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AMERICAN SAMOA POWER AUTHORITY OFFICE OF PROCUREMENT REQUEST FOR PROPOSALS PCC Revisions and Creation of PCC Facilities Management (O&M) Plan March 2, 2009, RFP NO. 2009PG1005 MICHAEL J. GEYSER Chief
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How to fill out spcc revisions

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How to fill out SPCC revisions:

01
Review the existing SPCC plan: Start by carefully reviewing the existing SPCC plan to identify any necessary revisions or updates. This may involve cross-checking it against current regulations and industry standards.
02
Identify changes in facility operations: Assess any changes that have occurred in your facility's operations since the last SPCC plan was created or updated. These changes may include new equipment, processes, or storage areas that need to be addressed in the revisions.
03
Conduct a site visit and inspection: Visit the facility and conduct a thorough inspection to ensure that all potential sources of oil spills are identified. This may include examining storage tanks, pipelines, loading/unloading areas, secondary containment measures, and drainage systems.
04
Evaluate spill prevention measures: Evaluate the effectiveness of the current spill prevention measures outlined in the SPCC plan. Determine if any improvements or additional measures are necessary to minimize the risk of oil spills.
05
Update contact information: Make sure to update the contact information section in the SPCC plan. This includes providing accurate phone numbers and contact details of the facility owner, responsible personnel, and regulatory authorities.
06
Revise response procedures: Review and revise the spill response procedures outlined in the SPCC plan. Ensure that they are clear, up to date, and aligned with the requirements of relevant regulatory agencies.
07
Provide proper training: Ensure that all necessary personnel are trained on the revised SPCC plan. This includes informing them about the changes made, their roles and responsibilities, as well as proper spill response procedures.

Who needs SPCC revisions?

01
Facilities with oil storage: Any facility that stores, processes, or handles oil and has a total aboveground storage capacity of more than 1,320 gallons or an underground storage capacity of more than 42,000 gallons needs to have an SPCC plan. Therefore, these facilities would require SPCC revisions.
02
Facilities subject to federal regulations: Facilities that fall under the jurisdiction of the Environmental Protection Agency (EPA) and are subject to the Oil Pollution Prevention regulations, as outlined in 40 CFR Part 112, must develop and maintain an SPCC plan. These facilities would also require revisions to ensure compliance with changing regulations.
03
Facilities with identified risks: Even if a facility does not meet the specific regulatory thresholds, it is still advisable to have an SPCC plan if there is an identified risk of oil spills. This could include facilities located near sensitive environmental areas, drinking water sources, or with a history of oil spill incidents. These facilities may also need to periodically revise their SPCC plans to address any new risks or changes in operations.
In summary, filling out SPCC revisions involves reviewing the existing plan, identifying changes in facility operations, conducting a site visit and inspection, evaluating spill prevention measures, updating contact information, revising response procedures, and providing proper training. The need for SPCC revisions applies to facilities with oil storage, those subject to federal regulations, and facilities with identified risks.
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People Also Ask about

(1990) The Oil Pollution Act (OPA) of 1990 streamlined and strengthened EPA's ability to prevent and respond to catastrophic oil spills.
In 1990, the Oil Pollution Act (OPA) amended the Clean Water Act to require some oil storage facilities to prepare Facility Response Plans (FRP). On July 1, 1994, EPA finalized the revisions that direct facility owners or operators to prepare and submit plans for responding to a worst-case discharge of oil (Subpart D).
Title 40 was last amended 3/20/2023.eCFR Content. § 112.1General applicability.§ 112.2Definitions.§ 112.3Requirement to prepare and implement a Spill Prevention, Control, and Countermeasure Plan.4 more rows
Definitions. Requirement to prepare and implement a Spill Prevention, Control, and Countermeasure Plan. Amendment of Spill Prevention, Control, and Countermeasure Plan by Regional Administrator. Amendment of Spill Prevention, Control, and Countermeasure Plan by owners or operators.
A facility is subject to the SPCC rule if it meets the following criteria: (i) the facility is non-transportation related; (ii) the facility has an aggregate aboveground oil storage capacity greater than 1,320 gallons, or a completely buried storage capacity greater than 42,000 gallons; and (iii) the facility could
You must review your Plan every five years to include any changes in oil storage or spill prevention procedures or equipment at your facility.
You must review your Plan every five years to include any changes in oil storage or spill prevention procedures or equipment at your facility.
SPCC Plan Revisions must revise this SPCC plan for any change in the facility design, construction, operation or maintenance that affects the facility's potential for discharging oil. Revisions must occur as soon as possible, but no later than six months after the change occurs.

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SPCC revisions refer to updates or changes made to a facility's Spill Prevention, Control, and Countermeasure Plan.
Facilities that are subject to the Spill Prevention, Control, and Countermeasure (SPCC) regulations issued by the Environmental Protection Agency (EPA) are required to file SPCC revisions.
To fill out SPCC revisions, facilities need to review and update their SPCC Plan to reflect any changes in operations, equipment, or regulations. They must also ensure that the plan meets all requirements outlined by the EPA.
The purpose of SPCC revisions is to ensure that facilities have an up-to-date and effective plan in place to prevent oil spills and minimize the environmental impact in case of a spill.
SPCC revisions should include any changes to the facility's operations, equipment, or procedures that may affect the potential for oil spills. Facilities must also document any updates to their spill response and prevention measures.
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