Facility did not include all applicable rule requirements in its then existing SPCC Plan, such as those pertaining to oil-filled operation equipment among other requirements in violation of 40 CFR 112.7(a)(1). Plan also did not address the type of oil and storage capacity of each fixed container present at the facility, an adequate prediction of the direction oil flow which could be discharged, containment for the tank truck loading/unloading rack, or the use of warning signs.