Facility Overview

GL Veneer is operating under a active permit of type: Industrial. Primary industry: Hardwood Veneer and Plywood.

The facility covers a total area of 210000 SqFt, with an active operational area of 1900 Sqft.

The site has self-reported imperviousness of %. In the context of the Industrial General Permit for stormwater runoff, imperviousness refers to the percentage of the facility's surface area that doesn't allow water to penetrate, such as concrete, asphalt, or rooftops. The higher the imperviousness percentage, the more potential impact on local water quality as there is a greater surface area to accumulate pollutants.

In terms of water impact, the facility directly affects the Compton Creek, unnamed tributary at Santa Fe Rd and the downstream waters. This information is crucial for understanding the facility's potential environmental influence on local water resources.

2224 E Slauson, Huntington Park, CA 90255

Additional Details

Permit Status: Active
County: Los Angeles
WDID: 4 19I027915
Application ID: 498637

The information displayed on the map and this report is derived from publicly available data, including reports submitted through the California State Water Resources Control Board's SMARTS database, and is provided for informational purposes only. Blanks or missing data reflects a lack of data provided by the facility or improperly uploaded data. Facilities identified on this map as having exceedances, missing reports, or other potential issues are flagged as suspected of non-compliance only. A flag on this map does not mean a facility has been found, or is, in violation of the IGP or any other law.

Historical Exceedances

This facility has historically exceeded limits for the following parameters:

  • Oil and Grease

    Oil and grease can form films on water surfaces, reducing oxygen levels and harming aquatic life. They can also contaminate sediments and be toxic to organisms.

These limits reflect Water Quality Standards promulgated to protect human health or the environment, or standards that the State or EPA developed to indicate the Facility may be failing to implement best practices to protect storm water.

Most IGP facilities are required to collect storm water samples four times per year during qualifying storm events. Where fewer than four samples are shown below, the facility may not be meeting this requirement. When a facility fails to sample at the required frequency, or samples outside of qualifying events, the resulting data may not accurately reflect its actual discharges to receiving waters. As a result, missing or incomplete sampling data can make a facility's reports appear to show less environmental impact than is actually occurring.

Discharge Reports Summary

YearSample ReportsExceedancesStatus
202460Up To Date
202370Up To Date
202280Up To Date
2021104Exceedances Detected
202042Exceedances Detected
201964Exceedances Detected