SEFft
United States
Environmental Protection
Agency
Office of the
Administrator
(2131)
EPA 233-B-00-002
May 2000
       LITTLE KNOWN BUT
       ALLOWABLE WAYS TO
       DEAL WITH
       HAZARDOUS WASTE

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        Little Known
   But Allowable Ways to
Deal with Hazardous Waste
 U.S. Environmental Protection Agency
      Small Business Division
         Washington, DC

           May 2000

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                         NOTICE
This document has been prepared to assist those responsible for administer-
ing or improving hazardous waste management programs at small businesses.
The document provides information related to allowable ways to manage
hazardous waste on site.  It does not prescribe in detail all required factors
and considerations for hazardous waste or other environmental manage-
ment programs.

The U.S. Environmental Protection Agency (EPA) does not make any guar-
antee or assume any liability with respect to the use of any information or
recommendations contained in this document.  It is recommended that us-
ers of this document requiring additional information or advice consult a
qualified professional.


             ACKNOWLEDGEMENTS

This document was prepared under the direction of the U.S. Environmental
Protection Agency's (EPA) Small Business Division.  There were numer-
ous reviewers from government and private organizations.  Additionally,
many state representatives provided important advice and/or reference ma-
terials.


         SUGGESTED IMPROVEMENTS

Although every reasonable effort was made to make this document useful
to small businesses, it is recognized that additional improvements are al-
ways possible. Comments and suggested improvements on this document
are welcome and should be directed to:

              U.S. Environmental Protection Agency
                    Small Business Division
                          MC2131
                       401 M Street, SW
                    Washington, DC 20460

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                     INTRODUCTION

Hazardous waste management and off-site disposal can be challenging and
expensive for small businesses. But not all hazardous waste must be shipped
off site for treatment or disposal. The EPA has identified a number of al-
lowable ways that small businesses can minimize their hazardous waste on
site.  This document provides information on five of these methods. They
are:
•   Domestic Sewage Exclusion;
•   Elementary Neutralization;
•   Recycling;
•   Treatment in Accumulation Containers; and
•   Burning in Small Boilers and Industrial Furnaces

EPA has delegated authority to each state to implement and enforce major
portions of the hazardous waste management program. Some state require-
ments relative to these hazardous waste minimization methods may be more
stringent than the Federal requirement.

This Guide should provide you with the information you need to answer the
question of whether any of these methods will work for you.  The Guide
contains two principal sections.  This introduction provides background
information on the purpose of the Guide, a brief overview of the EPA Haz-
ardous Waste Program as it applies to small businesses, and a summary of
the five EPA allowed hazardous waste minimization methods identified
above.

The second section is a state-by-state review of these allowable ways to
minimize hazardous waste.  The section provides summary information for
each state including their definition of hazardous waste, allowances for each
of the five EPA allowed waste minimization methods, and information on
special state hazardous waste management program considerations.

It should be noted that state requirements do not apply to small businesses
located in Indian Country because states do not have jurisdictions  in these
areas.  In these situations, the appropriate Tribal government, rather than
the state, should be contacted to ensure their regulations are not more strin-
gent than those of the EPA.

If after reviewing the information contained in this Guide, it looks like any
of the five waste minimization methods could be effective at your facility,
you should conduct further research at both the Federal and state  level to
confirm their allowance and understand the specific  operational require-
ments. Information on whom to call and where to get further information at
each state is provided in the State-by-State section of the Guide. Small

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businesses should remember that the waste minimization methods described
in this Guide should only be conducted as part of a comprehensive hazard-
ous waste management program that addresses all regulatory requirements.

Hazardous Waste Program Description
Definition of "Hazardous Waste": EPA defines "hazardous waste" in 40
CFR 261. EPA specifies that wastes can be hazardous because they  appear
on one of the four lists or because they exhibit a particular hazardous char-
acteristic. Listed and characteristic hazardous wastes are identified using
codes consisting of one letter followed by three digits.

Often, for small  businesses, the most relevant listings are those for spent
solvents (a portion of the F-list) and discarded commercial chemical prod-
ucts (known as the P- and U-lists).  Spent solvents on the F-list are desig-
nated by the codes FOO1, F002, F003, F004 and F005 and include common
solvents such as acetone, methanol, methylene chloride, toluene, and xy-
lene.  The P- and U-lists apply to unused, discarded commercial chemical
products with a sole-active ingredient on one of the two lists. Typical P- and
U-listed wastes are expired or unused chemicals or wastes from cleaning up
spills of unused chemicals. P-listed wastes are special in that they are known
as "acutely hazardous wastes." The K-list specifies various industrial pro-
cess wastes.

There are four hazardous waste characteristics: ignitability, corrosivity, re-
activity and toxicity.  Ignitable wastes are generally liquids with a flash
point below 140°F  Nonchlorinated solvent wastes are usually ignitable
and, sometimes, also F-listed.  Corrosive wastes are aqueous solutions with
a pH < 2  or > 12.5. Reactive wastes are those that are unstable, explosive,
water reactive, or can generate toxic cyanide or sulfide fumes. Toxic wastes,
denoted by the codes D004 through D043, contain toxic constituents (e.g.,
herbicides, toxic  organic compounds, heavy metals) that, when subjected to
the toxicity characteristic leaching procedure (TCLP), are likely to leach
hazardous concentrations.

In addition to the four federal hazardous waste lists and four federal hazard-
ous waste characteristics, state regulators sometimes add wastes to their
state definition of hazardous waste. Often these wastes are added in the
form of additional "state lists" and include wastes such as waste oils and
polychlorinated biphenyls.  Although it is less common,  state regulators
sometimes add additional characteristics or modify the federal characteris-
tics to broaden the scope of waste subject to regulation as hazardous waste.

Hazardous Waste Generator Status: EPA sets varying requirements for three
classes of generators: large quantity generators (LQGs), small quantity gen-
erators (SQGs), and conditionally exempt small quantity  generators

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(CESQGs).  Often, states define generator status differently and set more
stringent requirements.  Generators are defined by site; so, your hazardous
waste gets counted along with all other hazardous waste generated at the
site in order to determine generator status.  Sites generating not more than
100 kg of hazardous waste per month are CESQGs and are subject to very
minimal regulation (in most states). Sites that generate >100 kg and <1,000
kg of hazardous waste per month are SQGs. Those sites generating more
are LQGs.  Also, any site that accumulates more than 1 kg of acutely haz-
ardous waste is a LQG.

SQGs and LQGs must  obtain EPA generator identification numbers and
comply with numerous  requirements.  When waste is accumulating at the
point that it was generated is said to be in a "satellite accumulation area"
(S AA) and must be placed in containers that are in good condition, compat-
ible with the waste, and labeled as to the contents. Satellite accumulation is
limited to one quart of acutely hazardous waste (e.g., P-listed waste) or 55
gallons of hazardous waste.  Once the waste is moved from the SAA it is
marked with the date and placed in a designated accumulation area with
equipment to handle emergencies such as a release or fire.  Also, plans for
handling such emergencies must be developed and distributed.  Waste man-
agement personnel must receive RCRA training annually. SQGs can accu-
mulate waste on site for up to 180 days or 270 days if it is to be transported
over 200 miles for disposal; while LQGs can accumulate  waste for up to 90
days.

Regulatory Allowances for On-Site Waste Minimization
EPA mandates that generators attempt to minimize the volume and toxicity
of their waste. EPA prefers that generators eliminate waste generation through
source reduction - source reduction is synonymous with pollution preven-
tion (P2) and includes any activity that reduces or eliminates the generation
of hazardous waste at the source. EPA specifies that when source reduction
is not feasible then, when possible, waste should be recycled or treated to
reduce the volume and toxicity of the waste. From a practical perspective,
there are substantial incentives  for source reduction  and waste minimiza-
tion; for example avoiding the high costs of disposing of hazardous waste
and limiting liability concerns.

Certainly small businesses should look for source reduction opportunities
(e.g., through careful chemical purchasing and inventory control, substitu-
tion of hazardous chemicals  with less hazardous replacements, etc.).  In
addition, generators can sometimes treat their hazardous waste to reduce
the volume  or toxicity of the waste. Typically, small businesses do not have
permits for treatment, storage or disposal of  hazardous wastes since the
RCRA permitting process is very burdensome and costly. However, RCRA
does contain provisions for treating and disposing of hazardous waste on-

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site without a permit.

On-Site Disposal: As for disposal, there is an allowance that provides for
certain wastes to be disposed of down the drain, even if they may be hazard-
ous. In writing its RCRA regulations, EPA wanted to avoid double regula-
tion of wastewaters that are subject to the Clean Water Act.  Specifically,
wastes that are mixed with domestic sewage and discharged to a publicly-
owned treatment works (POTW) are not regulated under RCRA (see 40
CFR 261.4(a)(l)).  This exclusion is commonly called the "domestic sew-
age exclusion" (DSE).  Essentially, a small business tied to a POTW may
discharge waste down the drain as long as it is in compliance with all appli-
cable wastewater standards. Applicable wastewater standards typically in-
clude national pretreament standards (40 CFR 403.5), state limits and dis-
charge limits imposed by the POTW. In some cases,  wastes that meet the
RCRA definition of hazardous may be acceptable for sewer disposal.  Be
aware that hazardous waste stored prior to discharge is regulated and dilu-
tion of waste in order to meet discharge limits is usually unacceptable.

The DSE is limited in its applicability. There are no other means of on-site
disposal of hazardous waste available to hazardous waste generators.

On-Site Treatment: EPA and many states provide several regulatory exclu-
sions that allow generators to treat of hazardous waste without a permit.
Some of these treatment exclusions may be useful in furthering waste re-
duction  efforts. Treating hazardous waste on-site in ways other than pro-
vided for in the regulatory exclusions subjects generators to extremely high
fines (e.g., up to $50,000 per day) and possible criminal penalties (i.e., jail
time). Before treating hazardous waste on site, generators must be abso-
lutely sure that the treatment they are considering is allowed without a RCRA
permit.  In addition, generators must ensure that they have proper proce-
dures, equipment  and skilled employees to conduct treatment safely and
effectively on-site.

EPA's exclusions that allow generators to treat hazardous waste on-site with-
out a permit are described below.

0 Elementary      EPA and most state authorities clearly allow elemen-
   Neutralization   tary neutralization (i.e., pH adjustment) of hazardous
                   wastes. Elementary neutralization units (as defined
                   in 40 CFR 260.10) may be used to neutralize D002
                   (corrosive) wastes without any worry of RCRA per-
                   mitting requirements. Two important points to remem-
                   ber are (1) elementary neutralization only refers to pH
                   adjustment, and (2) neutralized waste should only be
                   discharged down the drain if it  meets all applicable

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                   discharge standards (i.e., local, state and EPA limits).
0 Recycling
0 Treatment in
   Accumulation
   Containers
0 Small Boilers
   and Industrial
   Furnaces
EPA allows generators to recycle hazardous wastes
without a TSDF permit. In its regulations, EPA states
that a material is "recycled" if it is used, reused or
reclaimed (40 CFR 261.1). A material is "used or
reused" if it is either (1) employed as an ingredient to
make a product, or (2) employed in a particular func-
tion as an effective substitute for a commercial prod-
uct.  A material is "reclaimed" if it is processed to
recover a useful product or if it is regenerated.  Al-
though EPA considers recycling a form of treatment,
it does not require recyclers to obtain a treatment per-
mit.  In 40 CFR 261.6(c)(l), EPA states that "the re-
cycling process is exempt from regulation." Genera-
tors may be able to take advantage of this exemption
by distilling solvents, reclaiming precious metals (e.g.,
silver) from solutions, or precipitating metal salts.

Generators may treat hazardous wastes in accumula-
tion containers without obtaining a RCRA treatment
permit provided the containers are managed in com-
pliance with EPA's container management standards
in 40 CFR Part 265, Subpart I.  EPA clearly states this
exemption in its Federal Register notice issued March
24, 1986  (51 FR 10168) as well as in subsequent FR
notices and interpretive memos.  Examples of treat-
ment in accumulation containers include precipitat-
ing heavy metals from solutions, and oxidation/reduc-
tion reactions. Remember, treatment residues may still
require management as a hazardous waste and, resi-
dues destined for land disposal are subject to land dis-
posal restriction (LDR) treatment standards (40 CFR
268).

The "small-quantity on-site burner exemption"  (40
CFR 266.108), which is part of the Boiler and Indus-
trial Furnace (BIF) regulations, allows hazardous waste
generators (small or large quantity) to burn small quan-
tities of hazardous waste in an on-site boiler without a
permit. The quantity of waste that can be burned on-
site is determined by the "terrain-adjusted stack height"
as described in the regulation and the boiler's total
fuel requirement. Some additional restrictions  apply
to the properties of waste that can be burned (i.e.,  Btu

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                   value) and small businesses taking advantage of this
                   allowance are subject to  simple notification and
                   recordkeeping requirements. Before burning hazard-
                   ous waste on site, consult not only with the state regu-
                   lators: both the hazardous waste agency and the air
                   pollution control agency.

A 0 symbol adjacent to a specific regulatory allowance means that it is
available in that state. A HI symbol means it is not available or there are
special provisions.

Special Considerations
In this section, the authors attempt to point out state regulations that are
different and more stringent than EPA's regulations and may  impact small
businesses.

State Contact Information
Contact with state regulators is essential since, in every state except Alaska,
Iowa and Hawaii (as of this writing), EPA has delegated authority to each
state to implement and enforce major portions of the hazardous waste man-
agement programs. Inorderto receive authorization from EPA, states' haz-
ardous waste management regulations must be at least as stringent as EPA's
hazardous waste regulations.  Still, one must keep up with the EPA regula-
tions since EPA regularly publishes new hazardous waste management regu-
lations that are enforceable by EPA until they are included in a given state's
hazardous waste regulations.  The  state authorization process is ongoing
and can be difficult to track.  Generators need to check with their states to
understand what portions of the hazardous waste program are operated and
enforced by state authorities and what portions EPA enforces.
  Relevant state hazardous waste contact information is presented in the
  shaded box. In all cases, this information includes an Internet address
  for the state agency with authority for the hazardous waste program.  In
  addition, state hazardous waste regulations are cited and information
  concerning where the regulations canbe obtained is presented. In most
  cases, state hazardous waste regulations are available on the Internet
  and the specific Website address for the regulations is listed.
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                          Alabama

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal (see 335-14-2).

Hazardous Waste Generator Status: Same as federal (see 335-14-2 and 335-
14-3).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   See 335-14-2-.01(4)(a)(l).
0 Elementary Neutralization     See 335-14-8-.01(l)(c)(2)(v).
0 Recycling                   See 335-14-2-.01(6)(a).
HI Treatment in Accumulation    Not allowed except limited
   Containers                   allowances for evaporation (per
                               verbal interpretation and 335-14-8-
                               .01(c)(2)(viii), respectively).
0 Small Boilers and Industrial    See 335-14-7-.08, similar to 40 CFR
   Furnaces                    266, Subpart H).

Special Considerations
•   ADEM requires that generators follow a "pre-approval process" be-
    fore sending hazardous waste off-site (see 14-3-08).
            AL Department of Environmental Management
                     Hazardous Waste Branch
                       1400 Coliseum Blvd.
                         RO. Box 301463
                     Montgomery, AL 36110
                       Phone: 334/271-7735
                    http://www.adem.state.al.us
  AL's hazardous waste regulations, Division 14, Alabama Administra-
  tive Code, are available for a fee from ADEM's Legal Department,
  334/270-5606, or can be accessed for free on the Internet at http://
  www.adem.state.al.us.rdivl4.html..
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                           Alaska

Alaska has not received authorization from US EPA to operate its hazard-
ous waste program in lieu of the federal program. EPA's hazardous waste
program is enforced by EPA's Region X office which is located in Seattle,
WA. To contact EPA's Region X office, call 800/424-4372 from within
Alaska only, or 206/553-1200.

Hazardous Waste Program Description
Definition of "Hazardous Waste":  Alaska adds to the federal RCRA haz-
ardous waste definition wastes with acute aquatic toxicity (96-hour LC50)
of less than 500 mg/1 (18 AAC 62.020).

Hazardous Waste Generator Status: Same as federal.

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    Incorporates 40 CFR 261 by reference
                               (see 18 AAC 62.020).
0 Elementary Neutralization     Incorporates 40 CFR 270 by reference
                               (see 18 AAC 62.710).
0 Recycling                   Incorporates 40 CFR 261 by reference
                               (see 18 AAC 62.020).
0 Treatment in Accumulation     Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    Incorporates 40 CFR 266 by reference
   Furnaces                    (see 18 AAC 62.511).

Special Considerations
•   Generators must send a copy of each hazardous waste manifest to
    ADEC, which is postmarked before the waste is sent off site (18 AAC
    62.230).
            AK Department of Environmental Conservation
                   Compliance Assistance Office
                     Hazardous Waste Section
                        555 Cordova Street
                      Anchorage, AK 99501
           Phone: 907/269-7591 or 800/510-2332 (AKonly)
    http://www.state.ak.us/local/akpages/ENVCONSERV/home.htm
  AK's hazardous waste regulations, Chapter 62 of the Alaska Adminis-
  trative Code, Title 18, are available for free by calling ADEC or they
  can be accessed for free on the Internet at http://www.state.ak.us/local/
  akpages/ENV CONSERV/title 18/title 18 .htm.
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                          Arizona

Hazardous Waste Program Description
Definition of'Hazardous Waste": Same as federal. ADEQ incorporates 40
CFR 261 by reference (R18-8-261).

Hazardous Waste Generator Status: Same as federal. ADEQ has placed
additional requirements upon CESQGs (R18-8-261.H.)

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    Incorporates 40 CFR 261 by reference
                               (R18-8-261).
0 Elementary Neutralization     Incorporates 40 CFR 270 by reference
                               (R18-8-270).
0 Recycling                   Incorporates 40 CFR 261 by reference
                               (R18-8-261).
0 Treatment in Accumulation     Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    Incorporates 40 CFR 266 by reference
   Furnaces                    (see R18-8-266).

Special Considerations
•   Hazardous waste must register annually with ADEQ and submit a reg-
    istration fee (R18-8-260M). Upon request of ADEQ, CESQGs may
    be required to submit reports.
              AZ Department of Environmental Quality
          Hazardous Waste Inspections and Compliance Unit
                       3033 N. Central Ave.
                       Pheonix, AZ 85012
                       Phone: 602/207-4108
         http://www.adeq.state.az.us/waste/hazwaste/index.htm
  AZ's hazardous waste regulations, Chapter 8 of Title 18 of the Arizona
  Administrative Code, are available for a fee from AZ Secretary of the
  State, 602/542-4086, or an "unofficial" copy can be accessed for free
  on the Internet at http://www.sosaz.com/public_services/Title_18/18-
  08.pdf.
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                         Arkansas

Hazardous Waste Program Description
Definition of'Hazardous Waste": Same as federal, except Arkansas regu-
lates PCBs as hazardous wastes.

Hazardous Waste Generator Status: Same as federal.

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   Incorporates 40 CFR 261 (see Reg. 23
                               § 261).
0 Elementary Neutralization     Incorporates 40 CFR 270 (see Reg. 23
                               § 270).
0 Recycling                   Incorporates 40 CFR 261(see Reg. 23
                               § 261).
IS Treatment in Accumulation    Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    Incorporates 40 CFR 266 (see Reg. 23
   Furnaces                    § 266).

Special Considerations
•   Generators must submit annual rather than biennial reports (Reg. 23 §
    262.41) and Arkansas subjects SQGs (100 and 1000 kg per month) to
    annual reporting requirements. Arkansas does exempt generators from
    manifesting requirements when tolling arrangements have been made
    (Reg. 23 § 262.13(g)). Reg. 23 § 262.24 contains additional require-
    ments for generators regarding sending a return copy of each manifest
    to ADEQ and submitting manifest weight discrepancies.
              AR Department of Environmental Quality
                     Hazardous Waste Division
                       8001 National Drive
                    Little Rock, AR 72219-8913
                      Phone: (501) 682-0833
            http://www.adeq.state.ar.us/hazwaste/main.htm
  AR's hazardous waste regulations are  in ADEQ's Regulation No. 23.
  The regulations are largely a reprint of 40 CFR; language added by
  ADEQ is in italics. Regulation No. 23 is available for $ 15 from ADEQ's
  Public Affairs Office, 501/682-0916, or can be accessed for free on the
  Internet at http://www.adeq.state.ar.us/regs/reg23 .htm.
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                         California

Hazardous Waste Program Description
Definition of "Hazardous Waste": Similar to federal but adds extremely
hazardous waste, special waste and non-RCRA hazardous waste (66261.110,
66260.120, and 662661.101, respectively).

Hazardous Waste Generator Status: CA recognizes LQGs, SQGs and
CESQGs. SQG requirements pertain to generators of less than 1,000 kg/
month of hazardous waste (22 CCR 66262). Provisions for CESQGs are
specified in the HSC (Section 25218).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    Recognizes 261.4 ow^for wastes that
                               do not exhibit a characteristic
                               (66261.4(b)(2)).
0 Elementary Neutralization      See HSC 25200.3 and permit-by-rule
                               requirements (67450.11).
0 Recycling                   See 66261.6 and HSC 25143.2(c).
0 Treatment in Accumulation     See 22 CCR 66450.11 and HSC
   Containers                   25123.5, 25200.3 and 25201.5. Sub-
                               ject to limitations.
0 Small Boilers and Industrial    See 66266.108. Local air pollution
   Furnaces                    control district regulations may apply.

Special Considerations
•   Hazardous waste in satellite accumulation is subject to a one-year ac-
    cumulation time limit (66262.43(e)(l)).
•   Authorized household hazardous waste collection facilities may ac-
    cept CESQG waste (HSC 25218.3).
•   Special provisions for biotech firms, including an allowance  for on-
    site  treatment, are included in the Medical Waste Management Act.
         CA Department of Toxic Substance Control (DTSC)
               Hazardous Waste Management Program
                          P.O. Box 806
                   Sacramento, CA  95812-0806
          Phone: 916/324-1781 or 800/61-TOXIC (CA only)
                      http://www.dtsc.ca.gov/
  CA hazardous waste regulations are in Title 22 of the California Code
  of Regulations (22 CCR).  Certain hazardous waste requirements are
  only cited in the Health and Safety Code (HSC). 22 CCR and HSC are
  available from the DTSC Website. Hardcopies of the CCR and HSC
  are available for a fee from Barclays Law Publishers, 800/888-3600.
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                         Colorado

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal with addition of certain
chemical weapons agents to the P-list (see 1007-3 Part 261).

Hazardous Waste Generator Status: Same as federal (see 1007-3 Part 262).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    See 1007-3, Part 261.4(a)(l).
0 Elementary Neutralization      See 1007-3, Part 100.10(a)(6).
0 Recycling                    See 1007-3, Part 261.6(c)(l).
0 Treatment in Accumulation     Allowed with conditions, see 1007-3,
   Containers                    Part 100.10(a)(l), also CDPHE's
                                "Treatment of Hazardous Waste by
                                Generators Guidance Document."
IS Small Boilers and Industrial     CO has not yet adopted 40 CFR 266,
   Furnaces                     Subpart H so EPA's BIF rule is in
                                effect. CO has special requirements
                                for "Solid Waste-to-Energy
                                Incineration Facilities," which may
                                apply.

Special Considerations
•   Satellite accumulation provisions are more stringent for LQGs;  see
    1007-3 Part 262.34(c). Satellite accumulation provisions for SQGs are
    spelled out in 1007-3 Part 262.34(g).
         CO Department of Public Health and the Environment
         Hazardous Materials and Waste Management Division
                  4300 Cherry Creek Drive South
                        Denver, CO  80246
           Phone: 303/692-3322 or 888/569-1831 (CO only)
               http://www.cdphe.state.co.us/environ.asp
  CO's Hazardous Materials & Waste Management Division (HMWMD)
  regulations are in Title 6 of the CO Code of Regulations (CCR) Section
  1007-3, Parts 100 and 260 to 270.  The regulations are available for
  $40 from the Hazardous Waste Commission, 303/692-3467, or can be
  accessed for free on the Internet at http://www.cdphe.state.co.us/
  regulate.asp.
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                       Connecticut

Hazardous Waste Program Description
Definition of "Hazardous Waste": Incorporates 40 CFR 261 by reference
with a few changes (see 22a-449(c)-101). Under a separate program, CT
regulates certain non-RCRA wastes or "CT-regulated" wastes such as oil,
antifreeze, PCBs (>50 ppm), and asbestos.

Hazardous Waste Generator Status: CT largely incorporates EPA's genera-
tor requirements by reference; however, CT imposes more restrictive re-
quirements upon SQGs and CESQGs (see 22a-449(c)-102 and 101(b)). For
example, SQGs can accumulate only 1000 kg of hazardous waste on site at
any time.

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    Incorporates 40 CFR 261 by reference
                               (see22a-449(c)-101(a)).
0 Elementary Neutralization     Incorporates 40 CFR 270 by reference
                               (see22a-449(c)-110).
HI Recycling                    Subject to registration and reporting
                               requirements and other requirements
                               imposed on a case-by case basis (see
                               22a-449(c)-101(c)).
0 Treatment in Accumulation     Allowed (see CT DEP memo dated 107
   Containers                   3/91).
0 Small Boilers and Industrial    Incorporates 40 CFR 266.108 by ref-
   Furnaces                    erence (see 22a-449(c)-106(a)).

Special Considerations
•   Hazardous waste containers at satellite accumulation areas must be
    marked with the words  "Hazardous Waste"  (see  22a-449(c)-
    102(a)(2)(E)).
             CT Department of Environmental Protection
                   Bureau of Waste Management
                            79 Elm St.
                          Hartford, CT
                       Phone: 888/424-4193
                       http://dep.state.ct.us/
  For a free copy of the CT Hazardous Waste Management Regulations
  (22a-449(c)-100 through 110 and 22a-449(c)-ll), call the Compliance
  Assistance Program  at 888/424-4193.  Relevant sections of the CT
  General Statutes can be  accessed for free on the Internet at http://
  www.cslib.org/statutes/title22a/t22a-p9.htnrfll.
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                         Delaware

Hazardous Waste Program Description
Definition of 'Hazardous Waste": Same as federal.

Hazardous Waste Generator Status: Same as federal.

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    DE regulations mirror 40 CFR
0 Elementary Neutralization     Allo wed under DE regulations (264.1
                               (g)and265.1(c)).
IS Recycling                   Notallowed(261.6(c)(l)isdifferentin
                               DE regulations).
0 Treatment in Accumulation     Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    DE regulations mirror 266. 108.
   Furnaces

Special Considerations
•   For CESQGs, hazardous waste disposal regulations are more stringent
    then federal regulations.
    DE Department of Natural Resources and Environmental Control
                Air and Waste Management Division
                 Solid and Hazardous Waste Branch
                         89 Kings Hwy.
                        Dover, DE 19901
                          302/739-3689
                   http://www.dnrec.state.de.us/
  The "DE Regulations Governing Hazardous Waste" closely resemble
  EPA's RCRA regulations and are available from the Hazardous Waste
  Branch for $45. The regulations are not presently available through the
  Internet.
                               18

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                 District of Columbia

Hazardous Waste Program Description
Definition of "Hazardous Waste": Similar to federal (20 DCMR 41).

Hazardous Waste Generator Status: DC refers to generators of <100 kg/
month as SQGs. DC SQGs are subject to requirements more stringent than
federal CESQG requirements. All otherDC generators are consideredLQGs.

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   See DCMR 4100.15.
0 Elementary Neutralization     See DCMR 4600.8(d).
0 Recycling                   See DCMR 4100.33.
0 Treatment in Accumulation     See DCMR 4600.8(a).
   Containers
IS Small Boilers and Industrial    DC has not yet adopted 40 CFR 266,
   Furnaces                    Subpart H, so EPA's BIF rule is in ef-
                               fect. However, DC air regulations
                               mandate permitting for hazardous
                               waste combustion.

Special Considerations
•   DC has no provisions for satellite accumulation areas.
•   DC SQGs are subject to an accumulation quantity limit of 600 kg of
    hazardous waste and an accumulation time limit of 180 days (DCMR
    4100.24).
                     DC Department of Health
                Environmental Health Administration
                     Hazardous Waste Division
                           51 N St., ME
                      Washington, DC 20002
                       Phone: 202/535-2288
              http://www.ci.washington.dc.us/index.html
  DC hazardous waste management regulations are in Title 20 of the Dis-
  trict of Columbia Municipal Regulations (20 DCMR), Chapters 40
  through 54. Regulations canbe purchased from the DC Office of Docu-
  ments: 20 DCMR Chapters 40 to 70 is a  single volume and sells for
  $20.  Orders must be prepaid.  The regulations are not presently avail-
  able through the Internet.
                               19

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                           Florida

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal.  Incorporates 40 CFR
261 by reference (see FAC 62-730.030).

Hazardous Waste Generator Status: Same as federal. Incorporates 40 CFR
262 by reference (see FAC 62-730-160).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    Adopts 40 CFR 261 by reference (see
                               FAC 62-730.030).
0 Elementary Neutralization     Adopts 40 CFR 270. l(c) by reference
                               (see FAC 62-730.220).
0 Recycling                   Adopts 40 CFR 261 by reference (see
                               FAC 62-730.030).
0 Treatment in Accumulation    Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    Adopts 40 CFR 266 by reference (see
   Furnaces                    FAC 62-730.181).

Special Considerations
•   Florida does not adopt 40 CFR 262.34(e), which allows generators to
    accumulate hazardous waste on-site for up to 270 days if they must
    transport their waste more than 200 miles to an off-site TSDF. There-
    fore, SQGs must not accumulate hazardous waste on site for more than
    180 days.
          FL Department of Environmental Protection (DEP)
                   Division of Waste Management
                       2600 Blair Stone Rd.
                      Twin Towers, MS-4555
                    Tallahassee, FL 32399-2400
                       Phone: 850/488-0300
           http://www.dep.state.fl.us/dwnVbureaus/bshw.htm
  PL's Hazardous Waste Management Regulations are in the Florida Ad-
  ministrative Code (FAC), Rule 62-730, and are available for free from
  the Hazardous Waste Regulation Section, 850/921-9258, or can be ac-
  cessed for free on the Internet at http://www.dep.state.fl.us/dwm/rules/
  numeric.htm.
                               20

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                          Georgia

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal.  Incorporates 40 CFR
261 by reference (see 391-3-11-.07).

Hazardous Waste Generator Status: Same as federal. Incorporates 40 CFR
262 by reference (see 391-3-11-.08).
Regulatory Allowances for On-
0 Domestic Sewage Exclusion

0 Elementary Neutralization

0 Recycling

0 Treatment in Accumulation
   Containers
0 Small Boilers and Industrial
   Furnaces

Special Considerations
None.
Site Waste Minimization
  Incorporates 40 CFR 261 by refer-
  ence (see 391-3-11-.07).
  Incorporates 40 CFR 270. l(c) by
  reference (see 391-3-ll-.ll(l)(a)).
  Incorporates 40 CFR 261 by refer-
  ence (see 391-3-11-.07).
  Follows EPA interpretation.

  Incorporates 40 CFR 266 by refer-
  ence (see 391-3-ll-.10(3)).
                GA Department of Natural Resources
              Environmental Protection Division (EPD)
               Hazardous Waste Management Branch
                         205 Butler St., SE
                      Suite 1154, East Tower
                        Atlanta, GA 30334
                       Phone: 404/656-7802
                  http ://www. ganet.org/dnr/environ/
  For a free copy of GAs Hazardous Waste Management Regulations
  (Chapter 391-3-11), call the Hazardous Waste Management Branch.
  For an unofficial copy, go to EPD's Website and click on "EPD Rules."
                               21

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                           Hawaii

Although Hawaii has not received authorization from US EPA to operate
its hazardous waste program in lieu of the federal program, it is expected
to receive authorization in early 2000.  Until then, EPA's hazardous
waste program is enforced by EPA's Region IX office in San Francisco,
CA (415/744-2074).  The information below is based on Hawaii's
regulations and interpretations.

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal with additional provi-
sions with respect to  geothermal wastes (seeHAR 11-261).

Hazardous Waste Generator Status: Same as federal (see HAR 11-261.5
and 11-262.34).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    SeeHAR 11-261.4.
0 Elementary Neutralization      SeeHAR 11-270.l(c)(2)(v).
0 Recycling                    SeeHAR ll-261.6(c)(l).
0 Treatment in Accumulation    Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial     See HAR 11 -266.180.
   Furnaces

Special Considerations
None.
                  HI Department of Health (DEH)
                Environmental Management Division
                 Solid and Hazardous Waste Branch
                     Hazardous Waste Section
                  919 Ala Moana Blvd., Room 212
                       Honolulu, HI 96814
                       Phone: 808/586-4226
              http: //www. hawaii. gov/health/eh/index. html
  If you prepay postage, the Hazardous Waste Section will send you a
  copy of the "Hawaii Hazardous Waste Rules and Regulations," Chapter
  11, Hawaii Administrative Code (HAR).  Only the 1999 amendments
  to the hazardous waste regulations can be accessed for free on the Internet
  at http://www.hawaii.gov/health/eh/shwb/hw/index.html. A full version
  of the regulations is not available on the Internet.
                               22

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                            Idaho

Hazardous Waste Program Description
Definition of'Hazardous Waste": Same as federal.

Hazardous Waste Generator Status: Same as federal.

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   IDAPA 16.01.05.005 adopts 40 CFR
                               261 by reference.
0 Elementary Neutralization     IDAPA 16.01.05.012 adopts 40 CFR
                               270 by reference.
0 Recycling                   IDAPA 16.01.05.005 adopts 40 CFR
                               261 by reference.
0 Treatment in Accumulation    Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    IDAPA 16.01.05.010 adopts 40 CFR
   Furnaces                    266 by reference.

Special Considerations
•   In the event of a fire, explosion or other release that may threaten hu-
    man health or outside the facility or may reach surface water, genera-
    tors must not only notify the National Response Center (NRC; per
    262.34(d)(5)(iv)(C)), but also the Idaho Communications Center (see
    16.01.05.006).
                 ID Division of Environmental Quality
                      Hazardous Waste Branch
                         1410 N.Hilton St.
                         Boise, ID 83706
                        Phone: 208/373-0502
               http://www.state.id.us/deq/haz/wastel.htm
  The "Rules and Standards for Hazardous Waste" can be obtained from
  the Hazardous Waste Branch for $5 or can be accessed for free on the
  Internet at http://www.state.id.us/adm/adminrules/rules/idapal6/
  16index.htm.
                               23

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                            Illinois

Hazardous Waste Program Description
Definition of "Hazardous Waste":  Same as federal (35 111. Adm. Code 721).

Hazardous Waste Generator Status: Same as federal (35 111. Adm. Code
72 land 722).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   See 35 111. Adm. Code 721.104.
0 Elementary Neutralization     See 35 111. Adm. Code 703.123.
0 Recycling                   See 35 111. Adm. Code 721.106.
0 Treatment in Accumulation    Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    See 35 111. Adm. Code 726.208.
   Furnaces

Special Considerations
None.
            IL Environmental Protection Agency (IL EPA)
                          Bureau of Land
                    1021 North Grand Ave. East
                           P.O. 19276
                    Springfield, IL 62794-9276
                       Phone: 217/524-5024
                     http://www.epa.state.il.us/
  IL's hazardous waste regulations are in Title 35 of the Illinois Adminis-
  trative Code.  For a free copy, call the IL EPA Bureau of Land, 217/
  524-3300, or they can be  accessed for free on the Internet at http://
  www.ipcb.state.il.us/title3 5/3 5conten.htm#g.
                               24

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                           Indiana

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal with the addition of cer-
tain chemical munitions wastes (329IAC 3.1-6-1 through 3).

Hazardous Waste Generator Status: Same as federal (329 IAC 3.1-7-1  in-
corporates 40 CFR 262 by reference).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   Incorporates 40 CFR 261 by refer-
                               ence (329 IAC 3.1-6-1).
0 Elementary Neutralization     Incorporates 40 CFR 270 by refer-
                               ence (329 IAC 3.1-13-1).
0 Recycling                    Incorporates 40 CFR 261 by refer-
                               ence (329 IAC 3.1-6-1).
0 Treatment in Accumulation    Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    Incorporates 40 CFR 266 by refer-
   Furnaces                    ence (329 IAC 3.1-11-1).

Special Considerations
•   LQGs must pay an annual $100 fee to IDEM (329 IAC 3.1-1-14).
•   Generators that ship hazardous waste off-site to a TSDF are subject to
    biennial reporting requirements (329 IAC 3.1-7-14).
•   All spills or releases of hazardous waste must be reported immediately
    to IDEM's Office of Environmental Response (329 IAC 3.1-8-3).
•   IDEM regulates PCB wastes under separate regulatory program (PCB
    Management; 329 I AC 4).
        IN Department of Environmental Management (IDEM)
                      Office of Land Quality
                        100 N. Senate Ave.
                          P.O. Box 6015
                   Indianapolis, IN 46206-6015
                       Phone:  317/308-3103
                http://www.state.in.us/idem/index.html
  DSPs hazardous waste regulations are in Article 3.1 within Title 329 of
  the Indiana Administrative Code (329 IAC 3.1). The regulations can
  be purchased from the IN Legislative Services Agency, 317/232-9557,
  orthey can be accessed for free onthe Internet at http://www.state.in. us/
  idem/olq/regulations_and_laws/swrules.html.
                               25

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                             Iowa

low a has not received authorization from US EPA to operate its hazardous
waste program in lieu of the federal program. EPA's hazardous waste pro-
gram is enforced by EPA's Region VII office which is located in Kansas
City, KS.  To contact EPA's Region VII office regarding Iowa hazardous
waste issues, call 913/551-7633.

Hazardous Waste Program Description
Definition of "Hazardous Waste":  Follows federal program (see 40 CFR
261).

Hazardous Waste Generator Status: Follows federal program (see 40 CFR
261.5 and  262).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   See 40 CFR 261.4.
0 Elementary Neutralization     See 40 CFR 270.1.
0 Recycling                   See 40 CFR 261.6.
0 Treatment in Accumulation    Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    See 40 CFR 266.180.
   Furnaces

Special Considerations
None.
                IA Department of Natural Resources
                        Solid Waste Section
                Henry Wallace State Office Building
                           502 E. 9th St.
                   Des Moines, IA  50319-0034
                       Phone: 515/281-4968
     http://www.state.ia.us/government/dnr/organiza/epd/index.htm
  Iowa has not promulgated hazardous waste regulations.
                               26

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                           Kansas

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal (incorporates 40 CFR
261 by reference in 28-31-3).

Hazardous Waste Generator Status: Kansas defines three types of genera-
tors: EPA Generators (generate > 1000 kg/month), Kansas Generators (>
25 kg/month and <  1000 kg/month) and SQGs (< 25 kg/month).  See note
below; but, for exact definitions, see 28-3 l-2(c-e).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    Incorporates 40 CFR 261 by refer-
                                ence (28-31-3).
0 Elementary Neutralization      Incorporates 40 CFR 270 by refer-
                                ence (28-31-1).
0 Recycling                    Incorporates 40 CFR 261 by refer-
                                ence (28-31-3).
0 Treatment in Accumulation     Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial     Incorporates 40 CFR 266, Subpart H,
   Furnaces                     by reference (28-3 l-8b).

Special Considerations
•   In Kansas, generators of 25 kg to  <1000 kg of hazardous waste  per
    month are subject to regulations that are very similar to EPA's SQG
    regulations. Generators of < 25 kg of hazardous waste per month are
    subject to regulations like the EPA's CESQG regulations.
•   Kansas's satellite accumulation area requirements mandate that waste
    be marked "Hazardous Waste."
            Kansas Department of Health and Environment
                   Bureau of Waste Management
                     Forbes Field, Building 740
                    Topeka, Kansas 66620-0001
                (785) 296-1600, FAX (785) 296-1592
                  http://www.kdhe.state.ks.us/waste/
  KS's Hazardous Waste Management Standards and Regulations are in
  Title 28 of the KS Administrative Regulations (KAR), Article 31 (cited
  as 28-13). For a free copy, call KDHE, or an unofficial copy can be
  accessed for free on the Internet at http://www.kdhe.state.
  ks.us/pdf/regs/28-31 .pdf.
                               27

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                         Kentucky

Hazardous Waste Program Description
Definition of "Hazardous Waste" : Same as federal with the addition of cer-
tain chemical nerve and blister agents (401 KAR 31).

Hazardous Waste Generator Status: Same as federal (401 KAR 3 1 and 32).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   See 40 1 KAR 31:010, Section
0 Elementary Neutralization      See 401 KAR 38:010, Section
                                l(2)(b)(5): provides for permit by
                                rule if pretreatment standards are
                                met.
0 Recycling                    See 40 1 KAR 31:010, Section
                                6(3)(a).
0 Treatment in Accumulation     See 40 1 KAR 32:030, Section 6:
   Containers                    allows on-site treatment by genera-
                                tors if certain conditions (e.g.,
                                notification to the Department) are
                                met.
0 Small Boilers and Industrial     See 401 KAR 36:020, Section 6.
   Furnaces

Special Considerations
•   LQGs and SQGs who treat hazardous waste on site, must pay a $300
    annual fee to the Department (401 KAR 39: 110).
        KY Department for Environmental Protection (KY DEP)
                   Division of Waste Management
                          14 Reilly Road
                       Frankfort, KY 40601
                       Phone: 502/564-6716
        http://www.nr.state.ky.us/nrepc/dep/waste/dwmhome.htm
  KY's hazardous waste regulations are in Chapters 31 to 39 within Title
  401 of the Kentucky Administrative Regulations (401 KAR 31-39).
  The regulations can be purchased from KY DEP or the KY Legislative
  Research Commission, 502/564-8100, x312, or can be accessed forfree
  on the Internet at http://www.nr.state.ky.us/nrepc/dep/waste/regs/
  regeffect.htm#HW.
                               28

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                         Louisiana

Hazardous Waste Program Description
Definition of "Hazardous Waste": Similar to federal (see LAC 33 :V. Chap-
ter 49).

Hazardous Waste Generator Status: LA's SQG generates less than an aver-
age of 100 kg hazardous waste per month and accumulates no more than
1000 kg on site (see LAC 33: V. Chapter 39). All other generators are sub-
ject to LQG requirements (see LAC 33:V Chapter 11).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   See LAC 33 :V. 105D. l(a).
0 Elementary Neutralization     See LAC 33: V305C.6.
HI Recycling                   DEQ performs case-by-case review
                               to determine if LAC 33:V Chapter 41
                               applies (see LAC 33:V105L).
0 Treatment in Accumulation    Follows EPA interpretation and LAC
   Containers                   33 :V 2245E.
0 Small Boilers and Industrial    See LAC 33:V.3017.
   Furnaces

Special Considerations
•   LA has no provisions for CESQGs.
•   SQG regulations have no provisions for satellite accumulation; how-
    ever, accumulation requirements are minimal (see LAC 33: V. Chapter
    39).
•   Generators are subject to initial registration and annual fees (see LAC
    33:V. Chapter 51).
           LA Department of Environmental Quality (DEQ)
                  Office of Environmental Services
                       7290 Bluebonnet Dr.
                     Baton Rouge, LA  70810
                       Phone: 225/765-0219
                     http ://www.deq. state .la.us/
  LA's hazardous waste regulations are in Part V of Title 3 3 of the Loui-
  siana Administrative Code (LAC 33 :V).  The regulations can be pur-
  chased from DEQ's Legal Division, 225/765-0236, or can be accessed
  forfree on the Internet at http://www.deq.state.la.us/planning/regs/title33/
  index.htm.
                               29

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                            Maine

Hazardous Waste Program Description
Definition of "Hazardous Waste": Similar to federal but adds PCB wastes
(see Chapter 850).

Hazardous Waste Generator Status: ME has provisions for SQGs (generate
< 100 kg/month and accumulate no more than 600 kg hazardous waste and
1 kg acutely hazardous waste) in Ch. 850 Section 3A(5).  Generator re-
quirements are more stringent than federal; see Chapters 850 and 851.

Regulatory Allowances for On-Site Waste Minimization
HI Domestic Sewage Exclusion    Applies only to "non-segregable
                                wastes" (Ch. 850, Sect. 3A4).
0 Elementary Neutralization      Subject to conditions (Ch. 856, Sect.
                                61 and 11 A). Sect. 6G allows
                                laboratories  to neutralize corrosive
                                wastes (only D002) in quantities less
                                than 0.5 liter in the laboratory
                                without a permit.
IS Recycling                    See Ch 850, Section 3A(6). Abbrevi-
                                ated permit requirements apply (Ch.
                                856, Sect. 11A4).
HI Treatment in Accumulation     Abbreviated permit requirements
   Containers                    apply to treatment in accumulation
                                tanks (Ch 856, Sect. 11 All).
HI Small Boilers and Industrial     Abbreviated permit requirements
   Furnaces                     apply to some thermal treatment (Ch.
                                856, Sect. 11A6).

Special Considerations
•   Satellite accumulation provisions are more  stringent than federal and
    include a requirement for daily inspection (Ch. 851, Sect. 8C).
          ME Department of Environmental Protection (DEP)
            Bureau of Remediation and Waste Management
                      State House, Station #17
                     Augusta, ME 04333-0017
                       Phone: 207/287-2651
                http://janus.state.me.us/dep/home.htm
  ME's "Hazardous Waste Management Rules" (Chapters 850 to 857)
  are available for free from ME DEP or an unofficial copy can be ac-
  cessed for free on the Internet at http://janus.state.me.us/dep/rules.htm.
                                30

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                         Maryland

Hazardous Waste Program Description
Definition of "Hazardous Waste": Similar to federal but MDE adds PCB
wastes and certain chemical warfare agents (see 26.13.02).

Hazardous Waste Generator Status: MDE regulates "SQGs" (requirements
are similar to federal requirements for CESQGs; 26.13.02.05). All other
generators are subject to full regulation except that if < 500 kg of hazardous
waste and < 1 kg acute hazardous waste is accumulated on site, then the
waste may be accumulated for up to 180 days (see 26.13.03.05E).

Regulatory Allowances for On-Site Waste Minimization
IS Domestic Sewage Exclusion   Domestic sewage mixed with other
                               waste that passes through a sewer
                               system to a POTW is not exempt
                               from regulation as solid waste
                               (26.13.02.04 A(l)).
0 Elementary Neutralization      See 26.13.07.01A and
                               26.13.05.01A(3)(g).
0 Recycling                   See 26.13.02.06.
HI Treatment in Accumulation    MD statute prohibits treatment
   Containers                   without a permit (Environment
                               Article, Annotated Code of MD,
                               Section 7-232, "Permit Required").
0 Small Boilers and Industrial    MD has not yet adopted 40 CFR 266,
   Furnaces                    Subpart H, so EPA's BIF rule is in
                               effect. However, MD generators
                               burning hazardous waste are subject
                               to 26.13.10.02.

Special Considerations
•   Generators must maintain inspection logs (26.13.03.05E91(k)).
            MD Department of the Environmental (MDE)
     Waste Management Administration, Hazardous Waste Program
                      2500 Broening Highway
                      Baltimore, MD 21224
                       Phone: 410/631-3345
                    http://www.mde.state.md.us/
  MD's hazardous waste regulations are in Title 26 of the Code of Mary-
  land Regulations (COMAR), Subtitle 13.  The regulations can be pur-
  chased from MDE for $20, prepaid. The regulations are not presently
  available through the Internet.
                               31

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                     Massachusetts

Hazardous Waste Program Description
Definition of "Hazardous Waste": Waste determination varies from federal
but hazardous waste lists and characteristics are similar to federal (see 310
CMR 30.120 and 30.131-136).

Hazardous Waste Generator Status: MA recognizes LQGs (> 1,000 kg haz-
ardous waste per month or more than 1 kg acutely hazardous waste), SQGs
(100 to 1000 kg hazardous waste per month and < 1 kg acutely hazardous
waste) and very small quantity generators (VSQGs: < 100 kg hazardous
waste per month and no acutely hazardous waste).

Regulatory Allowances for On-Site Waste Minimization
HI Domestic Sewage Exclusion   More restrictive than federal exclusion
                               (310 CMR 30.104).
HI Elementary Neutralization     Subj ect to licensing requirements (310
                               CMR 30.800).
HI Recycling                   Subj ect to permitting requirements
                               (310 CMR 30.200).
HI Treatment in Accumulation    Prohibited by state statute.
   Containers
HI Small Boilers and Industrial    Has not adopted 40 CFR 266 or simi-
   Furnaces                    lar regulations.

Special Considerations
•   Satellite accumulation provisions are more stringent than federal (310
    CMR 30.354).
•   SQGs are limited to accumulating < 2000-kg hazardous waste on-site
    in containers.
•   MA does not allow SQGs to accumulate waste on-site for 270 days.
•   Generators are  subject to annual fees (310 CMR 4.03).
          MA Department of Environmental Protection (DEP)
        Bureau of Waste Prevention, Business Compliance Unit
                     Hazardous Waste Program
                       1 Winter St., 8th Floor
                        Boston, MA 02108
                       Phone: 617/292-5898
                     http://www.state.ma.us/dep/
  MA's hazardous waste regulations are in Title 310 of the Code of Mas-
  sachusetts Regulations (CMR). The regulations can be purchased from
  the State Bookstore, 617/727-2834.  The regulations are expected to be
  available on the Internet in early 2000.
                               32

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                          Michigan

Hazardous Waste Program Description
Definition of "Hazardous Waste": Similar to federal but adds Michigan-
specific wastes — primarily dioxins (see 299.9219).

Hazardous Waste Generator Status: Similar to federal requirements (see
299.9301 for SQGs and LQGs and 299.9205 for CESQGs).
Regulatory Allowances for On-
0 Domestic Sewage Exclusion
0 Elementary Neutralization
0 Recycling
0 Treatment in Accumulation
   Containers
0 Small Boilers and Industrial
   Furnaces

Special Considerations
None.
Site Waste Minimization
  See 299.9204(l)(a).
  See 299.9503(l)(e).
  See 299.9206(l)(b).
  Subject to certain conditions; see
  299.9503(l)(i).
  Adopts 40 CFR 266, Subpart H by
  reference (see 299.11003(l)(q)).
           MI Department of Environmental Quality (DEQ)
                    Waste Management Division
                     608 W. Allegan, 1st Floor
                         P.O. Box 30241
                        Lansing, MI 48909
                       Phone: 800/662-9278
                     http://www.deq.state.mi.us
  Mi's hazardous waste regulations are in the Michigan Administrative
  Code, Rule 299.9101 through 299.11107. A single free copy of the
  regulations can be obtained from the Waste Management Division. An
  unofficial copy of the regulations can be accessed for free on the Internet
  at http://www.state.mi.us/execoff/admincode/depart/deq.htm.
                               33

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                         Minnesota

Hazardous Waste Program Description
Definition of "Hazardous Waste": Similar to federal but adds two charac-
teristics: oxidizers and lethality (7045.0131); and certain listed wastes (e.g.,
PCBs; 7045.0135).
Hazardous Waste Generator Status: MN recognizes LQGs (> 1,000 kg haz-
ardous waste per month or > 1 kg acutely hazardous waste), SQGs (100 to
1000 kg hazardous waste per month and < 1 kg acutely hazardous waste)
and very small quantity generators (VSQGs).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion  See 7045.0120, Subp. l.B. and
                              7045.0208 Subp. I.E.
0 Elementary Neutralization    Permit-by-rule; see 7001.0520 Subp. 3.C.
0 Recycling                  Exemption applies to hazardous waste
                              used as "feedstock;" see 7045.0125,
                              Subp. 5.A.
0 Treatment in Accumulation   See 7045.0208 Subp. LA. and
   Containers                  7045.0211.
0 Small Boilers and Industrial   See 7045.0692 (not similar to 40 CFR
   Furnaces                   266).

Special Considerations
•   Satellite accumulation areas are subject to more stringent requirements
    including inspections (7045.0292 Subp. 8).
•   VSQGs are subject to substantial requirements (e.g., 7045.0292 Subp.
    6).  Those who collect, transport, treat, or store VSQG waste must
    obtain a license from PCA (7045.036).
•   SQGs are limited to accumulation of 3000-kg hazardous waste on site
    (7045.0.0292).
•   Generators are subject to annual fees (7046).
                MN Pollution Control Agency (PCA)
               Division of Solid and Hazardous Waste
                       520 N. Lafayette Rd.
                     St. Paul, MN  55155-4194
                       Phone: 651/297-8332
             http://www.pca.state.mn.us/waste/index.html
  MN's hazardous waste regulations are in Chapter 7045 of the MN State
  Rules. To order a paper copy of MN's Hazardous Waste Rules, contact
  Minnesota's Bookstore, 612/297-3000 or 800/657-3757.  An unoffi-
  cial copy of the regulations can be accessed for free on the Internet at
  http://www.pca. state.mn.us/waste/hw_mnrules.html#7045.
                                34

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                        Mississippi

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal. Incorporates 40 CFR
261 by reference (Part 261).

Hazardous Waste Generator Status: Same as federal. Incorporates 40 CFR
262 by reference (Part 262).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    Incorporates 40 CFR 261 by refer-
                               ence (Part 261).
                               Incorporates 40 CFR 270 by refer-
                               ence (Part 270).
                               Incorporates 40 CFR 261 by refer-
                               ence (Part 261).
                               Follows EPA interpretation.
0 Elementary Neutralization

0 Recycling
0 Treatment in Accumulation
   Containers
0 Small Boilers and Industrial    Incorporates 40 CFR 266 by refer-
   Furnaces

Special Considerations
None.
                               ence (Part 266).
          MS Department of Environmental Quality (MDEQ)
                    Hazardous Waste Division
                         P.O. Box 10385
                    Jackson, MS  39289-0385
                       Phone: 601/961-5171
          http://www.deq.state.ms.us/newweb/homepages.nsf
  A single free copy of MS's Hazardous Waste Management Regulations
  can be obtained from the Hazardous Waste Division or can be accessed
  for free on the Internet at MDEQ's Website listed above.
                               35

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                          Missouri

Hazardous Waste Program Description
Definition of "Hazardous Waste": Incorporates 40 CFR 261 by reference
with changes (e.g., adds dioxin wastes and modifies F020-F027 listings
(25-4.261)).

Hazardous Waste Generator Status: Incorporates 40 CFR 262 by reference
with some changes (2-5.262).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   Incorporates 40 CFR 261 by refer-
                               ence (25-4.261).
0 Elementary Neutralization     See 25-7.270(2)(A)3.
0 Recycling                   Incorporates 40 CFR 261 by refer-
                               ence (25-4.261). Also, 25-9.020(2)
                               exempts facilities recycling < 1000
                               kg/month from 25-9; however, such
                               facilities must notify the DNR.
0 Treatment in Accumulation    Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial   Incorporates 40 CFR 266 by refer-
   Furnaces                    ence (25-7.266).

Special Considerations
•   Waste can remain in satellite accumulation for no more than one year
    (25-5.262(2)(C)).
•   Central accumulation areas  must have containment systems (25-
    5.262(2)(C)).
•   Generators are subject to annual fees (25-12).
•   PCB wastes are regulated by MO DNR (25-13).
             MO Department of Natural Resources (DNR)
                     Office of Pollution Control
                     Hazardous Waste Program
                           P.O. Box 176
                     Jefferson City, MO 65102
                       Phone: 573/751-3176
               http://www.dnr.state.mo.us/homednr.htm
  MO's hazardous waste management regulations are in Title 10 of the
  Code of State Regulations, Title 25 (10 CSR 25).  A hard copy of the
  regulations can be purchased from the Secretary of State, 573/751-4015,
  or can be accessed for free on the Internet at http://mosl.sos.state.mo.us/
  csr/lOcsr.htm.
                                36

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                          Montana

Hazardous Waste Program Description
Definition of "Hazardous Waste": Waste determination varies from federal
but hazardous waste lists and characteristics are similar to federal (see 17.54,
Subchapter 3).

Hazardous Waste Generator Status: Same as federal (see 17.54, Subchapter
4).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   See 17.54.307.
0 Elementary Neutralization     See 17.54.105.
0 Recycling                    See 17.54.309.
0 Treatment in Accumulation    Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    Same as 40 CFR 266 (17.54.1112).
   Furnaces

Special Considerations
•   SQGs and LQGs are subject to annual reporting requirements and an-
    nual fees (17.54.403 and .404, respectively).
•   Generators must maintain logbooks detailing hazardous waste gener-
    ated (17.54.421(9)).
              MT Department of Environmental Quality
                Permitting and Compliance Division
                 Air and Waste Management Bureau
                         P.O. Box 200901
                     Helena, MT 59620-0901
                       Phone:  406/444-3490
                    http ://www. deq. state .mt.us/
  MT's hazardous waste regulations are in Title 17 of the Administrative
  Rules of Montana (ARM), Chapter 54. A single free copy of the regu-
  lations is  available from the Air and Waste  Management Bureau.  In
  early 2000, the regulations will be available from the MDEQ Website.
                               37

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                         Nebraska

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal (see Chapter 3)

Hazardous Waste Generator Status: Same as federal (for CESQGs see
Chapter 8; for SQGs see Chapter 9; and for LQGs see Chapter 10).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    See Chapter 2-008.01.
0 Elementary Neutralization      See Chapter 12-001.03E.
0 Recycling                   See Chapter 7-005. Chapter 5-
                               004.01 specifies that Director may
                               regulate recycling processes on a
                               case-by-case basis.
0 Treatment in Accumulation     Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    Incorporates 40 CFR 266.108 by
   Furnaces                    reference (Chapter 7-008.03).

Special Considerations
•   If a generator is a LQG at any time during the reporting period, then
    he must prepare and submit a biennial report (Chapter 4-005.01 A).
          NE Department of Environmental Quality (NDEQ)
                    Waste Management Division
                  Permits and Compliance Section
                       1200 N. St. Suite 400
                         P.O. Box 98922
                     Lincoln, NE  68509-8922
    Phone: 402/471-4217 or 402/471-8308 (Compliance Assistance)
                    http://www.deq.state.ne.us/
  NE's hazardous waste regulations are in Title 128 of the Nebraska
  Administrative Code (NAC). A single free copy of the regulations is
  available from the RCRA Section. An unofficial copy of Title 128
  can be accessed for free on the Internet at http://www.deq.state.ne.us/
  RuleandR.nsf/Pages/Rules.
                               38

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                           Nevada

Hazardous Waste Program Description
Definition of "Hazardous Waste": Incorporates 40 CFR 261 by reference
and adds wastes such as mixtures containing > 10% of a P- or U-listed chemi-
cal (444.8565).

Hazardous Waste Generator Status: Same as federal. Incorporates 40 CFR
262 by reference and makes some modifications (444.8632).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   Incorporates 40 CFR 261 by reference
                               (444.8632).
0 Elementary Neutralization     Incorporates 40 CFR 270 by reference
                               (444.8632).
0 Recycling                   Incorporates 40 CFR 261 by reference
                               (444.8632) and adds a specific exemp-
                               tion for generators (444.8455(4.00)).
0 Treatment in Accumulation    Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    Incorporates 40 CFR 266 by
   Furnaces                    reference (444.8632).

Special Considerations
•   A generator must include on the label of each hazardous waste con-
    tainer the EPA hazardous waste number (444.8671).
•   A generator who generates more than 100 kilograms of hazardous waste
    per month and accumulates hazardous waste on site must maintain a
    written record of inspections conducted of containers and tanks
    (444.8677).
•   PCB wastes are regulated by DCNR (444.960).
              NV Division of Environmental Protection
           Solid Waste Branch, Waste Management Bureau
                         333 W.Nye Lane
                   Carson City, NV 89706-0851
                       Phone: 775/687-4670
                    http://www.state.nv.us/ndep/
  NV's hazardous waste regulations are in Nevada Administrative Code
  (NAC) Chapter 444 (Sections 842 through 960). The regulations can
  be purchased for a small fee from the Legislative Council Bureau, 775/
  684-6835, or can be accessed for free on the Internet at http://
  www.state.nv.us/ndep/admin/nrs.htm.
                               39

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                     New Hampshire
Hazardous Waste Program Description
Definition of "Hazardous Waste": Similar to federal but adds NH listed
hazardous wastes (402); revises definition of corrosivity characteristic to
include non-aqueous solutions (403.04); and adds mixtures of P-listed chemi-
cals and carcinogens at concentrations exceeding 5 ppm (404.01).
Hazardous Waste Generator Status: NH recognizes SQGs (generally < 100
kg hazardous waste per month: subject to 508) and a full quantity genera-
tors (FQGs; generally > 100 kg hazardous waste per month or > 1 kg acutely
hazardous waste: subject to 509).

Regulatory Allowances for On-Site Waste Minimization
HI Domestic Sewage Exclusion    See 401.03(a)(l): only exempts
                                domestic sewage - not mixtures.
HI Elementary Neutralization      See 351.04(a)(5) and 353.04: limited
                                permit provisions apply.
0 Recycling                    The recycling process is exempt from
                                regulation (802.02(b)), but aspects of
                                Chapter 800 apply.
0 Treatment in Accumulation     Allowed if all generator provisions in
   Containers                    Chapter 500 are met (verbal interpre-
                                tation).
0 Small Boilers and Industrial     Generators who burn hazardous
   Furnaces                     waste as fuel are subject to 806.05
                                including notification to DBS.

Special Considerations
•   Generator storage area provisions include container specifications,
    containment requirements, and more (507.01).
•   Satellite accumulation area provisions include operator training require-
    ments, and more (509.03).
•   Generators  are subject to quarterly reporting and fees (512.02) and
    FQGs are subject to annual reporting (512.03).
           NH Department of Environmental Services (DBS)
   Waste Management Division, Hazardous Waste Compliance Section
                           6 Hazen Dr.
                     Concord, NH 03302-0095
                       Phone: 603/271-3644
               http://www.des.state.nh.us/descover.htm
  NH's Hazardous Waste Rules (Env-Wm Chapters 100 to 1000) are avail-
  able from the DBS Public Information and Permitting Office for $20,
  603/271-2975. An unofficial copy can be accessed for free on the
  Internet at http://www.des.state.nh.us/pub-open.htm.
                                40

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                        New Jersey

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal. Incorporates 40 CFR
261 by reference (7:26G-5.1).

Hazardous Waste Generator Status: Same as federal. Incorporates 40 CFR
262 by reference (7:26G-6.1).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   Incorporates 40 CFR 261 by reference
                               (7:26G-5.1).
0 Elementary Neutralization     Incorporates 40 CFR 270 by reference
                               (7:26G-12.1).
0 Recycling                   Incorporates 40 CFR 261 by reference
                               (7:26G-5.1).
0 Treatment in Accumulation    Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    Incorporates 40 CFR 266 by reference
   Furnaces                    (7:26G-10.1).

Special Considerations
•   Generators submitting biennial reports are subject to fees which vary
    depending to the quantity of hazardous waste manifested off-site (7:26G-
    3.3).
         NJ Department of Environmental Protection (NJDEP)
               Division of Solid and Hazardous Waste
                    40 IE. Sate St., P.O. Box 414
                      Trenton, NJ 08625-0414
                       Phone: 609/633-1418
                  http://www. state.nj .us/dep/dshw/
  NJ's Hazardous Waste Regulations are in Title 7 of the New Jersey
  Administrative Code (NJAC), Chapter 26G. The regulations are avail-
  able for a fee from West Publishing Group, 800/808-9378, or can be
  accessed for free on the Internet at http://www.state.nj .us/dep/dshw/re-
  source/rules.htm.
                               41

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                       New Mexico

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal. Incorporates 40 CFR
261 by reference (20 NMAC 4.200).

Hazardous Waste Generator Status: Same as federal. Incorporates 40 CFR
262 by reference (20 NMAC 4.300).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    Incorporates 40 CFR 261 by reference
                               (20 NMAC 4.200).
0 Elementary Neutralization      Incorporates 40 CFR 270 by reference
                               (20 NMAC 4.900).
0 Recycling                   Incorporates 40 CFR 261 by reference
                               (20 NMAC 4.200).
HI Treatment in Accumulation     Must request case-by-case approval
   Containers                   from Department.
0 Small Boilers and Industrial    Incorporates 40 CFR 266 by reference
   Furnaces                    (20 NMAC 4.700).

Special Considerations
•   Generators must pay "annual business fees" to the Department (20
    NMAC 4.3).
                   NM Environment Department
               Water and Waste Management Division
          Hazardous Waste and Radioactive Materials Bureau
                         RO. Box 26110
                    Santa Fe, NM 87502-6110
                       Phone: 505/827-1557
                   http://www.nmenv. state.nm.us/
  NM's Hazardous Waste Management Regulations are in Title 20 of the
  New Mexico Administrative Code (NMAC), Chapter 4. A copy of the
  regulations is available for a fee from the Bureau, or they can be ac-
  cessed for free on the Internet at the Department Website listed above.
                               42

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                         New York

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal with the addition of PCB
wastes (6 NYCRR 371).

Hazardous Waste Generator Status: Same as federal (6 NYCRR 372).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    See 6 NYCRR 371.1(e)(l).
0 Elementary Neutralization      See 6 NYCRR 373-1. l(d)(l)(xii).
0 Recycling                     See 6NYCRR371.1(g)(3).
0 Treatment in Accumulation     See 6 NYCRR 373-1.1 (d)( l)(ix).
   Containers
0 Small Boilers and Industrial     See 6 NYCRR 374-1.8(i).
   Furnaces

Special Considerations
•   SQGs must place waste in secondary containment if they (1) are lo-
    cated above a sole source aquifer and (2) have accumulated more than
    185 gallons of liquid hazardous waste (6 NYCRR 372.2(a)(8)(iii)(f)).
•   DEC requires some generators to write waste reduction plans and have
    the plans approved by DEC.
•   Generators in New York must file quarterly returns with the New York
    State Department of Taxation and Finance and pay appropriate assess-
    ments.  However, if the assessment attributable to a site is $27.00 or
    less for a particular quarter, it is not necessary to file a quarterly return
    for that site or pay the assessment for that quarter.
       NY Department of Environmental Conservation (NYDEC)
              Division of Solid and Hazardous Materials
                           50 WolfRd.
                     Albany, NY 12233-7251
                       Phone: 518/489-8988
          http://www.dec.state.ny.us/website/dshm/index.html
  NY's hazardous waste management regulations are in 6 NYCRR Parts
  370, 371, 372, 373, 374 and 376 (the Part 370 series). A single free
  copy of the regulations can be obtained from the Bureau of Program
  Management, 518/457-0532, or canbe accessed forfree on the Internet
  athttp://www.bcnys.org/new/pdf/env_rcra.htm.
                               43

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                     North Carolina

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal. Incorporates 40 CFR
261 by reference (13A.0106-1-72).

Hazardous Waste Generator Status: Same as federal. Incorporates 40 CFR
262 by reference (13A.0107-1-28).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    Incorporates 40 CFR 261 by refer-
                               ence (13A.0106-1-72).
0 Elementary Neutralization      Incorporates 40 CFR 270 by refer-
                               ence (13A.0113-1-69).
0 Recycling                   Incorporates 40 CFR 261 by refer-
                               ence (13A.0106-1-72).
0 Treatment in Accumulation     DENR policy by verbal interpretation
   Containers                   (effective 1998).
0 Small Boilers and Industrial    Incorporates 40 CFR 266 by refer-
   Furnaces                     ence (13A.0111-1-57).

Special Considerations
•   Generators must keep inspection records for 3 years (13A.0107-1-28).
•   SQG and LQG pay annual fees: $25 for SQGs and $500 plus tonnage
    feeforLQGs(13A.0117-l-01).
•   Solid waste landfills cannot accept CESQG (NC Solid Waste regula-
    tions).
   NC Department of Environmental and Natural Resources (DENR)
                   Division Waste Management
                     Hazardous Waste Section
                         P.O. Box 29603
                     Raleigh, NC  27611-9603
                       Phone: 919/733-2178
                   http://wastenot.enr.state.nc.us/
  NC's Hazardous Waste Management Regulations are in Title 15 A of
  the North Carolina Administrative Code (NCAC), Chapter 13 A. A free
  copy of the regulations is available from the Hazardous Waste Section.
  The regulations are not currently available on the Internet.
                               44

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                      North Dakota

Hazardous Waste Program Description
Definition of'Hazardous Waste": Similar to federal (33-24-2).

Hazardous Waste  Generator Status: Same as federal (33-24-02-05 for
CESQGs and 33-24-3 for SQGs and LQGs).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    See 33-24-02-04(l)(a).
0 Elementary Neutralization      See 33-24-06-01(2)(b)(5).
0 Recycling                    See 33-24-02-06.
0 Treatment in Accumulation     Per verbal interpretation and 33-24-03-
   Containers                   01(2).
0 Small Boilers and Industrial    See 33-24-05-533.
   Furnaces

Special Considerations
None.
                     ND Department of Health
                    Division Waste Management
                     Hazardous Waste Section
                          P.O. Box 5520
                     Bismark, ND 58506-5520
                       Phone: 701/328-5166
       http://www.health.state.nd.us/ndhd/environ/wm/index.htm
  ND's Hazardous Waste Management Rules are in the North Dakota
  Administrative Code (NDAC), Article 33-24. The regulations are avail-
  able from the Department at a cost of $40 prepaid.  A copy of the regu-
  lations can also be accessed for free on the  Internet at  http://
  www.health.state.nd.us/ndhd/environ/wm/hwp/hwrules.htm
                               45

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                            Ohio

Hazardous Waste Program Description
Definition of'Hazardous Waste": Same as federal (see 3745-51-20
through 35).

Hazardous Waste Generator Status: Same as federal (see 3745-51-05 for
CESQG and 3745-52-34 for LQG and SQG).
Regulatory Allowances for On-
0 Domestic Sewage Exclusion
0 Elementary Neutralization
0 Recycling
0 Treatment in Accumulation
   Containers
0 Small Boilers and Industrial
   Furnaces
Site Waste Minimization
  See 3745-51-04(A)(1).
  See 3745-50-45(C)(5).
  See 3745-51-06(C)(1).
  See 3745-50-45(C)(l) and 3745-52-
  34(A) and (D).
  OH has not yet adopted 40 CFR 266,
  Subpart H, so EPA's BIF rule is in
  effect.  OH has requirements for
  incinerators (3745-57-40) and
  hazardous waste burned for energy
  recovery (3745-58-40).
Special Considerations
None.
          OH Environmental Protection Agency (Ohio EPA)
               Division Hazardous Waste Management
                    Lazarus Government Center
                          P.O. Box 1049
                    Columbus, OH 43216-1049
                          614/644-2917
                    http://www.epa.state.oh.us/
  OH's Hazardous Waste Management Rules are in Chapter 3745 of the
  Ohio Administrative Code (OAC). A copy of the regulations is avail-
  able for a fee from Ohio EPA's Legal Section, 614/644-3037, or can be
  accessed for free on the Internet at http://www.epa.state.oh.us/dhwm/
  dhwmrules/indexl .htm.
                               46

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                        Oklahoma

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal. Incorporates 40 CFR
261 by reference (OAC 252:205-3-2(c)).

Hazardous Waste Generator Status: Same as federal. Incorporates 40 CFR
262 by reference (OAC 252:205-3-2(d)).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    Incorporates 40 CFR 261 by refer-
                               ence (OAC 252:205-3-2(c)).
0 Elementary Neutralization      Incorporates 40 CFR 270 by refer-
                               ence (OAC 252:205-3-2©).
0 Recycling                   Incorporates 40 CFR 261 by refer-
                               ence (OAC 252:205-3-2(c)).
0 Treatment in Accumulation     Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    Incorporates 40 CFR 266 by refer-
   Furnaces                     ence (OAC 252:205-3-2(h)).

Special Considerations
•   SQG and LQG must pay annual fees and LQGs are subject to disposal
    plan fees (OAC 252:205-3-2(c)).
•   OK Solid Waste Statute prohibits landfills from accepting hazardous
    waste from CESQGs.
              OK Department of Environmental Quality
               Division Hazardous Waste Management
                          P.O. Box 1677
                 Oklahoma City, OK 73101-1677
                      Phone: 405/702-5100
                    http ://www. deq. state .ok.us/
  OK's Hazardous Waste Management Regulations are in Title 252 of
  the Oklahoma Administrative Code, Chapter 205 (OAC 252:205). A
  free copy of the regulations is available from the Division of Hazardous
  Waste, or they can be accessed for free on the Internet at
  http://www.deq.state.ok.us/rules/rulesindex.htm.
                               47

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                          Oregon

Hazardous Waste Program Description
Definition of "Hazardous Waste": Incorporates all federal hazardous wastes
by reference and adds certain warfare agent wastes and residues including
those containing > 3% of P-listed chemical or > 10% of U-listed chemical
(OAR 340-101).

Hazardous Waste Generator Status: Same as federal (OAR 340-102).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    Incorporates 40 CFR 261 by reference
                               (OAR 340-100-0002).
0 Elementary Neutralization      Incorporates 40 CFR 270 by reference
                               (OAR 340-100-0002).
0 Recycling                   Incorporates 40 CFR 261 by reference
                               (OAR 340-100-0002).
0 Treatment in Accumulation     Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    Incorporates 40 CFR 266 by reference
   Furnaces                    (OAR 340-100-0002).

Special Considerations
•   Generators accumulating in excess of 100 containers, must place the
    waste in a storage unit that meets the requirements of 40 CFR 264.175
    (OAR 340-102-0034).
•   SQGs and LQGs are subj ect to quarterly reporting requirements (OAR
    340-102-0041)
•   SQGs and LQGs are required to pay fees annually to ORDEQ (OAR
    340-102-0065).
         OR Department of Environmental Quality (ORDEQ)
              Waste Management and Cleanup Division
                           8116*Ave.
                       Portland, OR  97204
                       Phone: 503-229-5913
              http://www.deq.state.or.us/wmc/hw/hw.htm
  OR's hazardous waste regulations are in Chapter 340 of the Oregon
  Administrative Rules. A free copy of the regulations can be obtained
  by calling ORDEQ, or they can be accessed for free on the Internet at
  http://www.deq.state.or.us/wmc/hw/resliboar.html.
                               48

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                       Pennsylvania

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal.  However, PA has a
special program for "residual wastes" which include industrial, mining and
agricultural wastes that are not hazardous wastes.

Hazardous Waste Generator Status: Same as federal.

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   Incorporates federal citation by
                               reference (40 CFR 261.4(a)(l)).
0 Elementary Neutralization     Allowed with a permit-by-rule (25
                               PA Code 270a.60(b)(l)).
0 Recycling                   Allowed with a permit-by-rule (25
                               PA Code 270a.60(b)(4)).
0 Treatment in Accumulation    Allowed with a permit-by-rule (25
   Containers                   PA Code 270a.60(b)(2)).
0 Small Boilers and Industrial    Incorporates 40 CFR 266.108 by
   Furnaces                    reference (25 PA Code 266a.20).

Special Considerations
•   CESQGs may not dispose of hazardous orresidual waste landfills within
    the state (261a.5(b)).
•   Any  generator that generates more than 1,000 kg hazardous waste in
    any month, must prepare a written source reduction strategy (262a. 100).
         PA Department of Environmental Protection (PADEP)
          Bureau of Land Recycling and Waste Management
              Division of Hazardous Waste Management
                          P.O. Box 8471
                    Harrisburg, PA 17105-8471
                       Phone: 717/787-6239
                     http://www.dep.state.pa.us
  PA's hazardous waste regulations are in Title 25 of the PA Code, Chap-
  ters 260-270a.  A free copy of the regulations can be obtained by call-
  ing the PADEP, or they can be accessed for free on the Internet at http:/
  /www.pacode.com/secure/data/025/articleID VII_toc.html.
                               49

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                       Rhode Island

Hazardous Waste Program Description
Definition of "Hazardous Waste": Incorporates all federal hazardous wastes
by reference (3.25) and adds several Rhode Island-specific characteristic
wastes (3.53).

Hazardous Waste Generator Status: RIDEM recognizes generators as a single
category (5.00). RIDEM has no provisions for CESQGs or SQGs.

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   Provided for in RI Hazardous Waste
                               Management Act (23-19.1-5).
0 Elementary Neutralization     See 7.01A.3.
0 Recycling                   Excepts activities listed in 40 CFR
                               261.6 from permitting (7.01A.2.).
IS Treatment in Accumulation    Prohibited (5.07).
   Containers
0 Small Boilers and Industrial    RI has not yet adopted 40 CFR 266,
   Furnaces                    Subpart H, so EPA's BIF rule is in
                               effect. RI specifically excepts
                               activities listed in 40 CFR 266 from
                               permitting (7.01A.2.).

Special Considerations
•   All generators are subject to LQG requirements.
•   All hazardous waste containers (except those in satellite accumulation
    areas) must be labeled with constituents, waste codes, generator name
    and address, date of containerization and more (5.04).
        RI Department of Environmental Management (RIDEM)
                    Office of Waste Management
                       235 Promenade Street
                       Providence, RI 02908
                       Phone: 401/222-2797
                     http://www.state.ri.us/dem/
  RI's Rules and Regulations for Hazardous Waste Management are avail-
  able for free from the  Office of Waste Management, or they can be
  accessed for free  on  the  Internet at http://www.state.ri.us/dem/
  regs.htm#WM.
                                50

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                     South  Carolina

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal (see 61-79.261).

Hazardous Waste Generator Status: Same as federal (see 61-79-261.5 and
61-79.262).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   See 61-79.261.4(a)(l).
0 Elementary Neutralization     See 61-79.270. l(c)(2).
0 Recycling                   See 61-79.261.6(c)(l).
0 Treatment in Accumulation    Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    See 61-79.266.108.
   Furnaces

Special Considerations
•   Generators may not stack hazardous waste containers more than two
    high(61-79.262.34(a)(5)).
•   Certain training requirements apply to personnel at satellite accumula-
    tion areas (61-79.262.34(c)(l)(iii)).
•   DHEC has no provision allowing SQGs to accumulate hazardous waste
    on site for 270 days (61-79.262.34(1)).
•   LQGs are subject to quarterly reporting requirements (61-79.262.41).
     SC Department of Health and Environmental Control (DHEC)
               Bureau of Land and Waste Management
                         2600 Bull Street
                       Columbia, SC 29201
                       Phone: 803/896-4254
                  http://www.state.sc.us/dhec/eqc/
  SC's Hazardous Waste Management Regulations (R.61-79) can be pur-
  chased for $25 from DHEC's Freedom of Information Office, 803/898-
  3882, or they can be  accessed for free on the Internet at http://
  www.state.sc.us/dhec/eqc/ (download files c061d through c061g).
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                      South Dakota

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal. Incorporates 40 CFR
261 by reference (74:28:22:01).

Hazardous Waste Generator Status: Same as federal. Incorporates 40 CFR
262 by reference (74:28:23:01).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   Incorporates 40 CFR 261 by refer-
                               ence (74:28:27:01).
0 Elementary Neutralization     Incorporates 40 CFR 270 by refer-
                               ence (74:28:26:01).
0 Recycling                   Incorporates 40 CFR 261 by refer-
                               ence (74:28:22:01).
0 Treatment in Accumulation    Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial   Incorporates 40 CFR 266 by refer-
   Furnaces                    ence (74:28:27:01).

Special Considerations
•   Wastes containing polychlorinated biphenyls in concentrations > 50
    parts per million are subject to specific SD regulations (74:28:22:01
    and 74:28:31).
     SD Department of Environment and Natural Resources (DENR)
                    Waste Management Program
                523 E. Capitol Avenue, Foss Building
                      Pierre, SD 27505-3181
                       Phone: 605/773-3153
                http://www.state.sd.us/denr/denr.html
  SD's hazardous waste regulations are in Administrative Rule of South
  Dakota 74:28, and federal hazardous waste regulations are adopted by
  reference.  A free copy of the regulations is available from DENR or
  the regulations can be accessed on the Internet at http://www.state.sd.us/
  state/legis/lrc/rules/7428.htm.
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                        Tennessee

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal (see 1200-1-11.02).

Hazardous Waste Generator Status: Same as federal (see 1200-1-11.02(l)(e)
and 1200-1-11.03).
Regulatory Allowances for On-
0 Domestic Sewage Exclusion
0 Elementary Neutralization
0 Recycling
0 Treatment in Accumulation
   Containers
0 Small Boilers and Industrial
   Furnaces

Special Considerations
None.
                             Site Waste Minimization
                               See 1200-l-11.02(l)(d).
                               See 1200-1-1 1.07(l)(b)(4)(iv).
                               See 1200-l-11.02(l)(f)(3).
                               DEC specifies that the term "accumu-
                               lation" includes storage and treatment.
                               See 1200-l-11.03(4)(e)(l) and 1200-
                               See 1200-l-11.07(l)(j).
       TN Department of Environment and Conservation (DEC)
         Division of Solid and Hazardous Waste Management
                        401 Church Street
                       L&C Tower, 5th Floor
                    Nashville, TN 37243-1535
                       Phone:  615/532-0850
                 http ://www. state.tn.us/environment/
  TN Hazardous Waste Management Regulations are contained in "Rules
  of Tennessee Department of Environment and Conservation," Chapter
  1200-1-11.  A single complimentary copy of the regulations is avail-
  able to TN generators from DEC. The regulations can also be accessed
  for free on the Internet at http://www.state.tn.us/sos/rules/1200/1200-
  01/1200-01.htm.
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                            Texas

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal; however, TNRCC regu-
lates various classes of non-hazardous waste (e.g., Class I, II and III: see
335.501 through 515).

Hazardous Waste Generator Status: Similar to federal (see 335.61 through
335.78).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    See 335.1(123), definition of "solid
                                waste."
0 Elementary Neutralization
0 Recycling
0 Treatment in Accumulation
   Containers
0 Small Boilers and Industrial
See 335.41(d)(l).
See 335.24.
Follows EPA interpretation.
   Furnaces
Special Considerations
None.
Incorporates 40 CFR 266.108 by
reference. See 335.221(a)(19).
Section 335.6(i) reiterates the one-
time notification requirement.
       TX Natural Resource Conservation Commission (TNRCC)
            Industrial and Hazardous Waste Permits Section
                     P.O. Box 13087, MC 129
                      Austin, TX 78711-3087
                       Phone: 512/239-6412
                    http://www.tnrcc.state.tx.us/
  TX's Hazardous Waste Management Regulations are in Title 30 of the
  Texas Administrative Code, Chapter 335 (30 TAG 335).  A single free
  copy can be obtained from TNRCC's Publications Office, 512/239-
  0028, or they can be accessed for  free on the Internet at http://
  www.tnrcc. state.tx.us/oprd/rules/indxpdf5 .html#3 35.
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                             Utah

Hazardous Waste Program Description
Definition of'Hazardous Waste": Same as federal but adds certain nerve,
military and chemical agents (see R315-2-9 through 11).

Hazardous Waste Generator Status:  Same as federal (see R315-2-5 and
R315-5-10).
Regulatory Allowances for On-
0 Domestic Sewage Exclusion
0 Elementary Neutralization
0 Recycling

0 Treatment in Accumulation
   Containers
0 Small Boilers and Industrial
   Furnaces

Special Considerations
None.
Site Waste Minimization
  SeeR315-2-4(a)(l).
  SeeR315-3-3(n)(5).
  Incorporates 40 CFR 261.6 by
  reference. See R315-2-6.
  Follows EPA interpretation. Also,
  seeR315-3-3(n)(l).
  40 CFR 266, subpart H is incorpo-
  rated by reference (see R315-14-7).
           UT Department of Environmental Quality (DEQ)
               Division of Solid and Hazardous Waste
                         P.O. Box 144880
                   Salt Lake City, UT 84114-4880
                       Phone: 801/538-6170
                      http ://www.eq. state .ut.us/
  UT's Hazardous Waste Management Regulations can be purchased for
  $ 15 from DEQ, or they can be accessed for free on the Internet at http:/
  /www.eq.state.ut.us/eqshw/hwrules.htm.
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                          Vermont

Hazardous Waste Program Description
Definition of "Hazardous Waste": Similar to federal but modifies charac-
teristic of corrosivity to include wastes that when mixed with water yield a
solution with a pH <2 or >12.5 (7-205) and adds Vermont-specific listed
wastes (e.g., PCBs, coolants, oils, etc.; 7-211).

Hazardous Waste Generator Status: Same as federal (see 7-305 to 308).

Regulatory Allowances for On-Site Waste Minimization
HI Domestic Sewage Exclusion    Only applies to wastes mixed with
                                "household sewage" (7-203(b)), but
                                mixture rule provides an exemption
                                for mixtures subject to the Clean
                                Water Act (7-203(k)).
0 Elementary Neutralization      See 7-502(c).
0 Recycling                    See 7-502(k) and 7-605.
0 Treatment in Accumulation     Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial     See 7-512, refers to 40 CFR 266,
   Furnaces                     Subpart H.

Special Considerations
•   CESQGs are required to obtain an EPA ID number and meet container
    management and accumulation area design standards (7-306).  Also,
    CESQG waste cannot be sent to a landfill unless the facility is certified
    to accept CESQG waste.
•   LQGs and SQGs must maintain an inventory of waste in "short-term"
    storage areas and must inspect areas daily (7-31 l(d)).
•   Hazardous waste containers in satellite accumulation areas must be
    marked with the words "Hazardous Waste" and other words to identify
    contents (7-310(a)(5)).
            VT Department of Environmental Conservation
                    Waste Management Division
                  103 South Main St., West Building
                    Waterbury, VT  05671-0404
                       Phone: 802/241-3888
               http://www.anr.state.vt.us/dec/wmd.htm
  A single free copy of VT's Hazardous Waste Management Regulations
  can be obtained by calling the Waste Management Division, or they can
  be accessed for free on the Internet  at http://www.anr.state.vt.us/dec/
  wastediv/rcra/hazregs/finalreg/finalreg.htm.
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                          Virginia

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal.  Incorporates 40 CFR
261 by reference (see 20-60-261).

Hazardous Waste Generator Status: Same as federal. Incorporates 40 CFR
261 and 262 by reference (see 20-60-26land 20-60-262).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    Incorporates 40 CFR 261 by refer-
                               ence (see 20-60-261).
0 Elementary Neutralization     Incorporates 40 CFR 261 by refer-
                               ence (see 20-60-270 and 20-60-
                               970B.5).
0 Recycling                   Incorporates 40 CFR 261 by refer-
                               ence (see 20-60-261).
0 Treatment in Accumulation     Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial    Incorporates 40 CFR 266 by refer-
   Furnaces                    ence (see 20-60-266).

Special Considerations
•   Any facility that accepts CESQG waste must have written permission
    fromDEQ (20-60-261B.5).
•   Generators must notify DEQ 15 days prior to establishing a new haz-
    ardous waste accumulation area subject to 40 CFR 262.34 (20-60-
    260B.4).
           VA Department of Environmental Quality (DEQ)
                          Waste Division
                         P.O. Box 10009
                    Richmond, VA 23240-0009
                       Phone: 804/698-4199
                     http://www.deq.state.va.us/
  VAs Hazardous Waste Management Regulations are in Title 9 of the
  VA Administrative Code, Chapter 20 (9VAC 20). The regulations can
  be purchased for a fee from the West Publishing Group, 800/328-9352,
  or they can be accessed for free on the Internet at http://
  www. deq. state .va.us/info/ftp.html.
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                       Washington

Hazardous Waste Program Description
Definition of "Hazardous Waste": Similar to federal but adds Washington-
specific dangerous wastes and extremely hazardous wastes (173-303-080
to 104).

Hazardous Waste Generator Status: DEC recognizes LQGs and has special
provisions for "small quantity generators" (similar to federal CESQGs, see
173-303-070) and "Special accumulation standards" for generators who
generate > 220 pounds/month and accumulate < 2200 pounds of dangerous
waste on site (173-303-201).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   See 173-303-071(3)(a)).
IS Elementary Neutralization     Permit-by-rule with conditions (173 -
                               303-802(5)).
0 Recycling                   See 173-303-120(4).
0 Treatment in Accumulation     Allowed with certain conditions.  See
   Containers                   173-303-170.
0 Small Boilers and Industrial    WA has not yet adopted 40 CFR 266,
   Furnaces                    Subpart H, so EPA's BIF rule is in
                               effect.  DEC has implemented
                               "Special requirements for dangerous
                               wastes burned for energy recovery"
                               (173-303-510).

Special Considerations
•   On a case-by-case basis, DEC requires that hazardous waste accumu-
    lation areas, including satellite areas, have secondary containment. Also,
    "new" (since Sept. 30,1986) accumulation areas must have secondary
    containment (173-303-200).
•   Containers/tanks must be marked with words  that identify the major
    risks associated with waste in the container (173-303-200(l)(d)).
                 WA Department of Ecology (DEC)
           Hazardous Waste and Toxics Reduction Program
                         P.O. Box 47600
                    Olympia, WA  98504-7600
                       Phone: 360/407-6700
                  http://www.state.sc.us/dhec/eqc/
  WAs Dangerous Waste Regulations (Chapter 173-303 WAC) are avail-
  able for free from DEC. The regulations are not presently available on
  the Internet.
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                       West Virginia

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal. Incorporates 40 CFR
261 by reference (see 33-20-3.1).

Hazardous Waste Generator Status: Same as federal. Incorporates 40 CFR
261 and 262 by reference (see 33-20-3.1 and 33-20-4.1).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   Incorporates 40 CFR 261 by reference
                               (see 33-20-3.1).
0 Elementary Neutralization     Incorporates 40 CFR 270 by reference
                               (see 33-20-11.1).
0 Recycling                   Incorporates 40 CFR 261 by reference
                               (see 33-20-3.1).
0 Treatment in Accumulation    DEP must be notified of generator
   Containers                   treatment activities (see 33-20-4.2.e).
0 Small Boilers and Industrial    Incorporates 40 CFR 266 by reference
   Furnaces                    (see 33-20-9.1). Subject to air quality
                               rules in 45 CSR 25 (see 33-20-7. l.b).

Special Considerations
•   CESQGs sending waste off-site must send hazardous waste to permit-
    ted TSDFs or legitimate recycling facilities (see 33-20-3.2).
•   CESQGs are subj ect to notification requirements in Section 4 (see 3 3 -
    20-3.2).
           WV Division of Environmental Protection (DEP)
                    Office of Waste Management
                         1356 Hansford St.
                      Charleston, WV 25301
                       Phone: 304/558-5929
                     http ://www. dep. state. wv.us
  WV's Hazardous Waste Management Regulations are in Title 33 of the
  Code of State Regulations, Series 20 (33 CSR 20). A copy of the regu-
  lations can be purchased (for a small copying fee) from the WV Secre-
  tary of the State, 304/558-6000, or they can be accessed for free the
  Internet at http://www.state.wv.us/csr/.
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                        Wisconsin

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal (see NR605.08 and
NR605.09).

Hazardous Waste Generator Status: DNR recognizes very small quantity
generators (< 100 kg/month; VSG; NR 610.07), SQG (100 to 1000 kg/
month; 610.08) and LQG (NR615).

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion    See NR605.05(l)(o).
0 Elementary Neutralization      See NR630.04(7); some conditions
                               apply.
0 Recycling                   See NR630.04(6) and NR625.
0 Treatment in Accumulation     See NR630.04(18).
   Containers
HI Small Boilers and Industrial    Although WI has not yet adopted 40
   Furnaces                     CFR 266, Subpart H, so EPAs BIF
                               rule is in effect, DNR's facility
                               standards (NR 630) and air regula-
                               tions apply.

Special Considerations
•   VSQGs are subject to container management and labeling provisions.
    In-state facilities must have DNR approval to accept VSQG waste
    (NR610.07).
•   SQGs accumulating at least 1000 kg but not more than 6000 kg of
    hazardous waste on site are subject to  additional training provisions
    (NR610.08(l)(v)).
•   Generators are subject to manifest fees  and annual fees.
•   DNR regulates PCB wastes under Chapter 157.
             WI Department of Natural Resources (DNR)
                   Bureau of Waste Management
                          P.O.  Box 7921
                    Madison, WI 53707-7921
                       Phone: 608/266-2111
           http://www.dnr.state.wi.us/org/aw/wm/index.htm
  WFs Hazardous Waste Management Regulations (Environmental Pro-
  tection Series, NR 600) can be purchased ($26 + tax) from the WI De-
  partment of Administration, Document Sales, 800/362-7253. The regu-
  lations can also be accessed  for free on the Internet  at Jittp://
  www.dnr.state.wi.us/org/aw/wm/information/wiacssh.htm.
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                         Wyoming

Hazardous Waste Program Description
Definition of "Hazardous Waste": Same as federal.

Hazardous Waste Generator Status: Same as federal.

Regulatory Allowances for On-Site Waste Minimization
0 Domestic Sewage Exclusion   See Chapter 2, Section l(d)(i)(A).
0 Elementary Neutralization     See Chapter 1, Section
0 Recycling                    See Chapter 2, Section 1 (I); how
                                ever, the director retains the authority
                                to determine what constitutes sham
                                recycling.
0 Treatment in Accumulation     Follows EPA interpretation.
   Containers
0 Small Boilers and Industrial     See Chapter 12, Section 8(i).
   Furnaces

Special Considerations
None.
           WY Department of Environmental Quality (DEQ)
           Solid and Hazardous Waste Management Division
                          122 W 25th St.
                      Cheyenne, WY 82002
                       Phone:  307/777-7752
                   http ://deq. state. wy.us/shwd.htm
  A single free copy of the "Wyoming Hazardous Waste Rules and Regu-
  lations" can be obtained from the Solid and Hazardous Waste Manage-
  ment Division, or they can be accessed for free on the Internet at
  http://soswy.state.wy.us/rules/rules.htm.
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