brodgers
Civil/Environmental
- Dec 6, 2004
- 7
I am reviewing the retrofitting of remote electrical transformer substations for compliance with the SPCC rules and have a couple of questions. First, containment structures for new transformers are easily built during the station construction, but for retrofitting – a complete concrete structure is not practical. I am aware of options presented in 112.7(c), but what seems to be the precedent in the utility industry? Concrete curbing?
Secondly, in the regulations “Section by Section Analysis”, in 112.8(b)(2) – EPA says ”This rule does not preclude innovative devices..” regarding the use of imbiber beads, or assumingly chemical check valves, for discharging accumulated stormwater from containment structures. It is the manufactures opinion that chemical check-valves can be used to passively discharge accumulated stormwater from containment structures, but the rules specially state that “you must inspect and may drain accumulated stormwater” and keep adequate records of that event, which is not feasible using these passive drainage devises. Bottom line, it seems that EPA is saying that you can install the innovative devise, but you must operate it like a manual open/close valve. The valve manufactures say they are selling the valves for SPCC compliance but that seems contrary to what the regs allow, unless, the users are proposing this under the exception portion of the rule. Any thoughts?
Secondly, in the regulations “Section by Section Analysis”, in 112.8(b)(2) – EPA says ”This rule does not preclude innovative devices..” regarding the use of imbiber beads, or assumingly chemical check valves, for discharging accumulated stormwater from containment structures. It is the manufactures opinion that chemical check-valves can be used to passively discharge accumulated stormwater from containment structures, but the rules specially state that “you must inspect and may drain accumulated stormwater” and keep adequate records of that event, which is not feasible using these passive drainage devises. Bottom line, it seems that EPA is saying that you can install the innovative devise, but you must operate it like a manual open/close valve. The valve manufactures say they are selling the valves for SPCC compliance but that seems contrary to what the regs allow, unless, the users are proposing this under the exception portion of the rule. Any thoughts?