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Metal Mining SWMP Guidance Document <br />Page 8 <br />containers shall be stored on pallets or similar devices to prevent corrosion of the containers, which can result <br />when containers come in contact with moisture on the ground. <br />all chemical substances present at the facility shall be identified. (Walk through the facility and review the <br />purchase orders for the previous year.) <br />-- all of the chemical substances used in the workplace shall be listed, and the Material Safety Data Sheet <br />(MSDS) obtained for each. The MSDSs will be readily available for use; i.e., posted at the locations where <br />the materials aze stored and handled. <br />all containers shall be labeled to show the name and type of substance, stock number, expiration date, health <br />hazazds, including reactivity, corrosivity, ignitability and toxicity, suggestions for handling, and fast aid <br />information. (This information can usually be found on the MSDS. Unlabeled chemicals and chemicals with <br />deteriorated labels aze often disposed of unnecessazily or improperly.) <br />e. Spill Prevention and Response Procedures -Areas where potential spills can occur, and their <br />accompanying drainage points, shall be identified clearly in the SWMP. Where appropriate, <br />specifying material handling procedures and storage requirements in the plan should be <br />considered. Procedures for cleaning up spills shall be identified in the plan and made available <br />to the appropriate personnel. The necessary equipment to implement aclean-up should be <br />available to personnel. <br />Spills and leaks are one of the lazgest industrial sources of stormwater pollutants, and in most cases, are <br />avoidable. Establishing standazd operating procedures such as safety and spill prevention procedures, along <br />with proper employee training, can reduce these accidental releases. Avoiding spills and leaks is preferable to <br />cleaning them up after they occur, not only from an environmental standpoint, but also because spills cause <br />increased operating costs, lower productivity, and concern for personnel safety. <br />(Obviously, if no chemicals, fuels or other materials aze stored or handled on site, the pazt of the SWMP <br />dealing with potential spills is not necessary. The SWMP should then include a statement to this effect.) <br />Many industries are required by Federal law to have a Spill Prevention Control and Countermeasures Plan <br />(SPCC). Therefore, many facilities may already have a start on this item. It can be included in the SWMP by <br />reference, along with a statement that the SPCC as required by other laws will be adhered to. <br />In general, spill plans developed as part of the SWMP should contain the following: <br />a site plan showing where materials aze stored and handled, and where associated activities occur. (sy <br />including this information on the comprehensive site map required in Item B.2, a sepazate map can be <br />avoided.) <br />notification procedures to be used in the event of an accident. At the very least, the SWMP Administrator <br />needs to be notified. Depending on the nature of the spill and the material involved, the Colo. Dept. of <br />Public Health & Environment, local sewer authority, downstream water users, or other agencies may also <br />need to be notified. <br />instructions for clean-up procedures <br />a designated person with spill response and clean-up authority. For clazity, this could be the SWMP <br />Administrator. <br />training of key personnel in the use of plan and clean-up procedures. <br />signs posted at critical locations providing a summary of SPCC plan information, phone numbers, contacts, <br />equipment locations, etc. <br />provisions requiring spills to be cleaned up, corrective actions taken, or countermeasures implemented <br />immediately. <br />