Florida Department of Environmental Protection

Hazardous Waste Facility Compliance History


Activity History Listing


Activity History for:

EPAID: FLR000143891, Crystal Clean LLC


Note: ETA links to Enforcement Tracking Activity
Date Done Activity Type Activity Comments ETA Link
11/13/2008 Site Inspection Routine; CESQG (<100 kg/month) - Routine; Used Oil Transporter - Routine; Used Oil Processor - Routine; Used Oil Marketer - Routine; VSQG (<100 kg/month) Raider Environmental Services (Res) Is Located At 4103 Nw 132nd St, Opa Locka, Fl 33054. The Property Encompasses 1.22 Acres And Is Connected To City Water And Sewer. There Are Currently 8 Employees. At The Time Of The Inspection, The Facility Had Been Open 1 Week. | Res Is A Transporter, Processor, And Marketer Of Used Oil And Used Oil Filters. The Facility Also Processes Oily Water From Tank Bottoms And Ships' Bilges. The Tank Farm Consists Of 14 Tanks Total. There Are Two 8,000 Gallon Tanks, Two 6,000 Gallon Tanks, And Ten 3,000 Gallon Tanks. At The Time Of The Inspection Inspectors Observed Only One Tank Holding Oily Water. The Tank Was Not Labeled Properly.Once Construction Of The Tank Farm Is Complete, There Will Be A Total Of 24 Tanks. They Will Utilize Three 7,000 Gallon Tanker Trucks, Seven Vacuum Trucks, One Roll Off Truck, And Two Box Trucks. Res Did Not Have Any Records To Review Since They Had Just Started Operating. They Did Provide Blank Copies Of The Manifests And Receipts That Will Be Provided To Customers. | Based On The Inspection, Res Is A Permitted Used Oil Transporter And Processor, And Generates Less Than 100 Kilograms Of Hazardous Waste Per Month Which Would Classify Them As A Conditionally Exempt Small Quantity Generator(Cesqg). An Exit Interview Was Conducted At The Conclusion Of The Inspection Which Addressed Potential Violations Listed Above. The Facility Was Found To Be Out Of Compliance At The Time Of The Inspection. They Were Given 30 Days To Return To Compliance. | Final | Submitted For Approval By Quigley, Janelle
11/19/2008 Informal Verbal Enforcement Finished-11/19/2008
08/11/2009 Submittal Received By Department Finished-08/11/2009
04/15/2010 Site Photos Finished-04/15/2010
04/15/2010 Informal Verbal Enforcement Finished-04/15/2010
04/15/2010 Site Inspection Routine; CESQG (<100 kg/month) - Routine; Used Oil-Other - Routine; Hazardous Waste Transporter - Routine; Used Oil Transporter - Routine; Used Oil Processor - Routine; Used Oil Marketer - Routine; VSQG (<100 kg/month) The Facility Was Out Of Compliance At The Time Of The Inspection. The Facility Was Given 30 Days To Return To Compliance. | Raider Environmental Services (Res) Has Been In Operation At This Location Since November Of 2008, And Currently Operates A Used Oil Processing Facility Under Department Permit # Ho13-284932-001, Expiration October 13, 2013. Res Is A Hazardous Waste Transporter, As Well As, A Transporter, Processor, And Marketer Of Used Oil And Used Oil Filters. The Facility Also Processes Oily Water From Tank Bottoms And Ships' Bilges. Res Is Situated In A Zoned Industrial Area And Encompasses 1.55 Acres. The Facility Has 18 Full Time Employees And Is On City Water And Sewer. Inspectors From The Department And Miami-Dade County Department Of Environmental Resources Management (Derm) Performed The Inspection. | The Facility Has Three Vacuum Trucks, One Of Which Is A Vactor, Used For Dry Product Such As Fly Ash. The Facility Has Five Tankers, One Of Which Is A 6000-Gallon Vacuum Truck, And The Rest Of The Tankers Have 7000-Gallon Capacities And Are Used For The Transport Of Both Used Oil And Oily Water. The Facility Has Four Tractor Trailers, One Of Which Is A Truck Designed For Picking Up Rolloffs And The Other Three Are For Used Oil Collection. For Hazardous Waste Transport, The Facility Uses Its' Two Box Trucks And There Is Also A Box Trailer, Which Is Generally Used In Emergency Response Situations. The Tank Farm Consists Of 14 Tanks Total. The Tank Farm Is Still Under Construction And Per The Permit, The Tank Farm Will Eventually Have 24 Tanks Altogether. All Tanks Are To Be Constructed Within The Facility'S Secondary Containment. At The Time Of The Inspection, There Were Eleven Tanks In Service, Tank Numbers Eight To Eleven Were Mislabeled As "Used Oil", When Actually They Contained Diesel Fuel. Inside The Secondary Containment Area And Next To The Blowby From The Heater Was A One-Third Full Drum Of Used Oil Which Was Open And Unlabeled. This Was Corrected Immediately. Also Noted In The Secondary Containment Area Were Two Five-Gallon Buckets Half Full Of Used Oil. These Were Also Removed Immediately And Poured Into The Screening Area For Used Oil. In An Area Where Used Oil Filters Containers For Delivery To Customers Are Usually Stored Were Several Poly Drums And Some 275-Gallon Totes. All These Containers Were Empty; However, Several Of The Drums Did Not Have Bungs. A Facility Representative Explained That All These Containers Where Going To Be Cut Up And Disposed Since They Were No Longer Useful. The Inspector Reminded Res That They Need To Make Sure The Containers Were Empty Before Shredding As The Ones Without Bungs Could Contain Oily Water. In The Middle Of The Yard Between The Secondary Containment And The Used Oil Filters Container Storage Area Was The Used Oil Filters Rolloff Which Was Not Labeled. Lined Up Alongside Of The Rolloff Were Used Oil Filter Containers Waiting To Be Emptied Into The Rolloff, All Of These Were Properly Labeled. The Facility Representative Gave The Inspectors An Overview Of How Both Used Oil And Oily Water Are Processed Through The Plant. Heat, Emulsifiers And Caustics Are Use In The Oily Water Processing, While The Used Oil Is Processed Using Flocculants And Acids. One Observation Made By The Inspectors Was That Next To The Daf Unit Was The Spigot Used For Effluent Testing And Under This Spigot Was An Open, Unlabeled Five-Gallon Bucket. It Was Removed Immediately. The Derm Representatives Informed The Inspectors That In July Of 2009 An Effluent Sample Taken By Them Revealed Benzene Levels Above The Acceptable Limits. Derm Took Samples That Day, As Well; However, Sample Results Have Not Yet Been Reported. Record Review The Following Deficiencies Were Noted In The Facility'S Contingency Plan (Cp): The Emergency Contacts Page Needed Updating; Emergency Coordinators' Home Addresses Were Not Included, And The Numbers For The Closest Fire And Police Station A
04/22/2010 Submittal Received By Department Finished-04/22/2010
06/09/2010 Submittal Received By Department Finished-06/09/2010
06/09/2010 Submittal Received By Department Finished-06/09/2010
06/09/2010 Submittal Received By Department Finished-06/09/2010
09/13/2010 Submittal Received By Department Finished-09/13/2010
03/14/2011 Site Inspection Complaint; Non-Handler - Complaint; Transporter - Complaint; Used Oil Transporter - Complaint; Used Oil Transfer Facility - Complaint; Used Oil Processor An Exit Interview Was Conducted At The Conclusion Of The Inspection Which Addressed The Potential Violations Listed Above. The Facility Was Not In Compliance At The Time Of The Inspection. The Facility Was Given 21 Days To Return Compliance. | Raider Environmental Services (Res) Has Been In Operation At This Location Since November Of 2008, And Currently Operates A Used Oil Processing Facility Under Department Permit Numbers 284932-Ho-001 And 284932-So-002, Expiration October 13, 2013. Res Is A Hazardous Waste Transporter, As Well As, A Transporter, Processor, And Marketer Of Used Oil And Used Oil Filters. The Facility Also Processes Oily Water From Tank Bottoms And Ships' Bilges. Res Is Situated In A Zoned Industrial Area And Encompasses 1.55 Acres. The Facility Has 25 Full Time Employees And Is On City Water And Sewer. | The Facility Has Four Vacuum Trucks, One Of Which Is A Vactor, Used For Dry Product Such As Fly Ash. The Facility Has Four Tankers, One Of Which Is A 6000-Gallon Vacuum Truck, And The Rest Of The Tankers Have 7000-Gallon Capacities And Are Used For The Transport Of Both Used Oil And Oily Water. The Facility Has Four Tractor Trailers, One Of Which Is A Truck Designed For Picking Up Rolloffs And The Other Three Are For Used Oil Collection. For Hazardous Waste Transport, The Facility Uses A Box Truck And There Is Also A Box Trailer, Which Is Generally Used For Emergency Response Situations. The Tank Farm Consists Of 14 Tanks Total. The Tank Farm Is Still Under Construction And Per The Permit, The Tank Farm Will Eventually Have 24 Tanks Altogether. All New Tanks Are To Be Constructed Within The Facility'S Secondary Containment. At The Time Of The Inspection, All Of The Existing Tanks Were In Service; Tank Number Five Which Contained Used Oil Was Not Labeled. Inside The Secondary Containment Area And Behind The Cooker Was A Large Puddle Of Used Oil That Was Coming From A Leaking Valve Associated With The Cooker. In The Middle Of The Yard Where The Used Oil Filter Containers Are Stored Were At Least Three Drums Labeled As Non-Regulated Solid Waste (Dirt) That Actually Contained Used Oil Filters. There Were Also At Least Two Containers In This Area That Were Open. The Inspector Reminded Res That They Need To Make Sure The Used Oil Filter Containers Are Closed And Protected From The Elements To Avoid A Discharge Of Oily Water To The Ground. The Facility Representative Gave The Inspectors An Overview Of How Both Used Oil And Oily Water Are Processed Through The Plant. Heat, Emulsifiers And Caustics Are Use In The Oily Water Processing, While The Used Oil Is Processed Using Flocculants And Acids. Record Review The Following Deficiencies Were Noted In The Facility'S Contingency Plan (Cp): The Emergency Contacts Page Needed Updating; The Secondary Emergency Coordinators' Information And The Numbers For The Closest Fire And Police Station And Also The Closest Hospital Were Listed As 911 Instead Of The Actual Local Number. The Facility Had Not Been Maintaining A General Facility Inspection Log That Met The Requirements Of 40 Cfr Part 279.52(A). All Of The Facilities Acceptance And Delivery Logs Were Not Available For Review Immediately As The Facility Had Recently Lost Their Ehs Officer And Also Was In The Process Of Converting To A New Database. These Documents Were Produced In A Timely Matter. All Other Records Reviewed I.E.; Manifests, The Permit, Training Records, And The Closure Plan Were In Order. A File Review Performed On The Facility Revealed That Financial Assurance Had Never Been Established And Annual Closure Cost Estimates And Adjustment Had Not Been Made. Also, The Facility Had Not Submitted "As Builts" For The Addition Of Five New Tanks As Required By Their Permit | Cpam Approved By Larry Morgan. State Rule Violations Included Minus Checklist Questions | Submitted For Approval By Winston, Kathy | Submitted For Approval By Winston, Kathy | Submitted For Approval By Winston, Kathy
03/16/2011 Informal Verbal Enforcement Finished-03/16/2011
03/16/2011 Site Photos Finished-03/16/2011
03/16/2011 Site Photos Finished-03/16/2011
03/16/2011 Site Photos Finished-03/16/2011
03/16/2011 Site Photos Finished-03/16/2011
03/16/2011 Site Photos Finished-03/16/2011
06/23/2011 Civil Penalty Authorization Memo Approved for CIVIL PENALTY AUTHORIZATION MEMO-06/17/2011 ; Finished-06/23/2011 150718
07/07/2011 Warning Letter Finished-07/07/2011 ; Sent for WARNING LETTER-07/07/2011 150718
08/18/2011 Submittal Received By Department Finished-08/18/2011 150718
08/18/2011 Submittal Received By Department Finished-08/18/2011 150718
08/18/2011 Submittal Received By Department Finished-08/18/2011 150718
08/23/2011 Department Comments Finished-08/23/2011 150718
08/23/2011 Informal Hearing Finished-08/23/2011 150718
08/23/2011 Meeting Finished-08/23/2011 150718
09/07/2011 Department Comments Finished-09/07/2011 150718
09/07/2011 Submittal Received By Department Finished-09/07/2011 150718
01/09/2012 Letter Finished-01/09/2012 150718
01/17/2012 Short Form Consent Order Finished-01/17/2012 ; Executed for SHORT FORM CONSENT ORDER-01/17/2012 150718
01/17/2012 Submittal Received By Department Finished-01/17/2012 150718
01/18/2012 Submittal Received By Department Finished-01/18/2012 150718
01/18/2012 Department Comments Finished-01/18/2012 150718
03/07/2012 Penalty Finished-03/07/2012 150718
06/19/2012 Letter Finished-06/19/2012 150718
06/25/2012 Penalty Finished-06/25/2012 150718
07/17/2012 Letter Finished-07/17/2012
07/23/2012 Penalty Finished-07/23/2012 150718
08/07/2012 Penalty Finished-08/07/2012 150718
08/14/2012 Penalty Finished-08/14/2012 150718
08/22/2012 Penalty Finished-08/22/2012 150718
09/19/2012 Penalty Finished-09/19/2012 150718
10/04/2012 Site Inspection Routine; CESQG (<100 kg/month) - Routine; Hazardous Waste Transporter - Routine; Used Oil Transporter - Routine; Used Oil Transfer Facility - Routine; Used Oil Processor - Routine; Used Oil Marketer - Routine; VSQG (<100 kg/month) Raider Environmental Services (Res) Has Been In Operation At This Location Since November Of 2008, And Currently Operates A Used Oil Processing Facility Under Department Permit #Ho13-284932-001, Expiration October 13, 2013. Res Is A Hazardous Waste Transporter, As Well As A Transporter, Processor, And Marketer Of Used Oil And Used Oil Filters. The Facility Also Processes Oily Water From Tank Bottoms And Ships' Bilges. Res Is Situated In A Zoned Industrial Area And Encompasses 1.55 Acres. The Facility Has 40 Full Time Employees And Is On City Water And Sewer. The Facility Has Four Vacuum Trucks, One Of Which Is A Vactor, Used For Dry Product Such As Fly Ash. The Facility Has Four Tankers, One Of Which Is A 6000-Gallon Vacuum Truck, And The Rest Of The Tankers Have 7000-Gallon Capacities And Are Used For The Transport Of Both Used Oil And Oily Water. The Facility Has Four Tractor Trailers, One Of Which Is A Truck Designed For Picking Up Rolloffs And The Other Three Are For Used Oil Collection. For Hazardous Waste Transport, The Facility Uses A Box Truck And There Is Also A Box Trailer, Which Is Generally Used For Emergency Response Situations | The Original Tank Farm Includes Twenty Tanks Currently And Of These, Four Are Being Used For Storage Of Used Oil. They Are Tank Numbers Five, Six, Seven And Sixteen. When The Inspector Went Up On The Walk Way Above The Tank Farm, It Was Observed That Some Of The Tank Covers Were Removed. The Facility Representative Indicated That They Were Cleaning Out The Tank Bottoms On The Ones Whose Manways Had Been Left Open. It Was Noted That A Whole New Secondary Containment Had Been Built Out In Front Of The Processing Building. This Containment Area Consisted Of Four New 20,000 Gallon Vertical Tanks, Which Are All Being Used As Holding Tanks For Process Water. This Containment Was Observed To Contain A Significant Amount Of Oily Water. This Oily Water Appeared To Have Resulted From The Storage Of The Connector Hoses, Used For Loading And Unloading Trucks, Which Had Not Been Properly Drained Before Being Placed In The Containment. Between The Process Building And The Original Tank Farm Was A Sloped Area Used For Loading And Unloading Trucks And Also As A Truck Wash. On The Side Of This Sloped Area That Was Closest To The Tank Farm Were Four Open And Labeled 55-Gallon Drums. However; The Labels On The Drums Did Not Match What Was Found In The Drums. The Inspector Observed What Appeared To Be Ppe In One Drum, Oily Water In Another, Filters From The Strainers In The Third Drum And A Fourth Drum Which Contained Solid Waste. Also, Inside The Process Building, Near The Small Table Used For Lab Analysis Were Two Open And Unlabeled Five-Gallon Buckets. One Appeared To Contain Oily Water And The Other Used Oil. The Facility Representative Gave The Inspector An Overview Of How Both Used Oil And Oily Water Are Processed Through The Plant. Heat, Emulsifiers And Caustics Are Use In The Oily Water Processing, While The Used Oil Is Processed Using Flocculants And Acids. Record Review The Following Deficiencies Were Noted In The Facility'S Contingency Plan (Cp): The Phone Number Of The Designate Hospital Was Not Included And There Was No List Of Emergency Equipment Onsite, As Well As, No Information Concerning Where This Equipment Was Located Or Its' Capabilities. The Training Records (Certificate Of Most Recent Hazwoper Training And Dot Training) For Joey Betancourt, A Driver For Res, Were Not Available. The Facility'S Waste Analysis Plan Was Not Available For Review. All Other Records Appeared To Be In Order And Were Produced In A Timely Manner. These Documents Included: All Other Requested Training Records, Manifests, Acceptance And Delivery Logs For Used Oil And Hazardous Waste, General Facility Inspection Logs, And The Permit Which Included The Closure Plan. A File Review Performed On The Facility After The Inspection Revealed That The Facility'S Permit Only Allowed For 24,000 Gal
10/09/2012 Status Report Finished-10/09/2012
10/09/2012 Site Photos Finished-10/09/2012
10/16/2012 Penalty Finished-10/16/2012 150718
10/22/2012 Submittal Received By Department Finished-10/22/2012
12/05/2012 Penalty Finished-12/05/2012 150718
12/11/2012 Submittal Received By Department Finished-12/11/2012
12/11/2012 Submittal Received By Department Finished-12/11/2012
12/11/2012 Submittal Received By Department Finished-12/11/2012
12/11/2012 Submittal Received By Department Finished-12/11/2012
12/11/2012 Submittal Received By Department Finished-12/11/2012
12/11/2012 Submittal Received By Department Finished-12/11/2012
02/04/2013 Submittal Received By Department Finished-02/04/2013 165063
02/13/2013 Enforcement Tracking Finished-02/13/2013 Proposed Short Form Consent Order Went Out December 13, 2011 | Proposed Sfco Was Returned With Signatures From Facility On 1/5/2012, Awaiting Execution By District
05/13/2013 Return To Compliance Letter Finished-05/13/2013 165063
10/04/2013 Warning Letter Sent for WARNING LETTER-10/04/2013 ; Finished-10/07/2013 165063
11/14/2013 Informal Hearing Finished-11/14/2013 165063
12/04/2013 Submittal Received By Department Finished-12/04/2013 165063
12/17/2013 Meeting Finished-12/17/2013 165063
03/05/2014 Site Inspection Routine; CESQG (<100 kg/month) - Routine; Hazardous Waste Transporter - Routine; Used Oil Transporter - Routine; Used Oil Transfer Facility - Routine; Used Oil Generator - Routine; Used Oil Processor - Routine; Used Oil Marketer - Routine; VSQG (<100 kg/month) Raider Environmental Services (Res) Has Been In Operation At This Location Since November Of 2008, And Currently Operates A Used Oil Processing Facility Under Department Permit #284932-Ho-004, Expiration Date October 13, 2018. Res Is A Hazardous Waste Transporter, As Well As, A Transporter, Processor, And Marketer Of Used Oil And Used Oil Filters. The Facility Also Processes Oily Water From Tank Bottoms And Ships' Bilges. Res Is Situated In A Zoned Industrial Area And Encompasses 1.55 Acres. The Facility Has Recently Added A Two Story Building, Which Is Being Used As Office Space. The Building Also Has Two Full Service Bays In The Rear For Repair Of The Facility'S Vehicles. The Facility Has 40 Full Time Employees And Is On City Water And Sewer. The Facility Has Five Vacuum Trucks, Two Of Which Are Vactors, Used For Dry Product Such As Fly Ash. The Facility Has Four Tankers, One Of Which Is A 6000-Gallon Vacuum Truck, And The Rest Of The Tankers Have 7000-Gallon Capacities And Are Used For The Transport Of Both Used Oil And Oily Water. The Facility Has Four Tractor Trailers, One Of Which Is A Truck Designed For Picking Up Roll-Offs And The Other Three Are For Used Oil Collection. For Hazardous Waste Transport, The Facility Uses A Box Truck And There Is Also A Box Trailer, Which Is Generally Used For Emergency Response Situations. The Used Oil Tank Farm Has Eleven Tanks In Use And Of These, Six Are Being Used For Storage Of Used Oil. They Are Tank Numbers One Through Six. Tank Numbers Seven, Nine, Ten, Eleven And Sixteen Are Process Tanks. There Is Also Another Containment Area In Front Of The Processing Building, Which Has Four 20,000 Gallon Vertical Tanks That Hold Already Processed Water. | An Exit Interview Was Conducted At The Conclusion Of The Inspection Which Addressed The Potential Violation And Area Of Concern Listed Above. The Facility Was Not In Compliance At The Time Of The Inspection. The Facility Was Given Fourteen Days To Return To Compliance | While Touring The Laboratory Area, It Was Noted That The Waste Container Present There Didn'T Have An Appropriate Label, This Issue Was Corrected While The Inspectors Were Still On Site. The Facility Representative Gave The Inspectors An Overview Of How Both Used Oil And Oily Water Are Processed Through The Plant. Heat, Emulsifiers And Caustics Are Use In The Oily Water Processing, While The Used Oil Is Processed Using Flocculants And Acids. Record Review The Training Records (Certificate Of Most Recent Hazwoper/Used Oil Training) For Joey Betancourt, The Yard Foreman, And The Training Records (Certificates Of Most Recent Hazwoper/Used Oil Training And Dot Training) For One Of Res' Drivers Were Not Available For Review, As The Person In Charge Of Those Records Was On Vacation. Also, It Was Noted That The Facility'S General Facility Inspection Logs Had Not Been Filled Out For One Week In February Of This Year. All Other Records Appeared To Be In Order And Were Produced In A Timely Manner. These Records Included: The Contingency Plan, The Waste Analysis Plan And The Closure Plan, Which Are Included In The Facility'S Permit, As Well As, Manifests, And Acceptance And Delivery Logs For Used Oil And Hazardous Waste. | Doing This One First To Get It Off The Sv List, All Violations Are Addressed So If You Approve Today Or Tomorrow Can Have Off List By Monday At The Latest. | Doing This One First To Get It Off The Sv List, All Violations Are Addressed So If You Approve Today Or Tomorrow Can Have Off List By Monday At The Latest.
03/10/2014 Case Report Sent to OGC for CASE REPORT-02/14/2014 ; Finished-03/10/2014 165063
03/10/2014 Status Report Finished-03/10/2014
03/10/2014 Site Photos Finished-03/10/2014
03/26/2014 Department Comments Finished-03/26/2014 165063
06/03/2014 Submittal Received By Department Received for SUBMITTAL RECEIVED BY DEPARTMENT-03/18/2014 ; Finished-06/03/2014
06/11/2014 Informal Verbal Enforcement Compliance Assistance On-Site Visit for Informal Verbal Enforcement-03/05/2014 ; Finished-06/11/2014
04/10/2015 Short Form Consent Order Sent for SHORT FORM CONSENT ORDER-04/10/2015 ; Finished-04/15/2015 165063
04/14/2015 Short Form Consent Order Executed for SHORT FORM CONSENT ORDER-04/14/2015 ; Finished-04/15/2015 165063
04/15/2015 Penalty Finished-04/15/2015 165063
06/22/2015 Enforcement Tracking Finished-06/22/2015 Facility Made Major Modifications To The Facility Without Notifying Tally Uop Case Manager Concerning Changes To Their Permit. Also, No "As Builts" Were Supplied For These Modifications And Financial Assurance Wasn'T Adjusted To Cover The New Tanks.. These Are Similar Violations To Those Noted In The Last Inspection | Peer Review Document Is Being Drafted And The Major Modification To The Facility Without A Permit Modification Was Finally Put In Place On 4/1/2013o The Permit That Was The Reason | Peer Review And Draft Penalties Were Just Approved As Of 8/12/2013, Wl Will Be Going Out Within The Week. Will Have To Case Report; However, Due To Timeframe Issue. | Warning Letter Was Issued 10/04/2013. Consultant Called About Arranging Meeting, Will Get With Facility Representative And Then Get Back To Department With Possible Dates. | Enforcement Meeting Set For 11/04/2013, Changed To 11/12/2013 As Conflict For Facility Owner | Enforcement Meeting Concerning Warning Letter Was Held On 11/12/2013. The Department Should Be Receiving A Formal Response From The Respondents By 11/20/2013 | Received Facility'S Formal Response To Wl On 11/26/13. On 1/7/14, Finished Bullet Points To Compose Response Letter Countering Their Formal Response And Request For Cwoe. Facility Was Taken To Enforcement Over Same Two Sny Violations During Last Inspection And Department Will Not Agree To No Penalties. | Formal Response To Countering The Facility'S Response Wl Will Be Send This Week (Week Of 2/10/14.) In The Response We Have Agreed To Drop Several Of The Penalties Associated With The Violation.Also Some Of The Violations Were Not Even Included In The Draft Penalty Calculation Shown To The Facility At The Time Of The Meeting And This Is Pointed Out To Them In Our Response. The Department Is Refusing To Agreed To The Facility'S Request For For Cwoe For Reason Stated In Prior Comments. We Will Be Sending A Case Report To Ogc But We Will Continue To Try To Negotiate A Settlement With The Facility. | Sfco Executed 4/14/2015 For $3000 + $500 Cost And Expenses
12/08/2016 Site Inspection Routine; CESQG (<100 kg/month) - Routine; Hazardous Waste Transporter - Routine; Used Oil Transporter - Routine; Universal Waste Transporter - Routine; Hazardous Waste Transfer Facility - Routine; Used Oil Transfer Facility - Routine; Used Oil Processor - Routine; Used Oil Marketer - Routine; VSQG (<100 kg/month) Raider Environmental Services (Res) Has Been In Operation At This Location Since November Of 2008, And Currently Operates A Used Oil Processing Facility Under Department Permit #284932-Ho-004, Expiration Date October 13, 2018. Res Is A Hazardous Waste Transporter, As Well As, A Transporter, Processor, And Marketer Of Used Oil And Used Oil Filters. The Facility Also Processes Oily Water From Tank Bottoms And Ships' Bilges. Res Is Situated In A Zoned Industrial Area And Encompasses 1.55 Acres. The Facility Has Recently Added A Two Story Building, Which Is Being Used As Office Space. The Building Also Has Two Full Service Bays In The Rear For Repair Of The Facility'S Vehicles. The Facility Has Approximately 25 Full Time Employees And Is On City Water And Sewer. The Facility Has Five Vacuum Trucks, Two Of Which Are Vactors, Used For Dry Product Such As Fly Ash. The Facility Has Four Tankers, One Of Which Is A 6000-Gallon Vacuum Truck, And The Rest Of The Tankers Have 7000-Gallon Capacities And Are Used For The Transport Of Both Used Oil And Oily Water. The Facility Has Four Tractor Trailers, One Of Which Is A Truck Designed For Picking Up Roll-Offs And The Other Three Are For Used Oil Collection. For Hazardous Waste Transport, The Facility Uses A Box Truck And There Is Also A Box Trailer, Which Is Generally Used For Emergency Response Situations. The Used Oil Tank Farm Has Eleven Tanks In Use And Of These, Six Are Being Used For Storage Of Used Oil. They Are Tank Numbers One Through Six. Tank Numbers Seven, Nine, Ten, Eleven And Sixteen Are Process Tanks. There Is Also Another Containment Area In Front Of The Processing Building, Which Has Four 20,000 Gallon Vertical Tanks That Hold Already Processed Water. | The Facility Representative Gave The Inspectors An Overview Of How Both Used Oil And Oily Water Are Processed Through The Plant. Heat, Emulsifiers And Caustics Are Use In The Oily Water Processing, While The Used Oil Is Processed Using Flocculants And Acids. In The Covered, Bermed, Bulking Area For Used Oil Filters And Oily Solid Waste, One Used Oil Filter Drum Was Found To Be Leaking. The Inspector Reminded Res, Despite The Fact, That There Is A Sump In This Area That Feeds Directly To The Processing Plant, An Issue Like This Should Be Address By Transferring The Used Oil Filters Into Compatible Container In Good Condition Or Simply Overpacking It. While Touring The Laboratory Area, It Was Noted That The Waste Container Present There Didn'T Have An Appropriate Label. This Is Not Required As Res Is A Conditionally Exempted Small Quantity Generator But Labeling Is A Always A "Best Management Practice", Especially In The Case Of A Laboratory. No Other Issues Were Noted During The Facility Tour. The Facility Requires Safety Shoes, Safety Glasses And Hard Hats When Out In The Yard Or Shop. The Facility Has Fire Extinguishers Located Throughout The Facility, Which Were Serviced In November 2016. While In The Shop Area, The Inspector Noted A Collection Of Fire Extinguishers. The Facility Representative Explained That These Were Ones That Were Missed Last Month Or Are Going Out For Reconditioning. Res Is An Emergency Response Company; Therefore, Beside Adequate Equipment For Cleanup And Decon On Their Own Site, They Have An Entire Trailer Full With Response Equipment For Offsite Work. Record Review From A Review Of The Training Records, It Appeared That One Of Res'S Drivers (Arturo Menendez) Is Overdue On His Required Every Three Year Dot Training. All Other Records Appeared To Be In Order And Were Produced In A Timely Manner. These Records Included: General Facility Inspection Log, The Contingency Plan, The Waste Analysis Plan And The Closure Plan, Which Are Included In The Facility'S Permit, As Well As, Manifests, And Acceptance And Delivery Logs For Used Oil And Hazardous Waste. | An Exit Interview Was Conducted At The Conclusion Of The Inspection Which Addressed The Potential Violation Listed Above. The Facility Wa
01/12/2017 Status Report Finished-01/12/2017
01/12/2017 Site Photos Finished-01/12/2017
01/19/2017 Submittal Received By Department Finished-01/19/2017
03/20/2017 Submittal Received By Department Finished-03/20/2017
08/23/2018 Site Inspection Routine; CESQG (<100 kg/month) - Routine; Hazardous Waste Transporter - Routine; Used Oil Transporter - Routine; Universal Waste Transporter - Routine; Used Oil Transfer Facility - Routine; Used Oil Generator - Routine; Used Oil Processor - Routine; VSQG (<100 kg/month) On August 23, 2018 A Used Oil And Hazardous Waste Compliance Inspection Was Conducted At Raider Environmental Services (Res) [Flr000143891] An Used Oil Processor, Transporter And Transfer Facility Located At 4103 Nw 132nd St, Opa Locka, Fl 33054-4510. Res Was Represented By Mr. Steve Obst (Manager) And Mr. Orland Solis(Environmental Operations). Raider Environmental Services (Res) Has Been In Operation At This Location Since November Of 2008, And Currently Operates A Used Oil Processing Facility Under Department Permit #284932-Ho-006, Expiration Date Is June 30, 2019. Res Is A Hazardous Waste Transporter, As Well As, A Transporter, Processor, And Marketer Of Used Oil And Used Oil Filters. The Facility Also Processes Oily Water From Tank Bottoms And Ships' Bilges. Res Is Situated In An Industrial Zone And Encompasses 1.55 Acres. The Facility Has Approximately 45 Employees And Is Connected To City Water And Sewer. Res Has Five Vacuum Trucks One Of Which Is A 6000-Gallon Vacuum Other Vacuum Have A Capacity Of About 3,000 Gallons. They Have 20 Tankers Of 7,000 To 9,000 Gallons Capacities And Are Used For The Transportation Of Both Used Oil And Oily Water. The Facility Has Four Tractor Trailers, One Of Which Is A Truck Designed For Picking Up Roll-Offs And The Other Three Are For Used Oil Collection. The Facility Requires Safety Shoes, Safety Glasses And Hard Hats When Out In The Yard Or Shop. All The Dep Inspectors Wore The Required Personal Protection Equipment Throughout The Entire Inspection. Notification History Res'S Last Notification Was On April 9th, 2018. [Their Previous Notification Was Received On March 30, 2017] Inspection History The Last Time That A Routine Inspection Took Place At Res Was On December, 8th, 2016 A Violation To 279.43 Was Observed And They Returned To Compliance On 12/23/2016. During The Past Five Calendar Years Res Was Also Inspected On March 5th, 2014. The Facility Had A Sfco In 2015 Issued Based On The 3/5/2014 Inspection Findings. They Started Operations At This Location On November Of 2008. | The Inspector Presented His Dep Credentials And Business Card To Res'S Manager, Mr. Steve Obst Who Mentioned That Mr.. Orlando Solis Was In Charge Of The Environmental Operations. This Facility Is Authorized To Process Used Oil, Oily Water Waste Water, Petroleum Contact Water, Oily Solid Waste And Used Oil Filters. The Facility Is Registered For Both Used Oil As Well As Hazardous Waste Transporter. We Held A Pre-Inspection Meeting At Mr. Obst'S Administrative Office Were We Reviewed All The Permit And Compliance Documentation Related To Their Operations. After The Review Of Documents We Started A Walk-Through The Facility. Dep Inspectors Toured The Facility Along With Res'S Representatives Mr. Obst Gave The Inspectors An Overview Of How Both Used Oil And Oily Water Are Processed Through The Plant. Heat, Emulsifiers And Caustics Are Use In The Oily Water Processing, While The Used Oil Is Processed Using Flocculants And Acids. Res'S Contact Indicated That No Changes Of The Plant Operations Had Happened And Hence Any Activities Related To The Permits Remains The Same While Implementing Good Management Practices. Since Their Last Inspections And Permit Application The Facility Has Not Implemented Any Changes To Their Used Oil Processes. The Inspectors Visited The Following Areas; Qa/Qc Laboratory, Tank Farms, And Used Oil Processing Areas, Used Oil Filters (Uof'S) Storage Area, Their Small, Solid Waste Bulk Area And Hazardous Waste Storage Area, Waste Water Treatment Plant. Qa/Qc Laboratory We Went To Res'S Qa/Qc Laboratory Area, And Their Practices Are Satisfactory. All Raw Materials (In Small Bottles) Were Closed And Labeled Properly. No Hazardous Wastes Or Other Containers Were Observed In This Area. The Transporters Or Technicians Bring Their Samples To Be Analyzed By The Technician Prior To Uploading Their Used Oil To The Processing Areas. Res Conducts Additional Testing For Halogens And Th
11/07/2018 Site Inspection Complaint; Used Oil Processor On November 6th, 2018, The Florida Department Of Environmental Protection (Dep) Received A Complaint Alleging That Raider Environmental Services (Raider) Was Directly Discharging Approximately 3,000 Gallons Of Oily Water To The Sewer Rather Than Processing It. The Complaint Also Claimed That, "The Sewer Was Getting Backed-Up With Heavy Bunker Oil And Overflowing All Over The Ground And That "Raider Had To Hire World Petroleum To Come And Pump All The Bunker Out Of The Backed-Up Sewer And Then Degrease The Lift Station #14 (Ps14)". The Ps14 Is Located At Nw 132/38 Court Approximately 8 Miles Away From Raider'S Facilities. On November 7th, 2018, Two Representatives From The Department; Robert Berberena, Environmental Specialist Iii And Kenton Brown, Environmental Consultant From The Office Of Emergency Response (Oer), Conducted A Complaint Inspection In Order To Verify The Allegations Against Raider. Notification History Raider'S Last Notification Was On April 9th, 2018. This Facility Operates Under The Permit 284932-006-Ho & 284932-007-So Which Expired On October 13, 2018. The Permit Is Currently Under Renewal Process By Dep (Permit For Used Oil Processing Activities) And Pending For Approval. Raider Is Registered As Hw And Used Oil Transporters, Transfer Facility For Used Oil Activities. This Registration Expires On June 30, 2019. Inspection History > Dep Inspection On August 23rd, 2018 And Were Found In Compliance During The Time Of Inspection. > Dep Inspection On December 8th, 2016 And One Violation Of 279.43 Was Observed But They Returned To Compliance On 12/23/2016. The Case Was Closed Without Enforcement (Cwoe). > Dep Inspection On March 5th, 2014. Based On The Violations Cited In The Report, The Case Pursued Enforcement Actions Against Raider. The Facility Had A Sfco In 2015 Issued Based On The 3/5/2014 Inspection Findings. | The Inspectors Arrived At Raider'S Offices And Were Met By Orlando Solis, Operations Manager. The Department'S Personnel Discussed With Mr. Solis A Brief Summary Of The Complaint Allegations. Mr. Solis Was Questioned If The Complaint Allegations Of Discharge Occurred At Their Facilities Or If They Dumped Any Materials To The Sewer Recently. Mr. Solis Stated That The Allegations Were Unfounded. Inspector Berberena Made A Walk-Through Raider'S Facilities And Inspected The Tank Farm, All Of The Exterior Of Their Drainage System, Including But Not Limited To The Sewer, Storm Water And Manholes Located In And Around The Property And Did Not Observe Any Substances. Also, Both Dep Representatives Went To Ps14 And Walked Around The Area And Did Not See Residues Of Oil/Bunker. The Only Liquid That Was Seen Was What Appeared To Be Rainy Water On The Portion Of The Road Right On Front Of The Station. At The Time Of The Inspection, The Inspectors Did Not See Any Signs Of Discharge Or Spills, Or Indications Or Any Visual Evidence That Will Confirm A Release Of The Oily Wastes Into The Sewer. The Department Contacted The Miami-Dade County'S Division Of Environmental Resources Management (Derm) And Was Informed That Derm Had Hired World Petroleum Corporation (Wp) To Collect Any Materials At Pump Station #14 (Ps14) Located At 13200 Nw 38 Ct, Opa Locka. Dep'S Inspectors Visited The Ps14 And Its Surroundings As Well As Some Streets Nearby Before Visiting Raider'S Facilities. The Inspectors Contacted Wp And Derm. Mr. Berberena Called Wp And Spoke With One Of Their Representatives, Miss Andrea Miranda Who Confirmed That They Were In Charge Of The Cleanup And They Pumped-Up 4,000 Gallons Of Oily Waters Through The Manhole Of Ps14 And The Sewer. Documentation Of The Clean Up And Disposal Records Were Provided By Wp To The Department. Although The Inspectors Did Not Observe Evidence Of Discharges Of Oil/Bunker Or Spills, The Department Became Aware That Derm Have An Open Investigation About The Discharge Through The Sewer Leading To Ps14. | After Conducting A Visual Inspection To Pump Station #14, The
01/17/2019 Financial Record Finished-01/17/2019
01/17/2019 Document Forwarded Finished-01/17/2019
01/17/2019 Status Report Finished-01/17/2019
01/17/2019 Site Photos Finished-01/17/2019
01/17/2019 Site Photos Finished-01/17/2019
01/17/2019 Site Photos Finished-01/17/2019
01/17/2019 Public Notice Publication Finished-01/17/2019
01/22/2019 Financial Record Finished-01/22/2019
03/08/2019 Site Photos Finished-03/08/2019
03/08/2019 Site Photos Finished-03/08/2019
03/08/2019 Document Forwarded Finished-03/08/2019
03/08/2019 Complaint Finished-03/08/2019
03/08/2019 Submittal Received By Department Finished-03/08/2019
03/14/2019 Site Photos Finished-03/14/2019
08/25/2020 Site Inspection Routine; CESQG (<100 kg/month) - Routine; Hazardous Waste Transporter - Routine; Used Oil Transporter - Routine; Universal Waste Transporter - Routine; Used Oil Transfer Facility - Routine; Used Oil Processor - Routine; VSQG (<100 kg/month) On August 25, 2020 (08/25/2020), Carlos Grajeda With The Florida Department Of Environmental Protection (Fdep) Conducted A Routine Compliance Evaluation Inspection (Cei) At Raider Environmental Services (Raider), Located At 4103 Nw 132nd St, Opa Locka, Fl 33054. Raider Was Inspected To Determine The Facility’S Compliance With The State And Federal Hazardous Waste Regulations Described In Title 40, Code Of Federal Regulations (Cfr) Parts 260-268, Adopted And Incorporated By Reference In Rule 62-730, Florida Administrative Code (F.A.C.), As Well As The State, Used Oil Rule 62-710 F.A.C. The Inspector Was Escorted Around The Facility By Orlando Solis, Operations Manager. Upon Arrival At The Facility, The Inspectors Presented Their Credentials And Explained The Purpose Of The Inspection. Raider Occupies Approximately 1.22 Acres And Is Connected To Public Water And Sewer. Raider Has Been Operating At Its Current Location Since 2001 And Employs 13 Staff At This Location. The Facility Office Operates Monday To Friday From 7:00 A.M. To 5:00 P.M. Notification History: Raider Currently Operates As A Permitted Facility (Permit #284932-006-Ho, 284932-007-So) For The Operation Of A Used Oil And Material Processing Facility. These Permits Are Currently Valid And Expire On October 13, 2023. Inspection History: - 11/07/2018: The Facility Was Inspected By The Department As A Permitted Used Oil Processor And Hw Transporter And Was Found To Be In Compliance At The Time Of The Inspection. - 08/23/2018: The Facility Was Inspected By The Department As A Permitted Used Oil Processor And Hw Transporter And Was Found To Be In Compliance At The Time Of The Inspection. - 12/08/2016: The Facility Was Inspected By The Department As A Permitted Used Oil Processor And Hw Transporter And Was Found To Be Out Of Compliance At The Time Of The Inspection. The Violation, Pertaining To Dot Training, Was Resolved On 12/23/2016. Compliance Without Enforcement Was Pursued In This Case. Personal Protective Equipment (Ppe) Was Required To Enter The Facility. The Department Inspector Was Equipped With Steel-Toed Boots, Safety Vests, And Face Mask. | The Facility Staff Noted That No Changes To Facility Operations Or Tank Contents Have Occurred Since The Date Of The Last Inspection. The Department Inspector Began The Inspection By Going Over The Permit Conditions And Verifying The Facility Operations. The Facility Is Authorized To Process Used Oil, Used Oil Filters, Oily Water, Solid Waste, And To Collect And Transport Petroleum Contact Water. Used Oil Activities: The Facility Consists Of 11 Used Oil / Oily Water Processing And Storage Tanks With A Total Capacity Of 257,000 Gallons. The Facility Had Four 35,000 Gallons Tanks, Three 25,000 Gallons Tanks, Two 3,000 Gallons Tanks, And Two 6,000 Gallons Tanks. All Tanks Were Properly Labeled And Located Within A Large Concrete Secondary Containment Unit. The Secondary Containment And Loading/Unloading Areas Were Clean And Accessible To Inspect. No Deficiencies Were Observed. Fire Extinguishers And Spill Kits Were Located Directly Adjacent To The Secondary Containment. The Maintenance Building Consists Of One Bay. The Facility Stores Used Oil Containers And Used Oil Filter Containers By The Maintenance Building. The Department Inspector Observed The Following Containers During The Inspection: - 46 55-Gallon Metal Drums Of Used Oil With The Words ‘Used Oil’. - 39 55-Gallon Metal Drums Of Used Oil Filters With The Words ‘Used Oil Filters’ - Five 55-Gallon Metal Drums Of Oily Rags With The Words ‘Oily Rags’ - Two Roller Boxes Of Used Oil Filters And Oily Waste Properly Labeled. All Drums Were Observed To Be Properly Labeled, Closed. This Building Is Also Equipped With Audible And Visual Alarm. Several Fire Extinguishers, Two Eyewash Stations, And Three Spill Kits Were Observed Throughout The Building. Hazardous Waste: This Location Is Not Permitted To Be A Hazardous Waste Transfer Facility. Any Hw Transp
09/28/2020 Submittal Received By Department Finished-09/28/2020
09/30/2020 Site Photos Finished-09/30/2020
09/30/2020 Site Photos Finished-09/30/2020
09/30/2020 Status Report Finished-09/30/2020
11/18/2021 Site Inspection Routine; CESQG (<100 kg/month) - Routine; Hazardous Waste Transporter - Routine; Used Oil Transporter - Routine; Universal Waste Transporter - Routine; Used Oil Processor - Routine; Used Oil Marketer - Routine; VSQG (<100 kg/month) On November 18, 2021 (11/18/2021), Romina Lancellotti With The Florida Department Of Environmental Protection (Fdep) Conducted A Routine Compliance Evaluation Inspection At Raider Environmental Services Of Florida Inc. (Hereinafter Raider Or Facility), Located At 4103 Nw 132nd St, Opa Locka, Fl 33054. Raider Was Inspected To Determine The Facility’S Compliance With The State And Federal Hazardous Waste Regulations Described In Title 40, Code Of Federal Regulations (Cfr) Parts 260-268, 273, And 279 Adopted And Incorporated By Reference In Rule 62-730, 62-737, 62- Florida Administrative Code (F.A.C.). The Inspector Was Accompanied By Justin Stark, Environmental Specialist Ii, And Tarin Tischler, Environmental Specialist Ii From The Fdep. The Inspectors Were Escorted Around The Facility By Jason Valdez, Facility Manager, Yuliet Canovas, Office Manager, And Orlando Solis, Sales Manager. Upon Arrival At The Facility, The Inspectors Presented Their Credentials And Explained The Purpose Of The Inspection. Raider Occupies 1.22 Acres And Is Connected To Public Water And Sewer. The Facility Has Been Operating At Its Current Location Since 2001 And Employs 10 Staff. The Facility Operates Monday Through Friday 8 Am – 5 Pm. Notification History: Raider Initially Notified With The Department As Used Oil Transporter On 08/10/2004. The Facility Was Assigned The Epa Identification (Epaid) Number Flr000143891. On 03/01/2021, The Facility Notified As A Very Small Quantity Generator (Vsqg) Of Hazardous Waste; As A Transporter, Transfer, And Handler Of Universal Waste Mercury-Containing Lamps Or Devices; As A Petroleum Contact Water (Pcw) Recovery And Transporter Facility; As A Used Oil Filter (Uof) And Hazardous Waste Transporter; As A Used Oil Transporter, Transfer Facility, Processor, And As A Used Oil Fuel Marketer. The Facility Most Recently Notified On 12/08/2021 To Provide Updated Information Of A Change Of Ownership From Raider To Heritage-Crystal Clean, Llc. (Heritage). Raider Is A Permitted Used Oil And Material Processing Facility, Issued By Fdep, Permit Number 284932-006-Ho & 284932-007-So, Date Of Issue 01/07/2019, Date Of Expiration 10/13/2023. Inspection History: The Facility Was Previously Inspected By The Department On 08/25/2020 As A Processor, Transporter, And Transfer Facility Of Used Oil As Well As A Hazardous Waste Transporter And Was Found To Be In Compliance. Steel-Toed Boots, Safety Glasses, Safety Hat, And Safety Vest Were The Only Personal Protective Equipment (Ppe) Required To Enter The Facility. | Raider Is A Full-Service Company That Offers Services That Include Used Oil, Used Oil Filter Transportation, Used Oil Processing, Wastewater Collection And Treatment, Emergency Response, And Pcw, Universal Waste Lamps, Hazardous And Non-Hazardous Waste Management. The Company Also Has Expertise In The Unique Waste Management Process Required By The Marine Industry To Decontaminate, Transport, And Safely Recycle/Dispose Of Any Industrial Waste Produced By The Cruise Industry. The Department Inspector Began The Inspection By Going Over The Permit Conditions And Verifying The Facility Operations, Continued With A Walkthrough Of The Facility And Records Review. Used Oil Activities Drum Processing Area: The Drum Processing Area Is Located On The Northeast Side Of The Facility. Raider Collects Used Oil Filters, Oily Absorbents From Generators, Stores Them, And Accumulate Them In This Area To Be Taken To Us Foundry & Manufacturing Corp For Processing And Final Disposition. This Area Has A Sump To Collect All Potential Spills Or Leaks Of Used Oil Which Are Transferred To The Used Oil Processing Tank. During The Inspection, The Inspectors Observed The Following: >Eighty 55-Gallon Drums Labeled “Used Oil Filters.” >Twelve 55-Gallon Drums Of Oily Rags. Used Oil Tank Farm: The Used Oil Tank Farm Is Located On The Northeast Corner Of The Facility, Adjacent To The Drum Processing Area. The Farm Consists Of Thirteen Tanks Lo
01/11/2022 Status Report Finished-01/11/2022
01/11/2022 Site Photos Finished-01/11/2022 Site Photos Directly Uploaded To Oculus.
01/11/2022 Submittal Received By Department Finished-01/11/2022
01/11/2022 Submittal Received By Department Finished-01/11/2022 Submittals Were Received On 12/30/2021 And Directly Uploaded To Oculus.
01/11/2022 Submittal Received By Department Finished-01/11/2022 Submittals Were Received On 12/30/2021 And Directly Uploaded To Oculus.
01/11/2022 Informal Verbal Enforcement Submittal Received by Departmentfor InformalVerbalEnforcement-12/14/2021 ; Finished-01/11/2022 ; Return to Compliance Letter Sent (RCL)for InformalVerbalEnforcement-01/11/2022
02/22/2023 Site Inspection Routine; Hazardous Waste Transporter - Routine; Used Oil Transporter - Routine; Used Oil Processor On February 22,2023 (02/22/2023) Johanna Polycart With The Florida Department Of Environmental Protection (Dep) Conducted A Routine Compliance Evaluation Inspection (Cei) At Raider Environmental Services Of Florida Inc (Hereinafter Raider Or Facility), Located At 4103 Nw 132nd St, Opa Locka 33054. Raider Was Inspected To Determine The Facility’S Compliance With The State And Federal Hazardous Waste Regulations Described In Title 40, Code Of Federal Regulations (Cfr) Parts 260-268, Adopted And Incorporated By Reference In Rule 62-730, Florida Administrative Code (F.A.C.), As Well As The State Used Oil Rule 62-710 F.A.C. The Inspector Was Accompanied By Susan Bryan, Environmental Specialist Ii And Jade Knight, Environmental Specialist Ii From The Fdep. The Inspectors Were Escorted Around The Facility By Tony Piotrowski, Field Service Supervisor, And Jason Valdez, Facility Manager. Upon Arrival At The Facility The Inspectors Presented Their Credentials And Explained The Purpose Of The Inspection. Raider Occupies 1.22 Acres And Is Connected To Public Water And Sewer Services. The Facility Has Been Operating At Its Current Location Since The 2001 And Employs Approximately 10 Staff. The Facility Operates From 8:00 A.M. To 5:00 P.M. Notification History: Raider Initially Notified With The Department As Used Oil Transporter On 08/10/2004. The Facility Was Assigned The Epa Identification (Epaid) Number Flr000143891. On 03/01/2021, The Facility Notified As A Very Small Quantity Generator (Vsqg) Of Hazardous Waste; As A Transporter, Transfer, And Handler Of Universal Waste Mercury-Containing Lamps Or Devices; As A Petroleum Contact Water (Pcw) Recovery And Transporter Facility; As A Used Oil Filter (Uof) And Hazardous Waste Transporter; As A Used Oil Transporter, Transfer Facility, Processor, And As A Used Oil Fuel Marketer. Raider Most Recently Registered With The Department As A Mercury Handler/Transporter On 01/12/2022, A Used Oil Handler On 04/11/2022 Expiring 06/30/2023, A Hazardous Waste Transporter On 04/27/2022 Expiring 06/30/2023. Raider Maintains A Used Oil And Material Processing Facility Permit With The Department, Issued On 01/07/2019 And Expiring On 10/13/2023 (Permit Number 284932-008-Ho & 284932-009-So). Inspection History: • 11/07/2018: The Facility Was Found To The In Compliance At The Time Of The Inspection. • 08/25/2020: The Facility Was Found To The In Compliance At The Time Of The Inspection. • 11/18/2021: The Facility Had A Minor Out Of Compliance Issue For Failure To Notify The Local Authorities Of A Change In Their Contingency Plan. The Issue Was Corrected, And The Facility Returned To Compliance Without Formal Enforcement. Personal Protective Equipment (Ppe) Was Required To Enter The Facility. The Department Inspectors Were Equipped With Steel-Toed Boots, Safety Vest, Safety Glasses And Hard Hats. | Raider Offers Environmental Services (Used Oil Transportation, Hazardous Waste Transportation, Used Oil And Used Oil Filters Processing, Wastewater Treatment, Petroleum Contact Water Management, And Universal Waste Lamps Handling And Transport) To A Wide Variety Of Companies Nationwide. This Facility Also Services The Marine Industry By Managing The Waste And Used Oil Materials Generated From Cruise Ships. The Facility Consists Of An Office/Front Desk Area, The Tank Farm, A Non-Used Oil Processing Area, A Waste Water Tank Farm, A Laboratory, Water Treatment Area, And A Storage Area. Hazardous Waste Activities: Raider Is Registered As A Hazardous Waste Transporter, But The Representative Informed The Inspectors That The Facility Has Not Made A Shipment Of Hazardous Waste In A Year. Manifests For Hazardous Waste Were Not Reviewed Onsite But Were Requested In The Exit Interview If There Were Any Shipments In 2022. No Hazardous Waste Was Observed On Site At The Time Of The Inspection. Used Oil And Pcw Activities: Raider Collects, Transports, And Processes Used Oil And Oily Water From Generators Using Approx
02/24/2023 Status Report Finished-02/24/2023
02/28/2023 Site Photos Finished-02/28/2023 Site Photos Uploaded Directly To Oculus
03/03/2023 Submittal Received By Department Requested-02/24/2023 ; Received-03/02/2023 ; Finished-03/03/2023
03/13/2023 Submittal Received By Department Received-03/08/2023 ; Finished-03/13/2023
03/17/2023 Informal Verbal Enforcement Finished-03/17/2023

Violation History:

Vio# Area Regulation Opened By Date Determined Completed ETA Act Act Date Regulation Text Excerpt
(mouse over for full text)
1 279.F 279.52(a) Quigley_J 11/13/2008 08/11/2009 13881 11/13/2008 Preparedness and prevention. Owners and operators of used oil processing and re-refining facilities must comply with the following requirements:
2 XXS 62-710.401(6) Quigley_J 11/13/2008 08/11/2009 13881 11/13/2008 No person may store used oil in tanks or containers unless they are clearly labeled with the words "used oil" and are in good condition (no severe rusting, apparent structural defects or deterioration) with no visible oil leakage. If tanks or contain
3 279.E 279.46(a)(1) Quigley_J 11/13/2008 08/11/2009 13881 11/13/2008 The name and address of the generator, transporter, or processor/re-refiner who provided the used oil for transport;
24 279.F 279.56(a) Quigley_J 11/13/2008 08/11/2009 13881 11/13/2008 Acceptance. Used oil processors/re-refiners must keep a record of each used oil shipment accepted for processing/re-refining. These records may take the form of a log, invoice, manifest, bill of lading or other shipping documents. Records for each sh
25 279.F 279.56(b) Quigley_J 11/13/2008 08/11/2009 13881 11/13/2008 Delivery. Used oil processor/re-refiners must keep a record of each shipment of used oil that is shipped to a used oil burner, processor/ re-refiner, or disposal facility. These records may take the form of a log, invoice, manifest, bill of lading or
26 XXS 62-710.500(4) Quigley_J 11/13/2008 08/11/2009 13881 11/13/2008 Each registered person shall display the validated registration form and identification number in a prominent place at each facility location.
4 263.B 263.20 Winston_K 04/15/2010 06/09/2010 117000000100427 04/15/2010 The manifest system.
5 XXS 62-710.850(5)(a) Winston_K 04/15/2010 06/09/2010 117000000100427 04/15/2010 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
6 XXS 62-710.850(4)(c) Winston_K 04/15/2010 06/09/2010 117000000100427 04/15/2010 No later than March 1 of each year, each registered used oil filter processor shall submit an annual report for the preceding calendar year to the Department on Form 62-710.901(5). This report shall summarize the records kept pursuant to paragraph (a
7 279.F 279.54(f) Winston_K 04/15/2010 06/09/2010 117000000100427 04/15/2010 Labels.
8 279.F 279.52(a)(6) Winston_K 04/15/2010 06/09/2010 117000000100427 04/15/2010 Arrangements with local authorities.
9 279.F 279.52(b)(2) Winston_K 04/15/2010 06/09/2010 117000000100427 04/15/2010 Content of contingency plan.
10 279.F 279.54(f) Winston_K 03/14/2011 03/14/2011 150718 117000000100780 03/14/2011 Labels.
11 XXS 62-710.850(5)(a) Winston_K 03/14/2011 03/14/2011 150718 117000000100780 03/14/2011 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
12 279.F 279.52(a)(1) Winston_K 03/14/2011 11/28/2011 150718 117000000100780 03/14/2011 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 used oil to air, soil, or surface water which could threaten human he
13 279.F 279.52(b)(2) Winston_K 03/14/2011 11/28/2011 150718 117000000100780 03/14/2011 Content of contingency plan.
14 PCR 62-710.800(6) Winston_K 03/14/2011 11/28/2011 150718 117000000100780 03/14/2011 Financial assurance.
15 PCR 62-710.800(2) Winston_K 03/14/2011 11/28/2011 150718 117000000100780 03/14/2011 An owner or operator of a used oil processing facility shall operate, modify, or close such a facility only pursuant to a permit issued by the Department in accordance with this chapter.
27 279.F 279.54(c) Winston_K 03/14/2011 03/14/2011 117000000100780 03/14/2011 Secondary containment for containers. Containers used to store or process used oil at processing and re-refining facilities must be equipped with a secondary containment system.
16 279.F 279.55(b) Winston_K 10/04/2012 10/22/2012 163013 10/04/2012 On-specification used oil fuel in 279.72. At a minimum, the plan must specify the following if 279.72 is applicable:
17 PCR 62-710.800(2) Winston_K 10/04/2012 04/01/2013 165063 163013 10/04/2012 An owner or operator of a used oil processing facility shall operate, modify, or close such a facility only pursuant to a permit issued by the Department in accordance with this chapter.
18 PCR 62-710.800(6) Winston_K 10/04/2012 10/23/2012 163013 10/04/2012 Financial assurance.
19 279.F 279.52(a)(2)(iii) Winston_K 10/04/2012 10/22/2012 163013 10/04/2012 Portable fire extinguishers, fire control equipment (including special extinguishing equipment, such as that using foam, inert gas, or dry chemicals), spill control equipment and decontamination equipment; and
20 XXS 62-710.600(2)(c) Winston_K 10/04/2012 10/22/2012 163013 10/04/2012 Maintain a record of training in the company's operating record and the individual personnel files indicating the type of training received along with the dated signature of those receiving and providing the training. These records shall be retained
21 279.F 279.52(b)(2) Winston_K 10/04/2012 10/22/2012 163013 10/04/2012 Content of contingency plan.
28 279.F 279.52(a)(1) Winston_K 10/04/2012 10/22/2012 163013 10/04/2012 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 used oil to air, soil, or surface water which could threaten human he
29 279.F 279.54(f) Winston_K 10/04/2012 10/22/2012 163013 10/04/2012 Labels.
30 279.F 279.52(a)(6) Winston_K 10/04/2012 10/22/2012 163013 10/04/2012 Arrangements with local authorities.
22 XXS 62-710.600(2)(c) Winston_K 03/05/2014 03/18/2014 170942 03/05/2014 Maintain a record of training in the company's operating record and the individual personnel files indicating the type of training received along with the dated signature of those receiving and providing the training. These records shall be retained
31 279.F 279.52(a)(1) Winston_K 03/05/2014 03/18/2014 170942 03/05/2014 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 used oil to air, soil, or surface water which could threaten human he
23 279.E 279.43(b) Winston_K 12/08/2016 12/23/2016 179251 12/08/2016 DOT Requirements. Used oil transporters must comply with all applicable requirements under the U.S. Department of Transportation regulations in 49 CFR parts 171 through 180. Persons transporting used oil that meets the definition of a hazardous mater
32 279.F 279.52(b)(3)(ii), 279.52(b)(4) Lancellotti_R 11/18/2021 01/07/2022 192030 11/18/2021 SUBMITTED TO ALL LOCAL POLICE DEPARTMENTS, FIRE DEPARTMENTS, HOSPITALS, AND STATE AND LOCAL EMERGENCY RESPONSE TEAMS THAT MAY BE CALLED UPON TO PROVIDE EMERGENCY SERVICES, CONTINGENCY PLAN MUST BE REVIEWED AND AMENDED WHENEVER:
33 PCR 403.727(1)(c) Polycart_J 02/22/2023 03/17/2023 194714 02/22/2023 Fail to comply with a permit;
34 279.C 279.22(c)(1) Polycart_J 02/22/2023 03/17/2023 194714 02/22/2023 CONTAINERS AND ABOVEGROUND TANKS MUST BE CLEARLY MARKED USED OIL