5221
          AfTFPTABLE METHODS BASED UPON CURRENT
          KNOWLEDGE FOR THE UTILIZATION OR DIS
          TOSAL OF SLUDGES FROM PUBLICLY OWNED
          WASTEWATER TREATMENT PLANTS.
                                                                 800R80910
                                                            L
           UNITED STATES ENVIRONMENTAL PROTECTION AGENCY

                             WASHINGTON. D.C.
                                                                    OFFICE OF
                                                               AIH AND WATER PROGRAMS
    SUBJECT:   Policy Statement on Acceptable Methods for the
               Utilisation or Disposal of Sludges  — ACTION MEMORANDUM
    FROM:

    TO:

    THRU:


    ISSUE
           Acting Assistant Administrator for Air and Water Programs  (AU-443)

           The-Administrator
    BACKGROUND
         1.  Statutory Basjs*..- ,
Of
treatri
         Under Title JL o^tji^.Federal  Uater  Pollut1 oft"cbntrol P-ct A-n
       1972 ("th^'Afet"), "the" Aa.iinistrator makes '9'C^vts fgs cqjsstruct
                                            '
•on of
     Undc-r Section 203-(<.i)  of  tha Act,  each- i
                                                          for a grant
    to the Ac':n1nistratcr  for his  approval,  plans, s.r;,£(cri,f^catic»j5>, and e-.tl'-matos
    for each proposed project  Tor cho  construction "6'r Vrba'cr.icnt works for
    which a grant 'is applied.                      •  <-.,         ;
                                           > H'lV   '-• '• 'f  '• _    ';
         Under Sscticn 201{d.),(-1)  tho Adainistr.itor Bhal1Jfchcour2go waste
    trcatnv^nt rr,anagon;eiit,whiG>f  results in tlie cOiiotructicrj ^iv roveauo -pro-
    ducing facilities jirqKding for th'a ul tlp.atc ^r';; postal- 'of sludge, that
    will not rosi:H in 'e                         ''  '"
         In Section 2^(2}(A),  tha  tyi-w trca L.^-I i; uorks MnviU'dos. slto i?o-:uJr,i-
    tion of uiio land i;nat viil  bo on  irri:>,'gru'i  |Wt '•: of thsj trs?i.T-Kt process
    or Is used for ultima to disposal  or rosi^.-c-s rucuHincj frc-.i such v/or'
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     Thus EPA Regional Administrators, in reviewing grant applications,
leed policy information on methods of sludge utilization or disposal v.'hlch
arc environmentally acceptable.

     2•   Previous Pol ic;/ Statements:

     In October, 1970 the Council  on Environmental Quality sent a report
to the President, entitled "Oce^n Durpinq - A National Policy."  In that
report,  the follovnnn statements v.'cro mace:  ". .  . The Council on Environ-' '
mental Quality reco.umends the  following policies relating to specific types
of wastes currently being dumped in the ocean, in estuaries, and in the
Great Lakes:

        Ocean dumping of undigested sewage sludge should be stopped as
        soon as possible and no new sources allov;ed.

        Ocean dumping of digested or other stabilized sludge should be
        phased out and no nev; sources allowed.  In cases in v/'nich
        substantial facilities and/or significant connitments exist,
        continued ocean dunging may be necessary until alternatives can
        be developed and implemented.  Gut continued ocean dumping
        should be considered an interim rn.e-?.sur«. . .".

     In accordance with the CEQ recommendation, an EPA interim policy
dated October 21, 1971, was issued to the Regional Administrators for
their guidance iu the grant making process.  The interim policy pro-
hibited the issuance of grants for nev/ treatment facilities which would
dispose of sludge to the"ccean.  Grants to existing facilities which
practices ocean disposal of sludge could not be made unless the practice
was discontinued before the completion of construction,  viaivers were
allowed when cessation of ocean disposal could not be reasonably accomplished
within the construction time frame.  Waiver requests had to ba accompanied
by a time schedule and plan of accion for phasing out ocean sludge disposal.

     On September 29, 1972, the President's Water Pollution Control
Advisory Board, in its report  "Ocean Disposal Practices and Effects,"
stated among its conclusions:

     ".  ... the board 'has heard convincing evidence that the presence
of toxic substances, primarily cha heavy ratals, in municipal sewage
creates special problems in the ultimata disposal of the resulting sludge
from treatment plants.  "Ihess  substances lisva an adverse effect through

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their possible entry into the marina food chain when ultimate disposal
of sluclge is in the oo.j.n.   Similarly, adverse effects  follow from dis-
charges to the atr.osphere of these substances if incineration is selected
.as the method of sludge disposal.   Even when sludge disposal  is  to land,,
the presence of these toxic rratcrials complicates the problem and Intro-
duces difficulties in the ultimate use of land. . .".

     On October 23, 1972, the Marine Protection Research and Sanctuaries
Act was enacted.  It is the stated purpose of this Act "... to regulate
the transportation of material from the United States for dumping into.
ocean waters . . ." "Material" is  defined in the Act to include  sewage .
sludge.

     On April 5, 1973, the Environmental Protection Agency issued
"Interim Regulations Governing Transportation for Ouir.plng, and Dumping
of Material into Ocean l.'?ters".  These state, in part,  ".  .  . when
Title I of the Act becoires effective en April 23, 1973, it will  generally
be unlawful to depart a port in the United States for the purpose of
dumping material in the oceans, or dumping material in the territorial
or contiguous zone of the United States, unless the person engaged in
sucli transport or dumping has first obtained a permit from EPA.  . .".

     On June 11, 1973, ti.e Environmental Protection Agency published
proposed "Standards of Perforwncc for tJev; Stationary Sources" to  •
restrict air pollution emissions from seven source categories.  Sewage
sludge Incinerators ware included  in the coverage of these standards.

     All of the reports, legislation, regulations, and standards material
cited ,above restrict wastev/ater treatment authorities concerning the
ultimate disposal of residues resulting from their wastewater treatment
process, without providing counsel as to the disposal methods which would
be environmentally sound, or- at least deemed acceptable.  This has
created a serious situation of uncertainty and concern to those  treat-
ment authorities, and to c-iwiro.'.inantalists.as a whole.   If left  unresolved,
this problem situation can only become v/orse, as the PL.92-500 require-
ments for universal secondary treatment produce greater quantities of sewage
sludge than are produced today.        , ,   •

HORK GROUP

     An EPA work group '.-.'as1 established to develop a positive Agency policy
concerning the disposal of slurige from publicly owned v;astovater treat-
ment plants.  This group ultimately Included, representatives from the
Office of Air and Water Programs, Office of Research and Development,

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Office of Solid Waste Management Programs, Office of Toxic Substances,
Office of Planning and Evaluation, and Region III.  In addition to the
E,PA representatives, Kr.  Steffen Plehn of the Council  on Environmental
Quality participated v/ith the v?ork group throrhout.   Major assistance
was also provided by Dr.  Thomas Hinesly, consultant  to the Office of
the Under Secretary of the Army.  Near the end of its work, the group
also received advice from representatives of the United States Depart-
ment of Agriculture and the Food and Drug Administration.

     The Environmental Protection Agency draft policy statement concern- •
ing acceptable rr.ethods, based upon current knowledge, for the utilization
or disposal of sludges froa publicly owned wastewater treatment plants,
represents a product of the v/ork group.
     Early In its deliberation, the v;ork group decided that its effort
should-be two-fold:  (1)  The c'svGlcpu.ent, for iiVMC-dioto practical usa,
of a sludge disposal policy which v;ould reflect current information
concerning the environmental soundness of various sludge disposal methods.
This policy would be used by Regional Administrators in the evaluation
of applications for Federal assistance to construct wasiiev:ater treatment
works, and (2)  The development of a sludge policy which would identify
optimum sludge utilization or disposal technology.  This policy v;ould
result from a sound federal research and development program specifically
designed for this purpose.
     The work group is now engaged in designing the R&D program for
the optimum sludge method policy.  It is expected that this design will
be completed when the coavronts on the proposed statement are received.
The design would, necessarily, coordinate the related activities of all
participating Federal agencies.  Representatives of such agencies will
be included within the design'group.

SUKMARY OF POLICY STATEMENT

     The policy statement for in-mediate use, based upon current knowledge,
is the subject of this memorandum (Tab A).  This policy slatc'.nant describes
acceptable methods for the utilization or disposal of sludge from publicly
owned wastev/ater treatnont plants.  It is divided into two essential.
parts; the first part describes methods in which the sludge is used to
serve a useful purpose beyond mere disposal, and the second part describes
methods which provide only for disposal.  Both parts, of course, in-
clude only methods v.'hich arc envirotnranta'ily acceptable.
                                                                          \ "•
                                                                          ? 'O.

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     Methods which are not on the 11st are not acceptable,  although
the policy statement provides for the Environmental  Protection  Agency
to encourage and assist in the development of new or advanced procedures.

     In the policy statement, "Group I:  Sludge Utilization Methods"
now Includes only one basic category.  This category 1s recognized  by
the statement:  "Stabilization and subsequent land application  for
agriculture, enhancement of parks , forests, and reclamation of  poor or
damaged terrain, is an environmentally acceptable method for the  utiliza-
tion of sludge".  Stabilization and land application are further
defined in subsequent passages to this initial statement and special
precautions are stipulated for the protection of public health,'ground
water protection, controlling surface v;ater runoff,  the choice  of crops
suitable for sludge application, application rates,  and monitoring.

     "Group II:  Sludge Disposal f^thods" includes sludgs .landfills
Involving mixed sludge and solid wastes and sludge incineration and
disposal of the resulting ash.  Precautions are specified for protection
of public health, ground water protection, and confonnance  to applicable
air pollution requirements.

     Ocean disposal of sewage sludge is considered acceptable for treat-
ment works presently using this method whon rho s'inci(jr> irv»f»t.s thp  criteria
specified by EPA in the ocean disposal regulations,   l.'hsn the sludge
exceeds the criteria, ocean disposal will be psn.iittcd only on  an Interim
basis and subject to an approved implementation plan to eliminate the
material.     .  .

TECHNICAL SUPPORT DOCUMENT

     A Technical Support Document (Tab B) v/as prepared by the Work  Group
to take advantage of unpublished information and smimarize  the  technical
basis for the contents of the policy statement.

     The document is a compilation of material extracted from U.S.
Government publications, as well as material which is in the draft
stage.  This document will not be published separately since it is  a
suircnary and compilation of information which will be mode available
when the source documents are published.
                                                      s

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COORDINATION

     The policy statement has been coordinated within EPA including
the Regions.  Working level coordination has been accomplished with
other Federal agencies having direct input,  such as  the U.S.  Depart-
ment of Agriculture and the Food and Drug Administration.   Many changes
have been incorporated in the statement as a result  of these  reviews.
All substantive comments have been resolved  with the exception of those
received Informally from the Office of Hazardous Materials Control (Tab C).
Unresolved issues are discussed subsequently.
                                                                          • t
IMPACT OF THE, POLICY STATEi'.F.HT                                 '       .• .

     1.  The impact will be most significant for land application.
After examining data on sludges from 180 sources it  has been  deternined
that men o Lhan 50 percent of the sources would not qualify, including
Milv.'aukeo's milorganite and Chicago's Fulton County.  For this reason,
prbvision -was made for demonstration projects under  carefully.defined
and monitored conditions where the sludge exceeds the limits  given in
the policy statement.

     2.  Cost impact and energy impacts have not been included in this
analysis since the only criterion considered v;as environmental accept-
ability.
                             a                                       „
SUMMARY OF MAJOR ISSUES

     1.  Should ZPA issue a policy statement on sludge?

     It is recommended that EPA issue such a statement to provide guidance:
to EPA Regional Administrators.  However limited our current  infor-
mation, seme municipalities are making decisions in  the near  future
and cannot wait for ultimate or optimum solutions.

     2.  Should EPA include land application in the  policy statement?

     It 1s.recommended thit lend application be included.   The alternatives
to Including land application are either to  prohibit it entirely (which
would be contrary to the intent oP the Act)  or to leave it up to the
Regional Administrators, vritn no guidnnca.

     3.  Should EPA fund land for application or disposal  of  sludge,
when there  is no similar funding for municipal solid waste?

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     It is noted that EPA funds such land in response to the Act.  The
fact that thnre is no similar program for solid wastes does not alter.
the construction grant eligibility of land for ultimate disposition of
residues froni wastewaier treatment.

     4.  Should EPA delay issuing the policy statement until more infor-  -
motion is available?

     It is recoi/rnended that the staterr,ent not be delayed.  The statanent ' .
is conservative and includes provisions for control monitoring.  Addi-
tional substantive information on major subjects is not likely to be
available in the near tenn future, ar.d is considered to be at least 5 years
away, given the low levels of current research funding.

RECOMMENDATION

   •  It is '>-eccmrr>ended that "Acceptable Methods, Based Upon Current
Knowledge, for the Utilization or Disposal of Sludge from Publicly
Owned Treatment Plants" be approved for publication in the Federal  .
Register as a proposed declaration of Environmental Protection Agency
policy.  ,
CONCURRENCES
EG,

RO,

PH,

MM,
Kirk

Gren field

Aim  .

Elkins
(Acting)
Concur
Concur
Concur
Concur
Approve:
Disapprove:
Date:
Nonconcur Date
Nonconcur Date
Nonconcur Date
Nonconcur Date
Prepare-' by ArWM:AW-447:sr.is:WAWhi ttington:P.-a: 1125:WSM-E:XCS976:2-20-74
                                                     7

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                ENVIRONMENTAL PROTECTION AGENCY

           Notice of Intent to Issue a Policy Statement
                 on Acceptable Methods for the
              Utilization o*r Disposal of Sludges
     Notice is hereby given that the Environmental Protection Agency
          t

 intends to issue a policy statement on Acceptable Methods, based upon

 current knowledge, for the Utilization or Disposal of Sludges from

 Publicly Owned Wastewater Treatment Plants.  The policy statement is

 contained in Appendix I to this notice.  The purpose of the policy

 statement is to provide guidance to Regional Administrators of the

 Environmental Protection Agency in evaluating proposed sludge utiliza-

 tion  or disposal systems included in the design of publicly owned
                          o
. treatment works for which construction grant applications are made.


     The policy statement was developed by an Agency work group with
                                                               «
 substantial assistance provided by individuals from the Council on

 Environmental Quality, the U.S. Department of Agriculture, the

 Food  and  Drug Administration, and the Department of the Army.


     For sludge disposal by sanitary landfill, incineration, and

 ocean dumping, there are extensive criteria already available in

 other EPA regulatory material.  In general these criteria have
                                                                      '7 ?'•

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  been referenced  in the policy statement with some modifications.


      For sludge in sanitary  landfills, reference is made to the

•  EPA sanitary landfill guidelines.  One additional requirement

  is that there be a binding  agreement for proper operation where

  the sanitary landfill operator  is not the grant applicant.
       For sludge  incineration, reference is nude to tiie EPA ntv/

  source performance standards.  Additional requirements have

  been included based on  previous work by  the EPA Sludge Incinera-

  tion Task  Force.

                        o
       Ocean  disposal is strictly regulated by EPA, and the EPA

  guidelines on the subject  are referenced in the policy state-

  'ment.  In  general, ocean disposal of sludge is not a desirable

  practice and  it is included  in the policy statement only because

  in some cases it 'may be acceptable on an interim basis.


       The area with lear.t existing  regulatory material is land

  application of  sludge.  Accordingly, it  V.MS necessary to provide

  more detailed material  on  this subject.


       The policy  statement contains criteria  for land application of

  municipal  sludges.  The most difficult matter to resolve, ho./ever,

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was application to lands which are or could be used to grow



crops in the human food chain.  For such applications, the



criteria in the policy statement are designed to protect



public health and preserve farmland resources.  To insure com-

         i

plete coverage,  projects involving crops in the human food



chain will  be reviewed by the Food and Drug Administration and .



the U.S. Department of Agriculture-





    The Agency is aware that there are research and dennnstra-



tion efforts now underv/ay to define optimum methods for utiliza-



tion of municipal sludge.  The present policy statement .is based



on current knowledge, and will be modified from time  t;o time as

                          4

additional information becones available.





   .Because of the wide interest in this subject, the Environmental
                                                               «


Protection Agency is soliciting comments on the proposed  policy



statement.  Interested persons should submit written  consents,



views, or data to the Director, t-'unicipal Construction Division,



Office of Water'Program Operations, F.nvironmental Protection



Ayency, Washington, D.C.  20-160.  All such co:r,:rjni cat ions  re-



ceived prior to 60 days after publication of  this notice  in the



federal Register will be considered in developing the  final policy



statement.
                               Russell  F. Tr.iin

                                Administrator

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                          Appendix I   •
         U.S..  ENVIRONMENTAL PROTECTION AGENCY  POLICY
 Acceptable  Methods ?J3asod Upon Current  Knowl edge ,  for the Utj 1 izati on or
 Disposal  o f SI j f 1 o es  F-on Pub 1 i civ  Q-.-T'cd H^tcv'a her '!' rsa tir^n t Plants .
     The treatment of waste-waters  for pollutant  removal  produces
 not  only relatively clean water for discharge,  but also a significant
 quantity of residue material.   For domestic  sewage,  treated in publicly
 owned plants,  this residue is  essentially organic in nature, although
 measurable quantities of metal, minerals, and other compounds are
 invariably -also present.  Where industrial Wostpwators  are treated
 together with  domestic sewage, the potential is increased for addition-
 al  foreign materials in the resulting sludge.  Further, pathogenic
-organisms in sewage may survive the wastewater treatment process and
 be found in the residue.

     Depending  upon the ccnstitutenfc character of the v/astewater
 treatment plant sludge, and the quantity involved, disposal of this
 residue material can e;rt a significantly adverse impact on the
 environment.  It is essuntial  for v/astev.'ater tre^tu^nt installations
 to givs effective consideration to the proper disposal  of sludge
 produced as well as to  che proper disposal of treated wastawater.

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\
The requirements of the Federal Water Pollution Control Act
     i

A/nondments of 1972 provide an immediate emphasis to the need


for environmentally sound means for sludge disposal.  The national


requirement for secondary treatment, to cite en example, vnll not


only produce a greater quantity of sludge than heretofore, but


will also result nationwide in greater and possibly rr.ore con-


centrated forms of foreign r.nterials present, in the sludge.




    The disposition of wastewater treatment plant sludges is a


complex problem.  It can involve simultaneously the air, land,


and water phases of the environment, encompassing such varied


considerations as public health, plant growth, and ground water


protection1, as well as pollution control.  Regional Administrators


of the Environmental Protection Agency are faced with these


questions daily as they evaluate sludge disposal systems included


in the design of publicly-owned treatment works for which con-


struction grant applications are made.  Even in consideration


of the still limited information available on the complex issue


of sludge utilisation uiid disposal, there remains.a need for an


Agency policy, defining a baseline of accc-ptjble sludge utilisation
       j

or disposal practice.

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    For the reasons cited above, a clear statement of environ-

mentally acceptable mathods for sludge utilization or disposal

is presented in this document.  The roethods listed are based

upon current kric.-.'leoye.  Mo attc.r.pi; is made to slate that the

listed n»thods are optinuni for sluJije utilization or disposal,

but rather to state that any adverse environmental impact

associated with each method can be tolerated n'f the site con-

ditions are suitable.  A companion docurant is being developed

to guide Federal research and demonstration efforts for the

purpose of producing optimum technology for sludge utilization

or disposal procedures which minimize adverse environmental  •
                      a
effects.


    The list of currently acceptable methods is divided into,

two distinct parts, in.order of the priority of acceptance.  The

first part has been established to include methods in v/hich the

sludge is utilized as a resource.  The second part includes those

methods which are environmentally acceptable but  In which the

sludga is not utilised for any beneficial purpose.
     »

    Methods vihich appear to have gr^at future premise, but which

have not been used In existing  facilities, are not included in
       \
                                                    / t
                                                    1 o

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this list.   As these methods are demonstrated  in practical  use,
and as supporting information is obtained,  they will  be added to
the list of acceptable methods.   Because it is the policy of the
Environmental Protection Agency  to encourage and, where possible,
assist in the develop/rant of new or advanced waste-water treatment
procedures, Federal grant funds  tvcy be awarded for the construction
of sludge utilization or disposal facilities not on the list,
provided that infornation is presented by t>« grant applicant
sufficient, to allovi a determination that such facilities-would
meet applicable statutory and regulatory requirements.

    Proper operation, maintenance, and monitoring of the sludge
utilization or disposal method are essential to ensure that ad-
verse environmental effects do not result.   Grant applicants
must demonstrate that they will  hove manager, operators, and
resources necessary to achieve and maintain the required performance
on a continuing basis.
    The criteria in this policy stateir-ent are subject to confirm-
ation or revision based on future experience in the field.   All.
users are encouraged to submit suggested revisions, data, and
information to the Director of the Municipal Construction Division,
Office of Uater Program Operations, Enviror,rental Protection Agency,
U.ishimjton, D.C.  204GO.

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Group I:  Sludge Utilization Methods
1.'  Stabilization and SubsequentLand  Application  for  Agriculture,
    Enhancement of Parks and Forests^  end Reclamation  of  Poor or
    Daniaged Tor rain, is an environmentally acceptable  method for           .
    the utilization of sludge.

•1 •  Stabilization.  Prior to land application,  sludge  r.jst  be
    stabilized to reduce public health hazards, as well as  prevent
   . nuisance conditions such as odors  and insects.  To be acceptable,
    the stabilization method used must reduce influent volatiles
    by at least 40 percent, and fecal  coliform reduction  must ex-
    ceed 97 percent.  In order to ensure nuisance  odor conditions
    do not occur, a higher degree of volatile reduction may be  re-
    quired (reference Figure 13, page  213, ASCE/WPCF Manual of  Practice
 •                                                           »
    on Sewage Treatrrent Plant Design ,1959).   Well designed and
    operated anaerobic digestion is an acceptable  method  for  sludge
    stabilization.  If anaerobic digestion is used, the sludge
    must be maintained in the digester at a temperature of at  least
    30° C> with hydraulic capacity for at least 30 days.   In  well  designed
    and operated high rate digesters,  the hydraulic capacity  iray be
   .reduced provided the performance requirements  are met.   Digested
                                                /

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       sludge can be  further  stabilized  by various composting systems.
                                    t
       If composting  is  used,  temperatures above 55°C must be reached
       as a result of oxidative  bacterial.action.  After proper com-
       posting the material must be cured in a stockpile for at least
       30 days.   It is emphasized that odor control is an extremely
       important requirement,  and the absence of objectionable odors
         /
       is highly dependent on  adequate stabilization.

       Aerobic stabilization,  chemical stabilization [lime treatment,
       etc.,], and heat  stabilization methods may also be utilized,
     '  provided that  assurance can be made, for the specific case,
       that the public health  factors and nuisance potential are no
       greater than would  be  associated  with anaerobic digestion or
       composting.  The  specific numerical values for stabilization
       as above may not  apply  to these alternative methods.

l.*2.   Land Application.   After  stabilization, liquid digested-sludge
       may be applied to the  land by  plow injection, or by ridgu and
       furrow spreading.   Dried  or dcwatered stabilized sludge, or
       composted material  from digested  sludge, may be spread upon the
       land ar.d then  incorporated into the soil by plowing, discing,
       or a similar met hoi.

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           Spray application  of digested  sludge to the land is acceptable
           only when the transport  of  aerosols, beyond the boundaries of
           the application  area, is minimized through such means as the
           use of low pressure sprays, or the use of spray nozzles located
           close to ground  level and directed downward.-
            /
    1.  3.   Precautions.
 1.  3.  1.   Protection of pLiblic Health
 1.  3.  1.   Pathogens.  Protecting the  public health must be accomplished
        •   by either controlling public access to the site, or by reduc-
           tion of pathogens  in the sludge.  Acceptable methods  for re-
           duction of pathogens in  digested sludges include pasteurization
           (30 minutes at 70°C), high  p.!  treatment with 11ms  (pH greater
                             •a
           than 12, for 3 hours), and  long term storage for liquid digested
           sludge (60 days  at 20°C  or  120 days at 4°C).  Additional disinfec-
           tion 1s not required for completely composted materials.-
1.3.1.  0.   Application to Agricultural  Lands
           Application of sludge to agricultural  lands  which may  be  used
           to grow crops must be carefully reviewed  to  ensure  cropland
           resources are protected and  harmful  contaminants do not enter
           the human food chain.
                                                        /7

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 Each  project  Involving application of sludge to lands which

 may be used to grow crops must be reviewed by the U.S. Department

.of Agriculture.  Additionally, when the crops will be in the

 human food chain,  the project must be reviewed by the Food and

 Drug  Administration.  Regional Administrators should arrange
    *
 for the  project  facility plan to be reviewed by these agencies.

 The report should  provide sufficient Information for the rev lev/,

 Including information on sludge treaonsnt, industrial users,

 estimated sludge characteristics, the land application system,

 expected crops or  products, operating practices, and monitoring.


 Work  is  underway by EPA, USDA, and FDA to define more precisely

 the types of  sludgas which can be used for land application.
                    4

 In the interim,  USDA has provided the following information:

         Sludges  not exceeding the maximum levels indicated

         1n Table I may be applied to land which are or could

         be used  to grow crops in the human food chain

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                   Table 1

    Interim maximum content of toxic elements  for  sludges  .

    to be applied to land which will ever grow crops  In

    the human food chain.
                                                         . «
                                               4
    Element                        Maximum Content  •   ' '
                                   mg/kg  dry sludge.

      Cd                                  10

      Cu                                 1000

      Hg                                   10

      HI                                  200

      Pb                                  700

      Zn                                 2000
              o

      Up to 150 percent of values listed  1n Table  1 may be

      tolerated 1f an abatement program Is concurrently

      offered -which will have the potential to reduce  the

      sludge contents to those listed.

      No greater total amount of sludge p.:.\y be applied over

      the life of the project than calculated  by Equation  1

      for the sludge and soil in question.

      Equation 1 :  Total quantity of sludge,  tons  por  acre,
      CUC  (m^q/lOOq ungnifrnc^d soil)  x  "i.63 x 104
mqjn_ . 5Q) + 2   (Mgju_^	 . 25)   +8x  (ry.NJ.
kg sJudga     '        kg slucicja        '           kg soil
                                            /

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            Equation 1  is  based on  limiting metal additions as Zn
            (equivalent)  to  5  percent of cation exchange capacity
            (C£C)  of the  unamended  soil to allow continued growth
            of all  crops  at  pli >  6.5.  The modified Zn (equivalent)
            1s used to  correct for  dilution of the soil by the in-
            organic matter of  sludge.

            The sludge-amended soil must be at pM > 6.5 for at
            least  2 years  after sludge amendment.

            In cases where sludye 1s applied  to  land which will
            not be used to grow crops In the  human food chain,
            higher total  applications may be  allowed.  In thosa
            cases,  1t will be  possible to adjust the pH and soil
            conditions, or use specific crop  species or varieties,
            which  will  limit injury from and  uptake of the con-
            taminants (consult the  Agricultural Research Service,
            U.S. Department  of Agriculture).

FDA has provided the following Information:

            Regulations jxist  to  control the  level of persistent
            organic chemicals, such as pesticides and polychlorln-
            ated biphenyls,  in certain components of the food chain.
            However, similar guid^l'nes have  not at present been
                           10
                                                     o

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 established  for  all  trace elements 1n foods.  When
 standards  are  Implemented, those sludge applications
 Involving _crops  in  the  human food chain will have to
 be adjusted  to conform.  Cd and Pb are of particular
 concern  and  Hg,  As,  Se  as well as persistent organics,
 such as  pesticides  and  PCB's could also be of concern
 in municipal  sludgo  and 1n some crops grown in sludge-
 treated  soil.

 Even though  pathogen reduction methods are used, addi-
 tional precaustions  should be undertaken when sludge
 1s used  for  agricultural purposes.  Under certain con-
 ditions, specific organisms may survive in the soil for
           o
 extended periods.  Consequently, application of sludge
'for crops  which  may bo  eaten raw by humans is not
 acceptable.   Sludge  applied to  crops which are cooked
 or processed before  consumption, to pastures, or crops
 used for foraae  should  be negative for pathogens by
 normally applied analytical procedures.  Forage and
 pasture  crops  should not be consumed by animals while
 such crops are physically contaminated by sludge as
 this could result in direct inaction by animals.
 Grazing  animals  should  not be ptv'mittr'd on pastures
 before thorough  removal  of sludge by rain or similar
 method.
                U

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     Where sludges are to be applied to the land,  industrial  users  of



municipal wastewater treatment works should be required  to  pretreat



their wastewaters so as to minimize heavy metals  and  other  chemical



contaminants from industrial sources (see Federal  Guidelines:   Pre-



treatment of Pollutants Introduced into Publicly  Owned Treatment Works).  .
                              11A

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Note, however, that quantities of these materials may also be present
In wastewaters usually considered of non-industrial origin.  In
developing pretreatment programs, special attention must be given
to the disposal of sludges created or materials removed during the
pretreatmcnt  process.  Disposal of these materials must(be in an  • •
                                                                i          ,
environmentally sound manner.

    The  criteria  in this section are based on limited Information and
admittedly tPA is conservative in defining a sludge -acceptable for.  - ,-.  -
land application.  Other sludges may also be acceptable as demonstra-
tion projects, including some sludges which do not in every respect
fall within the above limits.  Hoi/ever they can only be accepted
under certain carefully defined and "con trolled conditions.

    The  specific  nature of the program to control non-con Forming
types of land application of sludges will vary, but usually will
Include  monitoring, abatement procedures and perodic reporting.
An abatement  program must be capable of accomplishing its objective
vrithln a reasonable time, but in no case ir.ore than 5 years from
the start.

    Regional  Administrators should work closely with grant applicants
desiring to utilize such sludge in land application projects.  Technical
assistance t" resolvo specific questions  is available at EPA Headquarters,
tha EPA  NERC's, especially the Advanced H-iste Treatment Research
'Laboratory, and the USDA Agricultural Research Service.
                             12

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1. 3. 2.   Ground Water Protection

          The land application system shall  be so designed that the

          permanent ground waters (ground v/ater which is not removed from

          the ground by an urrderdrain system or other mechanical  means)

          which are In the zone of saturation (where the water 1s not

          held in the ground by capillary tension)  that result from the

          application of sludge will  not exceed the chemical quality

          or pesticides levels for raw or uncreated drinking water supply

          sources in tho EPA Manual for Evaluating Public Drinking Water

        •  Suppltes as below (except as noted in Paragraph V. 3. 2. 4.):



I. 3. 2.   1.         Chemical  Quality:
                                              Units of      Maximum Alloy/able
                                            Measurements '   	Limits	

          Arsenic             '                   rr.g/1             0.1
          Barium            •                     m'g/1             1
          Cadmium
          Chloride                               mg/1             250
          Chromium                               mg/1             0.05
          Copper                                 mg/1             1
          Cyanide
          Hourlde                      , "        mg/1             1.1
          Foaming Agents as Methylene Blue       mg/1             0.5
            Active Substances
          Iron                                   mg/1             0.3
          Lead                                   mg/1             0.05
          Manganese                              mg/1             0.05
          Mercury
          Nitrate Nitrogen                       mg/1             10
          Carbon Absorboblc Organlcs-Carbon;     mg/1             0.3
            Chloroform Cxtractable (CCE)


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     Effluent standards  for the following toxic pollutants have been
 proposed pursuant  to  s 307(a) of tiie Act.  These p7~oposed standards
 are being considered  a-t  public hearings, and will be promulgated  at
 the conclusion of  the hearings.  Any effluent standards promulgated
 for these pollutants  under s 307(a) will bo takon into account when
 the standards proposed herein are promulgated or revised:
     Cadmuirn
     Cyanide
     Mercury
     Aldrin and  Dieldrin
     DDT
     Endrin           .                                          .
     Toxaphene
V

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1. 3. 2.  2.
Carbon Absorbable Organics -
 Carbon: Alcohol Extractable
Selenium
Silver
Sodium
Sulfate
Zinc

             Pesticides:
                                           Units  of
                                              mg/1
                                              mg/1
                                              mg/l
                                              mg/l
                                                                                     \
                                                                                   J
              Maximum .Allowable
                  Limits

                    1.5

                    0.01
                    0.05
                    270
                    250
                     5
                                            Units of
               Maximum Allowable
                 C o n c g nj:. r a t i on
              Chlordane
              Heptachlor        .
              Heptachlor epoxide
              Heptachlor and Heptachlor
                epuxide
              Lindano

              Organcphosphate and carbamate
                 insecticides3
                                                mg/1
               2,4-0
               2,4,5-f
               2,4,5-TP
mg/l
mg/l

mg/l
mg/l
mg/l
 mg/l
 mg/l
 mg/l
                                                                      0.01
                                                          0:02
                                                          0.02
                                                          9.02

                                                          0.1
                                                          0.5
                                                          0.1
                                                          V
                                                          0.005
                                                          0.2
                             terms of parathion
       ent cholinesterase  Inhibition.
                                       13

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1. 3.  2: 3.   Any public drinking water standards  hereafter  issued by EPA which

             prescribe maximum allov/able limits or permissible concentrations

             of chemicals, radfoactive materials, or  pesticides  shall apply

             In lieu of those in Paragraphs  1. 3. 2.  1  and  1. 3. 2. 2.

              t

1. 3.  2. 4.   If the presently existing concentration  of any parameter 1s

             higher in the ground v:atcr than the  levels allowed  above,

             then the use of a land application  technique should not  result

             in an increase in the concentration  of that parameter.


                                          i

1. 3.  2. 5.   The soil depth to fissured rock, highly  permeable gravels, or

             ground water shall ba sufficient to  prevent ground  v;ater degrada-
                               >
             tion.  Because minimum vertical distances  arc  so dependant upon

             "in s-itu" soil conditions, a thorough investigation of soil and

             hydrogeologic conditions [by a  qualified geohydrologistj is

             required for each site where sludge  is to  be applied  to  the land.

             To prevent solubilization and migration  of metal  ions, the pM

             of the combined soil and sludge should be  above 6.5 at all times.


   1.  3. 3.   Control 1 i tig Su rf acpv Vh tor Runoff

             Surface water runoff must be controlled  to pr-vent  contravention

             of water quality standards v.'hich might be  produced  by the migration

             of sludgr material Into receiving bodies of v;ater.  Containment
                                                        X.7

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             and  controlled  release of  runoff  from sludge application
             areas,  or effective  erosion  control methods, must be
            .practiced as  necessary.  Technical advice on erosion control
             js available  from the Soil Conservation Service, U.S. Depart-
             ment of Agricultura.

   I.  3.  4.   Crops Suitable  for Sludge  Application.
I.  3.  4.  1.   Crops vary widely in their reaction to sludge enriched soils.
             The  particular  crop  species  iray be adversely affected by  trace
             elements in the sludge.  Additionally, the  crop may take  up
             and  concentrate certain  of these  trace elements, thereby
             inhibiting future use of the harvested materials (particularly
             in the human food chain).  The reaction of  a specific crop to
             sludge application is extremely site dependent.  Factors  such
             as soil type, pH ..moisture content, climate, and crop species
             are important.   For  advice concerning crops which can be
             satisfactorily  grown in  sludge enriched soils,  the  local  re-
             presentatives of the U.S.  Department of Agriculture should be
             consulted.
I.  3.  4.  2.   To date the practice of  sludge spreading  in forests has been
             limited,  tlov/over, forests offer  opportunities  for  beneficial
             use of sludge to improve soil fertility and increase  tree
                                                      x *

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             growth.   With  most  tree  species  nutrient uptake  is small comr


             pared  to that  of cultivated  crops,  however  in the case of some


             species, intensive  culture operations  for the production of

                                                                         • «
             wood fibre is  possible.   High  application rates  {in excess,


             of about 15 tons of dry  solids per  year per acre) might re-


             quire  nitrogen removal to prevent nitrate pollution of ground-


             water.



   I.  3.  5.   Application Rates.


I. 3.  5.  1.   The sludge application rate  per unit of acre must be managed


             to ensure that environmental  requirerr-ents are !t\it.


             It is  not possible  to give a  rate,  or  even  an upper limit, which


             would  be universally applicable, since the  limit varies widely


             and must be determined for each site.


I. 3.  5.  2.   Nitrogenous substances usually limit annual  application rates.


             The folios'/ing  factors must be estimated.


                ?..   Total nitrogen balance ,including nitrogen applied,  plant


             uptake,  loss through volatilization or denitrification  ,  recycling
                                                                              k»

             from decaying  plant matter,  and potential for nitrate migration


             to the ground  v/ater.


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               b.  Quantity and persistance of ammonia compounds since
             excess amounts are toxic to some seeds.  Two weeks cessation  •
             of application before seeding has been adequate.

             It is possible that lha presence in the sludg? of certain
             salts, phosphorous compounds, metals, radionuclides and
             other materials may also limit application rates in specific
             instances.   Each  propsective land application should be
             assessed  on  a case-by-case basis vnth consideration given
             to both local sludge and soil characteristics.
1. 3.  5.  3.   Sludge is generated relatively constantly throughout the
             year.  "The application  rate must be harmonized with the crop
                              *
             growing season.   A mass balance is necessary to determine the
             amount of sludge  storage required, including an allowance for
             climate conditions or other unusal conditions, during intervals
             when the  sludge  is not  applied to the land.

   1.  3.  6.   Monitoring
             A plan must  be developed and  implemented to provide for adequate
             monitoring of each land application site.  Uhere application
             rates will not exceed 5 dry tons/acre/year for  liquid digested
             sludge, or 50 dry tons/acre/year over  a three year period for
                                 17
                                                        3 6

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          dried or dewatered sludge,  the sits uxmitoring requirements
          may be reduced,'considering the  size of the site, and the
        •  potential  for problems  or adverse  long term effects.  This
        - plan must bs specifically designed for applicable local con-
          ditions, and is  to include  (but  is not limited to):
             a.  Ground water observation  wells, surface water, sludge,'
          and soils:  nrionitor for heavy metals, persistent organics,
          pathogens, and nitrates.
             b.  Human food chain products grown 1n  sludge aided soil:
          heavy metals, persistent organics, and pathogens.

          Group II:  Sludge Disposal  Methods
2.        San itary Landf i 11 o f sludge containingjTO_freq moisture, either
          separately or along with mixed municipal solid waste  is an
          environmentally acceptable  method  for the  disposal  of sludge.

   2. 1.  Stabilization
          The sludge must bs stabilized as described for land application
        -  in order to prevent nuisance and reduce hazards to  those working
          in the area.
  I. 2.   La_nd_f11 'I Procedures
2. 2. 1.  A sanitary landfill accepting sludge must  be  designed and operated
          1n accordance with EPA Guidelines  for land Disposal of  Solid
                              10

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          Wastes (40 CFR 241).  While It is recognized that  the  Guide-
          lines were developed for solid waste at Federal  facilities,
          a sanitary landfill accepting sludge must comply with  all  the
          requirements and recommendations contained in the  Guidelines.
           i
2. 2. 2.  If a sanitary landfill accepting sludge is not operated by
          the waste water treatment authority, a written contract, or
          binding agreement is required betv;een the wastewater treatment
          authority and the operator of the sanitary landfill.   Such
       •  binding agreeiDent shall include necessary assurances of
          compliance with the requirements and recommendations of the
     .	^Wb Owl dell nes (40 CFR 241).
   2. 3.  Precautions      o                             •
2. 3. 1.  Protection of Public Health
          Sludge stabilization and the daily soil cover are  generally
          adequate protection from direct health hazards.-
2. 3. 2.  Ground Water Projection
          The. qround water underlying the sanitary landfill accepting
          sludge must be protected against degradation, and the sanitary
                              19

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          landfill must meet the ground water protection requirements .

2. 3. 3.  Monitoring
          A plan must be developed and implemented to provide for adequate
          /
          monitoring of each sanitary landfill accepting sludge.  This
          plan must be specifically designed for applicable local con-
          ditions, and is to include:
             a.  Ground water observation wells tested for jiea_vy_metals,
          persistent organics, pathogens, and nitrates.
             b.  Surface water monitoring tested for COD and total .
          dissolved solids.  Additional testing may be necessary if
          it is determined'that leachate is entering surface waters.
      3.  SIgdge  Incineration and Disposal .of the Resi.iltjng Ash is an
          environmentally acceptable method for the disposal of sludge.
          Incineration alone is a volume reduction method rather than
          ultimate disposal.  After incineration there remains ash,
          either dry or in scrubber water, to be disposed of in a properly
          operated sanitary landfill..
   3. 1.  Industrial wastewaters introduced into a municipal wastev/ater
          treatment works, which practices sluciga incineration, must be
          pretreated to reduce to a minimi;!?! the? amounts of he e/y metals
                               20

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       radioactive materials and persistent organics  such  as  pesticides
       and polychlorinated biphenyls.   In  developing  pretreatment
       programs, special  attention  must be inade  to the  disposal  of
     .  sludges created or materials removed during the  pretreatment
      , process.  Disposal of these  materials must  be  in an environ-
       mentally sound manner.

3. 2.  The emissions from the sludge incinerator must meet the EPA
       Air pollution emission standards of performance  contained in
       the New Source Performance Standards for  Sludge  Incinerators
     .  (40 CFR 60).  These emission limits are based  on a  venturi
       scrubber, but any similan-equipiisnt which meets  the standard
     •  is acceptable.  Sludge incineration 1s knowi to  vaporize  any
       mercury present in the incoming sludge.  EPA is  now investigating
       the naed for a mercury standard for sludge  incineration.   If
       such regulations are promulgated, sludge  incineration  will be
       acceptable only if assurance can be made  that  mercury  eir^m'ssion
       limitations will be met, for the specific case.   In the interim,
       pretrea'tifisnt requirements should be imposed to eliminate
       mercury in municipal wastewatcrs from industrial or institu-
      •>
       tional  sources.
                           21

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 3.  3.  The incinerator must be so  designed  as  to  produce an operational
        temperature of 1600° F and  minimum residence time at that
        temperature of 2 seconds or an  equivalent  combustion condition
        which accomplishes the purpose  of destroying organic com-    • '
                                                                 *          .  .
        pounds, such as polychlorinated biphenols,  for  all  combustion
        gases generated during the  combustion process.

3.  4.   A plan must be developed and implemented to provide for adequate-  -
        monitoring of each sludge Incinerator.   The stack  gas  emissions
        from sludge Incinerators must be monitored to  ensure compliance
      .  with 40 CFR 60.  Additionally mercury 1n stack  gas  emissions
        must be monitored and waste water from  industrial  users' must
       be monitored if it is determined that, such  users will be a  sign-
       ificant source of mercury in the municipal  sludge.
 j   4.  Ocean Disposal of sewage sludge is .considered  acceptable for
        treatment works presently using this method v;hen tha sludge
       -meets the criteria specified in 40 CFR  227. When  the  sludge
        exceeds the criteria, ocean disposal will  be permitted only
      ,  on an interim basis and subject to £>n approved implementation
        plan to eliminate the materials han-rful  to  the  marine  environment.
 :. 1.  The Kedcral Water Pollution Control  Act Ai.x-ndrant  of 1972  (PL 92-500)
        and the Marine Protection,  Research  and Sancturaries Act of 1972
                            22

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'.t
            (PL 92-532)  have established a Federal  program of marine
            pollution abatement-and control.   EPA has  issued  regula-
            tions and criteria (40 CFR 220-227)  to govern  the disposal
            of wastes to the marine environment,   EPA  controls such
            disposal by  a system of permits for  the discharge, trans-
            portation, and dumping of all waste  materials  into the'marine
            environment  (except for dredged material„  which  is controlled
            by the Corps of Engineers).

     4, 2.  Ocean disposal of sewage sludga is strictly controlled by  EPA.
            Currently EPA will approve only existing dumping  sites presently
            in use of the disposal of particular kinds of  waste,  unless
                             »
            there is extremely strong evidence in favor of approval of
            a new location.
                                 23

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