HAZARDOUS WASTE MANAGEMENT: WHAT S NEW?

Similar documents
Hazardous Waste Generator Improvements Final Rule. US EPA Office of Resource Conservation and Recovery

Hazardous Waste Generator Improvements Rule

Hazardous Waste Generator Improvements Rule

Hazardous Waste Generator Improvements Rule

RCRA HAZARDOUS WASTE REGULATION SUMMARY: Large Quantity Generators (LQG) UNIVERSITY OF WISCONSIN SYSTEM

Recent Changes to the Federal Haz Waste Regs. Todd Houts Director, Environmental Health & Safety University of Missouri May 18, 2017

Hazardous Waste Generator Improvements Rulemaking Compliance Notebook

on the Hazardous Waste Generator Improvements Rule US EPA Office of Resource Conservation and Recovery January 31, 2017

2/19/2013. Determine which ones are hazardous waste. Keep records. 1. Identify all wastes generated. 2. Determine pounds of HW per month

Hazardous Waste Rules Stakeholder Meeting. Department of Environmental Quality

August 11, Hazardous Waste Management

Hazardous waste. The words alone make you think of a material that needs to be handled with extra precaution. Hazardous wastes are process

Hazardous Waste Section. Hazardous Waste Standards For CESQG and SQG

Overview of State and Federal Regulation of Hazardous Waste

Small Quantity Generator (SQG) of Hazardous Waste

A Look Back at the First Year of No Stricter Than Implementation. Kathy S. Flippin Hazardous Waste Program

ITEM-BY-ITEM INSTRUCTIONS

Environmental Guidelines

EPA s Proposed Rule Subpart K - Standards Applicable to Academic Laboratories. EPA regulatory updates for college campuses

EPA S HAZARDOUS WASTE GENERATOR IMPROVEMENTS

Hazardous Waste Small Quantity Generator Checklist

RCRA Regulatory Developments. Karen A. Winters, Esq. November 3, 2016 Second Annual Midwest Environmental Compliance Conference Chicago, Illinois

Safety Best Practices Manual

Workshop S. Turning Trash to Treasure: Waste Management Strategies for Compliance and Profit. Tuesday, March 27, :30 p.m. to 4:45 p.m.

Environmental Site Assessment

Air & Waste Management Association Pacific Northwest International Section. RCRA Fundamentals (What Generators Need to Know) October 27, 2014

The New Small Quantity Generator Rules: RCRA Reaches Small Business

OHIO S HAZARDOUS WASTE (RCRA SUBTITLE C) Inspections to Remediation

RCRA 101. Michael Gage

2018 Hazardous Waste Compliance Calendar

Oklahoma Department of Transportation

Waste Compliance Refresher

Oklahoma Department of Environmental Quality RCRA PROGRAM EFFECTIVENESS: INDUSTRIAL RADIOGRAPHY OUTREACH

TENNESSEE DEPARTMENT OF TRANSPORTATION DISPOSAL CORE PLAN FOR THE MANAGEMENT OF HAZARDOUS WASTES, UNIVERSAL WASTES, AND USED OIL

Manifest Signature Certification

Annual Training for Hazardous Waste Generators

WORD GAME PARKED/PARKED

Hazardous Waste Recycling Under the Definition of Solid Waste (DSW) Rule. Tribal Lands Forum August 2011

Overview of the Resource Conservation and Recovery Act ( RCRA ) and Comprehensive Environmental Response, Compensation, and Liability Act ( CERCLA )

2018 Compliance Assistance Conference. An Overview of Ohio s Hazardous Waste Requirements

LARGE QUANTITY GENERATOR (LQG) OF HAZARDOUS WASTE

RCRA HAZARDOUS WASTE PROGRAM

Hazardous Building Materials in Your Community. John Pavitt, EPA Jon Jones, EPA

ERGO 101 OVERVIEW. Donna Schell ERDC CERL. Ken Duncan Portland District. Keith Chasteen Louisville District

EDMONDS COMMUNITY COLLEGE WASHINGTON STATE COMMUNITY COLLEGE DISTRICT 23

Resource Conservation and Recovery Act (RCRA) Pharmacy Waste Management: An Emerging Issue

Hazardous Waste Management at Remote (SQG) Sites

COMPLIANCE ASSISTANCE VISIT REPORT

Louisiana Department of Environmental Quality 2014 HAZARDOUS WASTE REPORT INSTRUCTIONS AND FORMS

Land Disposal Restrictions

Increasing Recycling: Adding Aerosol Cans to the Universal Waste Regulations, 83 Fed. Reg. 11,654 (Mar. 16, 2018); Docket No. EPA HQ OLEM

Solvent Contaminated Wipes Questions

How to Prepare for an Ohio EPA Inspection

Drinking water systems producing solid waste are required under the Resource Conservation and Recovery Act

Hazardous Waste: the usual suspects and how to manage them

NEBRASKA DEPARTMENT OF ENVIRONMENTAL QUALITY

ES Storage, Handling, and Management of Hazardous Materials Document Identification Number Date: April

MSECA: Hazardous Waste FAQs PRESENTED BY JOHN CRAWFORD HW ENVIRONMENTAL, LLC

SMALL QUANTITY GENERATOR CHECKLIST

When it comes to managing the hazardous waste in your hospital, what you don t know you don t know can hurt you.

Advanced topics in hazardous waste. Advanced Topics in Hazardous Waste: Part 2 Jeff Mayhugh and Mitch Mathews

Pretreatment and National Pollutant Discharge Elimination System: Toxic Organics Management Plan

HAZARDOUS WASTE AT MAINTENANCE YARDS

Georgia Drycleaner Compliance Calendar

What are the regulations that address secondary containment?

Environmental Management Chapter ALABAMA DEPARTMENT OF ENVIRONMENTAL MANAGEMENT LAND DIVISION - HAZARDOUS WASTE PROGRAM ADMINISTRATIVE CODE

Environmental Audit. Wichita State University 1845 Fairmount St. Wichita, Kansas Conducted by:

May 15, Attention: Docket ID No. EPA-HQ-OLEM Dear Sir or Madam:

Waste Management. Waste handling, transportation and storage. Dr.-Eng. Zayed Al-Hamamre

New Hazardous Waste Rules

APPENDIX H RULE 98 REQUIREMENTS CHART

HAZARDOUS AND SOLID WASTE ENVIRONMENTAL REQUIREMENTS CHECKLIST FOR CONSTRUCTION PROJECTS

CHAPTER 29 - HAZARDOUS WASTE MANAGEMENT

2011 Compliance Assistance Conference. An Overview of Ohio s Hazardous Waste Requirements

RCRA 4-Hour Compliance Course Outline

TARLETON STATE UNIVERSITY HAZARDOUS WASTE MANAGEMENT PROGRAM

Industrial and Hazard Waste Management. Hazardous waste handling, transportation and storage. Dr.-Eng. Zayed Al-Hamamre

Chapter XIII SARA TITLE III. Title III of SARA (Superfund Amendments and Reauthorization Act of 1986), known as

Hazardous Waste 1EPA. Managing Your. A Guide for Small Businesses. Solid Waste and Emergency Response (5305W)

LET S SUMMARIZE THE HAZARDOUS WASTE REGULATIONS

LARGE QUANTITY GENERATOR CHECKLIST

Compliance Bulletin Hazardous Waste Management of Electronics Waste reviewed/revised June 2003

Navigating the EPA Hazardous Waste Regulations for Businesses 2018

Biennial Report: Reportable and Non-Reportable Wastes

York College. Regulated Wastes Awareness Training

COLLIN COLLEGE EPA COMPLIANCE TOOLKIT

Cal/OSHA, DOT HAZMAT, EEOC, EPA, HIPAA, IATA, IMDG, TDG, MSHA, OSHA, Australia WHS, and Canada OHS Regulations and Safety Online Training

RCRA INFORMATION BROCHURE

Regulatory Compliance Seminar at NEORSD May 10, Hazardous Waste Training & RCRA Update

Environmental Management Procedure (EMP)

Hazardous Waste Management Plan

Hazardous Waste Annual Report

HAZARDOUS WASTE COORDINATOR TRAINING SAP OPERATIONS

Table 1: Summary of Universal Waste (UW) Handler Requirements*

Chapter VII HAZARDOUS WASTE REGULATION. Hazardous wastes are governed by the regulatory program established by the federal

TITLE IMPACT OF NEW EPA RULES ON YOUR PRACTICE

GENERAL WASTE MANAGEMENT

RCRA. PSSNY Owners Presentation By: James R. Schiffer and Debbi Barber June 2017

2. Inventory of wastes you want to dispose of at this collection event

Safety Management System. Initial Revision Date: Version Revision No. 02 GENERAL WASTE MANAGEMENT

Transcription:

HAZARDOUS WASTE MANAGEMENT: WHAT S NEW? 237 237 237 217 217 217 200 200 200 80 119 27 252 174.59 1 255 255 255 0 0 0 163 163 163 131 132 122 239 65 53 110 135 120 Stephen Castellane P.E. Vicksburg District, River Operations Environmental Engineer 112 92 56 62 102 130 102 56 48 130 120 111 Donna J. Schell ERDC-CERL 18 April 2017 The views, opinions and findings contained in this report are those of the authors(s) and should not be construed as an official Department of the Army position, policy or decision, unless so designated by other official documentation. File Name

TYPICAL USACE (AND OUTGRANT) GENERATION Waste paint Waste solvent Metal shavings Waste welding rods Waste solder Contaminated bead blast NiCad batteries Parts-washing sludge Expired chemicals/ products with hazardous constituents Unknowns/orphans Civil Defense waste (i.e. penicillin, iodine, batteries, Phenyl Barbytol) Oily rags Lead-acid batteries Picric Acid

NEW WASTE GENERATOR RULES EPA Final Hazardous Waste Generator Improvements Rule New rule signed 28 Oct 2016, effective 30 May 2017 Rule goes into effect in IA, AK, the territories, and tribal lands on 30 May 2017 But what about everywhere else?

NEW WASTE GENERATOR RULES RCRA authorized states (everybody but the locations on the prior slide) have to pick up the more stringent provisions, typically by 1 July 2018 (or 1 July 2019 if state law change is needed) Authorized states can choose to pick up the less stringent provisions and those provisions that are considered equally stringent Check your state s website. As the state versions of the new rules are promulgated, they will be included in the State Supplements to the U.S. TEAM Guide.

NEW WASTE GENERATOR RULES Until the Authorized States make the changes there is going to be a period of time where there is a disconnect. If you are in a state which is considered a leader in environmental regulations (i.e. California) or your state regulator has made a habit of visiting your project, consider calling and talking to the regulator about their expectations of how you are to operate.

BEFORE DIGGING INTO THE DETAILS OF THE CHANGES, A QUICK REMINDER

GENERATOR CATEGORIES To determine your Generator category, count all hazardous waste generated in a calendar month: NEW Terminology Very Small Quantity Generator (VSQG) Small Quantity Generator (SQG) Large Quantity Generator (LQG) ½ Drum or 27 Gal. Or 220 lbs. Or 100 Kg ½ to 5 Drums or 27-275 Gal. Or 220-2200 lbs. Or 100-1000 Kg. >5 Drums or >275 Gal. or >2200 lbs. or >1000 Kg. Note: 1 (55) gal drum = 440 lbs. = 200 kg. This presentation is going to focus on VSQGs and SQGs

THE CHANGES The Big Picture: Have to be able to prove your generator category/status Allow HW Generators to maintain existing generator status provided episodic waste is managed properly VSQG can send their hazardous waste to a LQG under control of the same person Clarification of labeling requirements Clarification of Satellite Accumulation Point/Area (SAP/SAA) requirements

GENERATOR CATEGORY/STATUS Previously the hazardous waste regulations only required you determine whether or not solid waste is a hazardous waste. NOW, you also have to determine your generator category according to a process defined by U.S. EPA.

GENERATOR CATEGORY/STATUS The Determination Process: Document the total amount of hazardous waste generated in the calendar month (no matter what is done in terms of disposal) Subtract from the above total any amounts of waste exempt from counting (i.e., waste is recycled, waste is handled as used oil, universal waste [full list at 40 CFR 262.13]) Document, Document, Document This will impact VSQGs who do not manifest the most.

EPISODIC GENERATION What is episodic generation? An unplanned event such as a spill cleanup, OR A planned event such as: Depainting a large piece of equipment Storage tank cleanout Lab cleanout Other O&M? Bottom Line: The Project is generating a lot more hazardous waste than it does on a routine basis AND that additional waste generation can cause the Project to violate their current generator category/status.

EPISODIC GENERATION U.S. EPA now allows VSQGs and SQGs ONE episodic event a year. Episodic events may be planned (i.e., maintenance) or unplanned (i.e., a spill) If first event is planned, the petition for a 2 nd event must be for an unplanned event or vice versa Managing the hazardous waste that is in excess of normal/routine operations as episodic means the Project will not change Generator categories/status.

EPISODIC GENERATION To take advantage of the episodic waste option: Notify EPA or state at least 30 days prior to initiating a planned episodic event Notify EPA or state within 72 hours after an unplanned event Conclude the episodic event within 60 days, including getting the episodic waste off-site

EPISODIC GENERATION Additionally, if you are a VSQGs and have a planned or unplanned episodic event, you must: Obtain a RCRA ID Number Use an hazardous waste manifest and transporter to send episodic waste to RCRA-designated facility (TSDF or recycler) Manage the episodic hazardous waste in a manner that minimizes the possibility of an accident or release Label episodic waste containers Identify an emergency coordinator Maintain records associated with episodic event SQGs need only comply with existing SQG regulations and maintain records associated with the episodic event

VSQG WASTE DISPOSAL Under the revised rules, instead of dealing with the hazardous waste disposal process themselves, a VSQG has the option to take their hazardous waste to a LQG under control of the same person.

VSQG WASTE DISPOSAL The problems: USACE Civil Works does not have many LQGs and there is the potential to have to haul the hazardous waste a long way. The receiving LQG has to agree to accept the hazardous waste and do all of the extra documentation, reporting, and recordkeeping if they accept hazardous waste they did not generate.

VSQG WASTE DISPOSAL Like this picture, this idea is probably not a good one for implementation in USACE Civil Works

SAA/SAP Basic Reminders about SAAs/SAPs These are only present at SQGs and LQGs Their intent is to create a place to accumulate hazardous waste near the actual source of the hazardous waste. It is illegal to move hazardous waste from one SAA/SAP to another SAA/SAP The SAA/SAP regulations are probably the most argued about regulation in all of the hazardous waste rules.

SAA/SAP Location Requirements Must be at or near any point of generation where wastes accumulates Per the discussion in the new rule s Preamble, U.S. EPA does not consider a shed outside a building where the waste is initially generated to be at or near the point of generation. U.S. EPA also states that implementing regulatory agencies will retain authority in determining what they consider at or near the point of generation. Must be under the control of the operator of the process generating the waste

SAA/SAP What is under the control of the operator. Per the Preamble, U.S. EPA believes there can be more than one operator per SAA at one time (page 85768) Per the Preamble, the term operator does refer to an individual or individuals responsible for the equipment or processes generating the hazardous waste and does not refer to a company or entity as a whole In the Preamble, U.S. EPA provided the following examples as meeting this parameter: If the operator controlled access to an area, building, or room in which the SAA is located, such as with entry by access card, key or lock box. if the operator accumulates waste in a locked cabinet and controlled access to the key, even if the cabinet is stored inside a room to which access is not controlled. BUT Implementing regulatory agencies may consider the above examples or alternatives to meet the intent of the term, which is to ensure that someone familiar with the operations generating the hazardous waste is aware of and able to attend to the operations, if needed, while also providing some measure of controlled access.

SAA/SAP Operational Requirements No more than 55 gal of HW is stored at an individual SAA/SAP (Add together est. contents of all containers (NOT capacity); if > 55 gal = Noncompliant) Is this compliant?

SAA/SAP Operational Requirements (cont.) All containers are kept closed except: When adding, removing, or consolidating waste; or When temporary venting of a container is necessary: For the proper operation of equipment, or prevent dangerous situations, such as build-up of extreme pressure. When a container is full, it is moved out of the SAA/SAP within 3 consecutive calendar days. Containers from an SAA/SAP only go to a 180-day or 90-day storage area; a TSDF; or an off-site designated facility.

SAP/SAA Labeling Requirements Each container is labeled with the phrase Hazardous Waste (The prior version of the rule allowed other language) Each container is labeled indicating the Hazard of the contents DOT Hazard Communication; or OSHA Hazard Statement or Pictogram; or NFPA Chemical hazard label; or RCRA characteristics IF a container is full, the date it became full is marked on container

WHAT DO YOU THINK? Scenario: Waste aerosol cans are generated in Building 1 and put in a 55-gal drum. They are taken to the180-day storage area, Project is an SQG, in Building X where they are punctured and drained. Where is the SAP/SAA? Aerosol Paint Can Crusher

SQG SPECIFIC CHANGES Starting in 2021, SQG must re-notify EPA every 4 yr using EPA Form 8700-12 and submitting the form by 1 September of each year in which re-notifications are required. EPA is trying to figure out what all is out there! SQGs officially have the option to use contractors to address releases (containment/cleanup)

SQG SPECIFIC CHANGES SQGs are given the right to determine the most appropriate locations for their emergency equipment SQGs MUST attempt to make emergency response arrangements with the local police department, fire department, other emergency response teams, emergency response contractors, equipment suppliers and local hospitals, taking into account the types and quantities of hazardous wastes handled at the facility. Have to be documented!

QUESTIONS? 27