12/09/2015 |
Site Inspection |
Routine; Used Oil Transporter Environmental Services & Logistics, Inc. (Esli) Is Registered As A Used Oil Transporter, Pcw Manager, And Non-Handler Of Hazardous Waste. The Facility Consists Of A Home Office Located At The Personal Residence Of Mr. Y Mrs. Smith And A Vehicle/Truck Storage Located At An Off-Site Location At Yavorsky'S Truck Service Lot At 10960 Orange Ave, Fort Pierce, Fl 34945. The Truck Service Offers A Secure Storage (Completely Surrounded By A Security Fence) And Full Service, Maintenance, And Repair Of The Vehicles. Esli Stores Four (4) Trucks At This Location. This Facility Is Situated On A 2.6 Acre Site In A Rural Area.
The Facility Has Been Operating On This Site Since 2012 And Employs 6 People (Full- And Part-Time).
Facility Has Never Previously Been Inspected By The Department And There Are No Violations On Record. | No Violations Were Observed At Time Of Inspection. | Esli Operates As A Middle-Man For Used Oil Transport For Cbi. All Used Oil Is Halogen-Tested By Cbi And Only Non-Off-Spec Oil Is Transported By Esli. Esli Does Not Store Used Oil In Their Trucks Overnight. All Used Oil Is Dropped Off At A Receiving Uop/Uot The Same Day It Is Picked Up By Esli.
Facility Tour:
During The Facility Tour, No Issues Were Noted. Trucks Were Observed Equipped With Appropriate Fire Extinguishers And Spill Kits.
Records Review:
All Records Appeared To Be In Order. Reviewed Were: Contingency Plan, Manifests, Proof Of Insurance, Delivery Logs And Training Records.
Manifests/Used Oil Delivery Records Confirmed That Esli Does Not Store The Material Overnight. | No Violations Were Observed At Time Of Inspection. | No Violations Were Observed At Time Of Inspection. |
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04/07/2022 |
Site Inspection |
Routine; Used Oil Transporter On April 7, 2021, Justin Stark With The Florida Department Of Environmental Protection (“Fdep”) Conducted A Compliance Evaluation Inspection (“Cei”) At Environmental Services & Logistics Inc (Hereinafter “Esli” Or “Facility”), Located At 10960 Orange Ave, Fort Pierce, Fl 34945. Esli Was Inspected To Determine The Facility’S Compliance With The State And Federal Hazardous Waste Regulations Described In Title 40, Code Of Federal Regulations (“C.F.R.”) Parts 260-268, 273, And 279, Adopted And Incorporated By Reference In Rule 62- 710, 62- 730, And Rule 62-737, Florida Administrative Code (“F.A.C.”).
The Inspector Was Escorted Around The Facility By Jeff Smith. Upon Arrival At The Facility, The Inspector Presented Their Credentials And Explained The Purpose Of The Inspection.
Esli Is Situated On A 2.6 Acre Property And Is Connected To Municipal Water And Sewer. Esli Currently Employees 9 Staff.
Notification History
Esli Initially Notified With The Fdep As A Used Oil Transporter On 08/27/2012. The Facility Was Assigned The Epa Identification (“Epa Id”) Number Flr000193854.
Inspection History:
The Facility Was Inspected By The Fdep On 12/9/2015 And Found To Be In Compliance.
Personal Protective Equipment (Ppe) Was Not Required To Enter The Facility. Department Personnel Were Equipped With Steel-Toed Boots. | Esli Operates As A An Intermediary For Used Oil Transport For Cbi. All Used Oil Is Halogen-Tested By Cbi And Only Non-Off-Spec Oil Is Transported By Esli.
Esli Stores Its Trucks At Yavorsky'S Truck Service Lot. Yavorsky'S Truck Service Lot Stores Other Vehicles From Different Clients, And Operates A Maintenance Shop. The Address Used To Register Esli Is Jeff Smiths Home Which Is Different From Where Yavorsky'S Truck Service Lot Is Located. Esli Was Asked Via Email To Re-Notify Using The 8700-12fl To Update The Address And To Update The Address On The Insurance.
Esli Has A Fleet Of 6 Trucks Which Hold 6,000 Gallons Each. The Trucks Are Stored On A Open Lot With Other Vehicles From Different Clients. The Lot Is Secured With Fencing. During The Inspection, Only One Truck Was Observed. The Other Five Were Out Collecting Used Oil. The One Truck Was Observed With Appropriate Fire Extinguishers And Spill Kits.
Records Review:
Training Records, And Manifests For Months Of July 2020, December 2021, And February 2022 Were Requested Via Email. After Review, It Appears The Facility Went Over The Storage Limit Of More Than 24 Hours For 9 Shipments. Therefore Acting As A Used Oil Transfer Facility Without Notifying The Fdep [40 Cfr 279.45(A), 62-710.500(1)(A) F.A.C.]
The Following 9 Shipments Were:
Manifest Doc#: 275595 - Stored Used Oil For 4 Days.
Manifest Doc#: 276204 - Stored Used Oil For 3 Days.
Manifest Doc#: 329132 - Stored Used Oil For 5 Days.
Manifest Doc#: 329476 - Stored Used Oil For 4 Days.
Manifest Doc#: 333788 - Stored Used Oil For 2 Days.
Manifest Doc#: 334977 - Stored Used Oil For 3 Days.
Manifest Doc#: 335224 - Stored Used Oil For 4 Days.
Manifest Doc#: 335658 - Stored Used Oil For 2 Days.
Manifest Doc#: 336046 - Stored Used Oil For 3 Days.
Due To This Discovery, A Larger Sample Size Of Manifests Was Requested Via Email For January 2022, March 2022, July 2021, February 2021, December 2020, And March 2020.
Training Records: Esli Submitted Three Years Worth Of Training Records Which All Appeared To Be In Order. | Esli Was Inspected As A Used Oil Transporter And Found To Be Out Of Compliance For Acting A As Used Oil Transfer Facility And Not Notifying The Fdep Of Such Event. If The Facility Wishes To Act As A Used Oil Transfer Facility, It Shall Renotify Using The 8700-12fl. Additionally, Compliance Assistance Was Offered In Regards To The Address, The Facility Shall Ensure It Updates Its Address Using The 8700-12fl And Updates Its Address On It Insurance. A Compliance Assistance Offer Letter Or Warning Letter Will Be Sent Based Off The Results From The Additional Records Requested. |
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