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HomeMy WebLinkAboutST - 9229 EAST MARGINAL WAY SOUTH - MONSANTO COMPANY (RAISBECK HIGH SCHOOL SITE) - STORAGE TANKSTAN K(S) UNDERGROUND STORAGE TANKS (UST) 1 ABOVE GROUND STORAGE TANKS (AST) 9229 EAST MARGINAL WAY SOUTH PARCEL NUMBER(S) 5729800020 RELATED PERMIT NUMBER(S) 679-08 18-99 19-99 10-99 111-991 12-99 330-991 331-991 332-99 333-99 1334-99 Date: 12/9/08 Tukwila Fire Department OPERATIONAL PERMIT By virtue of The Provisions of the International Fire Code adopted by City of Tukwila Ordinance, AMEC Geomatrix located at 9229 East Marginal Way South 679-08 having made application in due form, and as the conditions, surrounding, and arrangements are, in my opinion, such that the intent of the Ordinance can be observed, authority is hereby given and the PERMIT is granted for *To install, alter, remove, abandon or otherwise dispose of a flammable or combustible liquid tank per Chapter 34 of the International Fire Code* FILE COPY This PERMIT is issued and accepted on condition that all Ordinance provisions now adopted, or that may hereafter be adopted, shall be complied with. THIS PERMIT IS VALID FOR -Six Months - This permit docs not take the place of any License required by law and is not transferable. Any change in use or occupancy of premises shall require a new permit Fire Marshal THIS PERMIT MUST BE POSTED ON THE PREMISES MENTIONED ABOVE T.F.D./F.P. #2 eo-J 1,,e)24/ /)-10-w ° FILE CITY OF TUKWILA 6200 SOUTHCENTER BOULEVARD, TUKWILA, WASHINGTON 98188 PHONE # (206) 433.1800 Gary L. VanDusen, Mayor September 30, 1991 CHM2HILL Attn: Ryan Daugherty 777 -108th Ave N.E. P.O. Box 91550 Bellevue, WA 98009-2050 Reference: Rhone-Poulenc Inc. Ltr, dated 9/9/91, Subj: Demolition Plan for Plant Site, 9229 E. Marginal Way S., Tukwila, WA 98108 Building Permit Application Numbers 91-393 thru 91-396 - Rhone-Poulenc Demolition Dear Mr. Daugherty: On September 26, 1991, a special meeting of the Tukwila Development Review Committee was held to discuss the permit applications referenced above, and other associated information and concerns. The following comments are the results of that meeting: 1. The Fire Marshal commented that he had specifically stated at the pre -application meeting, attended by yourself and other representative of Rhone Poulenc, that the Fire Department would require a plant closure plan as part of the permit application. So far it has not been received. The Fire Department will not be able to complete their part of the plan check process without this issue being resolved. 2. Everyone at the meeting indicated concern about possible soil contamination and related environmental issues on this site because of its past use. The Planning Division representative produced a letter from the Department of Ecology, dated September 16, 1991, which contains DOE's comments on the Environmental Checklist submitted on this project. A copy of the DOE letter is attached. It was agreed by everyone present that a review of the permit application package by DOE, and written concurrence by that agency, shall be required from Rhone-Poulenc before any further review action is accomplished by the city. 0 3. To answer the question about leaving concrete foundations, slabs, drainage systems, and other portions of infra -structure in the ground, the following information applies: a. DOE concurrence with this plan must be obtained by Rhone-Poulenc and presented to the city as part of the application package before the plans can go any further in the plan check process. b. If DOE concurrence is obtained, it has been determined that, based on the contents of your above referenced letter, the intent of Section 16.04.150 of the Tukwila Municipal Code would be met by the plans you have submitted; and TMC Sec. 16.04.150 will not apply to this project. This is not, however, meant to infer that the City has approved the project. Any other issues that may come up during the plan check process will have to be resolved with individual departments of the city. 4. It is suggested that you contact the Tukwila Planning Division regarding the subject of "Interim Use of the Facilities", discussed in paragraph 2 of your above referenced letter. I briefly discussed this subject with Darren Wilson of the Planning Division and he stated that both Zoning and Shorelines regulations could establish restrictions on the type of "storage" allowed on certain portions of this property. 5. If you should have any further questions on this subject please feel free to contact me at 431-3670. Sincerely, 1.� ane Griff Building Official cc: Lew Herr, Rhone-Poulenc Co. Rick Beeler, Director, DCD Nick Olivas, Fire Dept Phil Fraser, Public Works Jack Pace, Planning Division STATE OF WASHINGTON DEPARTMENT OF ECOLOGY Mail Stop PV -11 • Olympia, Washington 98504-8711 • (206) 459-6000 September 16, 1991 Mr. Rick Beeler City of Tukwila 6200 Southcenter Boulevard Tukwila, WA 98188 Dear Mr. Beeler: Thank you for the opportunity to comment on the determination of nonsignificance for phase two to demolish a closed industrial plant that formerly produced vanillin proposed by Rhone-Poulenc Inc. (EPIC -35-91). We reviewed the environmental checklist and have the following comments. 1. As with phase one, the applicant proposes to demolish an existing facility. Item B.7.a of the checklist asks if there are any environmental health hazards that could occur as a result of the proposal. Improper disposal of solid waste, including demolition waste, can result in environmental health hazards. The applicant should identify the disposal site for the demolition material_ In addition, the applicant should be encouraged to pursue mitigating activities such as salvage, reuse, and recycling of the demolition materials. 2. Storm drains should be checked for contamination and/or cleaned prior to use, following plant demolition (based on information that building floor drains are connected to the storm drainage system, Water 3.c.1) to avoid flushing of residual chemicals by rainwater. 3. Further investigations regarding the nature and extent of soil, groundwater, and surface water associated with the site may be required by the Department, under authority of the Model Toxics Control Act. Further cleanup may also be required at the site . If you have any questions on Comment 1, please call Mr. Kyle Dorsey in the Northwest Regional Office at (206) 649-7132. For questions on Comments 2 and 3, please call Mr. Norm Peck also in our Northwest Regional Office at (206) 649-7047. • SEP 1 71991 Sincerely, IF.TM. Vernice Santee Environmental Review Section MVS:91-5433 cc: Kyle Dorsey, NWRO Norm Peck, NWRO Janet Thompson -Lee, NWRO o FILE MEMORANDUM Date: 25 Sep 91 From: Duane Griffin, Bldg Offl To: File SUBJECT: Minutes of Development Review Meeting (DRC) held on 24 Sep 91, regarding Permit Application Numbers 91-393 thru 91�-396 - Rhone-Poulenc Demolition PRESENT: Rick Beeler Nick Olivas Jack Pace Phil Fraser Duane Griffin Director, Department of Community Development Fire Marshal Senior Planner Senior Engineer Building Official PURPOSE: Building Official requested this DRC meeting to get decision on whether demolition permits should/could be issued to Rhone-Poulenc for the demolition of structures above grade only; with the intention of leaving concrete floor slabs, paved driveways, and underground infrastructure in place without considering it part of the demolition. The question came up because of the provisions of TMC Sec. 16.04.150 which states that as part of demolition permits all concrete, driveways, foundations, etc, have to be removed. The Rhone-Poulenc Co. has requested they not be required to remove this type of material for the reasons outlined in their letter dated 9 Sep 91 (copy attached). 1. After reviewing contents of that letter the following comments were made specifically about the subject of not requiring them to remove the concrete: Nick Olivas: The Fire Department would have no objection to the concrete foundations and other items listed in the letter being left in-place. Phil Fraser: Phil stated that Public Works would have no objection, and, based on the description of the complicated and extensive drainage system described in the application documents, would recommend that the concrete foundations and infrastructure not be disturbed as part of the demolition process. Jack Pace: Planning would have no problems with the concrete being left in place. Duane Griffin: Duane feels that since the UBC doesn't cover leaving finished concrete in-place, the intent of the TMC requirements may have been to prohibit dangerous excavations, unhealthy sanitary conditions, attractive nuisances, or any other items that could be hazardous to the public. Since the applications and accompanying documents indicate there will be no debris, open excavations, or other remaining hazards it would seem appropriate that the concrete be allowed to remain and not be considered part of the demolition permit. CONSENSUS: If permit is issued it will be all right to allow concrete slabs, foundations, and underground infrastructure to stay in place and not be considered part of the demolition permit. 2. During this meeting other comments were made and discussed about individual Department concerns regarding the application: a. Nick said that at the original pre -application meeting, held with the applicants, he had informed them the fire department would require a "closure plan". He said that he didn't think that plan had been received yet, and the permit shouldn't be issued prior to its receipt and approval. He said he would follow up on this subject with the applicants. b. Everyone at the meeting indicated concern about possible soil contamination and related environmental issues on this site because of its past use. Jack produced a letter from DOE, dtd 16 Sep 91, in which they commented on the environmental checklist. It was agreed by everyone present that a review of the permit application package by DOE, and written concurrence by that agency, should be required from Rhone-Poulenc before any further review action is accomplished by the city. Duane will prepare and forward a letter to CH2M Hill, contact agency for Rhone-Poulenc, with info copies to DOE N.W. Regional Office, notifying them of this requirement and that further review by the city will be held up pending receipt of DOE concurrence. cc: Rick Beeler Nick Olivas Jack Pace Phil Fraser t 4 0 RHONE • POULENC INC. FILE FINE ORGANICS DIVISION SEATTLE, WASHINGTON PLANT 9229 E. Marginal Way South - P.O. Box 80963 - Seattle, Washington 98108 - Telephone (206) 764-4450 September 9, 1991 SEA32112.B0.ZZ City of Tukwila Department of Public Works 6300 Southcenter Blvd. Tukwila, WA 98188 Attention: Mr. Duane Griffin Building Department Subject: Rhone-Poulenc Inc. DEMOLITION PLAN FOR PLANT SITE 9229 E. Marginal Way South Tukwila, WA 98108 Dear Mr. Griffin: In response to your telephone request for more information on the rationale for demolishing only "superstructure" of the plant and for leaving the slabs, surface paving, and underground utilities in place, we offer the following discussion: 1. BUILDINGS TO REMAIN IN SERVICE The prospective buyers and real estate consultants advise us that due to their economic value at least two buildings are to remain in place and operating: o Laboratory Building o Administration Building The final agreement may require that other buildings be left in place and operating. The Demolition Plan Addendum Number 1 have prioritized the sequence of demolition to provide that those buildings which would have the greater apparent usefulness to the prospective buyer would be demolished later in the demolition process. 1 of 4 «RHONE POULENC RECEIVED CITE' OF TUKWILA SES' 1 $ M3 PEEWIT CENTER • The plant utilities, e.g. sanitary sewer, water distribution, storm drainage, gas, telephone, etc. are interconnected and complex, the removal of foundations and underground utilities would eliminate utilities to buildings that are to remain in place and operational. The utility connections to buildings that have been demolished or are not designated for future use will be grouted in place. 2. INTERIM USE OF FACILITIES The property remains under the ownership and custody of Rhone- Poulenc until the agreement to sell is completed and the new owner takes custody. Should the negotiations with the current prospective buyers fail or be substantially delayed, Rhone- Poulenc will seek alternative interim uses for the property. Among the possible uses are storage or operations for construction contractors, light manufacturing, etc. Rhone- Poulenc has indicated that they do not intend to return the property to vanillin processing, the previous use, however they would seek other uses. Certain of the buildings, particularly the D.C. Warehouse and the Maintenance Buildings lend themselves to other uses, as do the Laboratory Building, the Administration Building, and the Change Room Building. Other buildings that were used strictly for vanillin production, would probably have little value and would be demolished. The slabs of these buildings, however could be a valuable asset as paved storage areas. The foundations and floor slabs of these buildings have been designed by licensed structural engineers or qualified engineers for the original owners. Quite evidently, the structural integrity of these foundations is still very much intact since the facility was in operation until March, 1991. These foundations and slabs would be used as "hardstand" for storage which is compatible with their designed use to support industrial facilities. As noted before, the utilities to buildings that would remain under such an alternative are an integral part of the plant utility system. To remove the foundations and underground infrastructure would eliminate utilities to the remaining facilities and have a significant impact on the use of the property. 2 of 4 0 3. SITE DRAINAGE The removal of slabs and paving will disrupt the current surface drainage in an area that is relatively flat and that has a high water table. The existing storm drainage system is highly effective and is operated under the plant NPDES permit. The system includes a series of laterals which collect storm drainage from surface structures, catch basins, inlets, etc. and conduct it to a diversion structure, which, in the event of spills, can divert the drainage to the sanitary sewer. Normal drainage from the diversion structure discharges to the outfall on the Duwamish River, through a pH sensor, which, if the pH is out of allowable range, automatically shuts down the outfall line and diverts the drainage to the sanitary sewer. This system will be used to effectively manage storm water until the property is sold and the new owner develops plans for the property, obtains permits, and modifies (if necessary) the existing system. It is anticipated that this existing system will be used either in part or in it's entirety by the new owner. Removal of underground utilities and foundations would necessitate the removal of the storm drainage system resulting in adverse environmental impact in the form of overland storm runoff laden with sediment. Removal would also necessitate the design, permitting, installation, and operation of an interim storm water drainage system that is not likely to be as effective as the existing system. The interim system will then have to be replaced with a permanent system that is designed to satisfy the new owner's use of the property. The potential environmental impacts of the repeated disruption of the surface drainage system suggest that the current system, which operates with a high degree of efficiency, be maintained as is. The costs, both environmental and economic, of removing the underground utilities are simply too high. 3 of 4 4. FIRE PROTECTION The fire protection system which serves the plant also serves the buildings that are to remain in place for the prospective buyer, as well as the buildings that would remain in place for interim use should the sale be delayed. Removal of plant utilities and foundations would require the removal of this system. Ordinance 16.04.150 Debris and excavations, requires interpretation, but works as exhibited by its provisions which allow certain improvements to remain in place. Rhone-Poulenc has taken extra measures to provide the City with a clear understanding of our intentions and plans in the demolition of the plant and the sale of the property. In applying for demolition permits, Rhone- Poulenc recognizes that it is asking the city to issue permits for demolition of the above -ground portions of the designated buildings only. These permits should be clearly marked to indicate this fact, so that the intent of Rhone-Poulenc and the permit is clear to those who follow these proceedings. If you have any questions or wish to discuss these issues please do not hesitate to call me at the plant or to call our consultant, CH2M Hill in Bellevue. Sincerely, dw B. Herr Project Manager Rhone-Poulenc, Inc 4 of 4 OUTLINE OF ISSUES CONCERNING RHONE-POULENC: FILE TMC Sec. 16.04.150 states: "Debris and excavations. (a) It shall be the duty of any person to whom any permit is issued for the demolition or removal of any building or any section or portion of any building pursuant to the provisions of this chapter, and of any person leasing, owning, or occupying or controlling any lot or parcel of ground from which a building is removed or demolished, to remove all weeds, concrete, stone foundations, flat concrete, concrete patios, masonry walls, garage floors, driveways and similar structures and all loose miscellaneous material from such lot or parcel of ground, to properly cap the sanitary sewer connections, and to properly fill or otherwise protect all basements, cellars, septic tanks, wells and other excavations." Rhone-Poulenc, 9229 E. Marginal Way S., has stopped production and started to move equipment off their /et acre site. They are negotiating the sale of the property and want to demolish a number of structures down to grade level, and leave the concrete footings, slabs, etc, in place. As far as I know, the only thing that prevents leaving concrete in the ground is the above referenced TMC. It seems obvious to me that the ordinance was not meant to cover a demolition project as extensive as this one will be. Therefore, is there a way the city can officially exclude this project from the requirements of the demolition ordinance. I feel this is a decision beyond the limits of my authority. They will fill holes, pits, etc, with some sort of material and cover it and the flat slabs with some type of waterproof material to prevent saturation/mud holes caused by rain water. They have stated this covering material will be sloped so rainwater will run into existing storm drains. The whole site has a network of storm drains they want to leave in place that will remain active. I think they desire to leave all of the underground utilities in place. Public Works Dept. has told me all underground utilities on site are private, not public utility lines. There's a possibility their prospective buyer (more than likely Boeing) will want to utilize the foundations and utility lines for new structures. This site was developed in the early 1940's and has had hazardous materials stored or manufactured on it ever since. Would there be any city liability if we allowed the foundations and slabs to remain and then the future buyer removes them and finds contaminated soils? Should we get supporting documentation from EPA, DOE, or somebody, that the soil has been tested and there is no possibility of contamination on the entire site? There's a drainage system that has automatic valves that control what is drained from the site into the river. What governmental agencies should be involved in a demolition project like this? If they have a buyer willing to do so, would it be permissible to leave the concrete and underground utility system in place if the buyer signed appropriate documents taking full responsibility for all of it? They want to leave the perimeter fence intact and in-place after demolition is completed. There are concrete pits in the concrete floor systems that are pretty deep and could be below the water table. They plan to leave some structures that are in good condition. These buildings are tied into the same underground utility system that serves the whole site. So, removing all the foundations and slabs would probably disturb some of underground lines that run under the buildings. How concerned should we be about contaminated soil on this site? The owners and engineering consultant firm say that Boeing is the prospective buyer and a lot of tests are being made by either Boeing or Rhone-Poulenc to make sure everything is resolved up -front about the responsibility for any soil contamination or other hazardous material problems. STATE OF WASHINGTON DEPARTMENT OF ECOLOGY Mail Stop PV -11 • Olympia, Washington 98504-8711 • (206) 459-6000 September 16, 1991 Mr. Rick Beeler City of Tukwila 6200 Southcenter Boulevard Tukwila, WA 98188 Dear Mr. Beeler: Thank you for the opportunity to comment on the determination of nonsignificance for phase two to demolish a closed industrial plant that formerly produced vanillin proposed by Rhone-Poulenc Inc. (EPIC -35-91). We reviewed the environmental checklist and have the following comments. 1. As with phase one, the applicant proposes to demolish an existing facility. Item B.7.a of the checklist asks if there are any environmental health hazards that could occur as a result of the proposal. Improper disposal of solid waste, including demolition waste, can result in environmental health hazards. The applicant should identify the disposal site for the demolition material. In addition, the applicant should be encouraged to pursue mitigating activities such as salvage, reuse, and recycling of the demolition materials. 2. Storm drains should be checked for contamination and/or cleaned prior to use, following plant demolition (based on information that building floor drains are connected to the storm drainage system, Water 3.c.1) to avoid flushing of residual chemicals by rainwater. 3. Further investigations regarding the nature and extent of soil, groundwater, and surface water associated with the site may be required by the Department, under authority of the Model Toxics Control Act. Further cleanup may also be required at the sites. If you have any questions on Northwest Regional Office at 3, please call Mr. Norm Peck 649-7047. Comment 1, please call Mr. Kyle Dorsey in the (206) 649-7132. For questions on Comments 2 and also in our Northwest Regional Office at (206) 1►j Sincerely, ut- PLA sNING DPP MVS:91-5433 cc: Kyle Dorsey, NWRO Norm Peck, NWRO Janet Thompson -Lee, NWRO Vorita M. Vernice Santee Environmental Review Section RHONE-POULENC PERMIT 1. Outside Aboveground Flammable Liquid Storage (UFC 79.103) - $63.00 A. Toluene / 3 Tanks @ 16,000 gals. = 48,000 gals. 1 Tank @ 20,000 gals. = 20,000 gals. 1 Tank @ 3,000 gals. = 3,000 gals. 1 Tank @ 2,000 gals. = 2,000 gals. Misc. Process Reactors = 9,300 gals. 82,300 gals. TOTAL B. Isopropyl Alcohol / 1 Tank @ 1 Tank @ 1 Tank @ Misc. Process Reactors 20,000 gals. = 20,000 gals. 10,000 gals. = 10,000 gals. 2,200 gals. = 2,200 gals. = 15,200 gals. 47,400 gals. TOTAL 2. Underground Flammable Liquid Storage (UFC 79.103) - $63.00 One 500 gal. Gasoline Storage Tank 3. Corrosives (UFC 80.102) - $63.00 A. B. C. D. Sodium Hydrosulfide / 1 Tank @ 16,000 gals. Aboveground Sulphuric Acid / 1 Tank @ 16,000 gals. Aboveground Sodium Bisulfite / 1 Tank @ 16,000 gals. Aboveground Sodium Hydroxide / 3 Tanks @ 100,000 gals. Aboveground 4. Cryogenics (UFC 75.103) - $80.00 One 500,000 cu. ft. Liquid Nitrogen Tank 5. Cutting and Welding (UFC 49.101) - $60.00 TOTAL kEE = $346.00 DATE FIRE DISTRICT KING CQUNTY FIRE MARSHAL'S OFFICE 450 King County Admin. Building Seattle, Washington 98104 (206) 344-2573 PERMIT PERMIT NO. TO MAINTAIN, STORE, USE OR HANDLE MATERIALS, OR TO CONDUCT PROCESSES WHICH PRODUCE CONDI- TIONS HAZARDOUS TO LIFE OR PROPERTY, OR TO INSTALL EQUIPMENT USED IN CONNECTION WITH SUCH ACTIVITIES, OR TO CONDUCT AND/OR MAINTAIN A PLACE OF PUBLIC ASSEMBLY FOR 50 OR MORE PERSONS. By virtue of the provisions of the Fire Prevention Code of the County of King onsa.nto C,; mran- 229 P. ;argirai t'a ' 9. , L r:,_ i.:..:,. NAME OF BUSINESS OR CONCERN ADDRESS OF BUSINESS `.174_.7.1i,72.0 7. O. BOX 89063, Seattle, WA 98100 '=x ica1 'anufacturinq. , Tione=: 704-.443u 901# (BUSINESS) R.E. Rhoades Having made application in due form, and as the conditions, surroundings, and arrangements are, in my opinion, such that the intent of the Fire Prevention Code can be observed, authority is hereby given and this PERMIT is GRANTED for: I• . Conducting a Description of Materials, Equipment, Activities: = . tanks 13,000 gals. = 48,000 gals. 1 tank 0 20,000 = 20,000 1 tank '! 3,000 = 3,000 1 tank 0 2,000 = 2,000 isc. Process, reactors 9,300 TOTAL = 02,300 cia1 T CP OP C 7 ALCOHOL = 1 tank 9 20,000 gals = 20,000 gals 1 tank 9 10,000 = 10,000 1 tank 0 2,200 = 2,200 BIF'e i D=isc. process reactors 15,200 TOTI`L = 47,460 & Cutting Special Conditions or Limitations: * 'a1a t . " ; gen storage shall' not e.xceed s:.L11 not excoec] 2,000 cu. ft. Fire Protection Systems or Equipment Required: r.,„, cu. ft. ane 51.a:T This permit does not take the place of any License required by law and is not transferable. Any change in the use or occupancy of premises shall require a new permit. This permit expires Au :: u.- t c : 19E:5 An application for Renewal will be mailed to you before the Expiration Date. If the permit is to be renewed the application must be returned 15 DAYS PRIOR TO EXPIRATION. THIS PERMIT MUST BE POSTED IN A CONSPICUOUS PLACE ON THE PREMISES NOT TRANSFERABLE INSPECTED BY: Prevent Fires — Save Lives FIRE MARSHAL, KING COUNTY DATE FIRE DISTRICT KING COUNTY FIRE MARSHAL'S OFFICE 450 King County Admin. Building Seattle, Washington 98104 (206) 344-2573 PERMIT PERMIT NO TO MAINTAIN, STORE, USE OR HANDLE MATERIALS, OR TO CONDUCT PROCESSES WHICH PRODUCE CONDI- TIONS HAZARDOUS TO LIFE OR PROPERTY, OR TO INSTALL EQUIPMENT USED IN CONNECTION WITH SUCH ACTIVITIES, OR TO CONDUCT AND/OR MAINTAIN A PLACE OF PUBLIC ASSEMBLY FOR 50 OR MORE PERSONS. By virtue of the provisions of the Fire Prevention Code of the County of King 2i nsanto Company 9229 37,. Marginal Way S. r IMAM OF BUSIox 89 coNC RN Seattle, N 98108 i [1I. �id(�: n. SOX 063, Conducting a er(tical +ar'ufacturing (BUSINESS) Phone: 764 ADDRESS OF BUSINESS 901# Having made application in due form, and as the conditions, surroundings, and arrangements are, in my opinion, such that the intent of the Fire Prevention Code can be observed, authority is hereby given and this PERMIT is GRANTED for: Description of Materials, Equipment, Activities: tCOLUEAE = 3 tanks @ 16,000 gals. 1 tank @ 20,000 1 tank @ 3,000 1 tank @ 2,000 [disc. process reactors • 43,000 gals. • 20,000 3,000 • 2,000 9,300 IOPRCJPYL ALCOHOL = 1 tank @ 20,000 gals. 1 tank @ 10,000 1 tank @ 2,200 Misc. process reactors *...`uttting & tYalding pi 4(400 vo,4C Special Conditions or Limitations: QYke6 4 re`t WEAL = 82,3 = 20,000 gas. • 10,000 • 2,200 15,200 S0v y 4 ,24 e gals. storage I t:...�c.u::�:i Cl%1'��storage snail not �::x�Aes.� ,�iuv cu.�. w'"� �'_,,,.41.T�.0 .,..: shall not exceed 2,000 cu. ft. Fire Protection Systems or Equipment Required: This permit does not take the place of any License required by law and is not transferable. Any change in the use or occupancy of premises shall require a new permit. This permit expires 7u1,' ' ! ? ;v An application for Renewal will be mailed to you before the Expiration Date. If the permit is to be renewed the application must be returned 15 DAYS PRIOR TO EXPIRATION. THIS PERMIT MUST BE POSTED IN A CONSPICUOUS PLACE ON THE PREMISES NOT TRANSFERABLE INSPECTED BY: Prevent Fires — Save Lives FIRE DISTRICT FIRE MARSHAL, KING COUNTY October 12, 1986. -. N FIRE.�.MA AL OFFICE, 460 King County Admin:0uilding Seattle, Washington 98104` (20)3442573 FIRE DISTRICT 1 HAZARDOUS TO LIFE OR PROPERTY, OR TO.INSTALL EQUIPMENTUSED IN CON TO.CONDUCT AND/OR MAINTAIN A PLACE OF PUBLIC ASSEMBLY FOR r AF} MESON 1.)/15/O By virtue of the provisions of the UNIFORM FIRE CODE�df"t(ii Cinty of King PERMIT NO. 6233 (1) H Z P1AT. 346; *6'233. TTL 3141 . l ' P:.r .. • O � ` •' NECIYIIT, H ACTIV TO MAINTAIN, STORE, USE OR HANDLE MATERIALS, OR TO CONDUCT PROCfS Rhone-POu1enc 9229 East Marginal Way South, Seattle, WA"' QIAME OF BUSINESS OR CONCERN ADDRESS OF BUSINESS RESPONSIBLE PERSON: David P. Alt PHONE NO. 764-4450 MAILING ADDRESS: P.O. Box 80963, Seattle, WA 98108 Conducting a Chemical £4a nfactur'er 901# (BUSINESS) Having made application in due form, and as the conditions, surroundings, and arrangements are, in my opinion, such that the intent of the UNIFORM FIRE CODE can be observed, authority is hereby given and this PERMIT is GRANTED for. Description of Materials, Equipment, Activities: Aboveground flammable liquids storage Underground flammable liquids storage UFC 79.103 Corrosives UFC 80.102 Cryogenics UFC 75.103 Cutting and Welding* UFC 49.101 *Related oxygen storage shall not exceed 6,000 cubic feet and flammable gases storage, aggregate amount snail not exceed 2,300 cubic feet: W; AMAZED SIS FOR (XJANTITIFS This permit does not take the place of any License required by law and is not transferable. Any change in the use, occupancy, or ownership of premises shall require a new permit. This permit expires March 12, 1988 An application for Renewal will be mailed to you before the Ex Date. If the permit is to be renewed the application must be returned 15 DAYS PRIOR TO EXPIRATION. THIS PERMIT MUST BEPOSTED IN A CONSPICUOUS PLACE ON THE Pally: NOT TRANSPERABLE R. Prevent Fires Save Lives CIR= rUCTQIf`T Date: 5/15/97 TUKWILA FIRE,DEPARTMENT •, SPECIAL'PERM IT- • 330-97 :331-97 .332=97 333-97' • 334-97 BY virtue of The Provisions of the•Uniform Fire Code adopted by City of,Tukwila Ordinance, • Northwest Container Services, located at *,—.9229 East Marginal Way *Sou Inc • , . Business Name' .. . , , , ` Business Address . 4 98108 having made application in due form, and as the conditions, surroundings, and arrangements are, in myopinion such'.that the intent of .the Ordinance can be observed, authority is' hereby` given` and' this PERMIT is grantedrfor*TO 11RP store, handle or sell, flammable/combustible,:liquids:in:,cabinets-'` per 79.201-79.201g of • the Uniform' Fire Code; end ,in abovegroundstorage tanks per article 79.902c,and:City Ordinance #1741*To use a structare�� as a place of business;forrepairing motor - vehiclesper article. 29 .of the-U.F.C.*To conduct weldingand/or," cutting: operations per article 49 'of the U.F.C.*To'store; , ' transport on site,dipsense, use or. bnd1e at'. normaLtemperatures and pressures compressed gases in , excess of , the airount° listed in Table //105-A of. the U. F.C.*To use an open area or portion thereof.`'` to store tires in excess of 1000 cubic feet per U.F C. 105.8-T 2* This PERMIT is issued and accepted on condition that all Ordinance provisions ow adopted or that mayhereafter be adopted, shall be complied with. THIS PERMIT VALID FOR -Eighteen. Calendar. Months- .` This permit does not take the place of any license required by law and Is not transfer- able. Any change in the use or occupancy of premises shall require a new permit. fire Marshal THIS PERMIT MUST BE POSTED ON THE PREMISES MENTIONED ABOVE, T.F.D./F.P. #2 . 5/13/97 TTJKWILAFIRE DEPARTMENT # 3d 27 53/- 3,2 3/ 3,2 5'7 % Special Permit Application PER UNIFORM FIRE CODE, SECTION 105, SPECIAL PERMIT(S) ARE REQUIRED FOR ANY PERSON, FIRM OR CORPORATION TO USE A BUILDING OR PREMISES OR ENGAGE IN ANY ACTIVITIES FOR ANY OF THE FOLLOWING PURPOSES LISTED BELOW:e. (y) To use, store, handle or sell flammable/combustible liquids. (Art. 79) ( ) To store, transport on site, dispense, use or handle hazardous materials. (Art. 80) ( ) To install or maintain any liquefied petroleum gas (LPG) container. (Art. 82) (y) To use a structure as a place of business for repairing motor vehicles. (Art. 29) ( ) To operate a place of assembly. (Art. 25) (m00 To conduct welding and/or cutting operations. (Art. 49) ( ) To conduct a spraying or dipping operation utilizing flammable liquids. (Art. 45) ( ) To use any building or portion thereof exceeding 500 sq. ft. for high - piled combustible storage. (Art. 81) 00g00 To store, transport on site, dispense, use or handle at normal temperatures and pressures compressed gases in excess of the amounts listed in Table #105-A. ( ) To erect or operate a tent or air -supported temporary membrane structure having an area in excess of 200 square feet, or any canopy in excess of 400 square feet. (Art. 12 & 32) (XXX) To use an open area or portion thereof to store tires in excess of 1000 cubic feet per U.F.C. 105.8-T.2. Sec. 1103.3.6. APPLICATION IS HEREBY MADE BY THE UNDERSIGNED FOR A PERMIT TO (USE, INSTALL, CONDUCT) IN OR ON THE FOLLOWING PREMISES: Business Name: Northwest Container Serviceaddre s s : Inc. 98108 THE FOLLOWING MATERIALS, PROCESSES OR OPERATIONS (Describe briefly what is to be done and the hazardous materials that are involved in the operations in the space below.) 9229 East Marginal Way South BEFORE A PERMIT MAY BE ISSUED, THE FIRE DEPARTMENT WILL INSPECT AND APPROVE THE RECEPTACLES, VEHICLES, BUILDINGS, DEVICES, PREMISES, STORAGE SPACES OR AREAS TO BE USED, AND THIS APPLICATION MUST BE RETURNED WITH YOUR CHECK IN THE AMOUNT OF $250.00 , TO THE TUKWILA FIRE DEPARTMENT, 444 ANDOVER PARK EAST, TUKWILA, WASHINGTON, 98188. SPECIAL.PMT T.F.D. Form F.P. 6 Seattle Fire Department HAZARDOUS MATERIAL INVENTORY STATEMENT (HMIS)* Business Name: NcCTIfcur=T ec,iv 773 - /iv ge su,cc=s /ire Operation Address: 6o o . G. 4 iZO EN Contact Person: o Lt 62 iu 1 x car\/ City: s E State: t , Zip Code:ter, ' / C -r Mailing Address: C o c: S . i/q Telephone: 76 ) --/ v C i' City: S r e State: u , A Zip Code: 9,c1/0 sr EXAMPLE 1 Hazard Class OXY1 COR e Orr) i4 FL'4 S 15 2 Common Trade Name Nitric Acid p } hurl P,iiv T L Acqu ER 3 Chemical Components 8c Concentration 70% Nitric Acid 4 Chemical Abstract Service Registry No. 7697-37-2 5 M 6 Maximum Quantity on Hand 10,000 (s SS NFL P 1 o f'/) N OXYCEN 7 -7 -Ate S T 9'N/S 1, a Page / of / Date: !1'J t,zeH 3 19 y 5.— For Office Use Only FILE No. SIC No. 9 Site Map Page 1 10 CI a3 6.3 11 0 b; 12 13 UFC NFPA 704 :Rating ;: XXX-": OXY 2-3 B3 *If additional pages are needed, Please Copy. Form 2A2 3/92 Date. 6/28/95 TUKWILA FIRE DEPARTMENT SPECIAL PERMIT No. 334-95 BY virtue of The Provisions of the Uniform Fire Code adopted by City of Tukwila Ordinance, • Northwest Container Services_ located at 9229 East Marginal Way South Business Name Business Address having made application in due form, and as the conditions, surroundings,and arrangements are, in my opinion,' such.that the intent of the Ordinance can be observed, authority is hereby given and this PERMIT is granted for To -install, alter,. remove, place temporarily out .of service or .otherwise dispose of any,flaumable or combustible liquid:tank per 79.116 of the• Uniform Fire Code*(install one) This PERMIT is issued and accepted on condition that all Ordinance provisions now adopted, or'that may hereafter be adopted, shall be complied with. THIS PERMIT VALID FOR -Ninety Days - This permit does not take the place of any license required by law and is not transfer- able. ransferable. Any change in the use or occupancy of premises shall require a new permit. 2e,A. Fire Marshal THIS PERMIT MUST BE POSTED ON THE PREMISES MENTIONED ABOVE T.F.D./F.P. #2 - TUKWILA FIRE DEPARTMENT UNDERGROUND/ABOVEGROUND FUEL TANK REMOVAL/INSTALLATION PERMIT PERMIT # 33V p� RECEIPT # /07* DATE RECEIVED DATE ISSUED Es ,." 3 CODE REFERENCE: 79.116 -19 FIRM NAME: NbCTHWEST Ctw74/iv5F s'e,&)/c6S PHONE: 74 a /iia 7 FIRM ADDRESS :939-9 E. I'Y1AAA//ob Y JOB SITE: SAmt NUMBER OF TANKS TO BE REMOVED/INSTALLED: 1 NAME OF BUSINESS AT JOB SITE: SAME— PERSON 4ME' PERSON IN CHARGE : 1�UUCkA S 14 . N/xdi•! PHONE : 174 9 -/OO % To install, alter, remove, place temporarily out of service or otherwise dispose of any flammable or combustible liquid tank per 79.116 of the Uniform Fire Code. THIS APPLICATION MUST BE RETURNED WITH A SCALED DRAWING OF THE SITE AND YOUR CHECK IN THE AMOUNT OF $ Sfp.Ob , TO THE TUKWILA FIRE DEPARTMENT, 444 ANDOVER PARK EAST, TUKWILA, WASHINGTON, 98188. TANKREMV.PER T.F.D. Form F.P. 31 .47/1/(AZ4 c-gte , .11,41th;t ,6cA-CY1I ealercv „aztO A-e/i/Pfe o-czA deanta4). 0-4e/1 J-l'e41) deiv a,va /194 L1 9 2al 7 e. ..Ge/eviz ed7fiv-e- 0/hAs $ I Z44 ha kiC)/ aAl P.' e,/ itrue/;2 _v)1/ Cee,L6 elfra ./dtad__A4 ,zde e-oittc/Agrz,_,_ 1 — l' A'cP/ #. i /rici i a'r ..i.././ Finl .:7Li„„4 p-wpaio, Gwa-8RF-xion aetx,..,LuvL tatuvui , 6 ynat4/66 ceAvieto A&,vn 0-0/1. JAtaz;yiza ±&a,c1 Ax(.±ti ?tt ioiad) o -u,14 eh4L x 5/ p;.etwa,Ltci, C.Uk. et4, 6 0_ a. ./ttit,eheb avtr,c L?as Ga4- aevae Cavwci eonicuint4d) ,te4/-c /J-terw/me, cc).-ceelex.h , P -1-zeed _ 07 _ etzylitJ et/n,/ A-eiVatte, • ..L.7t7a2,4 atuAnv) iA.oindiyn,,;,„‘ S5 -- aa,ty, edlaa,„ elx/01 / 5-5- 1//ze/) CfrY1,01 ar-vi,t,ea4 eL2-1 cv-'7L 0-C2' to -e aeci ,uAdi elseetZg _ Co frn /0 I Myv ea- o /e Aioggnue5T ea/tail/New seweileb.— JUN 20, 1955 FROM:ACE TANK& ED"?FMENT 24" 2" 4" TANK EMERGENCY VENT / 2" Ct FT' 1- OPENINGS 4" 4" DIKE EMERGENCY VENT / DIKE VENT 2" CPL 61" TANK LENGTH 9' OVERALL LENG Tl i Weight . 1050133S, Thickness: Inner Tank 10 GA. Dike, Floor 6 GA. Walls 10 GA. Cowl 10 GA. Exterior is red iron oxide OM Before painting. primary tank shall be tested and proved tight against leakage under a test pressure between 5-7 psi. The containment dike is tested at 2-1/2 psi. Drawing not to scale. Weights & measurements are approximate. 300 GALLON TANK Pad Number AC00300N2D1 NON -UL DIKE TANK MONITOR: 2" CPLG (TYP 3) 3" FPI / IN/PLUG d/�,(TYP 4) NOTICE THIS PRINT AND THE INFORMATION CONTAINED HEREIN IS PROPRIE- TARY TO ACE TANK i< Ff[IIPMFNT CO AND SHALL NOT BE REPRODUCED OR DISCLOSED IN WHOLE OR IN PART, NOR USED FOR ANY DESIGN OR MANUFACTURING PURPOSES, UNLESS AUTHORIZED IN WRITING BY ACE TANK & EQUIPMENT CO. 36" DIAMETER 40" SKID 50" OVERALL ^.� ACE TANK & EQUIPMENT CO. SEATTLE PORTLAND HAYWARD FOR: JOB: NOT TO SCALE INVOICE • 0 REQUIRED DATE SALESPERSON CUSTOMER APPROVAL SIGNATURE 0., T�1 -k k 1 DC D �.• S _ . vf- 4 < 1. 0 G 4 SLIP )Jo. CD v' • NOTE (J, Aavva CRoisn4o 3vvev„I ptym 7"At'g / 6r oN CRn-rrso fe1M12Rt, W,r'N to SNOW CA1 4 Ci:/7✓ cy X ' r71w+fte92, t,oc-cen U%'x,b1 0t . 4107'1r' Bpzd Lc d'XJ'Pr,,„Tj,ee,Z C5 �' x - Pa-nwr-- Acceste C6,) PBoPAN O)GYC&'N QOTT74PS Husky Auomatic' Nozzle for Farm, Skid Tank and Consumer Pumps New Model 3370 gives stronger, better flow at low PSI. The new Husky model 3370 nozzle offers several features for farm and commercial applications with consumer or 12 volt skid tank pumps. For example, the model 3370 has a strong, improved flow—up to 18 GPM through an unleaded spout. At only 5.6 PSI the nozzle dispenses 10 GPM; it shuts -off at 5 GPM. The single - notch hold -open clip puts the nozzle in the full -open position for fast, effortless filling. The model 3370 is U.L. and U.L.C. Listed. The unit is not to LPM GPM 18 60 16 50-14 12 3 4°-10 0 -a30 8 LL 6 20- 4 10- 2 0 PSI 0 WIDE OPEN FLOW 2 4 6 8 10 12 14 16 18 20 40 60 80 100 120 INLET PRESSURE (SpG .78) be used with gravity tanks. It is not legal for retail dispensing, as the check -valve has boot. It fits the "holster lock" of skid tank pumps. This Husky nozzle is designed for the rugged, dependable performance demanded in farm and commercial useage. It provides the fast, efficient "fill up" you need to keep vehicles on the go. Model No. Description 337003 Leaded Spout 337004 Unleaded Spout Standard guard color is blue. been modified to allow the passage of air or vapor. The model 3370 has a built-in hook to hang the nozzle, if not used on a standard pump Because the model 3370 is available with leaded or unleaded spout, it is the only nozzle you need for all your dispensing equipment. The new Husky 3370 gives you the economy, efficiency and performance you expect in a nozzle, from the company you'd expect: Husky. HUSKY CORPORATION 1 + Dailey Industrial Park P.O. Box 67 • Pacific, MO 63069 (314) 257-3073 • FAX: (314) 257-4962 2300 East Vistoso, Commerce Loop Oro Valley, AZ 85737 (602) 742-3994 • FAX: (602)297-8891 STATE OF WASHINGTON DEPARTMENT OF ECOLOGY Mail Stop PV -11 • Olympia, Washington 98504-8711 • (206) 459-6000 PUBLIC NOTICE Regarding the Interim Status Closure of a Storage Facility The Washington Department of Ecology is accepting public comment regarding the closure of a hazardous waste storage area owned by Rhone-Poulenc, Incorporated, 9229 East Marginal Way South, Seattle, Washington 98108. Background Information The company intends to close a storage area comprised of a drum storage area and a waste tank in accordance with the interim status standards under 40 CFR Part 265 and the Washington State Dangerous Waste Regulations, Chapter 173- 303 WAC. The drum storage area was constructed in 1980 and utilized until 1986 for the storage of methylene chloride, waste solvents and used oil. The tank has been used since 1980 to hold up to 4,500 gallons of strainer solids resulting from the manufacture of Vanillin. The proposed closure action consists of decontaminating the storage area and equipment by using steam pressure cleaning. Concrete and soil testing will confirm decontamination. Questions and comments on this action must be directed to the Department of Ecology Northwest Regional Office, 4350 - 150th Avenue NE, Redmond, Washington 98052; telephone (206) 867-7217, Attention: Mr. David Lundstrom. A copy of the facility closure plan is available for public review at the Department's Northwest Regional Office. Public Comment The Department will consider all public comments received during the comment period prior to final action on the closure plan. Public comments will be accepted for 30 days after publication of this notice. A public hearing can be scheduled to discuss the proposed action if significant public interest is expressed. The decision as to whether there is significant public interest for holding the hearing will be based on the receipt of / \ . Public Notice Page 2 of 2 written notices of opposition and written requests for a public hearing prior to the end of the comment period. Any request for a hearing must be accompanied by a basis for such a request and a discussion of topics to be raised in a public hearing. Even if a hearing is not held, all written comments will be considered in making a final decision on this proposed action. Please send comments and requests for public hearing to the Department of Ecology Northwest Regional Office, 4350 - 150th Avenue NE, Redmond, WA 98052, Attention: Mr. David Lundstrom. Jul' Sellick, upervisor Sol d and Hazardous Waste Section Department of Ecology State of Washington SEPTEMBER 29. 1989 Publication Date STATE OF WASHINGTON DEPARTMENT OF ECOLOGY Mail Stop PV -11 • Olympia, Washington 98504-8711 • (206) 459-6000 PROPOSED ACTION: FACILITY NAME: EPA/STATE I.D. No.: FACILITY OWNER: FACILITY ADDRESS: FACT SHEET Approval of an Interim Status Closure of a Storage Facility Rhone-Poulenc, Inc. WAD 009282302 Rhone-Poulenc, Inc. 9229 East Marginal Way South Seattle, Washington 98108 Basis for Proposed Action Rhone-Poulenc, Inc. purchased the vanillin manufacturing facility and property from Monsanto in 1986. At this time, the facility was permitted for storage of hazardous waste up to the maximum capacity of 100 gallons in container storage and a maximum capacity of 4,500 gallons in tank storage, under an interim status Part A Application dated October 4, 1982. A revised notification form was sent to the Department on September 30, 1986, for Generator activities only (less than 90 -day storage) associated with the production of vanillin by Rhone-Poulenc. Rhone-Poulenc requested to have its interim status withdrawn in October, 1986 and agreed to close the facility for Monsanto and to fulfill all regulatory requirements in connection with closure of the interim status facility. Monsanto submitted a closure plan to the Department in August 1986, as required by 40 CFR Part 265 and WAC 173-303- 400. A revised plan was submitted by Rhone-Poulenc to the Department in August of 1988. The final amended plan for public notice was submitted in July 1989. Fact Sheet Page 2 of 2 The proposed closure consists of steam cleaning all bases, structures, or other materials containing or contaminated with regulated wastes or waste residue from the storage area. Soil beneath the structure will be analyzed if leakage through the concrete pad is suspected. Samples of soil along the perimeter of the structure will be analyzed to determine the need for soil removal in these locations. Post closure monitoring is not anticipated for these management units since all regulated wastes or waste residues will be removed. This area will be used in the future for storage of regulated wastes for less than 90 - days, in accordance with the generator standards of WAC 173- 303-170 through 230. Comment Period Begins: SEPTEMBER 29, 1989 Ends: OCTOBER 30 , 198 9 All persons, including the applicant, who wish to comment on the proposed action, should submit in writing all relevant issues and arguments supporting their position by the end of the comment period. Comments should be sent to: Washington State Department of Ecology, Northwest Regional Office, 4350 150th Avenue NE, Redmond, Washington 98052; Attention: Mr. David Lundstrom. Procedures for Requesting a Hearing A public hearing will be held to discuss the proposed action if significant public interest is expressed. Written notices of opposition and written requests for a public hearing must be submitted prior to the end of the comment period. Any requests for a hearing must be in writing and should state the nature of issues proposed to be raised in a public hearing. Even if a hearing is not to be held, all written comments will be considered in making a final decision on this proposed action. Please send comments and requests for public hearing to: Washington Department of Ecology, Northwest Regional Office, 4350 - 150th Avenue NE, Redmond, Washington 98052; Attention: Mr. David Lundstrom. Persons with questions can telephone Mr. David Lundstrom of Ecology's Northwest Regional Office in Redmond, Washington, at (206) 867-7217. � 0 FILE !P RHONE-POULENC RHONE-POULENC AG COMPANY November 6, 1991 Mr. Nick Olivas Assistant Chief/Fire Marshall Hazardous Materials Response Team City of Tukwila Fire Department 444 Andover Park East Tukwila, WA 98188 RE: Seattle Facility Closure Plan Your Memo of 10/25/91 Dear Mr. Olivas: You raised two questions regarding disposal of wastes associated with cleanout and decontamination of equipment in the handling of hazardous materials. Disposal of materials, as well as cleanout and decontamination of equipment has been an ongoing process since the shutdown of the plant in the second quarter of 1991. The cleanout of the system was designed to minimize waste generation by washing tanks directly into the process decanting solvents, etc. All waste water generated by the cleanout of the hazardous material handling system was treated appropriately and discharged to the POTW under permit. All solid residues generated by cleanout and decontamination of hazardous material handling and storage equipment will be removed from the site. My reference to removal and disposal "if necessary" in my 10/17/91 memo may have been misleading. What I meant was, in most instances, there was no solid residue associated with the handling and storage equipment. The remaining material (sodium hydrosulfite) will be removed from the site and the equipment cleanout complete by 11/30/91. Very truly yours, Rolle'rt B. Ferguson Plant Manager RLF:plr (189) cc: TL. Benson 6200 NW ST. HELENS R& D Rahier PO BOX 10224 PORTLAND, OR 97210-0224 (503) 222-3571 TELEFAX (503) 248-0105 City of Tukwila FIRE DEPARTMENT 444 Andover Park East Tukwila, Washington 98188-7661 (206) 575-4404 October 25, 1991 Mr. Robert L. Ferguson Plant Manager Rhone-Poulenc AG Company 6200 N.W. St. Helens Road P.O. Box 10224 Portland, Oregon 97210-0224 Gary L. VanDusen, Mayor Re: Seattle Facility Closure Plan Dear Mr. Ferguson: Your facility closure plan has generated two questions: First, how do you propose to dispose of the contaminated water created by washing the equipment? Second, who will determine whether the solid residues need to be removed and disposed of? In addition, please advise us of the timetable for completion of equipment decontamination. Thank you for your prompt attention to these matters. Sincerely, Nick Olivas Assistant Chief/Fire Marshal NJO:ncd D RHONE-POULENC BILE RHONE-POULENC AG COMPANY October 17, 1991 Mr. Nick Olivas Assistant Chief/Fire Marshall Hazardous Materials Response Team City of Tukwila Fire Department 444 Andover Park East Tukwila, WA 98188 RE: Facility Closure Plan Rhone-Poulenc Seattle Vanillin Facility Dear Mr. Olivas: The following information is submitted pursuant to the Uniform Fire Code, Section 80.107 for closure of hazardous material storage and handling facilities at the subject site. Manufacturing activities at the site have been discontinued and the facility will be demolished. Disposition of hazardous materials are as follows: 1) Caustic - All material consumed in manufacturing process prior to shutdown. 2) Toluene - All remaining material sold to U.S. Otl and transferred to Tacoma, Washington, facilities by tank truck. 3) Isopropyl Alcohol - Remaining material transferred to Rhone-Poulenc facility in Hammond, Indiana, by tank truck. 4) Sulfuric Acid - Remaining material transferred to Rhone-Poulenc facility in Tacoma, Washington, by tank truck. 5) Ferris Sulfate - All material consumed in manufacturing process prior to shutdown. 6) Sodium Hydrosulfate - All remaining material sold to Simpson and is in process of being transferred to Tacoma, Washington, facility by tank truck. 6200 NW ST. HELENS ROAD PO BOX 10224 PORTLAND, OR 97210-0224 (503) 222-3571 TELEFAX (503) 248-0105 0 0 Prior to demolition of storage and handling facilities, all equipment will be decontaminated by water washing. Where, and if necessary, solid residues will be removed and disposed of as appropriate. If you have any questions, please feel free to contact me at (503) 222-3571. Very truly yours, Robert L. `Ferguson Plant Manager RLF:plr (178) Technology In Support of rhe Environment. SPECIFICATIONS - MODEL V3C 1.00 GENERAL It is the intent of these specifications to describe a "State of the Art" Soil Remediation System including an internal combustion engine capable of extracting hydrocarbon vapors from contaminated soil or storage tanks without the use of a compressor or pump, and destruct such vapors as fuel in a controlled manner by the use of an on -board "Programmable Controller" 2.00 DETAILED DESCRIPTION System shall conform to the following minimum requirements: 2.01 ENGINE The engine shall be a Ford 460 C.I.D. long block altered to design specifications exclusive to VR Systems Vapor Extraction Equipment. The engine shall be totally controlled by the "Programmable Controller" described below and shall be capable of operating two weeks without need of servicing. The engine shall be equipped with an automatic oil level device together with three (3) automotive type cartridge filters. The engine serves as both a vacuum pump and as a means of destroying hydrocarbon vapors removed from the soil. Engine cooling shall be by means of an oversized radiator and low-pressure cooling system to insure safety and long life. 2.02 FUEL CONTROL SYSTEM Supplemental fuel as may be required for proper combustion shall be either Propane (LPG) or Natural Gas. The control of the fuel to the engine shall be by the means of an electro/mechanical system including a "Master Control Unit" (MCU). The MCU shall adjust the supplemental fuel flow to compensate for changing influent hydrocarbon concentrations and maintain an air/fuel ratio at stoichiometric. 2.03 IGNITION SYSTEM The Ignition System shall be an electronic type, automatically adjusted by commands from the "Programmable Controller". 2.04 ELECTRICAL POWER No power required. 2.05 ON -BOARD CONTROLLER The system shall include a "Programmable Controller" for monitoring and engine control. 1 2.06 MONITORING Monitoring of system parameters is performed by the "Programmable Controller". These include Temperatures, Pressures, Positions, and RPM . The recording of these parameters is accomplished manually via a 3-1/2 digit LCD display. 2.07 WELL GAS HOSE An internally grounded 15? main well gas vacuum hose is also supplied. 2.08 WELL GAS FILTER The system shall include a particulate Well Gas Filter. A Transducer shall be included to indicate well gas vacuum levels. 2.09 EXHAUST SYSTEM The Exhaust System shall include a dual NOx reduction monolith and a dual HC/C0 monolith. The oxygen supply to the NOx reduction unit shall be controlled at all times at 0.5% to 0.7% as read by an 02 sensor in the exhaust system. 3.00 OPERATION The operation of the system shall be automatic (except for start up, shut down and RPM set paint) and shall not require manual adjustment of influent gas, supplemental fuel or combustion air. 4.00 CAPACITIES 4.01 VACUUM AND FLOW The system shall be capable of developing up to 18" Hg at the well gas inlet. Flow rates shall be from 0 to 250 CFM. These conditions will depend on soil conditions, hydrocarbon concentrations and level of inerts encountered. 4.02 HYDROCARBON REMOVAL The system shall be capable of removing up to 55 lbs/hr of hydrocarbons at a total destruction efficiency in excess of 99%. 5.00 OPTIONS Stand for Long Term Operation Transporter for moving unit from site to site Water Knockout Monitor Modem for Remote Monitoring Cellular Phone Adaptation 6.00 SAFETY FEATURES 2 ./..net ',mom I tArt/1r1 P115"1 •:' _ AMA LCllf PAI ICl10Al1A Molartt - T=I rnt.I/1AIG• I t 1t ane AaAQ•S L'AV. f7, At o'IG C7AG 6.01 FIRE CONTROL SYSTEM A Fire Control System shall be included as an integral part of the unit and consists of a Arnerex 13# dry chemical automatic system with "Rate of Rise" temperature probes and a manual emergency override. 6.02 FLAME ARRESTER A 3" Flame Arrester shall be included to protect the well gas source from any "Flash Back" from the engine. 6.03 GROUNDING A 20' Static Grounding Line shall be included. 6.04 AUTOMATIC ENGINE SHUT DOWN The system shall be protected by automatic shut down under the following conditions: Overspeed High Coolant Temperature High Oil Temperature Low Oil Pressure Fire High Water Level (Well Gas Filter) 6.05 FUEL SHUT OFF Means shall be included to automatically shut off the fuel supply should the engine shut down for any reason. 6.06 LABEL AND INSTRUCTIONS An Operation and Maintenance Manual shall be included establishing safe operation and required maintenance together with pertinent Material Safety Data Sheets from various suppliers. Safety and Warning Labels shall be appropriately affixed to the unit according to accepted standards. Safety and operation instructions shall be conspicuously posted at the operation console within easy view of the operator. 7.00 TRANSPORTABILITY See Section 5.00 Options. 8.00 GENERAL APPROVAL The system shall have an approval by a registered third party testing laboratory for safety and operations. 3 1q2 ie,.jr f %AK ,fl P_IC ri C — eunucS/J (.11 Mt -IOTA& ) i i _ T^7 C7tieN&,e. .% note• w.not e•v..--p..% loose. ot,.ot 1,1Ait. fINISIi OESC, V3 SYSTEM SCI-IEMATIC SHEET OF ITEM NO. E C 2I -I 0 2 WELL GAS FILTER FIRE CONTROL SYSTEM KIDDE MODEL 21 A.B.C. w/Two CONE NOZZLES J: RATE COMPENSATED THERMOSTAT 7" TO 8" w. C. REGULATOR PROPANC 3" DIA STACK 2 WAY CATALYST 3 WAY CATALYST VAREC FLAME ARRESTER FORD 460 INTERNAL COMBUSTION ENGINE STATIC LINE TO TANI< FLANGE FOR SOIL VENTING OAYCO VAC, HOSC EPA 7191-2004 FOR TANK OEGASSING -- VAREC FLAME ARRESTER 0A1L 7/97 A 11/:./43 17/72/13 `-- OPTIONAL NATURAL GAS SUPPLY L 440.000 BTU/WR MAX V. R. SYSTEMS MODEL V3 UNIT NOT TO SCALE DRAWN 0Y; 080 SCALE: NONE WELL CASING 5011 CONrAMINATION DIMENSIONS ARE IN INCHES UNLESS ()THERMS( SPECIFIED. TOLERANCES UNLESS OTHERWISE SPECIFIED Aft( AS F0110w5: ANGLES: 1:1* FRACTIONS *1/16 .XX *,D .XXX 1.00) r• r••r 4 ' 1 4 • 4 4 '• .1• 1• • • 4 . 1 .' 6 4 • • 1 • 4 • . • •• 1 1 • 1 6 • '' • • . •• •• • 1 1 It ''• ' • • 1 1• ••1' . • ,• • • 1 • ••I' • •' • 1 •' VR SYSTEMS ANAHEIM, CA. THIS DOCUMENT AND INFORMATION THEREON ARE THE PROPERTY OF VIZ SYSTEMS AND ARE NOT TO BE USED WITHf11IT TUI'In CVnrlrrr FLOW METER CAMBRIDGE AEROFLOW //CAFS-1010 014 FILTER WATER TRAP MODEL FORD LSG-875 460 CID ENGINE 1 AIR I FUEL L__ L VAPOR EXTRACTION WELLS PROCESS PLOW DIAGRAM NUMBER EC4E001 SH OF 1 1 CARSOUND 3 -WAY / 2 -WAY CATALYST PROGRAMMABLE CONTROLLER _I------ EXHAUST LT] OXYGEN SENSOR DATE _ 5-4-94 REv. DATE SI'''. �l. ._tQil1?S ., ANAHEIM. CA TOLERANCES EXCEPT AS NOTED FRACTIONS: ±1/32 .XX: ±.020 ANGLES: ±1' .XXX: MAT'L TITLE V3C PROCESS FLOW DIAGRAM SH 1 OF 1 THIS DOCUMENT AND INFORMATION THEREON ARE THE PROPERTY OF VR SYSTEMS AND ARE NOT TO BE USED WITHOUT THEIR EXPRESS PERMISSION DV /DATE uBG 5-4-94 SCALE FINISH NUMBER EC4FOO REV. 5000 4500 4000 3500. 3000 1:1-1 r.4 2500 2000 1500' 1000 500 (NUMBER ELC2D054 100 200 300 400 500 CFM TOLERANCES EXCEPT AS NOTED r1:16v/safnallftih FRACTIONS: 11/32 .XX: ±.020 ANAHEIM, CA ANGLES: :El.XXX: ±.010 THIS DOCUMENT AND IHTOWAWN---TH-ERE-0N ARE DWN/DATI: SCALE THE PROPLRTY OF VR SYSTEMS AND ARE NOT TO BE USED WITHOUT TF1E11? EXPRESS PERMISSION NAT'L 1:W11Si' _Nu 600 700 800 -OTC"- FLOW RATE COMPARISON CURVE NUMFJER EC20054 SH OF 1 1 DATE 4-1-92 REV. DATE A 5-26-94 SH or 1 -11EV"-- A • Technology In Support of the Environment. FUEL CONSUMPTION INFORMATION (AT 3000 RPM) 460 Engine: Max. Fuel - Natural Gas Max. Fuel - Propane 1 Cubic Foot Natural Gas 1 Cubic Foot Propane 1 Cubic Foot Natural Gas 1 Cubic Foot Propane DISCLAM6R 9.5 CFM = 570 CFH 4.22 CFM = 253 CFH = 1000 BTU = 2250 BTU = 0.04227 Lbs. = 0.1162 Lbs. mos NEYRESENTs FUEL USAGE WITH SYSTDA NUMNNO IMLOADED ON TME cARSURETOR USING NATVMI. GAS OR morass AS SUTJED N ANAHEM, CAUFONNIA. USAGE MAY VARY N ACTUAL FIELD CONOITIONS ON WELL GAS BECAUSE OF VARIANCE N THE WELL GAS VACUUM. STU CONTENT OF THE WELL GAS AND NESTS 54 THE WEU. GAS 9/16/93 1338 KNOLLWOOD CIRCLE • ANAHEIM, CALIFORNIA 92801 • TELEPHONE: (714) 826-0483 FAX: (714) 826-8746 Technology In Support of the Environment. TO CALCULATE ESTIMATED DESTRUCTION RATE ILb/Hr) OF SOIL GAS WITH VR V3 SERIES (PROPANE) 1) Enter Propane Consumption (SCFM) from Computer Printout: (Note 1) SCFM 2) Enter Engine RPM from Computer Printout: RPM 3) Enter Corresponding Total Fuel Consumption in BTU/H.r from Graph Below: BTU/Hr 4) Calculate BTU/Hr Contributed by Propane (#1 X 2380 BTU/CF X 60 Min/Hr): BTU/Hr 5) Subtract Propane BTU/Hr (#4) from Total BTU/Hr (#3) to Determine Soil Gas BTU/Hr: BTU/Hr 6) Divide #5 by Caloric Content (BTU/Lb) of Soil Gas: (Note 2) Lb/Hr Fuel Consumption iBTU/Hrl Notes: 550 500 450 400 350 300 250 200 150 FUEL CONSUMPTION VS R.P.M. VR Systems V3 Series 800 1000 1200 1400 1600 1800 2000 2200 2400 2800 2800 RPM 1)The cumulative amount over time is more accurate than the instantaneous CFM rending. 2)A typical caloric content for soil gas is approximately 18,000 BTU/Lb. 3)Results obtained using the above method ore estimated and not guaranteed. ni0026 4-21-94 1338 KNOLLW000 CIRCLE • ANAHEIM. CALIFORNIA 42801 • TELEPHONE: (714) 826-0483 FAX: (714) 826-8746 Technology In Support of the Environment. TO CALCULATE ESTIMATED DESTRUCTION RATE tLb/Hrl OF SOIL GAS WITH VR V3 SERIES. (NATURAL GAS( 1) Enter Natural GAS Consumption (SCFM) from Computer Printout: (Note 1) SCFM 2) Enter Engine RPM from Computer Printout: RPM 3) Enter Corresponding Total Fuel Consumption in BTU/Hr from Graph Below: BTU/Hr 4) Calculate BTU/Hr Contributed by Natural Gas (#,1 X 1000 BTU/CF X 60 Min/Hr): BTU/Hr 5) Subtract Natural Gas BTU/Hr (#4) from Total BTU/Hr (#3) to Determine Soil Gas BTU/Hr: BTU/Hr 6) Divide #5 by Caloric Content (BTU/Lb) of Soil Gas: (Note 2) Lb/Hr 550 500 450 400 La. C 2. 350 F E 300 w 250 O 200 1 Notes: 150 FUEL CONSUMPTION VS R.P.M. VR Systems V3 Series 800 1000 1200 1400 1600 1800 2000 2200 2400 2600 2800 • RPM 1)The cumulative amount over time is more accurate than the instantaneous CPU reading. 2)A typical caloric content for soil gas is approximately 18,000 BTU/Lb. 3)Results obtained using the above method are estimated and not guaranteed. #710027 5-12-94 1138 KNOLLWOOD CIRCLE • ANAHEIM CALIFORNIA 0911111 . TF1 E01.4noIC• 1,1e1 ROC_AAa1 Csv• n,A% e' a oT.e Page 1 of 2 Hsieh, Patrick From: Jeff Green [admin@ecotechenv.com] Sent: Monday, December 08, 2008 9:42 PM To: Hsieh, Patrick Subject: Re: IC Engine Installation Attachments: P-499-36.pdf Patrick - Attached are the tank specifications. We will connect to the Vapor feed of the tank with a 3/8 inch stainless steel braided high pressure flexible gas line. Thanks, Jeff Green Ecotech From: "Hsieh, Patrick" <Patrick.Hsieh@amec.com> To: Jeff Green <admin@ecotechenv.com> Cc: "Dailey, Stephen" <Stephen.Dailey@amec.com> Sent: Monday, December 8, 2008 11:40:11 AM Subject: RE: IC Engine Installation Jeff, I talked to the fire chief, he said that mobile/temporary LP units still need the permit. If I bring them the site plan, cut sheets for the tank, and connection specifications, I may get lucky and be able to get the permit tomorrow. He said it would be best if I got the package together and in by 5pm today though. So, I have attached the site plan and I need the cut sheets and specs from you, whenever you get a chance. If we get lucky, we'll still be able to do everything on Wednesday. Patrick Hsieh I Project Engineer AMEC Geomatrix 1 600 University St, Suite 1020 1 Seattle, WA 98101 206.342.1778 (direct) 1 206.342.1760 (reception) 1 206.342.1761 (fax) 1 206.992.8121 (cell) 1 patrick hsieh@amec.com From: Jeff Green [mailto:admin@ecotechenv.com] Sent: Monday, December 08, 2008 7:38 AM To: Hsieh, Patrick; patrick.hsieh Subject: IC Engine Installation Patrick - We are set to deliver and install the propane tank and IC engine on Wednesday Dec. 10th. We generally do not permit the propane tank for temporary installation. I can have the propane company (Suburban Propane) pull permits, but they will charge for the permitting (1,000 to 2,000). We may also need to have crash posts installed to meet permitting requirements. Let me know how you would like us 12/9/2008 Page 2 of 2 to proceed. Thanks, Jeff Green Ecotech The information contained in this e-mail is intended only for the individual or entity to whom it is addressed. Its contents (including any attachments) may contain confidential and/or privileged information. If you are not an intended recipient you must not use, disclose, disseminate, copy or print its contents. If you receive this e-mail in error, please notify the sender by reply e-mail and delete and destroy the message. 12/9/2008 1 NOTE: P.O.L. V.R. FILLER, OUTAGE OMMITTED FROM THIS VIEW FOR CLARITY 5.16> C/S 9" S.STL. ASME N.PL. c_ 1 115» 16 283" 4 LIQ. LEVEL L NP. 1 Jo, REG. BKT. _�___�___�J LAYOUT DIMENTIONS PER: UNIVERSAL ❑ = SK -2617 REV. TI CALIFORNIA STD.— El = PA -432—A NEVADA STD.--- ❑ = PA -433—A 1" RELIEF VALVE 9„ 0 f\ \ `/ FLOAT © 45' 11„ `c' /3/41'0 L.LUG (2) PLC'S JR. GAUGE 40" LPG JIG 972,, 121$" 0.A. 1. SHELL: .250" SA -455 2. HEADS: .211" SA -455 2:1 S.E. JOGGLE 3. X—RAY: RT -4 SPOT L.S. & G.S. 4. STRESS REL., NO 5. CORR. ALLOW: NONE 6.ASME SEC. VIII DIV. 1, 2004 ADD GENERAL NOTES 7. M.A.W.P. M.D.M.T. 3,, 16 5.18 F.0 TYP. \-rr-<12 TYP. 250 PSIG. CO 200 'F —20 'F © 250 PSIG. 8. HYDRO: 327 PSIG. MIN. 9. GAL 499 10. EMPTY WT- 1070# APROX. 11 DEHYDRATE INSIDE 2006 12. SURFACE AREA: 100.1 SQ. FT. 5.8 F.0 .120" TYP. 14„R W/ CHECK LOCK 35.6" I.D. HINGE 3” 13. C.F.M. REQ'D. 2344 228 108 ON OUTS 11 L.S. 5.17 F.0 TYP. FEET PER: PA -695—C 5/16"THK. W/ 3/4" x 2" SLOTS P-499-36" REV. 12-27-06 DATE: 10-23-98 FOR: HANSON STANDARD MODEL No. 499 36"0 — HORIZ. PROPANE TANK BY: J.G. SCALE: 3/4"=12" ROY E. HANSON JR. MFG. 1600 E. WASHINGTON BLVD. LOS ANGELES, CA 90021 {k\ 1 1 } MW -59 U t \i M7,748:— • ,' DM -3A ▪ U/DM-3B 0 Y1• A2 U MW -47 U M 38R U ORDINARY HIGH WATER LINE DUWAMISH WATERWAY 1 MW2 L DM -8 U PZ -6161 U PZ -62 L 14-1 U MW -22 U MW -49 U MW -50 L 0 50 100 APPROXIMATE SCALE IN FEET A MW -17 U SVE/AS EQUIPMENT BETWEEN EXISTING BUILDING AND FENCE (SEE DETAIL 1) MW -58 U Groundwater Pretreatment Building 4. EX -2 U 4.DM-3U EX -3 U MW -20 U '60 L MW -13 L MW -27 U P2-63 L MW -28 U MW -51 U DETAIL 1 MW -12 U A H-10 U DM -7 U.4). MW -29 U MW -54 L MW -53 U-vr / MW -43L Utility Vault (NTS) Parcel Division ii - B1B D B1A U 432U DM -5 U 4.86 U N Utility Vault (NTS) CROSS DRIVEWAYS ABOVE GRADE 1" GALVANIZED, 2" GALVANIZED PROTECTED FROM TRAFFIC DETAIL 2 A MW -57 U MW -56 L MW -55 U /- MW -45 L.• APPROXIMATE PARKING STRIPE LOCATIONS FENCE OPENING 2" SCH 40 PVC VENT LINE 1" DURATEC AS UNE ATTACHED TO FENCE POSTS AND FABRIC WITH CABLE TIES 6' TALL TEMPORARY FENCE (LOCATION TENTATIVE. FINAL LOCATION TO BE DETERMINED IN THE FIELD) VENT -2 0 VENT MANIFOLD (2" FLEXIBLE LINES TO VENT WELLS NOT SHOWN) AS MANIFOLD (1/2" I.D. FLEXIBLE LINES TO AS WELLS NOT SHOWN) ALTERNATE �s0A. PROPANE TANK �y LOCATION (� ca•nir,^ ',,. MW -46 U� /" / --1( • /. f �/ .. / /.. MW -44 •MW{41Ag U� / \ 1 Y MW -52 L MW -40 L - • SLIP 6 ALARM WIRING KNOCK OUT TANK WATERLINE (3/4" TUBING), /44 _ MAN /A3 GATE / // // " LOCATION OF / I.C.E. & PROPANE NATURAL GAS TANK VENT -4 FENCE OPENING 6' TALL TEMPORARY FENCE King County 36" Outfall (approximate) GAC CANISTERS GROUNDWATER PRETREATMENT BUILDING BIOSPARGE / VENT EQUIPMENT SKID DETAIL 1 0 5 10 APPROXIMATE SCALE IN FEET WATER QUALITY UNIT Explanation AS • VENT° DETAIL 2 Proposed Biosparging location Proposed Vent Well location 4. Proposed Groundwater Monitoring Well location 9 Existing Groundwater Monitoring Well location Parcel Boundary Existing Fence Temporary Fence Subsurface Barrier Wall Work Area Temporary Work Area - x - 0 20 40 APPROXIMATE SCALE IN FEET PROPOSED EQUIPMENT, PIPING, BIOSPARGING WELL AND VENT WELL LOCATIONS Former Rhone-Poulenc Site " �` 64�`1`40 Tukwila, Washington wk �! By: APS I Date: 10/20/08 AMEC Geomatrix Project No. 8769 Figure 1 A. Painting Operations (mixing, storage and booths) paint lacquer thinner paint resin 4500 gal. 1000 gal. 110 gal. B. Flammable liquid storage lacquer thinner acetone lacquer thinner motor oil kerosene paint resin acetone diesel fuel motor oil motor oil 1100 1100 110 6000 220 2200 1000 6000 500 500 C. Compressed Gas Storage propane oxygen D. Welding gal. gal. gal. gal. gal. gal. gal. gal`. gal. ga}. 2000 lbs. 8000 lbs. and Cutting Operations acetylene 4060 lbs. oxygen 4785 lbs. E. Fiberglass Shop Operations polyester resin polyester resin MEK peroxide 50000 lbs. 2000 lbs 500 gal. gal. containers underground tank 55 gal. drums 55 gal. drums 55 gal. drums 55 gal. drums 55 gal. drums 55 gal. drums 55 gal. drums underground tank underground tank underground tank above ground tank above ground tank above ground tank 145 lb. cylinders 145 lb. cylinders above ground tank 55 gal. drums gal. containers TUKWILA FIRE DEPARTMENT UNDERGROUND/ABOVEGROUND FUEL TANK REMOVAL/INSTALLATION PERMIT FIRE DEPARTMENT SPECIAL PERMIT # RECEIPT # OV DATE RECEIVED: //Z j' -Oe DATE ISSUED: /z -7-6F FIRM NAME: ,(iiileG ro/4.a•s /y PHONE: FIRM ADDRESS: JOB SITE: 9-7 9/2 Q NUMBER OF TANKS TO BE REMOVED INDIVIDUAL TANK CAPACITY (GALS): PRODUCT TO BE STORED: p✓Delne-- TOTAL AGGREGATE CAPACITY (GALS): NAME OF BUSINESS AT JOB SITE: j PERSON IN CHARGE: G4 14S Pi tit PHONE: (/°6—q"a To install or remove any flammable or combustible liquid tank per Chapter 34, section 3404 of the International Fire Code. Installation of aboveground tanks shall be limited to MIC/H, MIC/L, LI and C/LI zones. A site plan showing property lines, building location(s), storm drain location(s), public access, proposed screening and containment must be submitted for review prior to approval. THIS APPLICATION MUST BE RETURNED WITH A SCALED DRAWING OF THE SITE AND YOUR CHECK IN THE AMOUNT OF $ /01J,0V , TO THE TUKWILA FIRE DEPARTMENT, 444 ANDOVER PARK EAST, TUKWILA, WASHINGTON, 98188. TANKREMV.PER Rev. 11/1/07 T.F.D. Form F.P. 31 Date: 12/1/98 Na 8-99 9-99 10-99 11-99 12-99. BY virtue of The Provisions of the Uniform Fire Code adopted by City of Tukwila Ordinance, North est C not inar S rcri t+as located at 4229 Eatarginal Way South Inc. Business Name Business Address 98108 having made application in due form, and as the conditions, surroundings. and arrangements are, in my opinion. such that the intent of the Ordinance can be observed, authority is hereby given and this PERMIT is granted for %t'1'O usc. store, handle or sell flammable/combustible liquids in cabinets per 79.201-79.201g of the Uniform Fire Code and in aboveground' storage tanks per article 79.902c of the U.F.C. and City Ordinance #1741*To use a structure as a place of business for repairing motor vehicles per article 29 of the U.F.C.*To conduct hot work operations per U.F.C. 105.8-h.3*To store, transport on site, dispense, use or handle at normal temperatures and pressures compressed gases in excess of the amounts listed in Table #105-A of the U.F.C.*To use an open area or portion thereofLto:Store tires in excesg of 1000 cubic fly per U.F.C. 105.81.2t,sec 11Q 3. This PERMIT is issued an accepted on condition t at a I rdi ante provisions now adptorat may herea r b adopted, shall be complied with. THIS PERMIT VALID FOR-Eighte.ensiala'ndar Months— TUKWILA FIRE DEPARTMENT SPECIAL PERMIT This permit does not take the place of any license required by law and is not transfer- able. Any change in the use or occupancy of premises shall require a new permit. Fire Marshal THIS PERMIT MUST BE POSTED ON THE PREMISES MENTIONED ABOVE T.F.D./F.P. *2 12/1/98 TUKWILA FIRE DEPARTMENT Special Permit Application PER UNIFORM FIRE CODE, SECTION 105, SPECIAL PERMITS) ARE. REQUIRED FOR ANY PERSON, FIRM OR CORPORATION TO USE A BUILDING OR PREMISES OR ENGAGE IN ANY ACTIVITIES FOR ANY OF THE FOLLOWING PURPOSES LISTED BELOW: a (XX) To use, store, handle or sell flammable/combustible liquids. (Art. 79) ( ) To store, transport on site, dispense, use or handle hazardous ( ) To install or maintain any liquefied petroleum gas (LPG) container. (xx) To use a structure as a place .of business 'for repairing motor vehicles. (Art. 29) ( ) To operate a place of assembly. (Art.:25) ()0) To conduct hot work operations. To conduct a spraying or dipping operation materials. (Art. 80) (Art. 82) ( (U.F.C. 105.8-h.3) utilizing liquids. (Art. 45) % To use any building or portion thereof exceeding piled combustible storage. (Art. 81) ( To store, transport on site, dispense, use temperatures and pressures compressed gases in listed in Table #105-A. ( ) 4 500, sq. ft. flammable for high - or handle at excess of the normal amounts To erect or operate a tent or air -supported temporary membrane structure having an area in excess of 200 square feet, or any canopy in excess of 400 square feet. (Art. 12 & 32) ( Xj To iisn an npan area nr pnrtinn thprphf to atnrp tirPc in pxracc of 1OOn clime feet (TJFC 1058-T_2, see_ 1103.3,6) APPLICATION IS HEREBY MADE BY THE UNDERSIGNED FOR A PERMIT TO (USE, INSTALL, CONDUCT) IN OR ON THE FOLLOWING PREMISES: Business Name: Northwest Container Address: 9229 East Marginal Way South Services, Inc. 98108 THE FOLLOWING MATERIALS, PROCESSES OR OPERATIONS (Describe briefly what is to be done and the hazardous materials that are involved in the operations in the space below.) -39r? 12/31 9717 TOTAL 1646.65 BEFORE A PERMIT MAY THE RECEPTACLES AREAS TO B THE AMOUNT EAST, TUKW BE ISSUED, THE FIRE DEPARTMENT WILL INSPECT AND APPROVE CLES, BUILDINGS, DEVICES, PREMISES, STORAGE SPACES OR IS APPLICATION MUST BE RETURNED WITH YOUR CHECK IN , TO THE TUKWILA'FIRE DEPARTMENT, 444 ANDOVER PARK SPECIAL.PMT ON, 98188. a, 44" T.F.D. Form F.P. 6 FLAMMABLE LIQUID SEEPAGE BEHIND MONSANTO AND KENWORTH _ i