L 04/15/1997 12/01/1997 5824 04/15/1997 CHAPTER 62-710 USED OIL MANAGEMENT
3 262.A 262.11 Burson_L 04/15/1997 12/01/1997 5824 04/15/1997 Hazardous waste determination. A person who generates a solid waste, as defined in 40 CFR 261.2, must determine if that waste is a hazardous waste using the following method:
4 262.C 262.34(a)(2) Burson_L 04/15/1997 12/01/1997 5824 04/15/1997 The date upon which each period of accumulation begins is clearly marked and visible for inspection on each container;
5 262.C 262.34(c)(1) Burson_L 04/15/1997 12/01/1997 5824 04/15/1997 A generator may accumulate as much as 55 gallons of hazardous waste or one quart of acutely hazardous waste listed in 261.33(e) in containers at or near any point of generation where wastes initially accumulate, which is under the control of the oper
6 262.C 262.34(d)(5) Burson_L 04/15/1997 01/23/1998 5824 04/15/1997 The generator complies with the following requirements:
7 265.I 265.173(a) Burson_L 04/15/1997 12/01/1997 5824 04/15/1997 A container holding hazardous waste must always be closed during storage, except when it is necessary to add or remove waste.
8 268.A 268.7(a)(7) Burson_L 04/15/1997 12/01/1997 5824 04/15/1997 If a generator determines that he is managing a prohibited waste that is excluded from the definition of hazardous or solid waste or is exempted from Subtitle C regulation under 40 CFR 261.2 through 261.6 subsequent to the point of generation (includ
9 279.C 279.22(d)(3) Burson_L 04/15/1997 12/01/1997 5824 04/15/1997 Clean up and manage properly the released used oil and other materials; and
10 262.A 262.11 Burson_L 10/10/2000 09/14/2001 7849 07/24/2000 Hazardous waste determination. A person who generates a solid waste, as defined in 40 CFR 261.2, must determine if that waste is a hazardous waste using the following method:
11 262.C 262.34(a)(2) Burson_L 10/10/2000 09/14/2001 7849 07/24/2000 The date upon which each period of accumulation begins is clearly marked and visible for inspection on each container;
12 262.C 262.34(a)(3) Burson_L 10/10/2000 09/14/2001 7849 07/24/2000 While being accumulated on-site, each container and tank is labeled or marked clearly with the words, "Hazardous Waste"; and
13 262.D 262.40 Burson_L 10/10/2000 09/14/2001 7849 07/24/2000 Recordkeeping.
14 265.B 265.16 Burson_L 10/10/2000 09/14/2001 7849 07/24/2000 Personnel training.
15 265.E 265.75 Burson_L 10/10/2000 09/14/2001 7849 07/24/2000 Biennial report. The owner or operator must prepare and submit a single copy of a biennial report to the Regional Administrator by March 1 of each even numbered year. The biennial report must be submitted on EPA Form 8700-13B. The report must cover f
16 265.1 Burson_L 10/10/2000 09/14/2001 7849 07/24/2000 Purpose, scope, and applicability.
17 265.I 265.173(a) Burson_L 10/10/2000 09/14/2001 7849 07/24/2000 A container holding hazardous waste must always be closed during storage, except when it is necessary to add or remove waste.
18 265.I 265.174 Burson_L 10/10/2000 09/14/2001 7849 07/24/2000 Inspections. At least weekly, the owner or operator must inspect areas where containers are stored, except for Performance Track member facilities, that must conduct inspections at least once each month, upon approval by the Director. To apply for re
19 268.A 268.7 Burson_L 10/10/2000 09/14/2001 7849 07/24/2000 Testing, tracking, and recordkeeping requirements for generators, treaters, and disposal facilities.
20 279.C 279.22(c)(1) Burson_L 10/10/2000 09/14/2001 7849 07/24/2000 Containers and aboveground tanks used to store used oil at generator facilities must be labeled or marked clearly with the words "Used Oil."
21 XXS 62-710.850 Burson_L 10/10/2000 09/14/2001 7849 07/24/2000 Management of Used Oil Filters.
22 XXS 62-710.850(5)(a) Eckoff_M 12/10/2015 12/22/2015 176710 12/10/2015 All persons storing used oil filters shall store used oil filters in above ground containers which are clearly labeled "Used Oil Filters," and which are in good condition (no severe rusting, apparent structural defects or deterioration) with no visib
23 XXS 62-730.160(3) Rothenberger_M 12/03/2020 01/05/2021 189501 12/03/2020 Generators of hazardous waste who accumulate hazardous waste on-site under 40 CFR 262.16, and 262.17 [as adopted in subsection 62-730.160(1), F.A.C.], shall maintain written documentation of the inspections required under 40 CFR Part 265 [as adopted
24 262.A 262.15(a)(5) Rothenberger_M 12/03/2020 01/06/2021 189501 12/03/2020 SAA containers must be marked as "Hazardous Waste" and an indication of the hazardous contents.
25 262.A 262.16(b)(6)(i)(C) Rothenberger_M 12/03/2020 12/29/2020 189501 12/03/2020 date each period of accumulation begins is marked and visible on each SQG container
26 262.A 262.16(b)(8)(i) Rothenberger_M 12/03/2020 12/29/2020 189501 12/03/2020 Maintenance and operation of facility. Facilities must be maintained and operated to minimize the possibility of a fire, explosion, or any unplanned sudden or non-sudden release of hazardous waste or hazardous waste constituents to air, soil, or surf
27 XXS 62-710.600(2)(b), 62-710.600(2)(c) Laddick_G 05/13/2024 08/16/2024 197463 05/13/2024 Show evidence of familiarity with applicable state laws and rules governing used oil transportation by submitting a certification that the used oil transporter is familiar with applicable Florida and federal laws and rules governing used oil transpor