Environmental Remediation Program fact sheet
Division of Environmental Quality Director: Kyra Moore
PUB3079
underground storage tanks

Any tank that is in use (contains product) must comply with all related UST regulations (financial responsibility, release detection, corrosion protection, including cathodic protection and lining requirements). Once a tank is brought into operation for the first time, “in use” is based solely on whether the tank contains product and is not related to whether or not product is being used or dispensed.

UST Operator Training

The Missouri operator training regulations, found in 10 CSR 100-6, require the owner or operator to designate at least one trained Class A/B Operator and designate trained Class C Operators for each of their in use facilities. At least a trained Class C Operator must be present anytime the tank is dispensing product. The Petroleum Storage Tank Insurance Fund Board of Trustees created an online operator training program, which is free to Missouri operators. State-issued certifications from Arkansas, Oklahoma, Kansas, Iowa, Illinois, Kentucky or Tennessee are also accepted. Complete and submit to the department a Class A/B & Class C Operator Designation Form and Class C Operator Training Certification MO 780-2636 form.

New UST System Installations

* For compliance information, please refer to the Installation tab above.

Cathodic Protection and Interior Lining Systems

Unprotected underground metal components of the UST system can corrode and release product through corrosion holes. In addition to tanks and piping, metal components can include flexible connectors, swing joints and turbines. All metal UST system components that are in contact with the ground, soil or water and routinely contain product must be protected from corrosion.

  • Cathodic protection system testers must be certified (current at the time of the test) by either NACE International, Steel Tank Institute (sacrificial systems only) or International Code Council. For more information on allowable NACE certifications, visit EPA's Underground Storage Tanks (USTs) webpage.
  • Cathodic protection tests must include the following information. For additional guidance on cathodic protection system test reports and information needed to review a cathodic protection system test, review the Cathodic Protection Test Report Minimum Guidelines.
    • Tester, certification and date
    • Testing standard used
    • System readings
    • For impressed current systems, instant off and the decay values, if using the 100mV depolarization
  • Tank owners/ operators must maintain a log of the rectifier readings. These logs must now include relevant system data (e.g., green or red light, voltage or amperage meter readings or hour meter readings). If any of these readings change, the owner/ operator must investigate and confirm that the cathodic protection system is still operating properly and providing adequate protection for the steel system components. While you are not required to use any specific form for this rectifier log, the department's Cathodic Protection System Rectifier Check Log Sheet is an example of an acceptable form.
  • An integrity test, which evaluates the actual thickness of the steel shell, must be conducted if:
    • The cathodic protection system has been off, unhooked or damaged for more than 90 days
    • The system failed during a routine test and was not adequately repaired or re-tested with passing readings within 90 days
  • The interior lining of a steel tank may not be repaired, replaced or re-lined without first conducting, and passing, an integrity assessment of the tank shell. All integrity assessments must include actual steel shell thickness readings.
  • All lined tanks, whether lined for upgrades, repair or compatibility, must be routinely inspected, maintained and repaired, if warranted. The tank must be inspected within 10 years of the initial lining and every five years thereafter, regardless of whether or not the tank is re-lined. A tank is not granted another 10 years before inspecting the interior lining simply because the tank was re-lined.

The department may consider written requests for extensions. For additional guidance about meeting the corrosion protection requirements, visit EPA’s Release Prevention for Underground Storage Tanks (USTs) webpage.

Spill and Overfill Prevention Equipment

Many releases at UST sites come from spills made during delivery. Spills usually result from human error and can be avoided if everyone involved in the fuel delivery follows industry standard practices for tank filling.

  • USTs must have a spill bucket sealed around the fill pipe to contain small spills.
  • If a tank is accidentally overfilled, large volumes of product can be released. Your UST must have overfill protection equipment, unless deliveries are less than 25 gallons. The three main types of overfill protection devices are:
    • Automatic shutoff devices
    • Overfill alarms
    • Ball float valves
  • All deliveries must use a “lock-on” delivery connection, unless the department has approved a written, alternative delivery plan that adequately prevents spills and overfills.
  • Ball float valves may not be used with safe suction systems, suction systems with check valves that are not completely contained within a building, with any open vapor release port (e.g., open tank top fittings or co-axial drop tubes) or pressurized deliveries.
  • Spill and overfill equipment must be tested at least triennially. Please note, ball float valves are no longer acceptable overfill devices. Existing sites may continue to use them as long as they pass their triennial test. However, if they fail, then the facility must install an automatic shut off device or an audible, outside overfill alarm.

For additional guidance about the spill and overfill prevention requirements, visit EPA’s Release Prevention for Underground Storage Tanks (USTs) webpage.

Release Detection

All regulated tanks and piping must have release detection so leaks are discovered quickly before contamination spreads from the UST site.

  • You must provide your UST system with release detection, also called "leak" detection, that allows you to meet three basic requirements:
    • Detect a leak from any portion of the tank or its piping that routinely contains petroleum
    • The leak detection is installed, calibrated, operated and maintained according to the manufacturer's instructions
    • The leak detection meets the performance requirements described in the state and federal regulations
  • Except for manual measuring sticks used for inventory control or statistical inventory reconciliation, all release detection equipment must be approved by the National Work Group on Leak Detection Evaluations (NWGLDE).
  • All release detection equipment must be operated and maintained according to both the manufacturer’s requirements and the NWGLDE certification.

In addition to the state regulations, EPA provides guidance documents about release detection, both general criteria and the basics of approved methods. EPA also provides specific guidance documents on properly conducting each method of release detection, from inventory control to automatic tank gauging. For additional information, visit EPA's Release Detection for Underground Storage Tanks (USTs) webpage.

Statistical Inventory Reconciliation

Statistical Inventory Reconciliation (SIR) has been approved as an “other” or alternative release detection method for years, but is now officially outlined in the regulations. To properly conduct SIR, tank owners/ operators must meet these criteria:

  • Take readings to at least the nearest 1/8th inch. Using an automatic tank gauge meets this criteria
  • If using a tank stick to take measurements, a drop tube must be installed
  • If using a tank stick, the correct tank chart must be used for converting the height reading to gallons
  • Be able to accurately measure the full range of the tank height
  • Check for water at least once every 30 days
  • Compare delivery reports to pre- and post-delivery measurements
  • The SIR vendor or program must be approved by NWGLDE
  • Conduct SIR according to both the manufacturer’s requirements and the NWGLDE certification
  • The monthly data must be submitted to the vendor or input in the software program, evaluated and the final report back to the owner/ operator by the 15th of the following month (e.g., June’s data must be submitted, evaluated, and reported no later than July 15)
  • Retain all supporting data, including the daily inventory, sales, deliveries, overages/ shortages, monthly detailed reports and exception information, if applicable
  • Evaluate independent tank systems separately, even if they contain the same products. Manifolded systems are typically evaluated as one system

High-throughput Facilities

High-throughput facilities are those facilities with at least one UST system (a single tank or a manifolded tank system) through which more than 800,000 gallons of product is dispensed or used per month. The following requirements apply only to the high-throughput system or systems. The high-throughput tank system must be monitored for leaks using either:

  • Interstitial Monitoring - Continuous, electronic interstitial monitoring may be used for any double-walled or secondarily contained tank or piping system. The secondary containment or outer wall must be able to contain any leak from the inner wall, with the interstitial monitoring system able to detect any failure of the inner wall. The secondary containment or outer wall must also prevent water intrusion or water interference from affecting the interstitial monitoring system.
  • Vapor Monitoring - Must be compatible or approved for the product stored. Standard vapor monitoring is not approved for diesel, but chemical marker testing is. Vapor monitoring must be conducted every 15 days.
  • Continuous In-Tank Leak Detection (CITLD) System - The system must include a continuous reconciliation feature. Statistical continuous automatic leak detection (SCALD) or continuous statistical leak detection (CSLD) testing is not sufficient. This release detection method conducts constant evaluations to determine if a system is leaking and monitor inventory leak calculation trends. A CITLD System is more precise and is specifically designed for high-throughput facilities.
  • Another method approved by the department that is appropriate for high-throughput facilities.

Please note, these requirements apply only to the high-throughput tanks and do not necessarily apply to all tanks at a facility.

Emergency Generator Tanks

USTs storing fuel for emergency power generators must meet the release detection requirements required under 10 CSR 26-2. EPA recently revised its determination on emergency generators tank release detection requirements. Beginning Jan. 1, 2020, it is a requirement to perform a monthly visual inspection of the emergency generator's day or belly tank. This can be included in the monthly walk through inspection log to satisfy the release detection requirements. For emergency generator UST systems installed before July 1, 2017, you may use one of the methods:

  • Secondary containment with interstitial monitoring
  • Automatic tank gauging (ATG) systems (performing in-tank static tests)
  • Continuous in-tank leak detection (CITLD)

Emergency generator UST systems installed on or after July 1, 2017, must be secondarily contained with sump sensors and use interstitial monitoring upon installation. To make sure your release detection equipment is working properly, you must be doing the following:

  • Test your release detection equipment yearly
  • Conduct walkthrough inspections every 30 days to visually check your release detection equipment and maintain applicable records of those checks
  • Conduct yearly walkthrough inspections to visually check containment sumps and hand-held release detection equipment, such as tank gauge sticks and groundwater bailers

EPA recently reevaluated The Energy Policy Act of 2005 concerning UST emergency generators systems. Day tanks and belly tanks that are part of the emergency generators will now require a monthly visual check as part of the release detection check.

For more information about release detection options, visit EPA’s Straight Talk on Tanks: Release Detection Methods For Underground Storage Tanks And Piping or Release Detection for Underground Storage Tanks (USTs) webpages.


Nothing in this document may be used to implement any enforcement action or levy any penalty unless promulgated by rule under chapter 536 or authorized by statute.


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