WASTE MATERIAL PROFILE SHEET Clean Harbors Profile No. CH425704B
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3 A. GENERAL INFORMATION GENERATOR EPA ID #/REGISTRATION # GENERATOR CODE (Assigned by Clean Harbors) ADDRESS 5800 Woolsey Canyon Road CUSTOMER CODE (Assigned by Clean Harbors) ADDRESS 5800 Woolsey Canyon Road WASTE MATERIAL PROFILE SHEET Clean Harbors Profile No. CH425704B CAD BO1226 BO1226 GENERATOR NAME: CITY Canoga Park Boeing Company The - SSFL STATE/PROVINCE ZIP/POSTAL CODE PHONE: (818) CUSTOMER NAME: Boeing Company The - SSFL CITY Canoga Park STATE/PROVINCE CA ZIP/POSTAL CODE CA B. WASTE DESCRIPTION WASTE DESCRIPTION: CTL-5 Fuel Loop Road Base, Aera 1 PROCESS GENERATING WASTE (Please provide detailed description of process generating waste): Demolition C. PHYSICAL PROPERTIES (at 25C or 77F) PHYSICAL STATE SOLID WITHOUT FREE LIQUID POWDER MONOLITHIC SOLID LIQUID WITH NO SOLIDS LIQUID/SOLID MIXTURE % FREE LIQUID % SETTLED SOLID % TOTAL SUSPENDED SOLID SLUDGE GAS/AEROSOL NUMBER OF PHASES/LAYERS TOP 0.00 % BY VOLUME (Approx.) MIDDLE BOTTOM ODOR NONE MILD STRONG Describe: BOILING POINT ºF (ºC) <= 95 (<=35) (35-38) (38-54) >= 130 (>54) VISCOSITY (If liquid present) (e.g. Water) (e.g. Motor Oil) ,000 (e.g. Molasses) > 10,000 MELTING POINT ºF (ºC) < 140 (<60) (60-93) > 200 (>93) COLOR Brown TOTAL ORGANIC CARBON <= 1% 1-9% >= 10% FLASH POINT ºF (ºC) < 73 (<23) (23-38) (38-60) (60-93) > 200 (>93) ph <= (Neutral) >= 12.5 SPECIFIC GRAVITY < 0.8 (e.g. Gasoline) (e.g. Ethanol) 1.0 (e.g. Water) (e.g. Antifreeze) > 1.2 (e.g. Methylene Chloride) ASH < > 20 Unknown BTU/LB (MJ/kg) < 2,000 (<4.6) 2,000-5,000 ( ) 5,000-10,000 ( ) > 10,000 (>23.2) Actual: D. COMPOSITION (List the complete composition of the waste, include any inert components and/or debris. Ranges for individual components are acceptable. If a trade name is used, please supply an MSDS. Please do not use abbreviations.) CHEMICAL MIN -- MAX UOM CRUSHED MISCELLANEOUS BASE % FUEL HYDROCARBONS C10-C PPM FUEL HYDROCARBONS C25-C PPM DOES THIS WASTE CONTAIN ANY HEAVY GAUGE METAL DEBRIS OR OTHER LARGE OBJECTS (EX., METAL PLATE OR PIPING >1/4 THICK OR >12 LONG, METAL REINFORCED HOSE >12 LONG, METAL WIRE >12 LONG, METAL VALVES, PIPE FITTINGS, CONCRETE REINFORCING BAR OR PIECES OF CONCRETE >3 )? If yes, describe, including dimensions: YES NO DOES THIS WASTE CONTAIN ANY METALS IN POWDERED OR OTHER FINELY DIVIDED FORM? YES NO DOES THIS WASTE CONTAIN OR HAS IT CONTACTED ANY OF THE FOLLOWING; ANIMAL WASTES, HUMAN BLOOD, BLOOD PRODUCTS, BODY FLUIDS, MICROBIOLOGICAL WASTE, PATHOLOGICAL WASTE, HUMAN OR ANIMAL DERIVED SERUMS OR PROTEINS OR ANY OTHER POTENTIALLY INFECTIOUS MATERIAL? I acknowledge that this waste material is neither infectious nor does it contain any organism known to be a threat to human health. This certification is based on my knowledge of the material. Select the answer below that applies: YES NO The waste was never exposed to potentially infectious material. YES NO Chemical disinfection or some other form of sterilization has been applied to the waste. YES NO I ACKNOWLEDGE THAT THIS PROFILE MEETS THE CLEAN HARBORS BATTERY PACKAGING REQUIREMENTS. YES NO I ACKNOWLEDGE THAT MY FRIABLE ASBESTOS WASTE IS DOUBLE BAGGED AND WETTED. YES NO SPECIFY THE SOURCE CODE ASSOCIATED WITH THE WASTE. G44 SPECIFY THE FORM CODE ASSOCIATED WITH THE WASTE. W301 Report Printed On : Tuesday, March 23, 2010 /WINWEB/Profile\Waste Profile.rdl Page 1 of 3
4 Clean Harbors Profile No. CH425704B E. CONSTITUENTS Are these values based on testing or knowledge? Knowledge Testing If based on knowledge, please describe the rationale applied to identify and characterize the waste material (ex., include reference to Material Safety Data Sheets, process considerations, operating procedures). Please indicate which constituents below apply. Concentrations must be entered when applicable to assist in accurate review and expedited approval of your waste profile. Please note that the total regulated metals and other constituents sections require answers. RCRA REGULATED METALS REGULATORY LEVEL (mg/l) D004 ARSENIC 5.0 D005 BARIUM D006 CADMIUM 1.0 D007 CHROMIUM 5.0 D008 LEAD 5.0 D009 MERCURY 0.2 D010 SELENIUM 1.0 D011 SILVER 5.0 VOLATILE COMPOUNDS D018 BENZENE 0.5 D019 CARBON TETRACHLORIDE 0.5 D021 CHLOROBENZENE D022 CHLOROFORM 6.0 D028 1,2-DICHLOROETHANE 0.5 D029 1,1-DICHLOROETHYLENE 0.7 D035 METHYL ETHYL KETONE D039 TETRACHLOROETHYLENE 0.7 D040 TRICHLOROETHYLENE 0.5 D043 VINYL CHLORIDE 0.2 SEMI-VOLATILE COMPOUNDS D023 o-cresol D024 m-cresol D025 p-cresol D026 CRESOL (TOTAL) D027 1,4-DICHLOROBENZENE 7.5 D030 2,4-DINITROTOLUENE 0.13 D032 HEXACHLOROBENZENE 0.13 D033 HEXACHLOROBUTADIENE 0.5 D034 HEXACHLOROETHANE 3.0 D036 NITROBENZENE 2.0 D037 PENTACHLOROPHENOL D038 PYRIDINE 5.0 D041 2,4,5-TRICHLOROPHENOL D042 2,4,6-TRICHLOROPHENOL 2.0 PESTICIDES AND HERBICIDES D012 ENDRIN 0.02 D013 LINDANE 0.4 D014 METHOXYCHLOR 10.0 D015 TOXAPHENE 0.5 D016 2,4-D 10.0 D017 2,4,5-TP (SILVEX) 1.0 D020 CHLORDANE 0.03 D031 HEPTACHLOR (AND ITS EPOXIDE) OTHER CONSTITUENTS MAX UOM NOT APPLICABLE BROMINE CHLORINE FLUORINE IODINE SULFUR POTASSIUM SODIUM AMMONIA CYANIDE AMENABLE CYANIDE REACTIVE CYANIDE TOTAL SULFIDE REACTIVE HOCs NONE < 1000 PPM >= 1000 PPM PCBs NONE < 50 PPM >=50 PPM IF PCBS ARE PRESENT, IS THE WASTE REGULATED BY TSCA 40 CFR 761? ADDITIONAL HAZARDS DOES THIS WASTE HAVE ANY UNDISCLOSED HAZARDS OR PRIOR INCIDENTS ASSOCIATED WITH IT, WHICH COULD AFFECT THE WAY IT SHOULD BE HANDLED? YES NO (If yes, explain) CHOOSE ALL THAT APPLY TCLP mg/l TOTAL UOM NOT APPLICABLE YES NO DEA REGULATED SUBSTANCE EXPLOSIVE FUMING POLYMERIZABLE RADIOACTIVE REACTIVE MATERIAL OSHA REGULATED CARCINOGENS NONE OF THE ABOVE Report Printed On : Tuesday, March 23, 2010 /WINWEB/Profile\Waste Profile.rdl Page 2 of 3
5 Clean Harbors Profile No. CH425704B F. REGULATORY STATUS YES NO USEPA HAZARDOUS WASTE? YES NO DO ANY STATE WASTE CODES APPLY? Texas Waste Code YES NO DO ANY CANADIAN PROVINCIAL WASTE CODES APPLY? YES NO IS THIS WASTE PROHIBITED FROM LAND DISPOSAL WITHOUT FURTHER TREATMENT PER 40 CFR PART 268? LDR CATEGORY: VARIANCE INFO: Not subject to LDR YES NO IS THIS A UNIVERSAL WASTE? YES NO IS THE GENERATOR OF THE WASTE CLASSIFIED AS CONDITIONALLY EXEMPT SMALL QUANTITY GENERATOR (CESQG)? YES NO IS THIS MATERIAL GOING TO BE MANAGED AS A RCRA EXEMPT COMMERCIAL PRODUCT, WHICH IS FUEL (40 CFR (C)(2)(II))? YES NO DOES TREATMENT OF THIS WASTE GENERATE A F006 OR F019 SLUDGE? YES NO IS THIS WASTE STREAM SUBJECT TO THE INORGANIC METAL BEARING WASTE PROHIBITION FOUND AT 40 CFR 268.3(C)? YES NO YES NO DOES THE WASTE CONTAIN GREATER THAN 20% OF ORGANIC CONSTITUENTS WITH A VAPOR PRESSURE >=.3KPA (.044 PSIA)? YES NO DOES THIS WASTE CONTAIN AN ORGANIC CONSTITUENT WHICH IN ITS PURE FORM HAS A VAPOR PRESSURE > 77 KPA (11.2 PSIA)? YES YES NO IS THE WASTE SUBJECT TO ONE OF THE FOLLOWING NESHAP RULES? YES NO IF THIS IS A US EPA HAZARDOUS WASTE, DOES THIS WASTE STREAM CONTAIN BENZENE? G. DOT/TDG INFORMATION DOT/TDG PROPER SHIPPING NAME: DOES THIS WASTE CONTAIN VOC'S IN CONCENTRATIONS >=500 PPM? NO IS THIS CERCLA REGULATED (SUPERFUND ) WASTE? Describe the knowledge : Hazardous Organic NESHAP (HON) rule (subpart G) What is the TAB quantity for your facility? The basis for this determination is: Knowledge of the Waste Or Test Data NONE, NON HAZARDOUS, NON D.O.T. REGULATED, N/A, SOIL Pharmaceuticals production (subpart GGG) YES NO Does the waste stream come from a facility with one of the SIC codes listed under benzene NESHAP or is this waste regulated under the benzene NESHAP rules because the original source of the waste is from a chemical manufacturing, coke by-product recovery, or petroleum refinery process? YES NO Is the generating source of this waste stream a facility with Total Annual Benzene (TAB) >10 Mg/year? Megagram/year (1 Mg = 2,200 lbs) Knowledge Testing H. TRANSPORTATION REQUIREMENTS ESTIMATED SHIPMENT FREQUENCY ONE TIME WEEKLY MONTHLY QUARTERLY YEARLY OTHER 0-0 STORAGE CAPACITY: CONTAINER TYPE: CONTAINERIZED CONTAINERS/SHIPMENT CUBIC YARD BOX PALLET BULK LIQUID GALLONS/SHIPMENT: 0 Min -0 Max GAL. BULK SOLID SHIPMENT UOM: TON YARD TONS/YARDS/SHIPMENT: Min Max TOTE TANK OTHER: DRUM DRUM SIZE: I. SPECIAL REQUEST COMMENTS OR REQUESTS: GENERATOR'S CERTIFICATION I hereby certify that all information submitted in this and attached documents is correct to the best of my knowledge. I also certify that any samples submitted are representative of the actual waste. If Clean Harbors discovers a discrepancy during the approval process, Generator grants Clean Harbors the authority to amend the profile, as Clean Harbors deems necessary, to reflect the discrepancy. AUTHORIZED SIGNATURE NAME (PRINT) TITLE DATE thomas.c.venable2@boeing.com 3/12/2010 This waste profile has been submitted using Clean Harbors electronic signature system. Report Printed On : Tuesday, March 23, 2010 /WINWEB/Profile\Waste Profile.rdl Page 3 of 3
6 Santa Susana Field Laboratory The Boeing Company CTL-V Lower Loop, Area I. Waste Certification. This data package provides the field survey results of the material comprising the CTL-V Lower Loop prior to demolition. This survey complies with Boeing procedure RS The surveys of excavated road bed material and gravel were performed at the same locations where chemical characterization has been performed. Instrument measurements were made for beta/gamma total surface contamination (Ludlum 3 plus Ludlum 44-9 GM probe) and gamma exposure rate (Bicron microrem meter). Wipes were taken for removable alpha/beta contamination and counted in a low-background Tennelec laboratory alpha/beta counter or by a Ludlum 2224 counter with a Ludlum probe. Instrument minimum detectable activity (MDA) for total beta/gamma contamination measurements are < 5,000 dpm/100 cm 2 (44-9 probe). Removable contamination MDAs are ~11 dpm/100 cm 2 alpha and ~21 dpm/100 cm 2 beta. Removable contamination MDAs for the Ludlum 2224 counter plus Ludlum probe are 61 dpm/100 cm 2 alpha and 508 dpm/100 cm 2 beta. The Bicron MDA is ~4 μr/hr. Survey results are provided in Appendix 1. Conclusions Results of the field measurements of the material were all indistinguishable from background. The dose from the resulting solid debris is therefore zero mrem per year. If it is conservatively assumed that the debris is contaminated at the MDA levels, then the effective dose would be less than 1 mrem per year 2,3. The waste generated following demolition at this location is certified to be radiologically acceptable for off-site disposal and/or recycling. There are no radiological controls or restrictions imposed on future disposition or use of this debris. This waste meets the requirements of disposal facility permits 4,5 and complies with the California Health & Safety Code 6. 1 Boeing, Methods and Procedures for Radiological Monitoring. RS-00012, Revision B, August 6, ANSI N Surface and Volume Radioactivity Standards for Clearance. American National Standards Institute/Health Physics Society The most limiting beta/gamma screening value is 6,000 dpm/100 cm 2 corresponding to a dose of 1 mrem per year. 3 NUREG-1640, Radiological Assessments for Clearance of Materials from Nuclear Facilities. Nuclear Regulatory Commission. June The most restrictive beta/gamma dose conversion from Table 2.1 is 0.16 μrem/y per dpm/100 cm 2. This corresponds to 0.8 mrem/y per 5,000 dpm/100 cm This waste is exempt from regulation and licensing or is expressly authorized for disposal under the Radiation Control Law (Division 104, Part 9, Chapter 8 of the California Health & Safety Code). 5 This waste is not prohibited from disposal by any government agency with jurisdictional authority over this waste. CTL-V_Lower_Loop_Waste_Certification_Rev_1.doc November 18, 2009 Page 1 of 3
7 Santa Susana Field Laboratory The Boeing Company The Governor s Executive Order D (September 2002) prohibits the disposal of decommissioned materials to Class 3 landfills or unclassified management units. The subject debris is not decommissioned material, and has not originated from a radiological facility. The surveys in this certification have therefore been conducted as a best management practice that also comply with the requirements of D Verification surveys and/or approval by the California Department of Public Health (CDPH) Radiologic Health Branch (RHB) are not required for the off-site disposal of decommissioned material or of the subject material 7. Phil Rutherford Manager, Health, Safety & Radiation Services 6 Division 104, Part 9, Chapter 5, Article 1, Section , No person shall bury, throw away, or in any manner dispose of radioactive wastes within the state except in a manner and at locations as will result in no significant radioactive contamination of the environment. For the purposes of this requirement, significant is defined in Section as amounts of radioactive materials that are likely to expose persons to ionizing radiation greater than the guide levels published by the Federal Radiation Council (FRC). The FRC no longer exists, but the applicable guide level last published by the FRC was 500 mrem per year to a member of the public. Because the regulatory dose limit to members of the public has since been lowered to 100 mrem per year, CDPH/RHB conservatively utilizes the lower dose for purposes of defining significant radioactive contamination in this Article of the California Health and Safety Code. 7 The California Department of Public Health (CDPH) Radiologic Health Branch (RHB) has stated in a November 9, to Phil Rutherford (Boeing) The Governor's Executive Order D , does not specifically require the Department of Health Services (now the Department of Public Health) to perform verification sampling of decommissioned material or to provide approval for disposal of specific decommissioned material shipped offsite (e.g., to Class I or II landfills). The California DPH has not imposed a requirement that Boeing or the Department of Energy (DOE) seek DPH verification sampling or approval of all decommissioned material destined for Class I or II landfills in compliance with the Governor's Executive Order. CTL-V_Lower_Loop_Waste_Certification_Rev_1.doc November 18, 2009 Page 2 of 3
8 Santa Susana Field Laboratory The Boeing Company Appendix 1 Field Survey Results CTL-V_Lower_Loop_Waste_Certification_Rev_1.doc November 18, 2009 Page 3 of 3
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11 RADIATION SURVEY REPORT FACILITY: SSFL, Area I, POD 7 LOCATION: CTL5 Lower Loop SAMPLE DATE DATE PURPOSE: Release Survey UNITS dpm/100 cm 2 α dpm/100 cm 2 β β cpm γ (μrem/hr) NUMBER SAMPLED ANALYZED DESCRIPTION LIMIT 1000 dpm 1000 dpm < MDA N/A /18/ /18/2009 Road Bed and Gravel (see attached resuts) < 1000 < N/A 11/18/2009 N/A Road Bed and Gravel (see attached map) COMMENTS: MDA = minimum detectable activity INSTRUMENT Ludlum 2224 & Ludlum 3 2 Bicron 3 1 Ludlum 2224 (MDA = 61 dpm/100 cm 2 α and 508 dpm/100 cm 2 β) IDENTIFICATION ZO EX EX Ludlum 3 with 44-9 GM probe (MDA < 100 cpm over lowest background) CALIBRATION DUE 8/26/2010 8/26/2010 8/26/ Bicron micro rem meter (MDA = 4 μrem/hr) BACKGROUND 0.6 cpm 323 cpm cpm 4-12 μrem/hr SAMPLED BY: R. Ford REVIEWED BY: Phil Rutherford DATE: DATE: 11/18/ /18/2009 EFFICIENCY 15.4% 19.1% 10.00% N/A COUNT TIME 1 min. 1 min. Scan Scan Page 1 of 5 FORM 732-A REV
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13 Sample Location CTL5LWR_RB_S03 Page 3 of 5
14 Sample Location CTL5LWR_RB_S05 Location S06 in background Page 4 of 5
15 Gross cpm Bkg cpm (Daily) Net cpm Efficiency Calculated Results Date Smear # α β α β α β α Eff β Eff α dpm α MDA β dpm β mda 11/18/ /18/ /18/ /18/ /18/ /18/ /18/ /18/ /18/ /18/ /18/ Page 5 of 5
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