UNDERGROUND STORAGE TANK FACILITY OPERATIONS INSPECTION REPORT FORM INSTRUCTIONS

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1 COMMONWEALTH OF PENNSYLVANIA DEPARTMENT OF ENVIRONMENTAL PROTECTION BUREAU OF ENVIRONMENTAL CLEANUP AND BROWNFIELDS UNDERGROUND STORAGE TANK FACILITY OPERATIONS INSPECTION REPORT FORM INSTRUCTIONS The Facility Operations Inspection (FOI) form is used to document and report underground storage tank (UST) facility operations inspections. The procedures found in the program guidance Guidelines for Conducting Underground Storage Tank Facilities Operations Inspections (number ), should be followed. Below are instructions for completing the FOI form. GENERAL Print clearly using a ballpoint pen or type all entries (except signatures). Fill out all applicable sections of the form. Follow this document, the instructions on the form and the inspection guidance to help ensure proper report completion. Incomplete or illegible forms can be returned and may subject the inspector to enforcement actions. Note: bulleted items on the FOI form are information to help the inspector during the inspection. Number of tanks: When more than five regulated underground storage tanks are present at a facility, it will be necessary to use more than one set of inspection forms. In this case, label each form set at the bottom of the pages with the letters 'A' (first set), 'B' (second set), etc. Comments: Provide essential details in the report comment section (V on page 7). The minimum areas to comment on are: suspected contamination; improperly closed or unregistered tanks; other tank system attributes; tank system modifications (with date); estimated installation date when actual date is unknown; date when product was first deposited in the tank; periods when tank was empty (contained 1 or less of product); release detection exemptions, missing months and months with failures or inconclusives; description of suspected release investigations; owner/operator actions needed for compliance; changes at site, that would affect compliance, since initial inspection (with date); explanation of form entries marked N/A ; recommendations made to owner/operator; description of technical assistance given to the owner/operator; date(s) of last containment test and other information that would be helpful to the owner, operator or DEP when reviewing the inspection. Include modifications and repairs to the tank system and the date(s) they were performed. List mailing addresses for the owner and/or operator when different from the facility address. Supply additional detail as appropriate. Use as many comment sheets as necessary. An example continuation page can be found on the Storage Tank website. The inspector must record the results of his/her water checks. Cover letters are not considered part of the report and hinder report processing. Important information should be included in the report s comment section (page 7). Attach additional comment pages as necessary. Call ((717) ) or (tanks@pa.gov) the Division of Storage Tanks if there is a question concerning how to fill out the report. PAGE 1 THE INSPECTION REPORT Facility Information. Enter the DEP Storage Tank Facility Identification Number (2-digit county, dash and 5-digit serial number), facility name and location (911) address, including the municipality where it is located. If the facility information does not correspond to the current Registration Certificate, inform owner/operator of the necessity of submitting an amended registration form to correct the incorrect information. Representative Present During Inspection. Enter the name and phone number of the facility representative present during the inspection and check the applicable relationship box; check None if no representative was present during your inspection. Certified Inspector. Enter your name and DEP certification number (the inspector must be currently IUM certified). Enter the phone number and address that may be used to contact you should the Department need additional information concerning the inspection report. Note: also keep your phone number(s), mailing address and address current with the Storage Tank Certification Unit. Date of First Site Visit. inspection date. Enter the date when you were first on-site to perform the inspection; this date is the - 1 -

2 Owner. Provide the name of the facility owner. This must be someone the Commonwealth recognizes as a person. If the owner at the time of the inspection is a corporation or a government entity, list the name of the responsible official contact. If their mailing address differs from the facility location address, record the mailing address in the comment section (page 7). Operator. Provide the name of the facility operator, e.g. a lessee, if different from the facility owner that the inspector met with during the inspection. If their mailing address differs from the facility location address, record the mailing address in the comment section (page 7). The remaining entries on page 1 should not be completed until the inspection is complete and information for pages 2 through 7 has been determined. It is usually best to fill in the latter pages first and then return to page 1. PAGE 2 Enter the facility name, inspection date and DEP facility identification number on the top (header area) of page 2. (Section I.) Tank System Information For each tank, record the tank sequence number at the top of the table (one per column); the numbers must correspond to those on the registration certificate. Next, enter the capacity for each tank on line 1. Each tank compartment and each UST in a manifolded system should be entered in a separate column. Item 2. Enter the name of the substance stored such as gasoline, kerosene, diesel, heating oil, ethylene glycol antifreeze, etc. For heating oil, annotate its use in the comment section (page 7), for example, 004: heating oil used for resale. Do not use the codes found on the Storage Tank Registration/Permitting Form to describe the product. Noting the grade of gasoline is acceptable. When a motor fuel such as gasoline or diesel is used in an emergency power generator, note this use in the comment section. Item 3. Enter the installation date (month and year) for each tank system. The installation date is important to determine upgrade and release detection requirements. When the installation date is unknown, supply the best available estimate in the comment section (page 7). Check the registration certificate that is required to be on display at retail facilities and readily available at others. If incorrect information is listed on the certificate, enter the correct information on the inspection form (lines 1, 2 and 3) and circle it to highlight the change. To correct facility information the owner must submit an amended registration form. When necessary, check the appropriate boxes on page 1 to indicate why an amended registration is required; additional information can be included in the comment section (page 7). Item 4. When a UST has no pump and is manifolded to another UST, enter the appropriate manifold configuration. The tank without a pump is considered a drone. The one with a submersible pump is the master. A siphon bar connects the drone to the master tank. In the column for the drone tank, write the sequence number of the master tank. (For all tanks that are not drones, enter a dash in this column.) The siphon bar and helper line to the STP (if any) material must be entered on line 8, the pump system is code A (line 13) and piping release detection, if piping was installed on or before November, 10, 2007, is code I (line 19) of the drone tank column. The drone tank has no dispenser; enter the type of connector between the syphon bar and the master tank on line 12b of the drone system. For any other method of connecting the tanks together (manifolded condition), diagram the setup in the box at the bottom of page 2 and explain the configuration in detail. Item 5. Indicate the current product level in each tank in inches. Level should be determined from a stick measurement. For systems with an automatic tank gauge (ATG), the stick measurement should be compared with the ATG product level printout to confirm the ATG is setup properly and working. Fill in the remainder of the Tank System Information on lines 6 through 22 using the proper Tank System Component Code from the corresponding lists (items 6 through 22) on the following page (numbered 2-1). Be careful NOT to use piping codes for tanks or tank codes for piping. A copy of the code page should be included in the owner s copy of the report, but does not need to be submitted to DEP. Items The inspector shall verify as much of the system as is visible without excavation open up all sumps, all manholes, all dispensers and look in all fill openings. When more than one type of piping is present, enter the code for each type on page 2 (item 8 and/or 12) and include a drawing showing construction materials and approximate piping lengths on the bottom of page 2. Also include additional information, as necessary, to completely describe the piping system. For example, both bare steel and fiberglass piping might be present in one tank system. In this case, item 8 would be 'A' and D, and the sketch would show the tank top, a transition sump, the dispenser, the approximate pipe lengths and which part is fiberglass and which part is bare steel

3 Evaluate piping sumps (tank top and transition) for each pipe that routinely contains product. List tank top penetrations for piping that routinely contains product and that does not have a liquid-tight sump in the comment section (page 7). When counting sumps/pans tested on lines 9b, 10b and 11c, count only if a copy of the last containment test is maintained by the owner. Where there is both new and old pipe connected to the tank system, provide a sketch or describe the arrangement in the comment section; include the date each pipe section was installed, approximate length and date of last required sump testing. Evaluate dispenser sumps or pans at each dispenser location. If there are both old and new dispensers connected to the tank system, provide a sketch or describe the arrangement in the comment section (page 7); include the date each dispenser was installed and date of sump testing. Describe areas of required maintenance, such as water or debris in containment sumps (include whether water is in contact with metallic components), in the comment section (page 7). Note: beginning November 10, 2007, owners must stop water ingress at each sump having pipe that routinely contains product. Item 13. When multiple types of dispensing piping are connected to a single tank (e.g. a pressurized loading rack and a suction dispenser connected to one diesel tank), each type must be compliant with release detection requirements for the piping release detection compliance entered on page 1 to be C. A drawing on page 2 or attached as part of comment section can be very helpful to show the relationship of the various components. Emergency generators (and similar equipment) usually have a supply and return line. Even though the return line operates under a slight pressure, list the systems with a return pipe as B American or non-exempt suction system and evaluate the release detection as described below. Item 15. Note the limitations of installed overfill devices in the comment section. Ball float valves installed after November 10, 2007 must have an extractor fitting to allow for determining their operability. Ball floats should not be used with: coaxial stage I vapor recovery, pressurized deliveries, a tank connected to an emergency generator or heating apparatus, suction systems with operable air eliminators or tanks with more than one fill opening. In addition, some models of drop tube shut off devices are not compatible with pressurized deliveries. Where practical, the inspector must verify overfill presence and operation. Items Indicate which method the owner actually uses to meet leak detection requirements. Only when no method has been attempted should code N (tanks) or H (piping) be used. Other codes must correspond to the information supplied on pages 3 through 5. When the owner has changed methods during the last year (during 12 months of recordkeeping), indicate the current method on page 2 and list the previous method(s) in the comment section with the actual dates they were in use. Emergency generator (only) tanks are currently deferred from release detection requirements. Release detection is recommended. For emergency generator tanks installed on or after November 10, 2007, the inspector must fill in the interstitial monitoring sections for tank and piping found on pages 3 and 4. Note in the comment section when a tank supplies only an emergency generator, firewater pump or similar equipment. Line 19 would be code O and line 20 code I; no entry on line 21 or 22 is necessary. Where the release detection code is exempt, the compliance on page 1 is C, even if interstitial monitoring is not being performed properly. If proper release detection is currently being performed, note in the comments section what method(s) are being performed and complete the applicable release detection reference sections on pages 3 through 5. For interstitial monitoring, the monitoring method sensors/probes/visual must be able to detect a release to the interstice. As much as possible, the inspector should verify that the piping secondary containment is continuous and terminates inside a sump. Test boot fittings should be open or boots retracted to allow releases into the monitored area. If verification of the sump configuration is not possible, explain in detail in the comment section (page 7). Other release detection equipment present on site, but not used to meet regulation requirements, may be described in the comment section (page 7)

4 PAGES 3 through 6 Enter the facility name, inspection date, DEP facility identification number and tank system numbers on the top (header area) of pages 3 through 6. The tank/pipe system number is the sequence number that corresponds to the specific tank and piping run. Groups of check boxes may be included in a single circle to enhance clarity (reduce clutter). Systems installed after November 10, 2007, must conduct interstitial monitoring as a method of release detection (manual or with sensors). For these systems, always fill out the interstitial monitoring sections on pages 3 (tanks) and 4 (piping). Page 1 compliance for release detection is based upon all required methods chosen monthly and, when required, interstitial too. (Section II.) Sump Maintenance Pressurized piping systems installed on or before November 10, 2007, with total secondary containment must monitor, either visually or through sensors, all containment sumps associated with the piping system, even if the owner has chosen another release detection method to meet Chapter 245 monthly requirements. The inspector should complete the checkboxes found on page 4 under Sumps Checked Monthly for these systems. Page 1 compliance for monthly sump checks is based on meeting all requirements. Underground tank system sumps must be maintained clean, free from water intrusion, dry and in good repair. On new systems and older systems where sumps/pans were installed, mark the boxes on page 4 to indicate whether the sumps are properly maintained or not. (Section II.) Release Detection Complete the section(s) for the method(s) being used by the owner/operator to meet the regulation requirements both the current (corresponding codes must be entered on page 2) and others used in the last 12 operating months (listed on page 7, the comment section). For previous methods, write the dates they were used next to the header above the corresponding blocks on pages 3 through 5. For example, an automatic tank gauge (ATG) was used from January to August of 2004, the inspection is performed in January of 2005 and the owner is currently using statistical inventory reconciliation (SIR) the inspector would write next to the ATG header on page 3, January to August 2004, and next to the SIR header on bottom of page 3, September 2004 to present. When examining release detection certifications, consider the type of system in which the equipment is installed. For example, if the piping is flexible, is the line leak detector used in a pressurized system certified for flexible piping and is the limitation on the maximum length of this type of piping exceeded in this particular system? Special attention must also be paid to pressurized systems that have manifolded piping systems and occasionally multiple turbine pumps. Manifolded piping systems present unique problems that affect mechanical line leak detection. These problems are associated with the ability of the mechanical leak detector or leak detectors to detect a 3 gallon per hour leak rate as per Pennsylvania regulations. For inspections of new tank systems that have been in operation for less than 12 months, release detection records are required for each month of operation (regulated substance stored in the tank). Note in the release detection recordkeeping block on the bottom of page 5 and in the comment section (page 7) the date the system began to store regulated substance. Record the compliance on page 1 of the report based on the months of actual operation (storing product). For all other systems that are not exempt from release detection, the last twelve operating months of records are required for each system tank and piping. If a tank system has not been used and was empty for a portion of the 12 months preceding the inspection, note this in the comment section. Review all records those demonstrating the tank was empty as well as operating records described above for a sufficient period to include the last 12 operating months. List in the comment section (page 7), by tank, months with missing release detection records. Also list, by tank, the months with failed or inconclusive release detection tests. Before submitting the FOI report, ensure the documents listed under the applicable release detection method(s) are enclosed with the report, the blanks in the applicable section(s) are filled in and the information required in the comment section has been entered. For a UST to be considered compliant with release detection, each block for the applicable method must be either checked or marked N/A, including the recordkeeping subsection on page 5. Each N/A must be adequately explained in the comment section

5 (Section III.) Corrosion Protection (CP) Galvanically protected steel tanks, including double-wall construction, must be evaluated every 3 years, as well as within 6 months of installation or repair. All corrosion protected (galvanic or impressed current) tanks must have 2 cathodic protection system surveys performed within 3 years of each other to be considered compliant for CP; a reading taken at the time of the inspection can be considered one of them if within the 3-year time interval There are various blanks in this section (page 6). Ensure they are filled in completely and appropriately. Assessment and installation dates are especially important to determining compliance. Tank shell evaluations performed more than 6 months before the installation of corrosion protection are invalid. Tanks lined before December 22, 1978 (or at an unknown date) were required to have their first internal inspection by December of Note: A missed or failed lining inspection after November 10, 2007, means the tank must remain empty, registered as TOS and closed within a year of the lining evaluation due date. Record structure-to-soil (instant off for impressed current systems) potentials on page 6 or attach CP survey data sheets; especially if 100mV shift criteria is used. Separate structure-to-soil potentials should be shown for each protected tank and piping run. Where multiple readings were taken (normal procedure), record the lowest (least negative) value on page 6. Record the last three rectifier monitoring results on page 6 or attach a copy of the rectifier log to the FOI report. When cathodic protection or supplemental anodes have been added to a tank, be sure to enter the date of the shell assessment, date of installation and describe the tank shell assessment method. For supplemental anode addition to a sti-p3 tank, the tank system should be assessed in accordance with STI R972. Valid assessments depend on when the upgrade was conducted, the state of the tank system at the time of the upgrade and the type of upgrade. If there is a question concerning tank shell evaluation, contact the appropriate regional office. Note: there are no upgrade standards for piping; bare steel piping, except as described in guidance , must be replaced rather than upgraded. (Section IV.) Operator Training Records and Procedures Verify the facility s training records and posted operating procedures. Check appropriate boxes when the facility owner has met the condition. Also mark the appropriate operating instruction box on page 1. Describe areas of noncompliance in the comment section (page 7). Informal Training Given by the Inspector Areas of noncompliance marked on page 1 must be discussed with the owner, Class A and/or Class B operator. When you speak directly to a Class A or B operator concerning noncompliance, describe the activity in the informal training section. Include the date, who was involved, their operator class, a description of the topics covered, the approximate depth of the coverage and whether the individual understood the discussion. PAGE 7 Enter the facility name, inspection date and DEP facility identification number on the top (header area) of page 7 and on any additional comment (continuation) sheets. Water Check The inspector must check each sump and tank for the presence of water; failure to do so may subject the inspector to enforcement action. Sumps should be checked visually. Tanks should be checked by stick and water paste. For systems with an ATG, the stick measurement should be compared with the ATG reading for tank water level. After checks for water have been completed and the results listed in the comment section (page 7), the check box located above section V should be checked. The results of the inspector s sump checks should be consistent with the information provided on pages 1 and

6 (Section V.) Comments The listing of descriptive comments on page 1 of these instructions is not meant to be exhaustive. The comment section should be used to note additional information discovered or actions taken during the inspection that affect compliance at the facility. For example, include comments concerning improperly closed or unregistered regulated tanks that were found during the inspection. In addition to the instructions in this document and on the FOI form page, record phone conversations or correspondence with DEP personnel that took place concerning this inspection. If additional comment sheets are needed, label each sheet with the report header information and attach the sheet(s) to the back of the inspection report. A sample continuation page may be found on the Department s website. COMPLETING THE INSPECTION FORM Ensure that the headings on all pages are filled out completely and correctly. Return to page 1 to complete the observation entries, inspection summary and authentication of the inspection report. PAGE 1 Financial Responsibility. Indicate whether you discussed the owner s financial responsibility requirements with them or their representative. This discussion should include the requirement for tank owners to continuously participate in the USTIF program and to maintain funds available to cover any corrective action and third party liability deductibles. Contamination. Indicate whether you observed suspected or confirmed contamination during the FOI. If suspected or confirmed contamination is observed, submit Notification of Contamination form to local regional office within 48 hours. Unregistered Storage Tanks. Indicate whether you observed improperly closed or other unregistered storage tanks during the inspection. Written Procedures. Indicate if written procedures and contact information are readily available at tank systems where retail sales to the general public take place or prominently posted at other types of systems. Amended Registration. If during the course of the inspection any condition requiring an amended registration is found, check the appropriate box. Strongly urge the owner to submit an amended registration when necessary. Inspection summary. The inspection summary cannot be completed until the facility has been thoroughly evaluated. Complete this block at the end of the inspection. Providing blatantly wrong or unsubstantiated information can lead to enforcement actions. The Tank Number is the system sequence number; it must correspond to the information entered on pages 2 through 6 and the Registration Certificate. Note: page 1 does not include water maintenance compliance; enter this information in the comment section (V). To be in compliance, applicable check boxes must either be checked or marked N/A and the nonapplicable items adequately explained in the comment section. A tank system is in compliance if: Tank Construction and Corrosion Protection. The tank is made of noncorrodible material or is protected from corrosion (see Section I, Tank System Information, Item 7, codes B, C, E through J, O or P). New systems must be double-walled. Required corrosion evaluations and system design, monitoring and testing has been completed within the required timeframes and documented with passing results (see Section III, Corrosion Protection Compliance Criteria). Piping Construction and Corrosion Protection. The piping is made of noncorrodible material or all metal piping in contact with the ground (electrolyte or backfill) is protected as described in the FOI guidance (see Section I, Item 8, codes B, D, E, G, I, J or K and Item 12, codes B, C, I, M or N). New piping must be double-walled. Plastic (rigid or flexible) must have been UL listed at the time of installation. Required corrosion evaluations, design, monitoring and testing has been completed within the required timeframes and documented with passing results (see Section III, Corrosion Protection Criteria). Spill Prevention. A spill bucket (containment) is present (see Section I, Item 14. codes Y or E (older systems only)) and operational (i.e. no cracks or holes). Containment has tested tight on new or repaired systems. Overfill Prevention. An overfill prevention device that meets the regulatory requirements is present (see Section I, Item 15, codes S, A, B or E), operational, installed in accordance with industry standards (see especially PEI RP-100) and capable of providing one of the actions required in the regulations at the - 6 -

7 proper tank fill level. Operation has been verified by the inspector (when practical). Alarms must be able to be seen or heard by the delivery person. Note: When a ball float valve is installed with coaxial vapor recovery (overfill is usually bypassed), with suction systems having air eliminators (contamination hazard), on tanks feeding emergency generators (explosion hazard) or on tanks receiving pressurized deliveries (tank bursting hazard), the tank system is noncompliant (N) for overfill protection. Registration Certificate Display. The current registration certificate (or a copy) is properly displayed for the type of facility and there are no regulated, unregistered tanks present (see Section I, Item 16, code Y). Tank Release Detection. The tank release detection methods (see Section I, Item 19) are acceptable for the tank configuration and age. The test methods have been operated properly (check boxes on pages 3 and 4), including proper site evaluation or third-party certification (when required). Testing has been completed at least monthly for the last 12 operating months (or, if new, since first receiving product) and each month the result has been pass (see record review on page 5). Test failures and inconclusives have been investigated and the investigation documented (when required). New systems must perform interstitial monitoring this may be in addition to another acceptable form of release detection. Piping Release Detection. Suction systems require one method of pipe release detection (Section I, Item 20). Pressure systems require two methods and may require a positive pump shut-off device (Items 20 through 22); each must be compliant for the piping system to be compliant. The methods entered/used must be acceptable for the piping (pump) configuration. The test methods have been operated properly (check boxes on pages 4 and 5), including proper professional evaluation or third-party certification (when required). Testing has been performed at the proper time intervals tri-annual means at least once in the last 36 months (or since first receiving product); annual, at least once in the last 12 months (or since first receiving product); and monthly, at least once each month, approximately 30 days apart, for the last 12 operating months (or since first receiving product) documented and the result of each test has been pass (see record review on page 5). Test failures and inconclusives have been investigated and the investigation documented (when required). Line leak detection equipment has had a test of operability in the last 12 months and, on new or 100% upgraded piping systems, will shut off the pressure delivery pump on test failure. Interstitial monitoring (when required) has been completed and documented. Monthly Sump Checks. If there are no sumps and they are not required, the compliance is C. Otherwise, the compliance depends on the date of installation, system configuration, state of maintenance and the owner s monthly checks: well-maintained (undamaged and no liquid present) and checked monthly, C ; not properly maintained (damaged and liquid present) or not checked monthly, N. Authentication. Signatures of both the inspector and owner or the owner s representative should be the last entry made on the inspection report. Carefully read the certification before signing the report. Lack of a tank owner or representative's signature is an unusual circumstance and must be explained in the comment section (page 7). Once signed by the inspector, the report form must be submitted to the Department. Deficiencies Corrected. When the owner corrects deficiencies within the 60 days following the inspection date, describe the corrections in the comment section (page 7) of the report, date the entry and initial it. Actions taken by the owner or operator to correct deficiencies noted by the inspector do not change the compliance indicators on page 1 as first observed during the inspector s initial visit. If the report has already been submitted to the Department, resubmit the corrected report in its entirety, unless instructed otherwise by DEP (see Report Submission). Attachments. Include groundwater or vapor monitoring authentication record. Attach as many comment continuation pages as needed to describe the site, inspection and actions the owner has taken to come into compliance. If not recorded on page 6, include corrosion protection evaluation/survey results and rectifier monitoring results (when applicable). If not provided on page 2, include diagrams/drawings showing unusual piping configurations

8 Report Submission. The completed inspection report must be submitted by mail or (note: an ed report must still be signed by the inspector and the facility owner or representative; and limit 10MB total maximum per message and all file attachments), or otherwise delivered to the Department addresses shown below, within 60 days of the inspection date. Failure to do so may subject the inspector to enforcement action. Additionally, provide a copy to the facility owner or the owner s representative. When using the carbonless forms, ensure the proper copy is provided to the appropriate address. Copy: Pennsylvania Department of Environmental Protection Rachel Carson State Office Building Division of Storage Tanks P.O. Box 8762 Harrisburg, PA tanks@pa.gov Copy: Copy: Owner Inspector's file keep for at least 10 years Original: Appropriate DEP regional office (regional addresses shown below are exclusively for report submittal): Northwest Region 230 Chestnut Street Meadville, PA ra-nwro-tanks@pa.gov Counties: Butler, Clarion, Crawford, Elk, Erie, Forest, Jefferson, Lawrence, McKean, Mercer, Venango and Warren Southwest Region 400 Waterfront Drive Pittsburgh, PA ra-pghtanks@pa.gov Counties: Allegheny, Armstrong, Beaver, Cambria, Fayette, Greene, Indiana, Somerset, Washington and Westmoreland Northcentral Region 208 West Third Street, Suite 101 Williamsport, PA ra-nc-tanks@pa.gov Counties: Bradford, Cameron, Centre, Clearfield, Clinton, Columbia, Lycoming, Montour, Northumberland, Potter, Snyder, Sullivan, Tioga and Union Southcentral Region 909 Elmerton Avenue Harrisburg, PA ra-ep-scro-tanks@pa.gov Counties: Adams, Bedford, Berks, Blair, Cumberland, Dauphin, Franklin, Fulton, Huntingdon, Juniata, Lancaster, Lebanon, Mifflin, Perry and York Northeast Region 2 Public Square Wilkes-Barre, PA ra-nero-tanks@pa.gov Counties: Carbon, Lackawanna, Lehigh, Luzerne, Monroe, Northampton, Pike, Schuylkill, Susquehanna, Wayne and Wyoming Southeast Region 2 East Main Street Norristown, PA ra-serotanks@pa.gov Counties: Bucks, Chester, Delaware, Montgomery and Philadelphia - 8 -

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