TRANSCRIPT
                           Public Meeting
                  Strategy for the Implementation
                  of the Resource Conservation and
                        Recovery Act of 1976
               January 19, 1978, Arlington, Virginia
                 This meeting was sponsored by EPA,
and the proceedings (SU-33p) are reproduced entirely as transcribed
        by the official reporter, with handwritten corrections
                 »   by the Office of Solid Waste
                U.S. ENVIRONMENTAL PROTECTION AGENCY
                                1978

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UNITED STATES ENVIRONMENTAL PROTECTION AGENCY


In the Matter of:

PUBLIC MEETING

STRATEGY FOR THE IMPLEMENTATION
OF THE RESOURCE CONSERVATION AND
RECOVERY ACT OF 1976

                                   Rosslyn Room B
                                   Ramada Inn
                                   1900 North Ft. Meyer Drive
                                   Arlington, Virginia

The above-entitled meeting was held, pursuant to notice, at 9': 00am

SPEAKER:
          THOMAS JORLING
          Assistant Administrator for Water and Hazardous Materials
          Environmental Protection Agency

PANEL MEMBERS:

          STEFFEN PLEHN
          Moderator
          Deputy Assistant Administrator for Solid Waste

          Stephen Lingle
          Chief, Technology and Markets Branch

          John P. Lehman
          Director, Hazardous Waste Management Division, OSW

          DR. JOHN SKINNER
          Director, Systems Management Division,OSW

          H. LANIER HICKMAN
          Director, Management and information Staff, OSW

          EILEEN CLAUSSEN
          Chief, Program Management and Support Services, MIS, OSW

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                         !_ N_ D E_ X

STATEMENT OF:                                        PAGE

     Bill Anderson
     American  Consulting Engineers fou-rc.i\           19

     Commissioner David J. Damiano
     Department of Streets, City of
     Philadelphia                                    22

     Marchant Wentworth
     Environmental Action                            42

     Tom Conry
     Technical Information Project                   52

     Mark Sullivan
     National Wildlife Federation                    56

     William DeVille
     National Governor's Association                 63

     Al Merino
     NGA, California State
     Solid Waste Management Board                    74

     Wiley Osborne, NGA
     Texas Department of Health                      90

     Philip H. Taft, Director
     Tire Retreading Institute                      105

     Arthur Handley
     Malcolm-Pirnie, Inc.                           109
     Dr. Rgflfrcll Petrone, Director
     National Center for Resource Recovery, Inc.    119

     Cliff Cobb
     National Association of Counties               125

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          (Administrative Announcements by Mr. Lanier


          Hickman>


         MODERATOR PLEHN:  Good morning, everybody.  Welcome


to ©ur hearing on solid waste statagies.


         I am Steffen Plehn, the Deputy Assistant Adminis-


trator of the Solid Waste Program, and we say we are very


happy to have all of you here this morning.


         Let me just begin by explaining how we propose


to proceed with this meeting and then I will have the

                            SS
pleasure of introducing Thom^Jorling who is going to be


making some opening remarks.


         We have received advance requests from, I believe,


nine individuals who wish to make statements.  And we will


take those in the order in which we received them at EPA.


         And I don't know how long that will take, but that


will be our first step.


         After that, we will take statements from those


people who indicated on their registration form that they


would like to make a statement.


         And after that, we will take written questions


from the audience.  And we have a. supply of cards which will


be distributed.


         And if you would put your question on a card, at


that point in the program, we will bring them up to the

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 front  and we will try to answer your questions.




         We have a court reporter taking the transcript




 and  a  transcript will be prepared.  And copies of that




 transcript will be made available to all of you that




 registered.




         We hope that that transcript will be available by




 the  end of February.




         We will break for lunch at 12:00 o'clock, and we




 will reconvene at 1:00 o'clock this afternoon.




         I also would like to remind you that we will




 accept prepared comments on the strategy through the first




 of February, and those should be -- if you have that here




 today and you would like to give us those copies, if you




would make that available to Gerri Wyer.




         Well,  at this point, I would like to introduce




Tom Jorling, the assistant administrator for air and waste




management -- here is Gerri Wyer in the brown suit.  She




 is the person to whom you should provide your statement.




         And Tom will be making opening remarks for our




meeting this morning.




         MR. JOKLING:  Thank you Steff and good morning.




         One of the fascinating features of a position that




 I find myself in now is the notion of incorporating the




 public and public participation in all of our activities




         Prior to joining EPA, I was on the side of

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                                                    6




assisting of public participation and it is an important




concept, not made any easier, however, by its execution.




         It's very difficult to continually involve the




public in activities without, then, subjecting yourself to




the criticism.




         You send out a document and you get public partici-




pation.  You change the document and you send it back out




and everybody says we're always one draft behind,  or what




have you.




         It's very difficult to work out the mechanics of




the sessions.




         The Resource Recovery Act, like most of the statutes




that we now implement in EPA,calls for public participation




in all of the implementing elements of the statute.




         And I think the exercise in RCRA and the implementa-




tion by the Office of Solid Waste has been the sort of




leading edge of public participation efforts in the Agancy.




         I don't think anyone really contests that the




statute in Section 7004 provides a mechanism for public




participation.




         Last week we published, in the Federal Register,




the guidelines for that public participation and it is  a




program which we have been carrying out and will continue




to carry out.




         So far, we have held 25 public discussions; hearings

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                                                    7




if you like, which have been transcribed and which the




public has been fully involved in the development of regula-




tions which we are now beginning to see emerge from the




Agency and will continue to emerge.




         Today £e a continuation of that effort.




         We have, as the subject, the Strategy Document,




which has been circulated for wide distribution all across




the country as well as to those who have identifiable




interests and which have recorded interest in the Agency




and in the subject of Resource Recovery.




         The next test of public participation is some kind




of assurance that what, in fact, the public says and what




it recommends is, in fact, incorporated into the decision-




making processes as we go along.




         I think, again, the history of the Office of Solid




Waste and the implementation in the regulatory process is




indicative that the answer to that question is decidedly




yes.




         The regulations have been dramatically influenced




by the public meetings that have been held.  And I hope




that we can continue to persuade people that these efforts




are not useless.  They are not simply pro forma.  That, in




fact, they are essential to the process and that the




activities are incorporated into the final documents which




emerge from the Agency.

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         I think it's fair to say, also, that since this




document, while it represents a draft, it is just that




there have been no final or determinations made by me or




by Steff, and certainly not by the Administrator.




         This do«u»ent-reflects the efforts of staff in




interacting with various interest groups in putting together




a document which we would then hope will sort of frame the




issues.




         I should also urge that during the course of your




interaction with the staff, that you should not feel con-




strained by the document.




         In other words, there might be some things that




are not touched on in this document that you think are




proper for a strategy document and that you should address




those.




         This is by no means the four corners of the strategy




that will emerge from the Agency.




         The problem of solid waste resource recovery is




growing in its dimensions.  The strategy document is an




attempt to get ahead of that problem, and that, I guess,




we will call an issue of government.




         The dimensions which are now becoming buzz words




are staggered.  And let me just read through some of those.




         In 1976, the nation produced something on the order




of over a hundred million dry tons of residential, commercia]

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                                                    9




and institutional waste? 375 million dry tons of industrial




waste of which 30 million tons are classified as potentially




hazardous; 7 million dry tons of waste water treatment




sludges, a number that will be growing rapidly as the




secondary treatment plants that we have been funding come




on line with increasing frequency over the next several




years.




         The 30 million annual tons of potentially hazardous




waste, primarily industrial, contain toxic chemicals,




pesticides, acids, caustics, flammables and explosives.




         The range of toxicity here is wide and the hazard




is wide.




         We expect the tonnage to increase by over 30 per-




cent in the next decade, in part because of the application




of our regulatory mechanisms and other laws, the Clean Air




Act, the Clean Water Act, the Safe Drinking Water Act, and




the like, are all having the effect of generating increasing




amounts of these materials.




         Another acute problem and one that I think we are




all beginning to recognize the dimensions of is the problem




of locating facilities for the management of hazardous




waste.




         Most of you are probably aware of the difficulties




associated with the Rollins Plant in New Jersey and the




difficulties associated with convincing the public that we

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                                                    10




know enough to manage these materials in safe ways.




         I spent some time this morning with the staff on




another issue related to this that basically daals with the




vessel without a country which is the Vulcanus.




         Many of you are aware that the Vulcanus was used




under an EPA permit to burn herbicide orange in the Pacific




last late fall.




         Well, one of the permit conditions was that the




vessel be free of dioxone before it entered any port.




So, for the assurance of freedom of dioxone have not been




given.




         So the vessel is sailing from port to port trying




to find one that it can move into for necessary repair.




These kinds of issues are going to be growing.




         At the same time, the Vulcanus is finding it unable




to undergo these repairs.  The vessel was necessary for,




basically, the common market — the European nations, the




western European nations — disposal of organic and hazardou;




waste.  And these now have been stored in Antwerp to the




maximum extent of the storage facilities there.  The vessel




can't get into the port to receive them.




         So the European community is suffering from really




acute problems of what to do with these hazardous wastes.




It's a difficult problem and one that we are all going to




have to deal with.

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                                                         11
  I
1             The Congress was also specifically concerned with

     the task of safely dealing with 135 million tons of ordinary

     municipal solid wastes.

              A survey conducted in '75 revealed that there were

     more than 19,000 landfills and less than 6,000 of them met

     existing state standards.

              And finding environmentally safe ways to dispose

     of sewer sludges is also a major problem for many cities.

     The 7 million tons includes tons that are contaminated with

     soi.3 toxic materials most commonly associated with the heavy

     metal such as cadmium.

              I think, also, we are moving from the conception

     of the problem of one of disposal to recognizing the opportu

     nitie®  that are represented by this materials flow.

              The municipal waste from large urban areas could

     generate energy equal to 400,000 barrels of oil per day,

     nearly a third of that capacity reflected in the Alaska

     Pipeline.

              Recovery of the materials from residential and

     commercial waste could provide 3 percent of the nation's

     lead fibers and of its copper, seven percent of its iron,

     8  percent of its aluminum, 19 percent of its tin and 14

     percent of its paper.

              However, certainly,  our  traditional attitudes have

     prevented that kind of recovery,  that kind of source

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                                                    12





reduction from occurring.




         And we have an attitudinal problem as well as




a technological systems problem to overcome.




         The draft strategy which has been circulated and




which is the subject of this hearing established two broad




goals.




         And those goals are to assure that all solid waste




and hazardous waste are managed in a manner that will pro-




tect the environment and public health.




         The second goal is to conserve the natural resources




directly through the management revise and recovery of solid




and hazardous waste.




         Consistent with these goals are six more specific




and measurable objectives.  The following objectives have




been established :




         To develop and enforce regulations to protect




human health and the environment.




         To develop the research and development improved




technologies necessary to achieve environmentally acceptable




cost effective solid and hazardous waste management.




         To establish federal and state and local programs




to carry out the objectives.




         To establish solid waste disposal practices that




provide acceptable levels of protection of public health




and environment and to discontinue or upgrade existing

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                                                    13





unacceptab le practices.



         To establish practices for the transportation,




storage, treatment and disposal of hazardous wastes that




will eliminate present or potential hazards to human health




and the environment.




         And to establish resource conservation and recovery




practices as the preferred solid waste management approach




wherever technically and economically feasible.




         The strategy describes the constraints to implemen-




tation of these goals and objectives, all of the above




technological,institutional, economic and resource, and




the  proposed four program priorities.




         And it's on those priorities that I'm sure your




reactions will be directed and we invite.




         The priorities that we have proposed are, first,




to control waste disposal as the highest priority activity




in the RCRA implementation over the next five years.




         Second, in order to establish resource conservation




and recover  the preferred solid waste management option,




certain programs will also be given high priority in the




next five years.  These include economic incentives through




the resource conservation committee's work and the recom-




mendations that will be flowing from that activity assisting




in the development of state regional programs through




financial and technical assistance,the TA Panels.

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                                                    14
         The third priority is that industrial waste should
receive priority emphasis in all solid waste management
activities.
         And, fourth is the encouragement of state assump-
tions of the provisions of RCRA and the high priority
activities.  And a center should be provided for that pur-
pose.
         We are traveling over new ground with RCRA.  The
federal involvement is not as historical and the result
of experience as is the case of the Water Pollution Control
Program, and now, to some extent, in the Clean Air Act
Program.
         It's the first time that the Federal Government
has been directed,through statute, to be an active partici-
pant in the process of management of solid waste.
         Working out that balance is a very difficult issue.
         What we are doing is trying to bring back into
some sort of balance a long pattern of use of materials
in our society.
         We do emphasize the resource recovery elements
and also the protection of public health.  We are reflecting
the fact, I guess, that there is no longer a hill beyond
which we can throw material.
         The oceans are no longer available to us.  The
landscapes are becoming excluded from us.  So we must come

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                                                    15




into a management scheme which reflects the natural system*s




refuse and recycle of material.




         It's absolutely essential that this be done.




         One of the interesting ways of focusing on this




program is to consider ourselves some 2,000 years hence




and examine our landscape for what we will describe as




pyramids.




         The pyramids would be, in effect, portions of the




landscape that are dedicated forever for certain uses by




a given culture.




         And if you look at the amount of those types of




landscapes that our society is generating, I'm sure that




those folks in several hundred or even fewer years are




going to look at our culture with some surprise, much as




we do at the pyramids, and wonder why a culture could




dedicate a landscape to that particular purpose.




         But if you look around and examine the amount of




landscapes that are dedicated because of land filling of




materials because of the necessity to protect materials




from release into the environment for long periods of time,




both radioactive and otherwise, we see a tremendous increase




in the acreage.




         That is not good public policy if we include a




time horizon that has any greater than a five-year period.




         And I would hate to continue that process when

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                                                    16




there are alternatives available and those are the alterna-




tives, hopefully, the strategy will stimulate and produce.




         As I mentioned, I'm urging you not to be con-




strained by the document, itself.  To focus on issues that




you don't think have been properly raised in it.  To con-




sider issues that we might be directed to better integrate




some of our processes.




         The permitting processes, for instance, under the




Clean Air Act, the Clean Water Act, the Underground Ihjectioi




Regulatory Program under the Safe Drinking Water Act, the




Hazardous Waste Permanent Program that is established under




RCRA.




         People have ideas on how the strategy can speak




to those issues.  And we will certainly welcome them.




         I hope that it will be a productive meeting.  I




can assure you that the comments that you give will be




considered thoroughly, and I'm sure will have the effect




of changing the nature of this document.




         That is our objective and I hope it's yours.  And




I look forward to receiving the benefit of your views througf




this hearing exercise.




         Thank you very much.




         MODERATOR PLEHN :  Tom, thank you very much.




         I would gust like to mention, while I have the




Jnicrophone, that we have, out close to the registration desk

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                                                     17





a publication stapT»ed with some of the publications of




the Solid VJaste Program that you may want to take a  look




at that and see if there's any there of interest to  you.




         We also have a terminal out there which connects




to the computer memory bank of our Solid Waste Information




Retrieval System.  We're very proud of this system.  It




really is a complete bibliography of the all of the world's




solid waste literature, at least all the world's solid




waste literature that comes regularly to our attention.




         And we think, with this new computer terminal




capacity, that we're going to make that data base much more




accessible to ourselves and to any of you and anyone else




in the country who would like to use them.




         So you might want to stop by and take a look at




that and get some sense for what that might be able to




help you with.




         Now.  I would like, now, to introduce my colleagues




here at the head table who really serve as the drafting




company for the preparation of this strategy.




         And our idea here today is rather than having you




make statements and our receiving them, that we may be




able to get some kind of dialogue going and have you have




an opportunity to ask questions of this group and they, in




turn,  have an opportunity to ask questions of you.




         And in that way,  to really have a dialogue about

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                                                    18





the issues before us.




         Starting at the far end of the table, I would like




to introduce Steve Lingle who was the acting division chief




of the Resource Recovery Division this summer and is




currently the branch chief of the Technology and Markets




Branch of the Research Recovery Division.




         Next to him is Jack Lehman who is the division




chief of the Hazardous and Waste Management Division.




         And next to him is John Skinner who is the division




chief of the Systems Management Division.




         And next to him is Lanier Hickrnan who is head of




our Management and Information Staff.




         And next to him is Eileen Claussen who is head




of our Program Management Branch.




         My relationship to this draft strategy is that




it really reached completion and was ready for distribution




at about the time that I physically arrived at the solid




waste office.




         I read it over briefly and then we distributed




it to all of you.  I consider this, really, a very timely




opportunity for me to use this strategy and its review as




an opportunity to really come to understand better what




some of the key issues are in the solid waste field.




         So that I'm going to be really very interested in




what I'm able to learn today.

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                                                    19

         So at this point, I would like to ask Mr. Bill

Anderson, who is Chairman of the Solid Waste Task Force

of the American Society of Civil Engineers, if he would

like to step up to the microphone and make his statement.

         STATEMENT OF BILL ANDERSON, AMERCIAN
         CONSULTING ENGINEERS COUNCIL

         MR. ANDERSON:  Thank you.

         I would like to correct a small announcement there.

This morning, I am representing the American Consulting

Engineer's Council, not to be confused with the American

Society of Civil Engineers.

         MODERATOR PLEHN :  I apologize for that.

         MR. ANDERSON:  That's quite all right.  You have

a lot of different groups out there and it's difficult to

keep them straight.

         In keeping with the idea of strategy development,

that is, long-range goals and objectives that you are

seeking to accomplish, our comments this morning from the

Consulting Engineer's Council are broad and general.

         But I do think we offer some recommendations which

would be of value to you.

         We compliment EPA on the development of a strategy

for RCRA implementation to guide your Agency's efforts.

This approach, which is an attempt, and, I think, a fairly

good one, to recognize the limitations, weigh alternatives

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                                                    20





and set priorities we feel has been too often lacking in




other developments of federal programs.




         And so we compliment you on the efforts thus far.




         We further concur with the general priorities




that you have established.  Number one, to concentrate on




disposal in the near term while, secondarily, encouraging




resource conservation and recovery.




         We may not, however, always agree with some of




the statements you have made in the strategy document lead-




ing up to the priorities that you have established.




         But keeping my remarks of a general nature, I am




not going to nitpick with you this morning.




         But most importantly, I find it difficult to com-




ment about the strategy because, to me, after reading this




document and coming down to the final conclusions in your




Chapter 8 or 9 where you set the priorities, I didn't find




specifics which would enable us, from our position, to




weigh exactly what you are going to do.




         Words like considerable attention, more emphasis




or less emphasis, leave me in a position where I really can'




comment because I don't know what you are thinking.




         I think the priorities that you've established, as




I said earlier, are a good beginning.  And now we would




encourage you to articulate those priorities into some




target goals.

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         I'm not asking for technical kinds of information




but long-range target goals; what levels of effort  in terms




of manpower, in terms of dollars, recognizing all the




limitations that you defined to relate to these priorities.




         And then I think ourselves and others would be




able to say this is the direction that we agree that the




federal program should proceed or we do not agree with the




direction based on a level of effort which you intend to




apply to each item.




         I think such specifics are essential, not only for




our ability to comment, but also for effective program




management from your own viewpoint.




         Finally, I would like to make one recommendation,




keeping with the general nature that I think should  be




added to your list of major activities deserving major




emphasis.




         And that would be to — for your office to  under-




take a leadership role in coordinating the various legisla-




tive mandates of other programs which was addressed  in




Section 1006 of the Act.




         We, and everyone else, we consulting engineers and,




I think, everyone else involved in implementing directives




from the fderal level,  are continually frustrated by the




lack of coordination between one agency and between  sv<=»n




departments within an agency.

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         I recognize that this is not going to be an easy

task.  Big government has a lot of different pressures that

it has to speak to.

         But we would encourage you to take a leadership

role in, at least,  the solid waste field.  And you articu-

lated the various areas in Chapter 10 or 11 of the document

where there is overlap before we proceed to implement to

resolve those overlaps into some kind of coordinated approach

         I think that, by itself, the elimination of con-

flicating and duplicative regulatons, is going to enhance

the response to your efforts by those involved in actually

solving the problems; states, localities and private industry

         We thank you for this opportunity to make a presen-

tation this morning and we intend to follow up with a

written document provided to you.

         MODERATOR PLEHN:  Thank you very much, Mr. Anderson.

         Our next speaker is Commissioner David Damiano

of the City of Philadelphia.

         STATEMENT OF COMMISSIONER DAVID J. DAMIANO,
         DEPARTMENT OF STREETS, CITY OF PHILADELPHIA

         MR. DAMIANO:  Thank you and good morning.

         I sincerely appreciate the opportunity to appear

before you today.

         As EPA knows, our City has been involved with prac-

tically every solid waste management issue confronting a

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                                                     23




major metropolitan area in the United States.




         Moreover, in the case of the New Jersey  importa-




tion ban, the pending action by the United States Supreme




Court, involving land disposal areas for Philadelphia's




refuse, will have the most profound effect on  national,




state and regional plans for solid waste, whether municipal




or hazardous.




         For these reasons, I am particularly  happy  to




address the document entitled, "Strategy for Implementation,




the Resource Conservation and Recovery Act of  1976."




         The course followed by EPA over the next several




years will materially affect the course of solid  waste




management in this country, just as has been the  case since




1965, following the passage of the first Solid Waste Dis-




posal Act.~




         General Overview.  The document acknowledges the




regrettable fact that Congress has not provided,  nor will




probably ever provide, the resources to undertake the solvinc




of this national waste problem.




         For many years, the financial and implementation




problems of urban and rural solid waste management plans




have been written off by the Federal Government as just a




local issue.




         This  is not true.   Improper solid  waste practices




impact our environment and  our  citizens  from  the Atlantic to

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                                                    24




the Pacific.




         The detailed discussion on each of the four major




constraints presented in Chapter VI represents the most




accurate, cogent statement of the true problems of solid




waste management ever prepared by the USEPA.




         The agency has correctly described the constraints




faced by local government, and states, and private enter-




prise in dealing with what still represents the toughest,




most unresolved environmental i^sue in the United States.




         The facts and opinions presented in this strategy




document represent a marked departure from the EPA state-




ments of the last several years and, as such, are truly




welcome.




         This strategy shows the hand of solid waste manage-




ment professionals and should be supported by we non-federal




people.




         A copy should be required reading for all repre-




sentatives of Congress and Administration officials who  shap<




and change our laws and the budgets to carry them out.




         Hopefully, the implementation of RCRA can repre-




sent a turning point in recognizing solid waste management




for what it is:  a truly national issue which transcends in




most cases the parochial interests of local, county and




state governments.




         Goals and Objectives.  While the two goals outlined

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                                                     25





 in Chapter  I are completely correct, a third  goal  is




 needed :  to assure that the goal of protecting  and conserv-




 ing our haalth, environment and natural  resources  is bal-




 anced with the impact on human resources and  needs,  includ-




 ing our economic capability for achieving these goals.




 Our cities  face hard choices between human and  environmental




 resources.




         The USEPA should  aid them in making  educated




 decisions among clashing public and political points of view




 on this volatile sugject.




         Local Government  prospective -  Public  and Legis-




 lative Attitudes.  The  federal strategy  must  be cognizant of




 the fact that local government alone will not be able to




 resolve the problems of adverse public reaction and  siting




 opposition.




         Public education  alone is no solution.  It  has neve:




 worked on tough problems.  It is not likely to  work  any




 better on this new hazardous and toxic waste  issue.




         Guidance and direct assistance  in overcoming




 public opposition must be  provided by the state and  federal




 governments.




         The problem of urban areas in dealing with  the




 solid waste issue will be compounded immensely if  the United




States Supreme Court upholds the  right of the State  of New




Jersey to ban importation of refuse into their state.

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                                                    26





         This is especially true if done under the guise of




asserting that all landfills pollute but since they are




inevitable, the landfills in New Jersey must be reserved




for New Jersey citizens.




         The impact of state importation bans  (followed by




county and local importation bans) on the implementation of




a strategy for RCRA is enormous.




         Such legislative actions by state^represent the




most serious threat to the Act imaginable.




         EPA must face this threat and include methods




of dealing with the issue as part of its program for under-




taking the Congressional mandate of the current Act.




         Funding Priorities.  It is proper for the strategy




document to direct the limited resources of RCRA to State




and local funding.




         State and local governments are on the firing line




in solving the solid waste problem.




         Therefore, no large federal program is required.




The state governments,with the assistance of the federal




regional offices, must attack the problem where it exists;




local government.




         Pennsylvania communities are fortunate that our




Department of Environmental Resources has been a leader




among state agencies involved in solid waste management.




         Our state has a strong planning, management and

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                                                     27





£nforcEm3nt program.  With new resources from RCRA,  the




State will be able to continue and expand its program.




         This is a proper course since  improved  solid waste




management must stem from state government  initiative to




local government action.




         Implementation of RCRA by EPA  must emphasize




this fact.




         In that light, I would like  to identify a  confusion




in priorities within the document.




         Chapter IV, Subtitle D, provides that counties,




municipalities, and intermunicipal aoenci^s are  only




afforded grants for feasibility studies, consultations and




market studies .




         How=v°r,  special communities with  low population




and high levels of generation will receive  grants for conver-




sion or construction of solid waste disposal facilities




and for rural communities to upgrade  solid  waste management




facilities.




         This is a mixup of priorities.




         The n=eds of cities versus rural communities do




not differ except by a. scale factor.




         There is no valid reason for discrimination against




cities in favor of rural communities.   In fact,  the  rsverse




is true.




         Rural communities  theoretically hav% more than ampli

-------
                                                    28



land resources which may be assigned to solid waste dis-




posal by the landfill method.




         This is the most economically and environmentally




sound method of dealing with the problem.




         However, cities have long exhausted their land




resources.




         In addition, metropolitan areas account for greater




refuse quantities than rural areas.




         Priority of funds could be directed to cities who




have a far greater need.




         For example, without land resources in Philadelphia,




solving approximately one-third of our solid waste problem




requires a $120 million investment for a single energy




plant.




         Hazardous and Toxic Wastes versus Municipal Wastes.




If emphasis on hazardous and toxic waste is to be a predomi-




nant strategy for RCRA, it is misguided and unsupported by




the facts presented in the strategy.




         Only 30 million tons of potentially hazardous




waste are estimated to exist whereas over 380 million tons




of municipal and industrial waste exist with little or no




hazardous potential.




         Concentration on hazardous and toxic waste as a




national strategy cannot be supported when the bulk of the




waste problem defies an adequate solution.

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                                                    29




         We must not succumb to the lure of a new  specia-




lized solid waste issue if it means turning our back on the




overwhelming problem of the disposal of all solid  waste




materials.



         We tried to ignore the larger issue  in 1970 by




turning our attention to resource recovery.




         As this document  so dramatically  details, progress




since 1965 in  solid waste  management has been slow to nil.




         Turning to resource recovery  or hazardous and toxic




wastes before  providing needed  relief  for  the overall solid




waste problems is a luxury we cannot afford.




         For these reasons,  assigning  high priority to




hazardous and  toxic wastes and  medium  priority to  other




wastes is a reverse of the true needs  and  priorities for dis-




posal controls.




         At the very  least,  a balance  of emphasis  in the




Disposal Control priority  is required  as stated in




Chapter VII.




         If this activity  includes methods of fostering




unproved disposal for municipal wastes, it would':




         (1)   Provide a positive public image through




specific examples of proper sanitary landfilling of solid




wastes.




         (2)   Increase the chance for financing higher




cost land disposal  alternatives  by equating the apparent

-------
                                                    30




low cost of unacceptable land disposal practices to the




indirect costs of deterioration of our land and water




resources.




         Uniform Regulations.  The waste disposal control




priority outlined in Chapter VIII should not omit as a focus




the need to establish uniform regulations by states and




local governments.




         Such regulations should control municipal and




hazardous disposal while protecting the current best prac-




tices of the solid waste industry in states and regions of




the United States where these practices do not imperil the




environment and public health.




         Different regions of the country have different




disposal control requirements based on many factors; e.g.,




geology, hydrology, soils, intended land use and public




priorities.




         Constraints to implementation - status of




technology.  Experience in our City over the last several




years tends to support the idsa that advanced technology




is not as readily available to local decision-makers as had




b^en previously assumed.




         For example, Philadelphia was ordered to select




air control technology for its two incinerators in order




to comply with regulations.




         We chose electrostatic precipitation as the only

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                                                     31




emerging technology likely to meet the stringent codes.




         The devices were installed in 1974.  We are still,




some four years later, testing and adjusting  these  devices




to meet the demands of the citizenry  and  conflicting state




and federal testing procedures.




         Another case involves our plans  for  a  large refuse-




to-energy facility to provide steam for the Philadelphia




steam loop serving downtown offices,  businesses and insti-




tutions .




         A $400,000 detailed feasibility  study  conducted




jointly by Philadelphia  Electric  and  ourselves  was  necessary




to determine the most dependable  technology for our purposes




         Our choice of front fired boilers using shredded




refuse derived  fuel has  no extensive'  service  record and,




in fact, has only been tried in one or two full-scale plants




yet, this is the most dependable  system disclosed during our




study.




         This plant will only handle  one-third  of the City's




refuse generation.




         Therefore, we would need over $360 million in




capital just to provide  energy plants for all of our




refuse.




         The City cannot raise such money.  Cities  are not




in a position to put such enormous dollar requirements on




the line for problems  like solid waste.

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                                                    32





         They couldn't do it for high priority problems.




The money just isn't there.




         Even if less capital intensive solutions are




employed, we suffer burdensome cost increases.




         For example, our railhaul program has been long




coming primarily due to adverse public reaction and fear of




large cost increases.




         The cost of employing long distance railhaul to




solve the disposal problem of 1,000 tons per day  (one-sixth




of the total generation) will be well over $25 per ton




including $19 a ton for the contractor and $6 per ton in




handling costs by our current facilities.




         This represents a $12 per ton increase over cur-




rent costs to transfer, haul and dispose of refuse from our




City to state permitted landfills in Mew Jersey.




         The increase may become as much as 100 percent.




VThere v/ill these resources come from?




         The lack of available, demonstrated, full-scale




advanced technology has been, and continues to be, a




liability for metropolitan areas such as Philadelphia.




         B.  Resource Limitations — The limited resources




for capital investment in sophisticated facilities is the




single greatest impediment to progress in solid waste




management.




         Our City is facsd with a need for $85 million to

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                                                     33




construct a 2,000-ton per day energy  plant.




         The actual cost of this plant  is  projected to  be




SI20 million by startup of the  plant  due to  interest on




borrowed capital prior to startup,  fees for  financing




negotiations and bonds required to  secure  the financing




arramgements.




         C.  Institutional Aspects  — No city has tried hard*




than Philadelphia  to  overcome the  "unbroken  rule" of public




opposition  to  refuse  disposal.




         This  is the  case both  inside the  city and outside.




Opposition  to  the  siting of  a transfer  station in the north-




eastern part of  our.city prevented its  construction.




         Opposition by  27 counties  in Pennsylvania has




prevented the  land disposal  of  Philadelphia  refuse outside




our  city limits  since 1972.




         Opposition to  the  use  of  legally  permitted land




disposal sites in  New Jersey has thrust us into the United




States Supreme Court to determine,as  much  as anything else,




whether Philadelphia refuse  is  worse  than  Hew Jersey refuse




in terms of health or environmental effects.




         Fragmentation  of responsibilities  and nonuniform




regulations is a central problem at both state and local




levels.




         For example, some communities  can negotiate solid




waste contracts while others are required,  by  law,  to employ

-------
                                                    34




competitive bidding.




         Many communities like Philadelphia are limited




by law in the term of a contract -- usually one to four




years.




         This will force the City to create completely new




institutional arrangements to implement our railhaul con-




tract which calls for a term of sixteen years.




         Our city does not assume  responsibility for the




disposal of commercial and industrial waste (which may




include toxic and hazardous categories).




         What will be the City's liability under RCRA for tl:




type of waste generated within the city limits?  Who is




responsible for disposal?  If the generator i£ responsible,




who will enforce the regulations?  If the state or Federal




Governments enforce the regulations, what will be the




responsibility of the city?




         D.  Economic Implications - A "Cost of Compliance"




not mentioned in the strategy document is one which is




very real to cities like Philadelphia.




         Requirements for upgrading solid waste practices,




particularly on industrial facilities, may mean a loss of




jobs, revenue base, and industry in our city.




         This is a consequence of enforcement of RCRA which




must not be ignored.




         Incentives to local government to stimulate

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                                                     35




implementation of RCRA should take the  form of  direct finan-




cial assistance since our cities are  financially  unable




to implement high capital cost resource recovery  facilities.




         Since RCRA does not provide  for such assistance,




EPA should concentrate its efforts in this area in  showing




local government how to successfully  finance a  contract




for such solutions.




         The details of examples of successful  programs must




be made available to our cities.




         In addition, studies and demonstrations  should be




undertaken to provide direction for overcoming  this




economic constraint.




         Summary.   In summary, the strategy document details




the status of solid waste management  in this country very




well.




         Given the  limitations imposed  by Congress on




the USEPA, the strategy outlined appears proper.




         The Agency must emphasize, however:




          (1)  Priority must be given  to urban areas  where




the problem truly exists.




         (2)  Hazardous and toxic wastes must not become




the "tail that wags the dog."




         (3)   State and local funding is  the key  to  the




goals of RCRA.




         (4)   The solid waste industry needs federal

-------
                                                    36




incentives and guidance to remain viable.




         Thank you.




         MODERATOR PLEHN:  Commissioner Diamiano, I might




say that, before you go, if you would see if the members




of the panel might have any questions or comments, or




anything of that sort.




         MR. HICKMAN:  I would like to ask you a question.




         Earlier, on your statement, you talked about the




problems of local government that they face in trying to




respond to adverse public reaction to the whole solid waste




management issue, particularly the siting problem.




         We share with you, obviously, the total frustration




that local government faces with a siting problem and in




trying to conceptualize, in our own minds, what best could




we do in the federal program in bringing about national




attention in trying to deal with this siting problem.




         Do you have any specific suggestions that you




would like to make later on or today as to what we can




do as a federal agency with the limited  authority and




resources that we have to help local government and state




government overcome the problems of siting?




         COMMISSIONER DAMIANO:  I think that is worthy of




some discussion.




         At this point in time, I frankly do not know how




to address the institutional constraints.  As you know,

-------
                                                     37



in 1967, when we attempted to implement railhaul,  the State




of Pennsylvania passed Act 143 which gave the  county commis-




sioners' to stop refuse to be hauled into the counties inside




Pennsylvania.




         And that has never been tested in  court.   That is




one item that can be done to see if that particular legisla-




tion is, in fact, unconstitutional.




         But let's move on before  your Agency  becomes involvi




in a lot of the detailed problems.




         I think the most important thing is something we




accomplished in the last four or five years through a




grant from your agency, and that is, we were successful,




and this is highly unusual in the  field of  environmental




control, that we had the EPA, the  Federal agency,  the DER,




the state agency, and the City  of  Philadelphia agree that




we should handle our problem by railhaul.




         That was a major milestone.




         When you get those three  agencies  in  one  room,




one will say energy plant, the  other will say  resource




recovery, and so forth and so on.




         Now.  Going beyond that,  since we  got off the




ground, we did the next best thing.  We created a  team,




federal, state and local, who went to communities,  talked




to the county commissioners and to talk to  the  local




officials,  and,  believe it or not,  we were  successful in

-------
                                                    38




Center County.




         The county commissioner thought it was the greatest




thing going.  He held one public meeting and he got blown




out of office.  He is no longer a county commissioner.




         We went to Zerby Township, and they thought it




was a great idea.  It was ZIP, the Zerby people for the




program, which was another group against it.  But they




put it on a ballot.




         The Township and the County promoted for the pro-




gram where the trash was going.  The County, countywide,




voted against the program three to one.  It wouldn't be




permitted in their county or council.




         These were the nuclsous of activities that ware




undertaken, and it took a lot of money, it took a lot of




time, it took a lot of effort.




         We finally were successful, of course, by going




to bid.




         But these are just some of the experiences.  The




obvious problem is that I represent the City of Philadelphia




129 square miles, 2 million in population and a metropolitan




area of some 350 square miles, close to 6 million in popu-




lation, highly densely populated.




         You couldn't find, within 30 miles of Philadelphia,




any zoning provision that will permit you to use land for




this purpose.

-------
                                                     39




         Evsn if it is being used, it would  only  be  per-




mitted for local purposes.




         Therefore, I have no  jurisdiction,  authority or




power over the property in New Jersey or  the property in




Pennsylvania.




         Bierefore, I am  incapable.  There  isn't  any con-




ceivable way, institutionally, financially,  or  otherwise,




that I can ccanmand the use of  a plant anywhere  else  outside




the City of Philadelphia.




         But therein  lies the  problem.  It's an institutiona:




problem from a governmental point of view,  but  it even goes




beyond that.  It's also a program problem,  from an agency




such as EPA's, because, for instance, I'm going to build,




hopefully, in the next five years, a $120 million energy




plant.




         There's no way I can  get a permit  for  that  plant




because I have to demonstrate  for the life  of that plant,




which may be 25 to 50 years.




         But I have the facilities or the resources to take




the residues from that plant which may  be as high as a




couple of hundred thousand tons a year  of ashes,  unusable




materials, and place it into a sanitary landfill  because




it's classified as solid waste.




         There are no sanitary  landfills  in  Philadelphia.




It's inconceivable that there ever will be.   And,  if I do

-------
                                                    40



not have, by the mechanism of railhaul or some other mech-




anisms, to be provided to urban areas like the City of




Philadelphia through this program or the state planning




program, if I don't have facilities for that residue, I'm




afraid we can't build the plant.




         MODERATOR PLEHN:  Commissioner, at one point in




your statement, you said that you thought it was important




for EPA to provide a. system to cities such as yours in




learning about others'experiences with resource recovery




facilities and in getting advice as to how to proceed in




that area.




         I would just like to mention to you and to others




in the audience the existence of our Technical Assistance




Panels Program which, under RCRA, is to which we are to




apply 20 percent of our resources appropriated to us under




the Act, and, through which, we are able to extend the




assistance of consultants and experts from around the countr;




in providing just that kind of advice that you are seeking.




         So, I would encourage you and any others, who




have similar kinds of problems, to contact our regional




offices.




         We've now decentralized our Technical Assistance




Program to the regional offices and we do have considerable




information and capability in just the area you described,




and we are very eager to make it available.

-------
                                                     41




         CO1LMISSIONER DAMIANO:  Excellent.




         MODERATOR PLEHN:  Are there  any  other  questions




from the panel?





         We wish to thank you very much,  Commissioner.
                     (Statement follows)

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CITY  OF  PHILADELPHIA
                                                   DEPARTMENT OF STREETS
                                                   840 Municipal Sewices Building
                                                   PhilacHphro, Pa  19107
                                                   DAVID J DA
                                                           'XNO
                     REVIEW AND COMMENTS

                           ON THE

               STRATEGY FOR THE IMPLEMENTATION

                             OF

           THE RESOURCE CONSERVATION AND RECOVERY
                         ACT OF 1976

               (USEPA DRAFT DECEMBER 16, 1977)
                        PRESENTED BY

                COMMISSIONER DAVID J.  DAMIANO
                    DEPARTMENT  OF STREETS
                    CITY OF PHILADELPHIA
                    PHILADELPHIA,  PENNA.
                      JANUARY  19,  1978
                     ARLINGTON,  VIRGINIA

-------
INTRODUCTION;




     I sincerely appreciate the opportunity to appear




before you today.  As you know, our City has been




involved with practically every solid waste management




issue confronting a major metropolitan area in the




United States.  Moreover, in the case of the New Jersey




importation ban, the pending action by the United States




Supreme Court involving land disposal areas for Phila-




delphia refuse, will have the most profound effect on




national, state and regional plans for solid waste,




whether municipal or hazardous.




     For these reasons, I am particularly happy to




address the document entitled, "Strategy for Imple-




mentation, the Resource Conservation and Recovery Act




of 1976."  The course followed by EPA over the next




several years will materially affect the course of




solid waste management in this country, just as has




been the case since 1965 following the pnssage of the




first Solid Waste Disposal Act.

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GENERAL OVERVIEW




     The document acknowledges the regrettable fact




that Congress has not provided, nor will probably ever




provide, the resources to undertake the solving of this




national waste problem.  For many years, the financial and




implementation problems of urban and rural solid waste




management plans have been written off by the federal




government as just a local issue.  This is not true.




Improper solid waste practices impact our environment and




our citizens from the Atlantic to the Pacific.




     The detailed discussion on each of the four major




constraints presented in Chapter VI represents the most




accurate, cogent statement of the true problems of solid




waste management ever prepared by the USij'PA.  The agency




has correctly described the constraints faced by local




government, and states, and private enterprise in dealing




with what still represents the toughest, most unresolved




environmental issue in the United States.




     The facts and opinions presented in this strategy




document represent a marked departure from the EPA state-




ments of the last several years and, as ouch, are truly




welcome.  This strategy shows the hand of solid waste

-------
management professionals and should be supported by we




non-federal people.  A copy should be required reading




for all representatives of Congress and Administration




officials who shape and change our laws and the budgets




to carry them out.




     Hopefully, the implementation of BORA can




represent a turning point in recognizing solid waste




nt=Tageraent for what it is:  a truly national issue which




transcends in most cases, the parochial interests of




local  county and state governments.

-------
GOALS AND OBJECTIVKS









     While the two goals outlined in Chapter 1 nro




completely correct, a third goal is needed:




     to assure that the goal of protecting and




     conserving our health, environment end




     natural resources is balanced with the impact




     on human resources and needs, including our




     economic capability for achieving these goals.




     Our cities face hard choices between human and




environmental resources.  The USEPA should aid them in




making educated decisions among clashing public and




political points of view on this volatile subject.

-------
LOCAL GOVERNMENT PERSPECTIVE




A.  Public and Legislative Attitudes




         The federal strategy must be cognizant of the




    fact that local government alone will not be able




    to resolve the problems of adverse public reaction




    and siting opposition.  Public education alone is




    no solution.   It has never worked on tough problems.




    It is not likely to work any better on this new




    hazardous and toxic waste issue.




         Guidance and direct assistance in overcoming




    public opposition must be provided by the  State and




    federal  governments.




         The  problem  of urban areas in dealing with the




    solid waste issue  will  be  compounded  iramedsely if the




    United States Supreme Co..rt upholds the right of the




   State of New Jersey to ban importation of refuse




   into  their state.  This is especially true if done




   under the guise of asserting that all landfills pollute




   but since they are inevitable, the landfills in New




   Jersey must be reserved for New Jersey citizens.




   The impact of  state importation bans (followed by




   county and local importation bans)  on the  implementa-




   tion of a  strategy for  RCRA is enormous.  Such legislative




   actions by  state represent  the most serious threat to the Act

-------
    imaginable.  EPA must face this threat and include




    methods of dealing with the issue as part of its




    program for undertaking the Congressional mandate




    of the current Act.




B.  Funding Priorities




    It is proper for the strategy document to direct the




    limited resources of HCRA to State and local funding.




    State and local governments are on the firing line




    in solving the solid waste problem.  Therefore,  no




    large federal program is required.  The state govern-




    ments with the assistance of the federal regional




    offices must attack the problem where it exists  —




    local government.




    Pennsylvania communities are fortunate that our




    Department of Environmental Resources has been a




    leader among state agencies involved in solid waste




    management.  Our state has a strong planning, manage-




    ment and enforcement program.  With new resources from




    RCRA, the State will be able to continue and expand




    its program.  This is a proper course since improved




    solid waste management must stem from state government




    initiative to local government action.  Implementation




    of RCRA by EPA must emphasize this fact.

-------
     In that light, I would like to identify « confusion




in priorities within the document.  Chapter IV, Subtitle




D provides that counties, municipalities, and interraunicipal




agencies are only afforded grants for feasibility studies,




consultations and market studies.  However, special com-




munities with low population and high levels of generation




will receive grants for conversion or construction of solid




waste disposal facilities and for rural communities to




upgrade solid waste management facilities.




     This is a mixup of priorities.  The needs of cities




vs. rural communities do not differ except by a scale




factor.  There is no valid reason for discrimination




against cities in favor of rural communities.  In fact,




the reverse is true.  Rural communities theoretically have




more than ample land resources which may be assigned to




solid waste disposal by the landfill method.  This is the




most economically and environmentally sound method of




dealing with the problem.  However, cities have long




exhausted their land resources.  In addition, metropolitan




areas account for greater refuse quantities than rural area.




     Priority of funds could be directed to cities who have




a far greater need.  For example, without land resources in




Philadelphia, solving approximately one-third of our solid




waste problem requires a $120 million investment for a single




energy plant.

-------
HAZARDOUS AND TOXIC WASTES VS. MUNICIPAL WASTES




     If emphasis on hazardous and toxic waste




is to be a predominant strategy for RCHA, it is mis-




guided and unsupported by the facts presented in the




strategy.  Only 30 million tons of potentially hazardous




waste are estimated to exist whereas over 380 million




tons of municipal and industrial waste exist with little




or no hazardous potential.  Concentration on hazardous and




toxic waste as a national strategy cannot be supported when




the bulk of the waste problem defies an adequate solution.




     We must not succumb to the lure of a new




specialized solid waste issue if it means turning our




back on the overwhelming problem of the disposal of all




solid waste materials.  Ue tried to ignore the larger




issue in 1970 by turning our at tention to resource recovery.




As this document so dramatically details, progress since




1965 in solid waste management has been slow to nil.




Turning to resource recovery or hazardous and toxic wastes




before providing needed relief for the overall solid waste




problem is a luxury we cannot afford.




     For these reasons, assigning high priority to




hazardous and toxic wastes and medium priority to other




wastes is a reverse of the true needs and priorities for




disposal controls.

-------
     At the very least a balance of emphasis in




the Disposal Control priority is required as stated




in Chapter VII.  If this activity includon melhodn of




fostering unproved disposal for municipal wastes,  it




would:




         (l)  Provide a positive public image through




              specific examples of proper sanitary




              landfilling of solid wastes.




         (2)  Increase the chance for financing higher




              cost land disposal alternatives by equating




              the apparent low cost of unacceptable




              land disposal prctices to the indirect




              costs of deterioration of our land and




              water resources.

-------
UNIFORM REGULATIONS




     The waste disposal control priority outlined




in Chapter VIII should not omit as a focus the need to




establish uniform regulations by States and local




governments.  Such regulations should control municipal




and hazardous disposal while protecting the current




best practices of the solid waste industry in states




and regions of the United States where these practices




do not imperil the environment and public health.




Different regions of the country have different




disposal control requirements based on many factors;




e.g. geology, hydrology, soils, intended land use and




public priorities.
                               10

-------
CONSTRAINTS TO IHPLEMENTATION_




A.  Status of Technology




         Experience in the City over the last several




    years tends to support the idea that advanced




    technology is not as readily available to local




    decision makers as had been previously nnnum'-d.




    For example,  Philadelphia was ordered to select




    air control technology for its two incinerators




    in order to comply with regulations.  We cho.se




    electrostatic precipitation as the only emerging




    technology likely to meet the stringent codes.




    The devices were installed in 197^.  We are still,




    some four years later, testing and adjusting these




    devices to meet the demands of the citizenry arid




    conflicting state and federal testing procedures.




         Another  case involves our plans for a large




    refuse-to energy facility to provide steam for




    the Philadelphia steam loop serving downtown offices,




    businesses and institutions.  A 5^00,000 detailed




    feasibility study conducted jointly by Philadelphia




    Electric and  ourselves was necessary to determine




    the most dependable technology for our purposes.




    Our choice of front fired boilers  using shredded




    refuse derived fuel has no extensive service record




    and in fact,  has only been tried in one or two full
                              1 1

-------
scale plants — yet, this is the most dependable





system disclosed during our study.




     This plant will only handle one-third of the




City's refuse generation.  Therefore, we would




need over $360,000,000 in capital just to provide




energy plants for all of our refuse.




     The City cannot raise such money.  Cities ure




not in a position to put such enormous dollar




requirements on the line for problems like solid




waste.  They couldn't do it for high priority




problems.  The money just isn't there.




     Even if less capital intensive solutions are




employed, we suffer burdensome cost increases.




For example, our railhaul program has been long




coming primarily due to adverse public reaction




and fear of large cost increases.  The cost of




employing long distance railhaul to solve




the disposal problem of 1,000 tons per day (one-sixth




of the total generation) will be well over 325 r>er




ton including $19 a ton for the contractor and 36 per




ton in handling costs by our current facilities.  This




represents a S12 per ton increase over current costs
                            1 2

-------
    to transfer, haul and dispose of refuse from our




    City to state permitted landfills in New Jersey.




    The increase may become as much as 100%.  Where




    will these resources come from?




         The lack of available, demonstrated, full




    scale advanced technology has been, and continues




    to be, a liability for metropolitan areas such as




    Philadelphia.




B.  Resource Limitations




         The limited resources for capital investment




    in sophisticated facilities is the single greatest




    impediment to progress in solid waste management.




    Our City IB faced with a need for 885,000,000 to




    construct a 2,000 ton per day energy plant.  The




    actual cost of this plant is projected to be




    S120.,000,000 by start up of the plant due to interest




    on borrowed capital prior to start up, fees for




    financing negotiations and bonds required to secure




    the financing arrangements.




C.  Institutional Aspects




         No City has tried harder than Philadelphia to




    overcome the "unbroken rule" of public opposition to




    refuse disposal.  This is the case both inside the




    City and outside.  Opposition to the siting of a
                               13

-------
transfer station in the northeastern part of our City




prevented its construction.  Opposition by 2? countiec




in Pennsylvania has prevented the land disposal of




Philadelphia refuse outside our City limits since




1972.  Opposition to the use of legally permitted




land disposal sites in New Jersey has thrust us into




the United States Supreme Court to determine as much




as anything else, whether Philadelphia refuse is




worse than New Jersey refuse in terms of health or




environmental effects.




    Fragmentation of responsibilities and non-uniform




regulations is a central problem at both State and




local levels.  For example, some communities can




negotiate solid waste contracts while others are




required by law to employ competitive bidding.  Many




communities like Philadelphia are limited by law in




the term of a contract - usually one to four years.




This will force the City to Create completely new




institutional arrangements to implement our railhnul




contract which calls for a term of sixteen years.  Our




City does not assume responsibility for the disposal




of commercial and industrial waste (which may include




toxic and hazardous categories).  What will be the




City's liability under RCRA for this type of waste




generated within the City limits?  Who is responsible




for disposal?  If the generator is responsible, who

-------
    will enforce the regulations?  If the State or




    federal governments enforce the regulations, what




    will be the responsibility of the City?




D.  Economic Implications




         A "Cost of Compliance" not mentioned in the




    strategy document is one which is very real to




    cities like Philadelphia.  Requirements for upgrading




    solid waste practices, particularly on industrial




    facilities, may mean a loss of jobs, revenue base,




    and inductry in our City.  This  i •; ,\ c'>n:.equence of




    enforcement of RCRA which must not be ignored.




         Incentives to local government to stimulate




    implementation of RCRA should take the form of




    direct financial assistance since our cities are




    financially unable to implement high capital coct




    resource recovery facilities.  Since RCRA docs not




    provide for such assistance, EPA should concentrate




    its efforts in this area on showing local government




    how to successfully finance a contract for such




    solutions.   The details of examples of successful




    programs must be made available to our cities.  In




    addition,  studies and demonstrations should be under-




    taken to provide direction for overcoming this




    economic constraint.

-------
SUMMARY




    In summary, the strategy document details the




status of solid waste management in this country very




well.  Given the limitations imposed by Congress on




the USEPA, the strategy outlined appears proper.




The agency must emphasize, however:




         (1)  Priority must be giver to urban areas




              where the problem truly exists.




         (2)  Hazardous and toxic wastes must not




              become the "tail that wags the dog."




         (3)  State and loca  funding is the key to




              the goals of RCRA.




         CO  The solid waste industry needs federal




              incentive and guidance to remain viable.
                                16

-------
                                                     42

         MODERATOR PLEHN:  Our next speaker is Marchant

Wentworth of Environmental Action.

         STATEMENT OF MR. MARCHANT WENTWORTH,
         ENVIRONMENTAL ACTION

         MR. WENTWORTH:  Thank you very much, Mr. Plehn.

         Good morning.  My name is Marchant Wentworth and I

am Research Director of Environmental Action Foundation's

Solid Waste Project.

         We would like to thank the Office of Solid Waste

for this opportunity to comment on the Draft Strategy

for the Implementation of the Resource Conservation and

Recovery Act.

         We commend the Office of Solid Waste for its ef-

forts to circulate this draft strategy.

         This is an important step in continuing the public

participation process in the formulation of the Agency's

policy on this important issue.

         This strategy effectively lists many of the op-

erating principles used to formulate the myriad of regula-

tions and guidelines required by RCRA.

         This strategy offers a framework within which to

fit the logic of these various rules — a vital process

with a subject so diverse and wide-ranging as solid waste

management.

         And because of this complexity and diversity,

the strategy represents an important first step in

-------
                                                    43




separating out the impossible from the probable and




concentrating resources where they will be most effective.




         Overall, we find the strategy clear and well




written.  Without an excessive amount of jargon, the docu-




ment sets forth the Agency's plans and priorities for the




implementation effort.




         Turning to the specifics of the document itself,




we will summarize our views and will submit a more detailed




analysis for the record.




         We call for EPA to be more realistic in considering




the draft strategy for the Act.




         Jh the past, we've noted an "Emperor's New Clothes"




syndrome.




         One group exclaims loudly how well the Act has




been faring — that the Emperor's new clothes are fine,




indeed.




         On the other hand, there are beginning rumors




that the Emperor is nude — that the Act has problems that




could seriously impede its implementation.




         In presenting this strategy, OSW may have succeeded




once again in promising too much for too many.




         This fantasyland approach to regulation writing




only serves to disappoint and frustrate citizens who are




told again and again that they can make a difference.




         In fact, the scarcity of money and manpower may

-------
                                                    44




have already determined many of the decisions that are




being presented to us.




         While this document does represent a quantum




leap forward, more remains to be done.




         Unfortunately, a gap exists between the national




solid waste management needs and the mandates of the Act.




         For example, as we all know, RCRA gives precious




little direction to resource conservation efforts on a




national level.




         Through its emphasis on disposal, the Act has




effectively concentrated on a. cure -- rather than preven-




tion.




         Admittedly, the problem of avoiding the increased




generation of hazardous and other solid wastes is one of




the thorniest problems the Agency faces.




         Yet, because the Act fails to provide a legisla-




tive underpinning, there are few concrete Agency programs




in this field.




         There are other weaknesses in the Act that make it




difficult to equate RCRA with any comprehensive strategy




for managing solid wastes on a national level.




         The ,ifotal lack of substantial funding for state




and local programs, inadequate technical assistance through




the Panels, and the lack of structure for promoting resource




conservation, are all significant problems with the Resource

-------
                                                    45




Conservation and Recovery Act.




         These shortcomings make the Act l=ss-than-ideal,




and make the equation between the overall program and the




Act even more difficult.




         Proceeding through the strategy, we find that the




Introduction and Problem Statements are fair, succinct




presentations that are useful in giving the reader an




overall view.




         Combined with the summary of the Act, these chap-




ters bring together a lot of  loose ends in ona effective




presentation.




         Turning to the section on Constraints, we agree




with the explanation of the constraints that has been




presented.




         In  future drafts of  the strategy, however, we would




hope to see  a more detailed presentation of the research




needs in the area of resource conservation and recovery.




         These might touch on such issues as the role of




advertising  in changing consumption patterns, the role of




compatibility in selecting recovery systems, and include




greater investigations into the political and institutional




barriers that block increased reuse and recovery.




         The section on hazardous waste management outlined




on page 33 appears to be somewhat incomplete.




         The barriers to the  development of new technologies

-------
                                                    46




for managing hazardous wastes should be presented in




greater detail.




         We applaud the Office's acknowledgement that there




may be a significant difference between authorized and




appropriated funds under RCRA.




         We also agree, wholeheartedly, with the options




that EPA has presented in response to the very real possi-




bility of inadequate funding by the Congress.




         Similarly, we are glad to see mention of the fact




that major alterations in current institutional arrange-




ments will be necessary to properly implement the Act




(page 33) .




         This is clearly true.  However, the example cited




of fragmentation of state responsibilities misses the




mark entirely.




         We believe that a more pertinent example may be in




the relationships between the headquarters and the regional




offices of EPA.




         Clearly, major changes must occur here if the




Act is to work at all.




         Headquarters personnel traditionally have been




reluctant to relinquish their authority and fiscal control.




         Regional offices have often failed to connect




their programs to the broad policy set by the Agency.  The




result has too often been a. splintered, fragmented approach

-------
                                                    47
that yields an ineffective program.
         Changes in this relationship are more pertinent
and attainable than the problems mentioned with the states.
         Differences in the legislative mandates among the
various states may not influence whether a state implements
the Act.
         We believe that the amount of funding available to
the states for program administration will be the deter-
mining factor.
         Briefly turning to the priorities, we were dis-
appointed to find that this process failed to answer many
of the questions that were raised earlier in the text.
         For example, on page 35, the discussion of resource
limitations presents three options for meeting the
mandates of the Act.
         Yet none of these options were selected or dis-
cussed later in the text.
         We feel strongly that in considering these mandates
the issue of deadlines is less important than the need for
a thorough development of the regulations under the Act.
         In effect, we feel that EPA should decide what
its program priorities are based not need on the basis
of deadlines.
         Therefore, we feel that none of the options pre-
sented on page 35 are realistic and present somewhat of a

-------
                                                     48





false dilemma.




         The problem of differing state programs  raised




on page 38 presents other problems.




         Although it is true that states are  at different




stages of development, altering priorities to develop a




program that all states could implement would, in effect,




weaken the federal program and lead to substantially less




control over disposal practices.




         Another reality is that if, in the future, addi-




tional money should become available, it would be virtually




impossible to go back and strengthen the state programs.




         The chapter on priorities is key to  the entire




strategy document.




         Environmental Action Foundation does support the




program priorities as presented.  However, we so find




that some of these priorities are somewhat less than real-




istic.




         For example, it is questionable whether the Federal




enforcement of hazardous waste regulations where the states




fail to aet is possible.




         In other areas, we are pleased to note that re-




source conservation and recovery is ranked as a preferred




option and that industrial wastes will receive priority




emphasis.




         However, turning to priority number  4 on page 70,

-------
                                                    49




we cannot help but wonder if the financial and technical




assistance mentioned in the priority will be adequate to




encourage states to undertake the burden of implementing




the Act.




         Indeed, this could be the most crucial question




for the entire future of the Act.




         We are in general agreement with the emphasis




groupings presented on page 71.




         However, we would recommend certain shifts to make




the program more realistic.




         First, we would recommend that the Resource Conser-




vation Committee activities be dropped from major emphasis




to medium emphasis.




         Although the Committee  represents the sole bastion




of resource conservation in the  Act, its lack of authority




to carry through on its recommendations would seem to argue




for decreased emphasis.




         On the other hand, we would recommend that in-




creased emphasis be placed on the Section 6002 procurement




guidelines.




         This is the sole provision of RCRA that may be




effective in enlarging the demand side of the recovered




materials equation.




         With relatively few resources, this effort could




have a large impact on materials recovery.

-------
                                                    50




         We would also recommend increased emphasis given




to public participation and information dissemination.




         This will have the effect of generating needed




additional citizen support for local, state, and federal




solid waste programs.




         Aside from these changes, we support these grouping,




and encourage EPA to preserve them as implementation




proceeds.




         Turning to the chapter on Management Responsibilitii




we reiterate the need to transfer sufficient resources




to the regional offices to support their new activities




under the Act.




         As we have previously observed, major changes may




be necessary to better coordinate the activities of Head-




quarters and the Regional Offices.




         In the section on EPA Enforcement, the general




authority of the Administrator is discussed but the picture




may be unrealistic.




         Providing for site inspections of hazardous waste




facilities may prove to be a difficult, if not impossible,




job.




         Continuing inspections will prove even trickier.




         In conclusion, we would like to commend the Office




of Solid Waste for their efforts in compiling this useful




strategy document.

-------
                                                    51





         We will issue more detailed remarks for the record.




         Thank you.




         Are there any questions?




         MODERATOR PLEHN:   Thank you very much for your




statement.




         I would like to ask, again, if there are any com-




ments or questions from the panel?




         I guess not.




         Thank you very much.












                   (Statement follows)

-------
environmental
action
foundation
The Dupont Circle Building
Suite 724
Washington, D.C. 20036
Telephone (202) 659-9682
   COMMENTS ON THE  DRAFT  STRATEGY
               FOR THE
        IMPLEMENTATION OF  THE
 RESOURCE CONSERVATION AND  RECOVERY ACT

                TO THE
        OFFICE OF  SOLID WASTE
U.S.  ENVIRONMENTAL  PROTECTION  AGENCY
           JANUARY 19, 1978
                                        by the
                                Solid  Waste Project
                         Environmental Action Foundation

-------
     Good  morning.   My name is Marchant Wentworth  and




I am Research  Director of Environmental Action  Foundation's




Solid Waste  Project.




     We would  like  to thank the Office of Solid Waste




for this opportunity to comment on the Draft  Strategy




for the Implementation of the Resource Conservation




and Recovery Act.   We commend the Office of Solid  Waste




(OSW) for  its  efforts to circulate this draft strategy.




This is an important step in continuing the public




participation  process in the formulation of the Agency's




policy on  this important issue.




     This  strategy  effectively lists many of  the




operating  principles used to formulate the myriad  of




regulations  and guidelines required by RCRA.  This




strategy offers a  framework within which to fit the




logic of these various rules—a vital process with a




subject so diverse  and wide-ranging as solid  waste




management.  And because of this complexity and  diversity,




the strategy represents an important first step in




separating out the  impossible from the probable and




concentrating  resources where they will be most effective.




     Overall we find the strategy clear and well written.




Without an .excessive  amount of jargon, the document sets




forth the Agency's  plans and priorities for the imple-




mentation effort.

-------
     Turning to the  specifics  of the document itself,


we will summarize our  views  and will submit a more


detailed analysis for  the  record.


    We call for EPA  to be  more realistic in considering


the draft strategy for the Act.  In the past, we've


noted an "Emperor's  New Clothes" syndrome.  One group


exclaims loudly how  well the Act has been faring--that


the Emperor's new clothes  are  fine indeed.  On the other


hand, there are beginning  rumors that the Emperor is


nude—that the Act has problems that could seriously


impede its implementation.


     In presenting this strategy,  OSW may have succeeded

                                  (ot-
once again in promising too  much 4c too many.  This


fantasy land approach  to regulation writing only serves


to disappoint and frustrate  citizens who are told


again and again that they  can  make a difference.  In


fact, the scarcity of  money  and manpower may have


already determined many of the decisions that are


being presented to us. while this  document does repre-


sent a quantum leap  forward, more  remains to be done.


    Unfortunately, a gap exists between the national


solid waste management needs and the mandates of the


Act.  For example, as  we all know, RCRA gives precious


little direction to  resource conservation efforts on

-------
a national level.  Through  its  emphasis  on disposal,




the Act has effectively  concentrated  on  a  cure—rather




than prevention.  Admittedly, the  problem  of avoiding




the increased generation of hazardous and  other solid




wastes is one of the  thorniest  problems  the Agency faces.




Yet, because the Act  fails  to provide a  legislative




underpinning there are  few  concrete  Agency programs in




this field.




    There are other weaknesses  in  the Act  that make it




difficult to equate RCRA with any  comprehensive strategy




for managing solid wastes on a  national  level.  The




notable lack of substantial funding  for  state and local




programs, inadequate  technical  assistance  through the




Panels, and the lack  of  structure  for promoting resource




conservation, are all significant  problems with the




Resource Conservation and Recovery Act.  These shortcomings




make the Act less-than-ideal, and  make the equation be-




tween the overall program and the  Act even more difficult.




    Proceeding through  the  strategy,  we  find that the




Introduction and Problem Statement are fair, succinct




presentations that are  useful in  giving  the reader an




overall view.  Combined  with the  summary of the Act,




these chapters bring  together a lot  of loose ends in




one effective presentation.

-------
    Turning to the  section  on  Constraints, we agree




with the explanation  of  the constraints that has been




presented.  In future drafts of the strategy, however,




we would hope to  see  a more detailed presentation of




the research needs  in the  area of resource conservation




and recovery.  These  might  touch on such issues as the




role of advertising in changing consumption patterns,




the role of compatibility  in selecting recovery systems,




and include greater investigations into the political




and institutional barriers  that block increased reuse




and recovery.




    The section on  hazardous waste management outlined




on page 33 appears  to be somewhat incomplete.  The




barriers to the development of new technologies for




managing hazardous  wastes  should be presented in greater




detail.




    We applaud the  Office's acknowledgement that there




may be a significant  difference between authorized and




appropriated funds  under RCRA.  We also agree whole-




heartedly with the  options  that EPA has presented in




response to the very  real  possibility of inadequate




funding by the Congress.




    Similarly, we are glad  to  see mention of the fact




that major alterations in  current institutional arrange-

-------
merits will be  necessary to properly implement the Act



(p. 33).  This  is  clearly true.  However, the example



cited of fragmentation of state responsibilities misses



the mark entirely.   We believe that a more pertinent



example may be  in  the  relationships between the head-



quarters and the regional offices of EPA.  Clearly



major changes  must  occur here if the Act is to work  at



all.  Headquarters  personnel traditionally have been



reluctant to relinquish their authority and fiscal



control.  Regional  offices have often failed to connect



their programs  to  the  broad policy set by the Agency.



The result has  too  often been a splintered, fragmented



approach that  yields an ineffective program.  Changes



in this relationship are more pertinent-and attainable--



than the problems  mentioned with the States.  Differences



in the legislative  manadates among the various States



may not influence  whether a state implements the Act.



We believe that the amount of funding available to  the



States for program  administration will be the determining



factor.

         "£y
    Brief
-------
limitations presents  three  options  for meeting the


mandates of the Act.   Yet none  of these options were


selected or discussed later in  the  text.


    We feel strongly  that in considering these mandates,


the issue of deadlines is less  important than the need


for a thorough development  of the regulations under


the Act.  In effect,  we feel that EPA should decide what


its program priorities are  based not need not on the


basis of deadlines.   Therefore,  we  feel that none of


the options presented on page 35 are realistic and


present somewhat  of a false dilemma.

          ^,i.£^
    The projppaa of differing state  programs raised on


page 38 presents  other problems.  Although it is true


that states are at different stages of development,


altering priorities to developa a program that all


States could implement would, in effect,  weaken the


federal program and lead to substantially less control


over disposal practices.  Another reality is that,if,


in the future, additional money should become available,


it would be vitually  impossible to  go back and strengthen


the state programs.


    The chapter on priorities is key to the entire


strategy document.  Environmental Action Foundation


does support the  program priorities as presented.

-------
However, we  so  find  that some of these priorities




are somewhat  less  than  realistic.  For example,




it is questionable whether the federal enforcement




of hazardous  waste regulations where the States fail




to act is possible.   In other areas, we are pleased




to note that  resource conservation and recovery is




ranked as a preferred option and that industrial




wastes will  receive  priority emphasis.  However,




turning to priority  no.  4 on page 70, we can not help




but wonder if the  financial and technical assistance




mentioned in  the priority will be adequate to




encourage States to  undertake the burden of implementing




the Act.  Indeed,  this  could be the most crucial question




for the entire  future of the Act.




    We are in general agreement with the emphasis




groupings presented  on  page 71.  However, we would




recommend certain  shifts to make the program more




realistic.  First, we would recommend that the




Resource Conservation Committee activities be dropped




from major emphasis  to  medium emphasis.  Although the




Committee represents  the sole bastion of resource




conservation  in the  Act, its lack of authority to




carry through on its  recommedations would seem to




argue for decreased  emphasis.   On the other hand,

-------
we would recommend  that  increased emphasis be placed




on the Section 6002 procurement guidelines.  This is




the sole provision  of  RCRA  that may be effective in




enlarging the demand side of  the recovered materials




equation.  With relatively  few resources, this effort




could have a large  impact on  materials recovery.




We would also recommend  increased emphasis given to




public participation and information dissemination.




This will have the  effect of  generating needed additional




citizen support for local,  state, and federal solid




waste programs.  Aside from these changes, we support




these groupings and encourage  EPA to preserve them as




implementation proceeds.




    Turning to the  chapter  on  Management Responsibilities,




we reiterate the need  to transfer sufficient resources




to the regional offices  to  support their new activities




under the Act.  As we  have  previously observed, major




changes may be necessary to better coordinate the




activities of Headquarters  and the Regional Offices.




    In the section on  EPA - Enforcement the general




authority of the Administator  is discussed but the




picture may be unrealistic.  Providing for site inspections




of hazardous waste  facilities  may prove to be a difficult




if not impossible   job.  Continuing inspections will

-------
prove even trickier.




  ">^n conclusion,  we  would like to commend the Office
of Solid Waste  for  their  efforts in compiling this




useful strategy  document.




    Thank you.

-------
                                                    52

         MODERATOR PLEHN :   Our next speaker is Mr. Tom

Conry of the Technical Information Project.

         STATEMENT OF MR.  TOM CONRY, TECHNICAL
         INFORMATION PROJECT

         MR. CONRY:  Thank you and good morning.

         The Technical Informaiton Project, a nonprofit

research and sducation group based in Washington, D.C.,

appreciates the opportunity to comment on the implementation

strategy for the amended Solid Waste Disposal Act, particu-

larly in the arsas of hazardous wastejcitizen participation

and information dissemination.

         First, under Subtitle C of the Act, a specific

coordinated strategy for recycling of hazardous wastes needs

to be established since their recycling will only occur in

a properly structured environment.

         Pressures and incentives should foster as closed

a resource loop as possible.

         Solid waste recycling efforts  successes and

failures can help guide the hazardous waste strategy.

         Thus, some of the strategy's components requiring

major emphasis should be:

         First, hazardous waste recycling incentives.

         Recycling can work, as demonstrated in Britain

where the Ministry of Industry established a highly success-

ful hazardous waste exchange data bank.

         TIP encourages the EPA to act on its desires  to

-------
                                                    53




further hazardous waste recycling by first assessing its




extant mechanism in view of the British model.




         Second, Monitoring of Hazardous waste composition.




         Efforts to control air and water pollution have




shown the absolute need for outside verification of pollu-




tant composition.




         Thus, detailed listings of waste composition should




be obtained at the Federal level by the Hazardous Waste




Division.




         Samples of selected wastes should be precisely




analyzed for complete chemical composition.




         Third, public awareness.




         Hazardous waste realities are not as apparent to the




general public as are land use issues and increasing costs




of trash collection.




         Thus, serious efforts are required to further public




awareness and subsequently increase pressures on polluting




industries.




         TIP believes that public participation and educa-




tion should receive high priority in the area of hazardous




waste.




         Since hazardous waste inevitably becomes public




property, information regarding these wastes should also




be public property.




         Trade Secrecy should have no bearing on this area.

-------
                                                    54
Thus, readily available public lists of all hazardous
wastes being produced in, disposed of, stored in or trans-
ported through given regions should be assembled>and kept
current.
         This list is to include all results of the EPA
verifications.
         Fourth, Waste hazard information system.
         Specific hazards associated with and protections
necessary for regional wastes should be made available to
the local residents.
         Fifth, Consumer hazardous waste disposal facilities.
         Hazardous, even carcinogenic materials, some yet
to be identified, are in consumer products.
         Disposal of these materials properly and expediently
is not possible for most consumers today.
         Adequate and convenient disposal facilities should
be established.
         TIP proposes the upgrading of local university
laboratory and safety and waste disposal facilities for this
purpose.
         Concerning the sharing of hazardous waste informa-
tion, not only should the resource loop be closed, but also
the data loop.
         Thus, waste stream composition data must be shared
with the Toxic Substances Office and particularly the

-------
                                                    55




Interagency Testing Committee,mentioned in Section 4e of




TSCA, and the Toxic Substance Advisory Committee.




         Such information is necessary for the committees




to accurately establish target problem compounds as well




as in assisting tne Administrator in imposing a disposal




and use requirements under Sections 5f and 6a of TSCA.




         The vital subject of sharing hazardous and toxic




substance information was well developed at TIP's 1977




International Conference on Toxic Substances and Trade




Secrecy.




         The participants of this week-long forum were




generally in strong agreement on the principle that the




better the information sharing mechanisms in this area, the




better the chances of problem resolution.




         Such sharing should certainly start at the in-house




level.




         Thank you.




         MODERATOR PLEHN :  Thank you very much, Mr. Conry.




         Are there any questions or comments?




         Thank you.
                         (Statement follows)

-------
        TECHNICAL  INFORMATION   PROJECT
         1346 Connecticut Avenue, N.W. Suite 217  Washington, D.C. 20036 (202) 466-2954
Technical  Information Project (TIP), a non-profit research and  education group

based  in Washington,  D.C., appreciates the  opportunity to comment on the imple-

mentation  strategy for the amended Solid  Waste Disposal Act,  in the specific areas

of hazardous waste,  citizen participation and information dissemination.



     1)  Subtitle C.   A specific coordinated strategy for recycling of hazard-

        ous wastes  needs to be established, since their recycling will only

        occur in a  properly structured environment.  Pressures and incentives

        should foster as closed  a  resource loop as possible. Solid waste

        recycling efforts successes and  failures can help guide the hazardous

        waste strategy.  Thus, some of the strategy's components requiring ma-

        jor emphasis should be:

             a)  Hazardous waste recycling incentives.  Recycling can work,

                 as demonstrated in Britain where theHfnistry of Industry

                 established a highly successful hazardous waste exchange

                 data bank.  TIP encourages the EPA to act on  its desires

                 to further hazardous waste recycling  by first assessing

                 its extant mechanism in view of the British model.

             b)  Monitoring of Hazardous waste composition.   Efforts  to con-

                 trol air and water pollution have shown the absolute need

                 for outside verification  of pollutant composition.   Thus de-

                 tailed listings of waste  composition should be obtained at

                 the Federal level by the  Hazardous Waste Division.   Samples

                 of selected wastes should be precisely analyzed for  complete

                 chemical composition.

-------
                                 -2-






         c)   Public Awareness.   Hazardous waste realities  are not  as




             apparent to the general public as are land  use issues




             and increasing cost of trash collection.  Thus serious




             efforts are required to further public awareness and  sub-




             sequently increase pressures on polluting  industries.




             TIP believes that  public participation/education should




             receive high priority in the area of hazardous waste.




             Since hazardous waste inevitably becomes  public property,




             information regarding these wastes should also be public




             property.  Trade Secrecy should have no bearing on this




             area.  Thus readily available public lists  of all  hazard-




             ous wastes being produced in, disposed of,  stored in  or




             transported through given regions should  be assembled and




             kept current.   This list is to include all  results of the




             EPA verifications.




         d)   Waste hazard information system.   Specific  hazards associ-




             ated with and protections necessary for regional wastes




             should be made available to local residents.




         e)   Consumer hazardous waste disposal facilities.  Hazardous




             and carcinogenic materials, some yet to be  identified,  are




             in consumer products.  Disposal of these materials proper-




             ly and expediently is not possible for most consumers.




             Adequate and convenient disposal  facilities should be




             established.  TIP proposes the upgrading  of local  universi-




             ty laboratory safety/waste disposal facilities for this




             purpose.




2)  Sharing  of hazardous waste information.  Not only should the resource




    loop be  closed, but also the data loop.  Thus waste  stream composition

-------
                                     -3-






        data must be shared with the Toxic Substances Office and particu-




        larly the Interagency Testing Committee (sec ^e-TSCA) »nd the Toxic




        Substance Advisory Committee.  Such information is necessary for the




        committees to accurately target problem compounds as well as in assis-




        ting the administrator in imposing disposal and use  requirements




        under sec. 5f and 6a of TSCA.






        The vital subject of sharing of hazardous and toxic  substance  informa-




        tion was well developed at TIP's 1977  Internationl Conference on Toxic




        Substances and Trade Secrecy.  The participants of this week-long forum




        were generally  in strong agreement on  the principle  that the better the




        information  sharing mechanisms in this area, the  better the chances of




        problem  resolution.  Such sharing should certainly start at the  in-hoase




        level.
Arthur H.  Purcell,  Ph.D.,  Director
Thomas J. Conry, M.S.,  Project  Coordinator
January 19, 1978

-------
                                                    56

         MODERATOR PLEHN:  Our next speaker is Mr. Mark

Sullivan of the National Wildlife Federation.

         STATEMENT OF MR. MARK SULLIVAN, NATIONAL
         WILDLIFE FEDERATION


         MR. SULLIVAN:  Thank you.

         I am Mark Sullivan.  I am director of the Solid

Waste Project at the National Wildlife Federation.

         We will be submitting written comments later.

And noting the size of the audience and listening to the

previous statements, I will keep mine very short and I

will also make it very general.  If we have any nitpicking -

         MODERATOR PLEHN:  Mark, let me make sure everybody

can hear you.

         Is there a problem hearing Mark or can't you?

         There is a problem —

         MR. SULLIVAN:  Can you hear me better now?

         MODERATOR PLEHN:  Yes.

         As I said, I will try and keep it general and I

will leave our nitpicking —

         MODERATOR PLEHN:  Wait a second — can you hear

him now?

         VOICES:  Yes.  But your microphone doesn't work.

         MR. SULLIVAN:  I'm rarely told that I can't be

heard.

         MODERATOR PLEHN:  Thank you.

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                                                    57
         MR. SULLIVAN:  Again, I will keep my remarks short
and very general.
         We find the strategy document to be commendable
and we would like to thank you for doing such a good job.
         However, commendable under the constraints of
what you were working with, and that is basically the
Resource Conservation Recovery Act.
         Although the strategy document speaks to what is
identified as long-range goals, I^think it's important
that we recognize that the strategy obviously is aiming at
what our short-range goals are.
         What we're talking about is applying stitches to
very large gaps in our National Environmental Protection
Policy.  And we aren't necessarily going to accomplish all
this with the limited resources that are available to the
Office of Solid Waste.
         I would comment again that this strategy document
is saying that ws have very limited resources and we are
going to apply them where they will make the moat good.
         In other words, investing what little bit we
have.  If you've only got a few chips, you put them where
they will do the most good.
         I have to take issue, however, with, particularly,
what one previous speaker this morning mentioned.
         Availability of land is not necessarily a sanitary

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                                                    58




landfill.




         For example, rural areas, just because there's a




lot of land available, does not necessarily mean that rural




areas, under this strategy document, are covered sufficient!




to ensure that solid waste management would be handled




properly in rural areas.




         And I think this is a gap that the document needs




to address a little more fully.




         Also, public participation.  A couple of previous




speakers mentioned, and I won't go into details, but it




seems to me that public participation at,  particularly, the




state and local level, is viewed more as an education




process.  And I think this is the full thrust of the public




participation strategy.




         Then it won't be successful because public partici-




pation must include the actual involvement of the public,




particularly a€ the state and local level in the decision-




making process.




         I would like to commend the Office, again, on




the emphasis on the public health and environmental con-




cerns under the document that the limited resources will be <




plied  specifically to those areas where there is the most




potential for danger to the public.




         But, as a previous speaker also mentioned, the




very general nature of the language in the document still

-------
                                                    59




leaves many questions open about whether or not these will




really be attacked sufficiently.




         And this isn't limited only to the public health




concerns.




         I noted, for example, that in the very beginning




under the goals, it's listed that waste prevention and




recovery of resources should be emphasized as a preferred




option for solid waste.




         Yet, in the course of reading the document, it




seems that there's a recognition of the fact that under




the Act, there is very little that can be done to actually




make these preferred actions, and the reliance seems to




be on natural phenomena because waste disposal will become




so expensive, therefore, prevention and recovery will be




desirable.




         And I think that this is a gap, again, not so




much in the strategy document as it is in the Act.




         I note, for example, on page 61, however, that the




document says that when developing the guidelines for —




when developing the guidelines for the state plans and




resource recovery and waste reduction should be properly




addressed, can't be written into these guidelines.  And




I was surprised it didn't say will be written into these




guideliees as opposed to that.




         And, again, finally, about the nature of the strata y

-------
                                                    60





document.  I think it appears to be a resignation on the




part of the Office of Solid Waste to inadequate funding




and lack of resources to fulfill the mandate of the Act.




         And, perhaps, this is a realization, on the part of




the Office of Solid Waste, that these resources will not




be coming.  But I think it's rather pessimistic and it




sounds like a resignation to an unfortunate situation.




         And, perhaps there is not enough fight in there to




get more of those resources that are needed.




         However, I will just end by saying that, to me,




the major revelation of the document was that RCRA is




inadequate, that it leaves major gaps and that we, perhaps,




need further legislation.




         And, perhaps, the so-called Comprehensive Solid




Waste legislation that we got in 1976 is far from Comprehen-




sive Solid Waste legislation.




         Thank you.




         MODERATOR PLEHN:  Thank you very much, Mark.




         You make the point that public participation should




mean more than education and should include participation.




         And it is my impression that the public participa-




tion section 'of the law really is a very strong one in that




regard.




         And I just wanted to bring to the attention of




this audience that our proposed regulations for that section

-------
                                                    61





have been signed.




         And as soon as the Federal Register people — they




are now available.  I'm told they were publicized this




week so I just wanted to bring that to your attention.




         Would anyone care to comment?




         Yes.  John Skinner.




         MR. SKINNER:  I would like to comment on Mark's




observation that we really are just setting short-range




goals, that the goals we really can set are limited by




ths Act, itself.




         I think that is a correct observation.  And  also




the observation that the Act does not do very much with




respect to encouraging resource recovery is also a correct




observation.




         And that is why we placed the Resource Conservation




Committee as a high priority activity because, hopefully,




that committee would come up with recommendations for change




in public policy which would provide for incentives  for




recovery in waste reduction.




         And I was very surprised, and maybe Mr. Wentorth




would  like to explain his comment that he  made previously




on Environmental Action .foundation's recommendation to re-




place  the Resource Conservation committee.   I was surprised




at that  statement.




         MR. WENTWORTH:  I  am assuming in  the  statement  that

-------
                                                    62




we're dealing with all the same amount of eggs in the basket,




John; that you have all of the finite resources.




         What I did was assume, in that list of priorities,




that that was the amount of resources you had.




         It's ironic, admittedly, that we have been, in the




past, a prime shaker for resource conservation and ironic




that I am, in effect, demoting it.




         There are a number of reasons for that.  Basically,




it's one of resources.  And our view would be that the




Resource Conservation Committee is designed to make recom-




mendations .




         It's very difficult to get a firm program out of




the Committee's activities and that, because of that, it




was after  all a fair amount of thought that we take the




resources  delegated to a wide activity in that Committee




and delegate it to other regions that would, we feel, be




more immediately productive.




         Again, because of the tentative recommendation




type of committee that the Resource Conservation Committee




is, this is the basis for our recommendation.




         MR. SKINNER:  Thank you.




         MODERATOR PLEHN:  Thank you very much, Mr. Wentwortl




and thank  you, Mark.  We appreciate that.




         The next speakers on the agenda are from the




National Governor's Association, and I don't know whether we

-------
                                                     63

have one or more speakers, but I gather that Bill DeVille

would like to at least start.


         STATEMENT OF MR. WILLIAM DeVILLE,
         NATIONAL GOVERNOR'S ASSOCIATION.

         MR. DeVILLE:  Thank you, Steff.

         the goals of the Resource Conservation Recovery
         ?
Act of 1976 are protection of health and the environment

and the conservation and recovery of material and energy

resources.

         These goals are concurrent achievements through

provision of adequate environmental safeguards to effectuate

protection of public health and environmental quality and

improved utilization of resources through conservation and

recovery.

         Both goals are achievable primarily through

development and implementation of comprehensive state

solid waste management programs.

         The methods are more appropriately the tools pro-

vided by the RCRA for goal achievement.

         Our financial technical assistance guidelines and

regulations.

         The national policy is the achievement of the

goals of RCRA and a strategy is a coordinated plan to fully

utilize  all tools as provided in RCRA to achieve the goals

under the stated policy.

-------
                                                    64




         A plan which utilizes but one tool or which fails




to properly balance the use of the tools provided, does




not constitute an appropriate strategy nor does it assure




achieving the goals of RCRA.




         In the case at hand, it may guarantee only un-




focused activity with the force of Federal law.  This may




become more detrimental to state programs than no law at




all.




         By way of illustration, unskilled but anthusiastica:




he might choose to fabricate a product which he determines




he needs with a tool with which he is most familiar, in




this case, a hammer.




         By contrast, a skilled artisan would determine his




needs,, design the desired product and carefully select the




processes, materials and tools available to him.




         In this vein, EPA has predictably chosen over-




emphasis on the hammer, the regulatory mode with its attendee




coercive tool such as withdrawal of or withholding of




Federal funds to achieve but one facet of RCRA; the pro-




hibition of open dumps in order to control, primarily, one




concludes, industrial waste.




         This seems to be the emphasis overall.




         This unbalanced, uncoordinated strategy focuses




on one method of achieving one aspect of solid waste manage-




ment, but this is not the comprehensive solid waste
ly,

-------
                                                    65




management mandated in RCRA.



         It is not, therefore, supportive of the national




policy.  Unfortunately, the implementation of an inappropriate




strategy with inappropriate tools becomes the policy in




effect.  One which is not consistent with Congressional




intent nor with the planning of program development needs




of the state,regional and local areas.




         The states and Federal Government, included but




not limited to EPA, bear the responsibility for the achieve-




ment of RCRA's goals.




         EPA cannot answer nor labor alone.  RCRA imposes




primary responsibility on the state to determine solid




waste management needs.




         And, hence, the products.  In fact, the law states




that EPA should facilitate state efforts to achieve this




end by "providing technical and financial assistance as




opposed to regulatory controls to state and local government!




and interstate agencies for the development of solid waste




management plans including resource recovery and resource




conservation systems."




         Therefore, the effort to achieve each state's




plan is of a team effort encompassing all levels of govern-




ment:  state, federal, regional and local.




         A federal regulatory strategy for implementation




for only portions of this law aborts this partnership, the

-------
                                                    66




basic responsibility, with or without RCRA, resides with




the state and local government to assure environmentally




adequate and economically sound waste management.




         Waste management from collection through disposal




and/or re cove ry.




         To strategize a federal program which has  as its




primary aim  to close open dumps without concurrently pro-




viding technical and financial assistance to state and




sub-state entities to plan for and assure provision for




alternative systems, only serves to inhibit state and local




fulfillment of existing responsibilities.




         EPA's attempt to channelize the model states efforts




by EPA's selected methodology would place the goals of




RCRA in jeopardy.




         If, indeed, the strategy at hand was devised in




relation to the available amount of funding with little




respect for given goals and without the guidance of policy,




it is predictable, moreover, it is certain that the efforts




it presumes to guide will be minimal at best and counter-




productive at worst.




         Regardless of the available level of funding, the




emphasis of a productive strategy must be placed on efforts




which best enhance a comprehensive approach at the non-




federal level.




         A comparative assessment should be made of,  (a) the

-------
                                                    67





efficacy of expending monies to direct inspection, moni-




toring and enforcement until closure of open dumps by




prolonged litigation processes in most cases on a one-time




basis.




         And this is a predictable result of this approach




versus, (b) the investment of financial resources and




technical assistance resources in equipping states and




localities to upgrade planning practices, improved technical




capabilities and institutional arrangements and revise




and strengthen regulatory and enforcement programs.




         The latter investment will yield the greatest




long-term return commensurate with the long-range goals




of RCRA.




         Initiation of the open dump survey is but one step




in a solid waste regulatory program, but does not, in and




ofitself, make a comprehensive solid waste regulatory




program.




         Certainly, the publication of a list which ini-




tiates enforcement efforts and litigation is not the last




phase of a state program.




         The unfortunate reality is that available funding




is insufficient to support achievement on the goals of




RCRA.




         In the short run, it would be the heighth of




folly not to invest prudently in the longer range achievement

-------
                                                    68
of RCRA's goals.
         An effective and long-lasting policy would en-
courage the institutionalization of RCRA's goals at the
state level.
         This is consistent with Congressional intent and
can be accomplished on the state by state basis as deter-
mined by the respective state and its constituency.
         The provision of technical assistance from the
federal agencies, coordinated by EPA, is essential to state
and local solid waste management and resource conservation
and recovery development.
         Therefore, an effective strategy must address
mechanisms to provide assistance as identified and
requested by state and local governments.
         One question that arises is, will there be only
one mechanism to provide federal technical assistance and
will that be the RCRA Panels.
         Any plan to achieve RCRA's goals should deal vith
the coordination and the servicing of state and local needs
for technical assistance which will be generated by the
implementation of RCRA.
         And, will cover a range of topics transcending the
traditional boundaries of solid waste management.
         As a fundamental point, EPA is charged to provide
or to assure the provision of assistance as needed regarding

-------
                                                     69




the sources made within the federal establishment.




         Since state and local needs for technical  assistance




will transcent the boundaries or the jurisdiction of any




one federal agency, the strategy should address the investi-




gation, development and implementation of an overall tech-




nical assistance program on an interagency, multi-level




basis.




         For this reason, serious concern arises concerning




the placement of responsibility for provision of RCRA




assistance and one narrowly defined branch of the Office of




Solid Waste.




         The law charges the Administrator with the respon-




sibility for technical assistance including the RCRA Panels.




The strategy should fulfill the policy definition of EPA's




role as catalystic coordinator for providing technical




expertise.




         The strategy must not ignore those impacts of




RCRA which go far beyond this regulatory effect.




         The resultant plan should include specific strate-




gies to accomplish facilitation of federal, state efforts




to provide environmentally solid waste management,  including




identification of obstacles, institutional, financial



or otherwise.




         Repeating this partnership and developing  processes



to overcome such obstacles.

-------
                                                    70



         It should accomplish a preliminary investigation




of the need for and feasibility of a technical forum which




would become, perhaps, an established long-term RCRA panel




at the federal level.




         The law provides EPA with great flexibility.  And,




hence, a variety of options in  devising a RCRA panel.




Nor does it limit their existence, i.e., to a short time




period.




         It should accomplish the development of a method-




ology for determining funding levels necessary to achieve




the various facets of RCRA.




         A fundamental point.  It should accomplish encourag




ment of a resource conservation and recovery through, for




example, multi-agency cooperation to help effectuate procure-




ment of recovered materials as is mandated by the Act to




state and substate entities, e.g., by cooperative programs




for standard setting with the National Bureau of Standards.




         And, lastly and most importantly, it should accom-




plish a long-term program towards your 'policy development




and evaluation in conjunction with RCRA implementation




including, for example, the utilization of the resource




conservation committee to consider and to make recommenda-




tions on national issue*.




         I emphasize that a long-term program is to ensure




policy development because of the necessary and important

-------
                                                    71





feedback that must develop from the development of state




and local and regional plants and their implementation.




         In short, the states recommend team play within




and without the federal establishment.  And, beginning with




EPA, the Agency, the Administrator, must be responsive to




the offers of the states and other federal agencies to




assist in the development of such policies and plans.




         This concern is particularly  appropriate in the




RCRA Panel's efforts on the emphasis of  gome Title C hazardoi s




waste management as a separable  state  program effort and




on the focus of the closure of land disposal sites without




consideration, perhaps, of available alternatives.




         The implementation of RCRA, including some Title C,




hazardous waste management, is dependent upon state efforts.




And, consequently, federal policies and  strategies should




reflect state priorities and planning  and development.




         Recommendations are made to recognize the need for




an overall policy for achieving  RCRA's goals followed by




development of a plan and strategies to  implement the policy




         To develop a methodology for  utilizing the per-




spectives and resources of state and. local governments, the




public and the private sector, in a constructive as opposed




to a reactive tnod«.




         To continually evaluate the progress and needs,




especially technical and financial of  state and local

-------
                                                    72
governments in order to facilitate coordination with other
environmental statutes.
         And, to identify, at a national level, the neces-
sity for policy statements as identified in RCRA develop-
ment and implementation, particularly statements on resource
conservation and recovery.
         Because the current strategy document is seriously
deficient in its addressing of fundamental issues of per-
spectives concerned with the implementation of RCRA, the
focus of these comments is upon those weaknesses and also
upon recommendations for their correction.
         This approach has been adopted as the general
statement of the position of the Nati6nal Governor's
Association's standing subcommittee on waste management
as opposed to a line by line critique of the current
strategy document.
         It should be noted that comments by the various
states which have participated in the evaluation of the
strategy include numerous specific points addressed by
the strategy.
         EPA is, however, to be commended for seeking com^
ment on this strategy document.  This is a first and
important requisite for development of policies and strate-
gies necessary to achieve RCRA's goals.
         On behalf of Governor Edwards, the NGA Standing

-------
                                                    73

Subcommittee on the National Governor's Association, I


thank you for the opportunity to provide the state's


prospectives and recommendations for the achievement of


RCRA's goals.


         MODERATOR PLEHN :  Before asking the panel  for


comments, I would just like to make the observation that


it is not entirely clear to me, from your  statement, whether


your comments are directed — and I think  they  are  directed


in some measure at all of these — at  the,  let's  say, the


deficiencies in RCRA, as it exists, as against  your con-


cerns about some of the constraints, particularly financial,


which were defined in the strategy as  against how the


strategy, itself, tried to deal with the realities  of the


Act and the constraints.


         But, let me see  if there's anyone here  on the


panel who would like to make any comments  or ask  any ques-


tions .


         Okay.


         Well, as I understand it, you have several other


members of your group who would like to  speak and the

                        a
next on my list is Al Mgrino of the California  State


Solid Waste Management Board.

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                                                    74
         STATEMENT OF AL M0RINO, SGA, CALIFORNIA
         STATE SOLID WASTE MANAGEMENT BOARD
         MR. M0RINO:  Thank you Steffen.

         Distinguished panels, ladies and gentlemen.

         First, let me say that yesterday when we talked

with Bill DeVille I understood what he was saying as the

National Governor's Association spokesman and agreed with

him.

         But yesterday was in layman's language.  He cleaned

it up and presented a very scholarly approach and I don't

know that I understood it.

         But I think it's the same thing.

         MR. HICKMAN:  Myabe that's why we didn't ask ques-

tions .

         MR. M0RINO :  Again, I will join everybody else,

at least based on the relative difficult problem that EPA

has in the way RCRA is formulated and the way the guidelines

have come out.

         But I think you've done an excellent job with the

strategy.

         I do have some comments. Unfortunately, I don't

have a prepared statement and I might just suggest that,

in California, there are two new laws dealing with solid

was te management.

         One is the enforcement of minimum standards on

-------
                                                     75





all solid waste facilities and putting them under a  state-




wide permit, thereby upgrading everything, hopefully.




         And, secondly, we just had passed a product disposa




tax and a tax on all retailers, wholesalers and manufac-




turers in the state of California which will raise something




like $25 million per annum which is earmarked to be  allo-




cated through my board to local government for expansion




and creation of recycling centers, where  feasible, towards




the planning and study for energy conversion systems and




a great sum of money towards cleaning up  litter in Californii




which is probably our biggest insult.




         And because we're trying to implement these, we




haven't had too much time to read the reams of material




that are flowing from EPA on RCRA and the Federal Government1




effort to catch up with the State of California.




         I do represent the Board here today, primarily,




and its reaction to the strategy as it has come out.  And




I just would highlight maybe some of the  important things




that we have seen.




         And our prepared statement that  we will send to




you probably will go into more mundane type of editorial




remarks, et cetera.




         But I think these are pretty much substantive




type remarks that I would like to make today.




         First of all, to put those remarks in perspective,

-------
                                                    76




I want to say that the State of California has always, and




is certainly now, anxious and willing to work with EPA




towards bringing to the people of the nation, as well as




the State of California, the benefits to be derived from




that particular legislation.




         However, the strategy that we are talking about




today, can and will be the bible for everyone who is in-




terested in solid waste management, including the regional




agencies, your regional directors.




         And to that end, I think that the wording in the




whole document needs to be carefully reviewed.  And, in




fact, some of the editorial changes could loom large in




importance as far as interpretation by everyone is concerned




         I have two general comments to begin with, if I




may.




         First of all, we have, in California, a severe




problem of the phasing of the schedules and deadlines that




are outlined in your guidelines and, of course, which have




an impact on the strategy.




         And we feel that they are completely out of sync.




For example, Section 35.718-2 of your guidelines stipulate




that after Fiscal '78, applications for grants under RCRA




must be made with the idea of allocation of monies to the




local entities or agencies who will be implementing RCRA




in the state plan.

-------
                                                     77



         That calls for the delineation of what  the  money




will be used for by those local entities  as well as  defining




the local entities that will get the money.




         Now, unfortunately, in applying  for  grants  for




Fiscal  '79, we've got to do this around August of this year.




And around August of this year, we  have no way of knowing




who needs how much money to do what because we don't have




the criteria, first of all, for the landfill  surveys so




we can't do that yet.




         We cannot set priorities based on RCRA  because




of the  fact that we haven't done the survey as well  as




even a  preliminary plan.




         So it seems to me very difficult for us to  satisfy




Region  IX's request for delineating what  the  money will be




used for by the local agencies when, in fact, it is  so




early in the game.




         And what we had hoped was, whatever  money was




coming, to be able to designate the fact  or to stimulate




the fact that we have designated the agencies as part of




RCRA.




         The money would be allocated to  those agencies




in Fiscal '79 according to the priorities that will  be




developed after you've come up with the criteria of  the




landfill survey and,  according to, at least,  a preliminary




state plan that we hope to have accomplished.

-------
                                                    78




         Now, without that understanding, it's difficult




to be able to apply for monies and it's difficult for




local entities to get too interested if, in fact, there




is not any money forthcoming to them.




         In line with that, I think the gentleman from




Philadelphia talked about funding of the Hazardous Waste




Program.  And I agree, wholeheartedly, that funding of




that program. Title C, should not be done to the exclusion




of Title D because if that should come about, there is not




a fair balance, an equitable balance of funding programs




as far as California is concerned and its local governments,




and probably Government Brown, though I haven't talked with




him.




         I think it would be a failure of the Federal




Government, pulling the rag out from under everyone after




we've gotten everyone excited and involved, only because




it might be some monies coming for the environmental area




of solid wastes.




         So, hopefully, that balance will come about in




the funding that is to be adopted.




         The other general statement I want to make appears




on page 73 where you talk about the uniform interpretation




region  to region, state to state, et cetera.




         I think this is a very important aspect insofar




as the interpretation of the administrative procedures and

-------
                                                    79



functions under RCRA.'a concern.



         I don't think it's "appropriate if we're talKing




about enforcing or priorities of anything else because




that has to vary from state to state and maybe from munici-




pality to municipality.




         Getting into some of the more specific areas, I




just have a few, if you will bear with me.




         On page 20, there is a statement about the funding




from the EPA Administrator, and it talks about funding to




counties and municipalities.




         Now I understood that any funding would flow through




the state to those  counties and municipalities or original




entities that were  identified as the agencies under the RCRA




procedure.




         And I don't understand if that means that the




director would be funding, directly, monies  to local




governments and municipalities which, in one aspect, is




fine; but, in another aspect, it would raise havoc where




the state is involved in  trying to Administer that which




it has planned.




         On page 51, there is a statement talking about




energy conversion and materials recovery.  And it just says




bluntly 75 to 80 percent  can be feasibly processed in those




ways.




         I think that it's important because of what it said

-------
                                                    80




about this being used as a bible and because of a hassle,




that I will explain in a minute, going on in California




that, when you say feasible, I think it ought to be stipu-




lated whether you mean technologically feasible because I




don't think it is economically feasible to be able to process




that much at this time.




         Now, also, in that context, in California, there




is a real surge of interest in energy conversion systems.




We have six projects that we are hopefully going to have




the state put up some monies to support, at least in the




revenue guaranteed type of program to make bonding of those




projects a little easier, maybe as much as a hundred million




dollars.




         That remains to be seen and nobody knows what the




outcome will be.




         But we are on the threshold of that approach.




And, by the same token, there are many people, well-meaning




people, environmental groups, et cetera, who are saying




that pur emphasis is all wrong, that we should be looking




more to the material separation, source separation programs




and recycling.




         I think your strategy would be very helpful if




it indicated the compatibility of those systems that one




does not necessarily preclude the other, and that they are




both important to the sum total of solid waste management.

-------
                                                     81




         On page 54, the discussion goes on on materials




recovery and energy recovery.




         Again, I think it's important to us, at  least in




California, that when you talk about these programs, that




it be indicated or clearly understood that material  separa-




tion, at least the way we see it in California, might lead -•




with the most optimum of conditions in markets — might lead




to a 20 to 25 percent reduction in what goes to landfills.




         By the same token, I think it would be well to




stipulate that the energy conversion processes could lead




to 75 to 80 percent reduction in what goes to landfills,




so that there's a clear understanding of what we  are talking




about when we talk about resource, recovery, recycling,




energy conversion, et cetera.




         Because many people are interested, but many people




seem to feel that one is fighting the other.  And I  think




EPA, the way EPA strategy has come out, it doesn't necessari!




lena to that argument, but it certainly doesn't help clear




it up.




         One very, very vital problem in this whole  business




of utilizing waste, and we like to think in California that




it's a waste only because we regard it as such; that, in




fact, it is a resource — but one of the real problems is




the environmental box that we've managed to get ourselves




into.  And I'm talking about the regulations and  standards

-------
                                                     82




in one environmental  area will not permit the utilization



of waste, for example,  in the other environmental area



simply because of the air standards.




         And I'm thinking more of the new tradeoff rule



whereby, if you're in an air basin that — what's the word



that it is beyond the minimum standards — and if one of




these energy projects was to go in, locate in one of those



air basins — and, incidentally, these are all in urban



areas — and those air  basins are, in fact, under the gun.



They do not meet the  standards.




         The cost right now is very marginal as to the



economic feasibility  of going with these plants.



         And if the added cost of having to clean up




other industries' emissions  in order for that project to



get a permit, would completely shutdown any potential for



energy conversion.



         And I think  that it's important.— I don't know




if the law requires this, but even if it does, I think it's




important that your strategy at least recognizes that prob-



l«a and speaks to the need for environmental tradeoffs from




the standpoint that,  perhaps, fuel from solid waste might




have a low sulphur content while it may add  a little more




particulate to the atmosphere.



         Maybe that type of approach might be more intelligeift



and reasonable than the way it seems to be now.

-------
                                                     83
         On page 55, in the same context of energy and
materials recovery, the way I read it, it came off a little
skeptical where it talks about that, perhaps, 27 million
tons in the next 10 years would be able to be taken out
of the landfilling by materials recovery and energy con-
version.
         Now, if we're talking about 27 million total addi-
tional over the next 10 years, I think that's very low
because, in California, with the six projects that we have
on threshold »f going, dependent on financial assistance
plus the product disposal tax that has just been passed
will infuse monies into recycling programs, and everything
else.
         We anticipate that in the next 10 years, if these
come ©ff, then we will be taking something like 21 million
tons »Ht of the solid waste stream alone/ in California,
total over the 10 years and not per annum.
         So I don't know what that means.  But if it means
net in a 10-year period, the net accumulation of that many
tons, I think it is way low.
         Tfi« last two items that I think are very important,
at least to us, appear on pages 80 and 84.
         On page 80, you talk about the regional plans that
are submitted to EPA should be reviewed and approved, et
cetera.

-------
                                                    84




         Well, first of all, I didn't know that any regional




plans in solid waste should be submitted to EPA.  I thought




thaywas part  of the planning process in the state plan




where, if they are the designated agency under the state




plan, what they had done would become an element of the




state plan.




         And I don't know why it would go to EPA or why




it should be so that there's no misunderstanding that




whatever agency is doing what it flows through the state




if, again, we are the responsible agency.




         And incidentally, the Board has been designated




lead agency in California by the government.




         More importantly, on page 84, it starts on 83,




I believe, is quite a lengthy discussion about the water




quality, water management plan.  1 forgot the initials




you used, relating to 208.




         It talks about, on page 84, the 208 residual




solid waste program.




         Now, over the last five years, I've been trying




to get a definition of just what^residual means in that




context.  And I've had so many different definitions that




I gave up even trying to explain what it meant^to anybody




that asked me.




         But from what I understood, it was primarily




involved in the 208 process, the looking at or planning for

-------
                                                    85




agricultural waste drainages, perhaps sewage sludge, things




of that nature that had a direct impact on the regional




basis on water quality.




         And, incidentally, the 208 regions in California,




and I don't know if they are in all states, are established




on the basis of water drainages.




         Now, how that could be substituted for a solid




waste plan, as page 84 seems to imply, leaves me very cold




unless we're talking about solid waste management only




from the standpoint of water quality protection, which I




know, at least I hope we're not.




         At any rate, it does state that the 208 plan,




which was supposed to be done on a residual waste which




was supposed to be done all encompassing in solid waste




management, that it can be the solid waste plan under RCRA.




         And to me, it seems very contradictory.  It adds




more fuel to the fire.  And in California, there's a hell




of a fire burning over what the role of the regions are




versus the role of counties and cities.




         And, as you know, local government in California




is very strong.  And we don't want to become part of the




fight.  We would rather be able to give everybody his share.




         The way this is worded, it just adds more fuel




to that fire.




         I think that I had better stop here.  I am getting

-------
                                                    86




into editorial things after this, so I will conclude and




hopefully get something in writing to you.




         I want to thank you for the opportunity to make




this brief statement and wish you luck, and make sure that




you understand we want to work with you very closely.




         MODERATOR PLEHN:  Don't run away, Al, because I




think there are some of those questions and points that you




made that we ought to see if we can provide some response




to.




         Your comments remind me, really, of a question




which I wanted to ask earlier, of which I would be intereste




in any comments of the rest of the day.




         And that is, we have a chapter on constraints which




really kind of talks about our difficulties in moving ahead.




But I think what Al said and what others have said outlines




for us that we also have some real strengths on which we




are trying to build.




         And we're not starting with a clean slate,  we




have effective institutions and strengths on which to build.




         And it may be appropriate that this strategy con-




tain a chapter, maybe only a short one, but which would




make that clear to the audience for the final document.




         And, as I say, I would like to have any comments




on that thought.




         John, would you want to respond to any of Al's poin
s?

-------
                                                    87


         MR. SKINNER:  Let me just answer two of the ques-


tions that you raised,  Al.  One is with respect to the


Fiscal Year '79 grants and the fact that identification of


agencies cannot be made until we finalize our regulations,


and until the state plan is developed.


         We recognize that.  And I think that if you look


at the guidelines, they allow you to phase such designations


over whatever time period is necessary.


         But recognizing the fact that agreement between


local governments and state and local governments would


take some time to develop, we think that that activity should


start in Fiscal Year  '78.


         And whatever identifications and responsibilities


that you can make, you should make as soon as possible,


although recognizing the fact that all of the identifications


will certainly take a much longer period of time.

              A
         MR. M0RINO:  John, excuse me.


         That's beautiful, I hope.  And this goes back to


what I said on page 73.  From region to region, this is


understood and implemented, and I hon that your Region IX


understands this the way you're telling me.


         MR. SKINNIER:  We hope they do too.


         The other point is on the 208 residual waste program


You are correct in that the 203 program, in general, where


they deal with solid waste management, are concerned.

-------
                                                     88




in about the service water quality  impact of  solid waste




management.  And RCRA, of course, deals with  much broader




impacts of solid waste management.




         And the 208 program may not be, in many cases,




suitable for the RCRA needs.




         But we do encourage that states and  local govern-




ments look at what 208 is doing.  And, certainly, not




duplicate their efforts and coordinate with those activities




         Also, since we all acknowledge the fact that the




funding under RCRA might be much less than is necessary,




I think we should look at the 208 funding possibilities




to support some of the RCRA requirements as well.




         MR. MORINO:  John, I understand that.  And  I think




what I was really pleading for was  on page 84 where  you




talk about the 208. Rather than say where those activities




meet the intent of the Act, the state should  consider




identifying the 208 agencies under  406 (b).




         I think it ought to be clear the warning under




the intent of the Act insofar as regional problems are con-




cerned are something like that so we don't have the  regions




coming back and say, see, EPA wants us to do  all this.




And that's what they're saying.




         And I could care less, except I'm in the middle.




         MR. LINGLE:  Al, I just wanted to respond to a




couple of the points that you made  regarding various resource

-------
                                                    89




recovery issues in the strategy.




         First of all, in terms of compatibility issues,




I agree and I think we agree as an office and have stated




in other publications, and so forth, your point about




compatibility of energy and materials recovery approaches.




         And I think it is appropriate to point that out




in this strategy document.




         I would also like to just clear up a couple of




points that you made.




         First of all, in the nonattainment issue, in terms




of conflicting regulations, we recognize that and are




taking some steps within the Agency to address that.




         Now.  Just a clarification point.




         You pointed out that 27 million tons seemed low.




And I read this again.  I realize how confusing that was.




That was not intended to be a cumulative total over the




next several years.  That was the actual amount in one




year, 1985, and that is a very good point.




         MR. MERINO:  Okay.  That is fine.




         Thank you very much.




         MODERATOR PLEHN :  Thank you very much, Al.




         We have the next speaker who is also from the




NGA.  Mr. Wiley Osborne of the Texas Deoartment of Health.

-------
                                                    90
         STATEMENT OF MIU WILEY OSBOKfcE, NGA,
         TEXAS DEPARTMENT OF HEALTH
         MR. OSBORNE:  I think me and all the farmers are

up here in Washington out of the State of Texas.   I didn't

know thare were that many down here.  They get kind of

spread out down there, but they seem to be pretty  well

congregated and represented here.

         I also feel like a Rhode Island Red in a  white

leg henhouse because I have many exceptions as I will speak

to, on the strategy document, contrary to the many points

that have been raised in the favor of the strategy.

         I think I will do this, and we have prepared com-

ments that are addressed to Mr. Skinner, and these will

be forwarded to him.  And I will just read part of an excerpt

from the eover letter that forwarded those comments.

         The  Act establishes the goals and objectives for

the program, and I believe — I'm speaking now for Jack

Carmichael wh'o is Director, Division of Solid Waste Manage-

ment at the Texas Department of Health — I believe the

priorities and emphasis should be developed from the require

ments of the states in obtaining these objectives.

         The draft fails to recognize the individual state

requirements in an attempt to develop a consistent program

which does away with the state autonomy and the right to

tailor programs necessary to resolve their problems.

-------
                                                    91





         The strategy clearly circumvents provisions of




the Act and puts emphasis on programs that are not con-




sistent with the overall objective of the Act.




         The statement that the strategy does not have




the intent of the regulation or official rulemaking has




little meaning and when other statements clearly show that




the strategy will be followed in implementing the Act.




         The process used in developing the priorities and




program emphasis does not follow the analytical approach




necessary to develop a recommended solution to a problem.




         Alternatives are not explored, recognized or




given proper stature.  And where considered, they were




downplayed or biased.




         The document, in effect, supports what we consider




preconceived conclusions.




         Now, it is recognized that the list of constraints




may be realistic.  However, there are offsetting positive




elements not considered, nor was the remains, to circumstanci




some of the constraints explored.




         And by and large, the success of RCRA depends on




the willingness of the state and local governments to accept




and implement the programs.




         The degree of response from the state :and local




governments will depend on whether the program satisfies




their needs.

-------
                                                    92



         Where state and local needs are consistent with




the objectives of the Act, these should be given full




recognition in establishing program priorities and emphasis.




         The priority and major emphasis clearly support




a municipal solid waste management program to industrial




solid waste activities.




         The segregation of industrial waste is not within




the intent of RCRA, nor is it a solution to the problem.




         This is a major shift from the previous position




and is not supported by valid considerations.  I would not




deemphasize the need to control and regulate the hazardous




waste, but the resources directed toward management activities




for hazardous solid waste generated by industry should




consider that industry must solve their problems from private




capital.




         The resultant strategy reflects a major shift and




emphasis from positions previously expounded by EPA.




         Mr. Costle has stated in a letter, dated October




19, 1977, that Congressman Rooney, that we anticipate very




little, if any, of these funds will be used for the inventory




of industrial solid waste disposable facilities or implementa




tion of plans and programs developed under Subtitle C or D,




or for pass-through to the local agencies for implementation




of plans under Subtitle D.




         Our strategy calls for seeking funds for these

-------
                                                    y j






activities in FY '79 and subsequent years.




         The guidelines for FY '78 establishes a priority




Subtitle D activities and these programs are now being




staffed and they involve local and regional governmental




units.




         Governor Briscoe of the State of Texas has com-




mitted the state to involve local and regional agencies




in solving solid waste management problems.




         I think that the local officials have responded




to this with a key interest.  And they also have expressed




a desire to participate in the RCRA program for a solution




to their solid waste problem and to relegate Subtitle D




to a lesser emphasis and place on Subtitle C as a radical




departure from what is expected, and will result in a




serious loss of interest and support.




         We do want to go on the record that the comments




are not intended to reflect adversely on criticism of the




staff.




         It is obvious that they have worked hard on this




document and have raised many points. However, we are




critical of many of the results or the conclusions that they




have reached.




         And now the specific comments are attached to the




letter, and I would like, perhaps, to just summarize these




for the benefit of those who are here and who may receive

-------
                                                    94




comments on them.




         Overall, we find that the strategy supplants the




overall provisions of RCRA.




         The strategy, that is not recognized, are to make




provisions of solution of problems as they exist in the




states.




         The strategy omits discussion of relevant portions




of the Act.




         The strategy draft, the goals and objectives, are




not consistent with the Act or actual problems.




         The criteria used in establishing priorities are




biased toward EPA mandated programs and neglect the state




requirements.




         Constraints are used to assess impact on program




implementation but positive support to programs is not




recognized.




         This would consist of the existing state programs




and the current program being funded under RCRA.  The major




choices are not supported by the fact.




         I think the selection of the problems of the waste




stream and the quantity versus quality, the dichotomy of




the safe disposal versus conservation and recovery — resourcs




conservation and recovery is one of the goals of the Act,




but to temper it as a preferred means of disposal does not




take into account the other goal of the Act that is established

-------
                                                    95





that is one of safe disposal.




         This is a major departure from the previous EPA




program priorities.




         The strategy overemphasizes the relationship to




solid waste management to water oriented programs.  The




implementation of sound solid waste management practices




will protect water quality as well as provide solutions




to many of the other related but poor solid waste management




practices.




         Before we would recommend that EPA return to the




overall objectives of the Act and the requirements of the




states to establish objectives that are fully consistent




with the Act, that a strategy that considers the full




spectrum of the Act,and not just EPA mandated programs,




be developed.




         That the strategy recognize the value of ongoing




state programs and grant-funded programs.  That resource




conservation and recovery be recognized as a viable comple-




ment and eventual alternative to land disposal to be




encouraged, supported by financial assistance as well as




R&D effort.




         And I agree with Al Merino on this point, that he




made, that the strategy should address conservation source




separation as well as material recovery and energy recovery.




         And that a return of emphasis to Subtitle D to the

-------
                                                    96




development and implementation of the state plans and all




facets of solid waste management and support our rural




communities.




         Also, the opened up inventory.




         To recognize and support RCRA is separate from other




programs while recognizing the need to coordinate all pro-




grams.




         I think that, Mr. Plehn, we've gone to a great




extreme to getting the people involved in the program.  And




if not, the actual content, I believe the thrust of the




strategy diverts our effort from this and directs them toward




EPA mandated programs.




         I believe the people, out in the communities, are




looking forward, at least the local elected officials are




looking forward to suoport for their solid waste management




problems.




         And I think, if it is not given, they are going




to lose interest and we will lose support of the overall




objectives of the Act.




         MODERATOR PLEHN:  Thank you very much, Wiley.




         Here is a question from the Panel.




         MR. HICKMAN:  Wiley, one of your statements was




that the strategy does not recognize the problems facing




states.




         In the detailed comments that you provide us on

-------
                                                    97





the strategy, do you articulate what the State of Texas




Public Health Department considers to be the problems facing




states that the strategy should address?




         MR. OSBORNE:  Not in detail, Lanier, but we can




give you those.  I think our main intent here is that there




are a number of different needs and in different states.




         That the state requirements are different in New




Jersey and Texas.  And, that the strategy should recognize




this arid not try to develop consistent programs:that would




force resource, conservation and recovery in one area.




         Where it might work real well in one area it would




not in another.




         MR. HICKMAN:  So what you are suggesting is the




strategy should indicate flexibility within the requirements




of RCRA for state and local governments to advance their




programs, consistent with the regional and state differences,




but still consistent with the basic requirements of the




Act?




         MR. OSBORNE:  Right.




         And one of the things, I believe,that we're not




in disagreement with the strategy.  We are not in disagree-




ment with the fact that you have a strategy.




         MR. HICKMAN:  You just don't like it.  That's all.




         MR. OSBORNE:  But we feel that it is out of timing.




         I think a lot of the contents of the strategy will

-------
                                                     98





depend on what the  state plans  -- how  the  state plans evolve.




The state plan,  I believe, will  recognize  the needs  of the




state and will detail the needs  of the  state.




         And these  should be used, then, I think, in develop-




ing the overall  strategy.




         MODERATOR  PLEHN:  Any  other comment?




         MR. LEHMAN:  Let me just make  a couple of comments.




         That the last  comment  about the timing of the




strategy puts us in a difficult  situation, I think,  Mr.




Osborne, because we are under a  great  deal of pressure, as




you probably realize, to go forward with an overall  strategy




so that state and local governments, and the Congress, and




the public will  know what we are about.




         If we had  to wait until all the states'  planning




were accomplished and then write a strategy, I think that's




a real tradeoff.  But I think we are almost compelled to




.press on on this.




         And on  a more mundane  point on that, if  you want




to get into the  internal workings of EPA,  it is very difficul




for us to go forward with such  things  as the landfill criteri




and the hazardous waste regulations through the Agency clear-




ance process if we're not able  to relate those individual




Acts to an overall  strategy.




         So there are a number of pressures to do that.




         But my main point, my main comment.  Both you and

-------
                                                     99





nr. DeVille raised what I consider to be essentially thA




same ooint.  Maybe it isn't.  Maybe that should be  explored




here.




         And that is that I heard — 1 believe I  heard both




of you say basically the same thing, that the strategy




did not adequately reflect state perspectives.




         And Mr. DeVille's comments were in the context of




the hazardous waste program, but yours were more  general.




         I wonder if you could comment on that or maybe




Mr. DeVille would like to comment on that a little  bit




more as to how that could be accomplished.




         In other words, how can this strategy be drafted




in such a way as state perspectives can be taken  into




account to a greater degree?




         MR. OSBORNE:  I don't question the need  for a




strategy in any management program.




         I think what we have exception  to is this  particu-




lar strategy.  And it's divorcing itself from the completion




of the state plan and the implementation of the state plan.




At Isast this is what I perceive it does.




         What I believe that the strategy should  now focus




on is on those elements that we have started and  not cut




them off and leave them dangling while you pickup another




program.




         I believe the completion of the state plan  and the

-------
                                                    100





opened up inventory is of the utmost importance.  That we




go ahead with that.




         And then, from these, I believe we will be able




to develop many of the concerns and strategies after we




have recognized the problem.




         I don't really believe we know what the problem




is at this time.




         We can perceive, maybe, what some of the aspects




of the problem is, but until we do the complete state plan,




I don't believe we really recognize the problem.




         MR. LEHMAN:  Thank you.




         MR. DeVILLE:  John, I would like to make a couple




of points.




         I appreciate your comments on the need to formulate




the strategy and I agree with it.




         What I would like to emphasize, and one of the




points I was trying to make in the general tenure of my




comments is, this is not a one-shot strategy.  It's going




to continue to evolve over time.




         One of the reasons I think that Wiley and I are




concerned about some of the trends in this particular




strategy approach is that it seems to have, on a state




perspective, standing on one foot in Fiscal '78 and on the




other foot in Fiscal '79.




         To give you an example.  The governor's have put

-------
                                                     101




themselves on the line in a lot of ways in a  lot  of  places




around the country with the designation of the  regional




planning boundaries and with the ongoing movement that




is initiated in that direction.




         Last week, we signed contracts from  the  governor




between our regional planning agencies contingent upon the




receipt of Federal funds.  And we are trying  to make  some




money available to them on an intervening base.




         We can't let that die because, again,  this  is why




I want to emphasize a comprehensive solid waste management




program.




         If one tries to evaluate, for example, the relative




health risks nationwide or in a given state imposed by




industrial waste or by specifically hazardous waste or




by solid waste in general, one finds that in  some states,




and Mississippi has emphasized, the governor  feels that,




in Mississippi, the health problem and the environmental




problem is general solid waste.




         Now, in Louisiana, we have a mix.  We  have a major




hazardous waste generation in our state, but  we can't




neglect one program element for a little while  and pick it




up and neglect the next one for awhile and come back and




pick it up.




         We've got to have a coordinated ongoing  consistent




evolution in the strategy.

-------
                                                    102





         And that is what concerns me that we start something




drop it.  And when we drop something, like regional planning




on a state solid waste plan developed comprehensively, we




lose a lot of inertia and, boy, are we going to have prob-




lems starting it up again later on.




         MR. SKINNJ&R:  I think there is a point of clarifi-




cation that is necessary and, obviously, we will have to




take this into account when we redraft the document.




         While we talk about emphasis on industrial waste,




increased emphasis on industrial waste, we're not talking




only about Subtitle C.  We're talking about Subtitle D




as well because most industrial waste, in terms of quantity,




probably will not be classified as hazardous, and may be




a better way of putting it would have been that, as we




develop comprehensive solid waste management programs under




Subtitle D, we should give emphasis to those industrial




wastes which will not be regulated under Subtitle C.




         I think that is the point that we tried to make




and probably didn't make it as well as we should have.




         It was not an indication that we should stop




everything we're doing under Subtitle D to build a hazardous




waste program.




         Of course you are correct.  A lot of activity has




taken place and we want to continue that and build it.




         MR. DeVILLE:  But one of the things that may concerr

-------
                                                    103





us, John, is, for example, in Fiscal '78, the program money




emphasis was on Subtitle D. Okay?




         The anticipation was that Subtitle C would come




along in '79 and it would be not only funds for that but




probably increased funds for Subtitle D.




         And let me tell you that a lot of the states have




designed their programs and have staffed up and are moving




forward.




         And let me remind you of the political sensitivities




of the building relationships between the state and regional




planning groups.




         Now, I have some reason to be concerned about what




the Fiscal  '79 budget is likely to reflect in program




emphasis.




         And I think we're going to be in serious trouble




if my concerns turn out to be true.




         MR. LINGLE:  Bill, before you sit down, I wonder




if I could  ask you to clarify something which you said in




your opening statement.




         You started off by talking about the use of dif-




ferent tools as reflected in the strategy.  In particular,




you indicated that there seems to be a lot of emphasis on




the regulatory tool and perhaps not enough emphasis on




some of the other tools.




         NOW, were you saying that that is a problem with

-------
                                                    104





the strategy or with the Act as it's written or both?




         MR. DeVILLE:  It's a problem with the strategy,




specifically.  And it's also a problem in terms of resource




availabilities.




         But let me comment.  As I tried to emphasize in




that first presentation, granted, that we mav have insuf-




ficient resources to do everything.




         I think that we^na^d to look at the option of




emphasizing one program element and dropping others.  I'm




not sure that's the wisest course of action but it needs




to be looked at carefully or alternatively, trying to,




at a somewhat reduced level, maintain the overall emphasis.




         And I think I would tend to opt at this time for




maintaining the comprehensive approach to the best stretching




of the resources.




         MR. LINGLE:  Thank you.




         MR. MERINO:  Could I add another little discourse




to the other two gentlemen's?




         On this business of funding, in California, the




State Health Department is a responsible agency under




state law and under our negotiation as a lead agency under




RCRA to enforce the hazardous waste program from its genera-




tion to its final use or disposal.




         Now if, in fact, the funding may come along, that




would put Subtitle D in a very low capacity to Subtitle C

-------
                                                     105


as far as funds are concerned, what would happen  in  Califor-

nia is this:  local governments, right now,  are very coopera-

tive and working very strongly with us and RCRA under

Subtitle D because they are the primary people that  will

benefit from the funding to do what has to be done on a

local level.

         If there's no funding there, but it's for Subtitle C

because the Stats Health Department preempts hazardous waste,

the local health departments or the local counties and

cities have nothing to do with it, they're going  to  tell us

and we will tell you to take RCRA and shove  it in file 16.

         That's what it would amount to.

         MR. OSBORNE:  Thank you very much,  Mr. Plehn.

         MODERATOR PLEHN:  Thank you very much, Wiley, and

thank you very much Bill and Al.

         The next speaker is Mr. Philip Taft of the  Tire

Retreading Institute.


         STATEMENT OF MR. PHILIP H. TAFT, DIRECTOR,
         TIRE RETREADING INSTITUTE


         MR. TAFT:  My comments are in one very specific

area, so I won't take as much time as those  of you out there

who are not concerned with my area.

         And, as noted, my name is Philip Taft.   I'm the

Director of the Tire Retreading Institute.

         And, as with the other speakers, I  comment  favorably

-------
                                                    106





upon your work in developing the strategy.  I think it's




a commendable endeavor.  I like the manner in which it




explains the rationale for arriving at your various program




priorities.




         Your consideration of what emphasis should be




placed on the interaction of the several v.'aste streams, the




options of resource conservation versus disposal, and the




levels of control, we think, is a thorough and fair assess-




ment.




         Now-, a document of this type, in our opinion, is




necessarily expressed in general terms.




         There is, however, reference in the strategy docu-




ment to a specific item and that reference is Section 2004,




Grants for Tire Shredders.




         And that's where most of you leave.




         Had that item not been specifically identified, I




would not be here making a comment.  But it has been, and,




therefore, I must speak up.




         The 5 percent grant noted in the reference is such




a trifling amount that it might as well be forgotten, and




I'm sure it will be.




         Now, because this single item has been identified,




there is some concern that there are other considerations




that have been brought into play.




         Now, if those considerations are intended to downplakr

-------
                                                     107





the importance of tire recycling, we would be  vitally  con-




cerned.




         Now, I would like to enlarge the subject  of tire




recycling far beyond the subject of tire shredders.




         In the fifteen months since the Act became  law,




EPA would be hard pressed to identify specific actions




required by the Act that have become reality in physically




promoting protection of health and the environment and con-




serving valuable material and energy resources.




         EPA needs a payoff.




         EPA needs visibility.




         It needs to show the public a program that  identifie




accomplishment of the objectives of the Act.




         I believe the seeds for such a program are  presently




in place.




         EPA should move forward in assisting  the  states to




organize a plan or plans to remove scrap tires  from  the




waste stream and concurrently, promote resource conserva-




tion by tire recycling; i.e., retreading.




         Implementation of such a plan would orovide needed




visibility.




         It would become apparent to the public that worn




tires had, in fact, been removed from the solid waste stream.




         The EPA could then say, "Here is a working  example




of wnat can Be done to promote the protection of health and

-------
                                                    108





the environment and to eonserve valuable material and energy




resources."




         Now, attached to my short paoer is ^ very, very




brief outline of elements that must be considered in dsvelon-




ing a plan that incorporates both recycling and disposal of




worn tires.




         I will not, at this time, describe the outline, but




we would be happy to discuss it, at your convenience.




         And one added comment, not in the paper and in the




opening remarks, Mr. Jorling commentad on the figures in




the document on tons of material to be disposed of.




         Now, also, on your section of about 8002, what is




it?  About studies in the future?  Tires are to come up




about October of '79.




         Well, linking the two, tires are not a small amount




of weight in the stream.




         Each year, better than a million tons of tires ar%




discarded.   And when you discard a tire, it doesn't go away.




So I would say there's probably at least 30 or 40 million




tons of tires waiting for you to do something.




         Thank you very much.




         MODERATOR PLEHN :  Are there comments?




         Mr. Taft, thank you.









                     (Statement follows)

-------
TIRE   RETREADING  INSTITUTE
                                                  A Division of
NATIONAL  TIRE DEALERS and  RETREADERS Association. Inc.

                                                  131,3 L Street, N.W. • Washington, D.C. 20005
                                                          Area Code (20t) 638-6650

                    DRAFT STRATEGY FOR THE IMPLEMENTATION OF

                   THE SOLID WASTE DISPOSAL ACT AS AMENDED BY

               THE RESOURCE CONSERVATION AMD RECOVERY ACT OF 1976

               Presentation to The Environmental Protection Agency

                                January 19, 1978


Ky name is Philip H. Taf t.   I'm the Director of the Tire Retreading Institute in

Washington, D. C.  We appreciate the opportunity to make this presentation relative

to the implementation of the Solid Waste Disposal Act as amended by the Resource

Conservation and Recovery Act of 1976.  Your development of a strategy to implement

the noted Act is a commendable endeavor.  We like the manner in which it explains

the rationale for arriving at your program priorities.


Your consideration of what emphasis should "be given to the interaction of the

several waste streams, the options of resource conservation versus disposal, and

the levels of control, is t«=fec a thorough and fair assessment.

A document of this type must of necessity be expressed in general terms.  There is,

however, reference in the document to a specific item.  That reference is Section

200k, Grants for Tire Shredders.  Had that item not been specifically named, I would

have no comments on the strategy document.  The 5% grant noted in the reference is

such a trifling amount it just as well could be forgotten.  Because this single item

has been identified in this strategy document, there is some concern that other

-------
Presentation to the Environmental
  Protection Agency
January 19, 1978
considerations have been put into play.   If those considerations  are intended to

down-play the importance of tire recycling, we would be vitally  concerned.


I would like to enlarge the subject of tire recycling far beyond  the subject  of

tire shredders.  In the fifteen months since the Act became law,  EPA would be hard

pressed to identify specific actions required by the Act that  have become reality

in physically promoting protection of health and the environment  and conserving

valuable material and energy resources.   EPA needs a pay-off.   It need.visibility.

It needs to show the public a program that identifies accomplishment of the ob-

jectives of the Act.  I believe the seeds for such a program are  in place.   EPA

should move forward in assisting the states to organize a plan to remove scrap

tires from the waste stream and concurrently to promote resource  conservation

through tire recycling; i.e. retreading.   Implementation of such  a. plan would pro-

vide needed visibility.  It would become  apparent to the public  that worn tires

have been removed from the solid waste stream.  EPA could then say, "Here is  a

working example of what can be done to promote the protection  of  health and the

environment and to conserve valuable material and energy resources."


Attached to this paper is a very, very brief outline of elements  that must be

considered in developing a plan that incorporates both recycling  and disposal of

worn tires.  I shall not at this time describe the outline. ¥e would be happy to

discuss our proposal in detail at an appropriate time that would be mutually

acceptable.

-------
                                  TIRE RECYCTiIHG
 Problem
     How "best to fulfil] the requirements of the "Resource Conservation and Recovery
     Act of 1976" as regards worn tires.
 Facts
     1.  Worn tires are impediments in the solid waste stream.
     2.  Transportation of worn tires is expensive.
     3.  Markets for scrap tires are limited.

 Discussion

     The present tire recycling system, illustrated in Figure 1, is a "push"  system
     that tends to reject the flow of solid waste "by erecting barriers.

     A proposed tire recycling system, Figure 2., is  a "pull" one that is activated
     toy positive economic incentives.
                       -;> Retread Shop -
 Worn Tire Source
 a.   Individuals
 "b.   Tire Purchase site ^Disposal Site
 c.   Casing collectors
 d.   Other (as used car
       dealer)
                                          'Processing Site	>Marketc
                  a.   Shredding
                  b.   Slitting
a.  "As is'1 use
b.  Fuel
c.  Blended with other
      products
 Worn Tire Source -

 a.   Individuals
 b.   Tire purchase  site
 u.   Dumps (until
       exhausted)
 d.   Other
 The  proposed system would:
                                     Figure 2
i Retread Shop	7Processing Center—^Markets
                 u.   Shredding
                 b.   Pulverizing
                 c.   Bailing
a.  Extraction of
      elements
b.  Fuel
c .  B3 ended with other
      products
 1.   Remove  worn tires from the solid waste stream.
 2.   Reduce  transportation segments from as many as  eight to three.
 3.   Conserve  energy and enhance the environment.

 Conclusion
    The proposed  tire recycling system is deeply dependent upon the existence of
    markets  for scrap tires.   Thus,  when the Department of Commerce implements the
    provisions of Subtitle  E  of the  Resource Conservation and Recover;/ Act of 1976,
    all worn tires can become a national asset.
National Tire Dealers and Retreaders Association, 13'i 3  L  Street,  B.  W. ,  Washington,
D. C. 2Q005

-------
                                                    109

         MODERATOR PLEHN :   Now, the next speaker on my

agenda is Mr. or Dr. Rocco Petrone, but I think he was

expecting to come in the afternoon, so he is probably not

here.

         So we will skip over him but we still have 20

minutes until our lunch break.

         And the next name I have is Mr. Arthur Handley

of Malcolm-Pirnie,Inc.  I'm sorry.  I couldn't read the

handwriting.


         STATEMENT OF MP. ARTHUR HANDLEY
         MALCOLM-PIRNIE, INC.

         MR. HANDLEY:  I have a relatively brief statement.

         I appreciate the opportunity to appear as the last

one in the morning.  It gave me time to learn a format for

these presentations.

         It seems to follow that, one, you thank the hard

working group in EPA for doing a wonderful job.  I have

just done that and thev did just that.

         We appreciate the work that they've done that per-

mits us to jump off and squabble with them and bring up

points.  I admire their courage.

         They've gone throuah the whole thing vary nicely.

         The second thing that I noted was that some speakers

indeed, most of them, took the opportunity, which was

item number two, to plug either their countv, city, state or

-------
                                                    110





particular agency.




         So I start off by reporting that Malcolm  Pirnie,




Inc.,  are consulting environmental engineers who have been




in business for more than seven decades, working with local




government, working with industry, deciding, managing the




construction and assisting with the operation of projects




at the local level for industry and for municipalities.




         I've gotten past parts one and two, and now you




will bear with me while I read the rest of the statement.




         Certainly, this is a draft statement, and I'm sure




that EPA will do much to consider the factors that have been




brought forth thus far and will continue this afternoon.




         We, at NPI, as consulting engineers working at




the local level, have some general comments to make, areas




in which we feel this statement is deficient.




         These include the following:  some of it is, I




thought, strong language.  Our vice president, C. C. Johnson,




who gave me the opportunity to come out of the cold today,




said that it wasn't particularly.  So here we go.




         In its overall context, the Strategy Statement




delays resource recovery implementation.




         We feel that there are resource recoverv technol-




ogies  which are proven and there are municipalities we know




and who we are working for who desire to move ahead now.




         The Statement's failure to acknowledge that

-------
                                                    Ill




implementation can take place now, we fsar, could decrease



the momentum of many projects which are in the design stage



and could deter others from proceeding.



         While the Statement is explicit in regard to regu-



latory effort, it is vague, we feel, regarding regional and



local implementation.



         As in all environmental programs, the goals are



achieved only when facilities are constructed by local govern



ment or by industry.



         We would urge, therefore, that the Strategy better



define how assistance might be provided by the states to the



regional and local governments and to industry, for it is



at this level that the goals are achieved and the job



accomplished.



         While the concept of Federal and state technical



assistance for regions, local govenrment and industry is
                                  fSt


comforting to the regulatory agencies, we consider, from



many standpoints, its effectiveness.



         Local governments and industry are actually in an



adversary position with the regulatory agencies and this



prevents effective technical assistance by these same



agencies.



         Technical assistance is more effectively utilized



if it's received from consultants employed by the municipali-



ties involved.

-------
                                                    112
         I confess that it took me a good number of years
to find this out.
         My early experience of 15 years with the New York
Stats Department of Health, and later with the Department
of Environmental Conservation, and then jumping to the New
York State Environmental Facilities Corporation, I was of
the opinion that those efforts that we spent at state levels
for so-called technical assistance was of value to the
municipalities.
         One of the first things I found when I got on the
outside, and it was shocking, was that municipalities con-
sider the regulatory agencies as adversaries.  That the
free handout, this assistance, really isn't as effective
as we all think.
         People value assistance that they pay for and they
value it from consultants that they are able to select
on their own.
         We found, also,that local government desires to
implement programs.  And in so doing, they are guided by the
experience of their counterparts.
         Local government officials studiously consider the
methods and experiences of their peers and use these find-
ings in their implementation decisions.
         We urge, therefore, that the Strategy consider
methods to provide direct assistance to target regions and

-------
                                                    113




local government so that projects are developed now.




         We assure you that once these projects are working,




they will be studied and other projects will follow.




         It's really impressive, working day in and day out




with local government, with regional people, to find how




studiously they pursue the project development.




         They are in the thick of the battle.  They're the




people who shovel the sludge and get the job done.  And




they learn,for the most part, we find, by observing and




talking to their peers, people who have been through similar




situations.




         We know that a breakthrough can occur in resource




recovery and it would be accelerated if we could just get




more projects on line.




         The efforts of the state government,of the Federal




Government do just this:  to lend a hand, get it going,




get those  six California projects moving.  It would be appre-




ciated.




         Finally, and this has been repeated earlier, since




the Statement is a first attempt to define a Strategy, it




would be constructive to know that EPA would regularly amend




the Statement as the further program definition is achieved.




         The very fact of making this pledge that this will




be updated as we learn, and so on, is, indeed, a strategy




in itself.

-------
                                                    114



         Now, we have several specific comments and concepts


which we suggest for consideration in the Strategy State-


ment.  These are based, again, on our exoeriences with state


and local governments.


         In regional solid waste planning, there has been


the unfortunate tendency to first dwell on the selection of


a technology.


         Now we deplore this.  Admittedly, we enjoy exploring


and testing varied technologies, but this really isn't the


way to approach regional solid waste planning, and it should


be avoided.


         First,efforts should be directed toward establishina


quantity&nd quality of solid wastes and markets.
       w

         Indeed, we have found that these factors are known.


They define transfer needs,resource recovery, site locations,


and, for that matter, even type of technology.


         Regional planning, as directed by the states, we


feel should follow this fundamental process.


         Resource recovery is new to both regional and local


government from many standpoints.


         One of the important new elements is that successful


resource recovery requires the practice of competitive busi-


ness principles and knowledge of the marketplace.


         Government is not motivated by profit and business


practices are alien to government organization.

-------
                                                    115




         That is a much watered down statement by the way.




         The private sector, on the other hand, is experi-




enced in profit and you know they are experienced in loss.




They are experienced in risk-taking and technological develop




ment.




         Hence, we would urge that facilities owned and




operated by the private sector be encouraged unless there




is a clear case where public ownership and operation is




there.




         I realize that this is a rather controversial state-




ment, and I follow up, therefore, with a clear ca^se for




public ownership and operation.




         And one of our recent projects, we recommended that




the City of Buffalo, New York proceed with a simple front




end separation system.




         We felt that the city could own this and the city




personnel could be trained to operate it.  We are not saying




that in every situation private sector is the way to go.




         It seems to have, however, distinct advantages




in many cases.




         If it is agreed that the private sector ownership




and operation is advantageous, as we have advocated, then




efforts should be made to advance their capabilities.




         The state legislation, which is varied, of course,




should be reviewed to ensure that municipalities can enter

-------
                                                     116





into long-term contracts with Industry.




         The strategy should more strongly acknowledge




current efforts to increase federal investment tax credits




for recycling of facilities from 10 to 20 nercent and should




acknowledge the advantages of co-aeneration credits.




         They should, see that they become a reality.




         In all cases, the Industrial Revenue Bond financing




alternate should be made available to finance resource




recovery.




         It's encouraging to find that the resource  recoverv




industry, which has finished evaluating 14 proposals for




a privately-owned facility to serve half of Westchester




County, New York, that the industry is becoming able to




advance equity funds and to obtain private financing.




         These abilities, really, a^e based on marketplace,




in reality.  And the fact that resource recoverv enterprises




are becoming able to do so,to achieve the private financing




route is most encouraging.




         In summary, we believe that the Strategy Statement




overplays the difficulties inherent in reaching resource




recovery goals.




         This may be a natural reaction tendency since the




Federal Government,and to somewhat a lesser degree,  the




state governments do not manage the design, construction




and operation of facilities, and, hence, do not have personal

-------
                                                    117




knowledge of the administrative and political mechanics




involved.




         We believe that a more constructive approach could




be achieved if EPA would recognize that program goals will




be reached only by regional and local government implementa-




tion with industry involved.




         And, hence, should direct their program emphasis to




methods to facilitate such local imolementation.




         Thank you.




         MODERATOR PLEHN:  Thank you very much, Mr. Handley.




         I would just like to make two points.




         One, you said you felt it was important that this




strategy was that the Office of Solid Waste commit to




revise this strategy on a regular basis.  And that is a




commitment that we will certainly meet.




         That is obviously essential for a sound planning




process.




         Secondly, you mentioned your feeling about the




importance and the effectiveness of consulting and assistance




by peers.




         And I just wanted to underline, for this audience,




that a peer-matching program is going to be a major part --




already is -- and will be a major part of our technical




assistance program.





                     (Statement follows)

-------
            Statement by Mr. Arthur Handley, Manager
            of Solid Waste Programs, Malcolm Pirnie,
            Inc., Consulting Environmental Engineers,
            White Plains, N. Y. at a public meeting
            conducted by the USEPA at Arlington,
            Virginia on January 19, 1978 to receive
            testimony on a draft Strategy for the
            Implementation of the Resource Conservation
            and Recovery Act of 1976
My name is Arthur Handley.  I am Manager of Solid Waste

Programs for Malcolm Pirnie, Inc., Consulting Environmental

Egnineers, 2 Corporate Park Drive, White Plains, N. Y.  10602.

We at Malcolm Pirnie appreciate this opportunity to comment

on the draft. Strategy for the Implementation of the Solid

Waste Disposal Act.  Our firm has been involved with the

engineering design, construction and operation of environmen-

tal facilities for municipalities and industry for more than

seven decades.  This experience has provided us with much

insight as to how project implementation should be, and is

accomplished.  This long term experience with local government

and industry serves as the basis for our comments on the draft

Strategy Statement.


The Strategy Statement is in draft format and will be

amended based upon further consideration by EPA and the

statements received at meetings such as this.  In a broad

-------
sense we believe that the Statement is deficient in the



following areas.




1.   In its overall context the Strategy Statement delays




    resource recovery implementation.   There are resource




    recovery technologies which are proven and there are




    municipalities which desire to move ahead now.  The




    Statement's failure to acknowledge that implementation



    can take place now, we fear, could decrease the




    momentum of many projects which are in the design stage




    and could deter others from proceeding.






2.   While the Statement is explicit in regard to regulatory




    effort, it is vague regarding regional and local im-




    plementation.  As in all environmental programs, the




    goals are achieved only when facilities are constructed



    by local government and/or industry.
    >je Hprva—
              guvernltiunh-.






    We would urge therefore that the Strategy better




    define how assistance might be provided by the states

-------
                          - 3
    and directly to regional and local governments and




    to industry   for it is these entities that get the




    job accomplished.






3.   While the concept of federal and state technical




    assistance for regions, local government and industry




    is comforting to the regulatory agencies, we question




    its effectiveness.   Local governments and industry




    are actually in an adversary position with the




    regulatory agencies and this prevents effective




    technical assistance by these same agencies.  Technical




    assistance is more effectively utilized if received by p"V)




    consultants employed by the municipalities involved.






    We have found that local governments desiring to




    implement programs are guided by the experience of




    their counterparts.  Local government officials studiously




    consider the methods and experiences of their peers and




    use these findings in their implementation decisions.




    We urge therefore that the Strategy consider methods




    to provide direct assistance to target regions and local




    government so that projects are developed now.  We




    assure you that once there are working projects, they




    will be studied and other projects will follow.

-------
                          - 4
4.   Finally since the Statement is a. first attempt




    to define a strategy it would be constructive




    to know that EPA would regularly amend the




    Statement as the further program definition




    is achieved.  This on its own is a program Strategy.






We have several specific comments and concepts which we




suggest for consideration in the Strategy Statement.



These are:




    1.  In regional solid waste planning there is




        the unfortunate tendency to first dwell on the




        selection of a technology.  This should be



        avoided.  First efforts should be directed




        toward establishing quantity/quality of solid



        wastes and markets.  Indeed if these factors




        are known they define transfer needs, resource



        recovery site locations and type of technology.




        Regional planning as directed by States should




        follow this fundamental.






    2.  Resource recovery is new to both regional




        and local government from many standpoints.




        One of the important new elements is that



        successful resource recovery requires the




        practice of competitive business principles




        and knowledge of the market place.  Government

-------
                      - 5
    is not motivated by profit and business




    practices are alien to government organization.






    The private sector on the other hand is skilled




    in profit and loss, risk taking and technological




    development.   Hence we would urge that facilities




    owned and operated by the private sector be




    encouraged unless there is a. clear case for public




    ownership and operation.






3.   If it is agreed that private sector ownership




    and operation is advantageous, as we have




    advocated, then efforts should be made to advance




    their capabilities.  State legislation should be




    reviewed to insure that municipalities can enter




    into long term contracts with industry.  Current




    efforts to increase federal investment tax credits




    for recycling facilities from the 10 percent to




    the 20 percent level should be completed.   Co-




    generation credits should become a reality,






4.   In all cases  the Industrial Revenue Bond financing




    alternate should be made available to finance




    resource recovery.  It is encouraging to find




    that the resource recovery industry is becoming




    able to advance equity funds and to obtain private

-------
                            6 -
        financing.   These abilities are based upon




        the fact that resource recovery enterprises can




        be viable business ventures.






In summary we believe that the Strategy Statement overplays




the difficulties inherent in reaching resource recovery




goals.   This may be a natural reaction since the federal



government, and to a somewhat lesser  degree state governments,




do not manage the design, construction and operation of




facilities and hence do not have personal knowledge of the




administrative and political mechanics involved.  We




believe that a more constructive approach could be achieved



if EPA would recognize that program goals will be reached



only by regional and local government implementation with




industry,  and hence should direct their program emphasis




to methods to facilitate such local implementation.
                                                January 19, 1978

-------
                                                     118




         MODERATOR PLEHN :  I think  it  is  almost 12:00




o'clock and I think it might be best if we  --  yes,  Steve?




         MR. LINGLE:  Nothing now.




         MODERATOR PLEHN:  I think  it  might be good if  we




now broke for lunch and we will reconvene at 1:00 o'clock.




         Thank you very much.




         (Whereupon, at 11:55 a.m., the hearing was recessed




to reconvene at 1:00 p.m.)

-------
                                                     119

             AFTE_RN_g_0_N  §_ E_ S_ S_ I_ O_ N_

                                             (1 :00 p.m.)

         MODERATOR PLEHN:  I think we all may get started

and I hope you all had a nice lunch.

         Let me just review -- go over again how we  hope

to proceed.

         We have a few more statements, then we've received

some written questions from the audience which we will then

proceed to answer.

         And if any others of you have questions you think

of now, or in the course of the discussion, if you would

get a card from Gerri Wyer who is standing right there in

the brown suit, and she will make sure they get to us up

here.

         As the first statement this afternoon, we will hear

from Dr. Rocco Petrone who is the Director of the National

Center for Resource Recovery, Inc.


         STATEMENT OF DR. ROCCO PETRONE, DIRECTOR,
         NATIONAL CENTER FOR RESOURCE RECOVERY, INC.

         DR. PETRONE:  Thank you.

         I am pleased to have the opportunity to comment on

the proposed strategy for EPA's implementation of the

Resource, Conservation Recovery Act.

         I am Rocco Petrone, president of the National Center

for Resource Recovery.

-------
                                                    120





         And the interests, efforts and programs of the




National Center are solely to help advance a state of




recovery of compounds from solid wastes for further utiliza-





tion .




         As 
-------
                                                    121





         On the other hand, I sun concerned that the demands




of implementing the mandated guidelines and the regulatory




aspects of the Act will be so demanding of available time,




personnel and funding that the resource recovery might not




receive the strongly needed support.




         I hope that this will not be the case, and that




every effort is made to assure that this option to waste




disposal is pursued and stimulated.




         In a very real sense and in an increasing number




of communities, the broad objectives of the Act cannot be




met without an inclusion of some form of resource recovery.




         As is becoming recognized, this approach diverts




from disposal quantities of waste; complements of the landfil




lifetimes can be extended.




         Plants are on line or to be operated from such




metropolitan areas as Milwaukee and Hempstead, New York,




will significantly reduce the amount of daily refuse going




to disposal areas.




         As much as 80 percent or more.  This can provide




positive bottom line implications for many communities.




         I realize that how much a community spends on




waste disposal is not a direct responsibility of the Federal




Government.




         But, if the provisions of RCRA for upgrading dis-




posal practices are to be met, there will be, by necessity,




an increase in costs for many jurisdictions.

-------
                                                    122




         Resource recovery is an emerging means toward




stabilizing disposal costs.




         There are also the conservation benefits to he




gained in the form of substitutes for virgin materials and





fossil fuels.




         The energy implications alone of resource recovery




are impressive if not widely anpraciated.




         Perhaps, if the energy source were a bit more




glamorous than trash or garbage, there might be more public




attention to it.




         I havs no doubt that if they wer« to uncover a




natural gas fi^ld or oil field with the equivalent of over




200 million barrels of oil a year, there would be keen




excitement.




         Y^t this is th» en°rgy potential that we can tan




from solid wast-= in our metropolitan areas.




         In this decade of th<=  '70s, there has been sig-




nificant progress in the develonment of recovery technologies




as well as in forming of specifications for th° material,




expandina markets and gaining experience and procurement an
-------
                                                    123




source separation programs are in effect and where ferrous




metals are regularly being magnetically reclaimed.




         Although the total tonnage of recovered materials




in energy products from these present-day efforts do not




yet make a large dent in the total mass of municipal dis-




cards, it is important to note how far we have come in just




a few yp.ars.




         And what has been accomplished so far is just the




beginning.




         I believe that the implicit and not explicit intent




of RCRA is to nurture the recovery movement so that the




benefits can be more easily and rapidly be experienced arourc




the country.




         It seems to me that resource recovery must be




recognized as an integral part of the prescription of the




Act to help make possible its prime environmental nublic




health and conservation objectives.




         The draft document correctly recognizes the require-




ments for long lead times in planning for and establishing




resource conservation and recovery.




         This means that jurisdictions should carefully




consider all options in solid waste management.




         And as communities develop their particular strate-




gies, forms of resource recovery will increasingly become




one remedial agreement.

-------
                                                    124




         It scorns to me one vital role of the Federal Gov-




ernment in this area is to facilitate the consideration




of and planning for resource recovery.




         Perhaps the most difficult local task is the




initial planning phase.  And technical assistance, either




directly from EPA or through state agencies, is an essen-




tial means to ensure an efficient local planning process.




         I concur with the strategy document that major




emphasis be given to Section 2003 of RCRA for technical




assistance panels to assist in the development of state




programs.




         I would urge, however, that major consideration




be given to elevating the median emphasis of Section 2003,




technical  assistance teams, for local implementation, to




that of major emphasis.




         It is at the local jurisdiction, or combinations




of local jurisdictions, that need counsel, guidance and




technical  information, for it is there that the mandate




of solid waste is carried out and there that the greatest




assistance is needed in the initial planning stages.




         Finally, I would hope that the Department of




Commerce be enabled to carry out those provisions of




Subtitle E relating to the development of specifications




for secondary materials, the development of markets for




recovery of materials, and the promotion of resource

-------
                                                    125

technology.

         There are — these are areas naedinq prompt

attention so that the resource recovery can be expanded

in the more  immediate time frame.

         Again, I appreciate this opportunity to comment

on the implementation of this important legislation.  EPA

has a challenging responsibility.

         We, at the National Center, look forward to pro-

viding whatever support we can to help you in your mission

to improve the environment and stimulate conservation

through resource recovery.

         Thank you.

         MODERATOR PLEHN:  Thank you very much, Dr. Petrone.

         Our next speaker is Cliff Cobb of the National

Association of Counties.


         MR. CLIFF COBB, NATIONAL ASSOCIATION
         OF COUNTIES

         MR. COBB:  I am Cliff Cobb of the National Asso-

ciation of Counties.

         And on behalf of MAC, I want to extend our appre-

ciation to EPA for this unusual gesture on the part of

any Federal agency developing a comprehensive strategy

and then sitting here and listening to this criticism of

it which I think is a laudable thing to do.

         Sinca we have complained in the past about having

-------
                                                     126




been left out on development of strategies and regulations,




we ^articularlv appreciate this today.




         On the issue of funding, which has been raised




a number of times today, I would lik-s to be able to  surprise




you by saying that counties are in such a great financial




stat- that thsy don't need any Federal assistance.




         However, as we have hsard a number of times today,




that isn't the case.




         If local governments are going to pay any atten-




tion to RCRA at all, it's going to be based upon the fact




that the Federal Government has to show a commitment equal




to the commitment that they are asking from local governments




         NAG supported the passage of RCRA 3.976 because




counties believed in the need for state and federal  regula-




tory programs which would assure equity among local  govern-




ments .




         However, NAG also vigorously supported those oro-




visions in Subtitle D which would have enabled counties




to meet those mandates and which have gone unfunded  thus




far.





         Even the smaller amount available for peer  match,




which Mr. Plehn referred to, is going to be directed pri-




marily in states and not the local governments.





         We are concerned that counties are going to find




themselves ooen to lawsuits from the states and the  citizens

-------
                                                    127




for failure to comply with the requirement to closa open




dumps without being given adequate financial assistance




and technical assistance to meet those requirements.




         I believe that the lessons of the Waste VJater




Construction Grants Program are instructive in this light.




         From the 1950s until 1972, the Federal Government




first orovided loans, and, later, 55 percent grants to




build sewage treatment plants.




         During that time, some communities built sewage




treatment plants, but a number did not.  And it was not




until the combined force of the NPDES program, combining




75 percent grants, that local governments -- most local




governments are now attempting to comply with those re-




quirements .




         We aren't suggesting that the Federal Government




should develop a similar construction grants program in




solid wastes.




         We would only like a similar level of commitment




in terms of full funding of RCRA.




         We find that the implication in this strategy




that local government, as a primary rule of local govern-




ment, should be to servo as an educational tool for their




citizens is absurd and somewhat insulting to them.




         And as a last point on this issue of funding,




I would like to ask the Panel a question; perhaps a

-------
                                                    12B





rather naive question which is why is the Administration




placing such low priority on funding RCRA?




         Is it because EPA believes that the planning




assistance programs in some Title D are not capable of




acsorbing the full funding which we would like to see?




         Ana, when I finish my comments, I would like a




response to that if possible.




         On the issue of the relative emphasis on the




control of municipal waste versus hazardous waste, I dis-




covered at the bottom of page 47 and top of page 48 the




statement that the total quantities of the leachate avail-




able to pollute the ground waters from residential sites




are not much different than from hazardous waste sites.




         However, on page 52,  discussing priorities, it




says that the highest priority group will be hazardous




and industrial waste.




         Medium priority is residential, commercial and




institutional wastes.




         And it seems to me that those two ars in conflict,




if they are of the full magnitude in terms of harm, then




they should be, presumably, of equal magnitude in terms




of priorities.




         Finally, I would like to make a few recommendations




oh.  One other comment was that we concur with Mr. Marino's




earlier comments on the coordination with Section 208 of

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                                                           129




       the Federal Water Pollution Control Act.




                We would like to see language in the strategy




  3     document which discusses the drawbacks of tying RCRA in




  4     with the 208 programs.




  5              There is a question in our mind as to the effective-




  6     ness of asking regional agencies, which do not have implemen-




  7     tation authority,to carry out water quality planning, and




  g     we certainly do not want any of the failures of the 208




  9     program if there be any carried over to the solid waste




 10     program where local governments are already deeply involved




 H     in solid waste management.




 12              Finally, I would like to make two recommendations,




 13     specific recommendations on this, or one recommendation




 14     which is, I would like to see something in the strategy




 15     along the lines of a zero based budgeting format which would




 16     describe with each increment of funding from Congress.




 17              Specifically, say, for example, each additional




 18     5 million or 1 million, or whatever, what programs that




 19     would go into.




 2Q              Presumably, the agency has done that already




 2i     and I think it might make a valuable addition to the strateg;




 22     document so that it would make it more explicit where the




 23     priorities lie in terms of funding, if there were full




24     funding of RCRA.




                And, if that were presented to Congress as well, it

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                                                    130





seems to me that might make Congress more amenable to




funding at a higher level if they realized what is being




cut out of it when they are in their appropriations process.




         Finally, I would like to respond to Mr. Hickman's




question about how the Federal Government could be helpful




in siting facilities.




         The comment I've heard most often from county




officials with respect to what they would most like from




Federal and state officials is that when they're having




a hearing, and they're on the firing line with the citizens,




with an audience full of citizens like this, all of whom are




up at arms about a facility being sited near them, what many




of our county officials would like would be to have a




state or Federal representative on the panel with them to




take some of the heat.




         I realize that you folks have constraints in terms




of the time you have, and this is only a suggestion as to




how I think it might be helpful because it's awful lonely




to be up there defending Federal and state regulations when




you're not positive you agree with them, but you are required




to enforce them and you have a lot of angry citizens who




don't agree with them.




         So, those are my remarks.




         MODERATOR PLEHN:  CtLff, thank you very much.




         You asked a specific question on why does the

-------
                                                    131





Administration give low priority to the funding of RCRA,




and I guess it's my pleasure to answer that.




         The President's budget, as you probably know, will




be -- I think it comes out on Saturday.  So I'm really not




in a position to be able to talk about what it provides




for the implementation of the program we are discussing




today.




         But I think that, probably, we have, here, a prob-




lem of perspective.




         1 think that in terms of growth in funding and




percentage terms, when compared to many programs in the




U.S. Government, the funding for RCRA will be able to be




perceived as generous.




         I think what you are saying to us here today is




that based on your knowledge of the needs that are out thers,




and the assumptions and commitments that have been made,




that it is your perception that really very significant




growth in funding will be necessary to meet those needs.




         So I think that's the problem of perception that




we have with us today.




         We have now exhausted the list of persons who




asked to speak.




         However, if any of you change your minds in the




course of what follows, we will be very glad to receive




a statement from vou.

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                                                    132





         And so we will now turn to the questions.   And




I don't havs these in any particular order.




         The first questions says, "Is the EPA qoinq to




discuss the strateqy for RCRA?  A lot of us have come a




long way to hear this, not to hear prepared statements from




various Washington interest groups."




         My suggestion would be that the best way to handle




that sentiment would be through questions.




         If you have specific things that you would like




explained or elaborated on or commented on, if you would




give us one of these questions, that would be, I think,




probably the best way for us to respond to that request.




         The next question I have is this:  "Land applica-




tion of sewage sludges is currently being pushed by EPA.




Many of these sludges, especially in urban or highly indus-




trial areas, contain high concentrations of heavy metals.




         "When land applied, these sludges could pose a




potential public health hazard and could contaminate the




ground water.




         "Is not this strategy in direct conflict with




RCRA goals?"




         John Skinner, perhaps you could address that ques-




tion .




         MR. SKINNER:  I think a better way of stating the




fjrfst statement in that question would be that we encourage

-------
                                                    133





the land application of municipal sewage sludges providing




that there are sits controls to ensure that crops for




agricultural use and for the food chain uses do not contain




heavy metals such as cadmium.




         If you would look at our draft criteria for the




land disposal of solid waste, we would address that issue




and we place some levels of cadmium application which would




restrict the practices which would be or would cause health




problems.




         In addition to that effort under RCRA, the agencies




will be, in the future, pushing very, very aggressively




for pretreatment of industrial discharges to remove heavy




metals and toxic materials from industrial discharges to




municipal sewers so that the resulting sludge that comes




out of municipal sewage treatment plants is of a quality




where it can be land spread safely.




         And those materials that would be pulled out at




the industrial point of operation would then be subject to




the regulations under RCRA like the industrial waste




Hazardous waste Regulations.




         VOICE:  Can we offer questions on the responses




to the questions or do we have to wait?




         MODERATOR PLEHN :  Go ahead.




         VOICE:  That's an interesting point.




         I came here for one reason and that'« to fina out

-------
                                                           134


       is  RCRA  going  to  come  up  with  specific,  not guidelines, but

       standards  on metals  content  in sludges which would be

       allowable  for  application on various  types of soil?

               HP. SKINNER:   We have specific  standards for

       cadmium  application  rates.   Not the cadmium application in

       the sluda- because it  doesn't  determine  whether the sludge


       is  qood  or bad.

               It's  the rate at which the cadmium is placed on the

       ground.  So it's  in  kilograms  of cadmium oer Hecter.   And

       we  have  specific  standards in  the land disposal criteria

       as  to  those levels.

               VOICE:   Those will  come out?

               MR. SKINNER:   There was an early draft proposed

       last May which was circulated  for public review and the

       proposed regulation  is on the  Administrator's desk for

       signing  and should be  available in the Federal Register

       within the next couple of weeks.

               VOICE: Thank  you.


               MODERATOR PLEHN:  The next question is,  "Was the

       30  million ton estimate for  hazardous waste based upon the

       definition of  hazardous as set forth  in  the 3001  criteria

       r-?gs now being circulated in draft form?"


,3  i            And I think this is part of  the question.  It says:
   l!
,4      "Note:   My concern is  that part of the 3001 draft reg, if

       adopted, would have, essentially, all industrial  waste

-------
                                                    135





hazardous and create a much larger problem than you con-




template. "




         Jack Lehman, would you speak to that?




         MR. LEHMAN:  The answer to the first part is that,




no, the estimates of 30 million metric tons of hazardous




waste are not based on the criteria under 3001 because we




didn't have those criteria when those studies were done




in 1975 and 1976.




         They are based on the consultants or contractors




judgment as to what might constitute a potential hazard.




         So there's a great deal of possible movement




one way or the other in that number, depending on how the




criteria for 3001 come out.




         Now, to address the second part of that question,




the presumption or -- not the presumption so much -- but




the feeling that all of the industrial waste would become




hazardous under the criteria as now proposed, let me just




say that if it turns out that x^ay, we're going to change




the criteria because that is not our intent.




         The law does make it clear that we are to address




significant public health and environmental problems.  And




it uses words like significant and substantial hazards, and




things like that.




         And we are taking that literally.  And it is cer-




tainly not our intent to make all industrial wastes into

-------
                                                    136
hazardous waste.




         MODERATOR PLEHN:  This next question I think is




one that I might just handle.




         The question is:  "The thrust of many of the pro-




posed regulations seem to be to protect water resources.




But with the present EPA setup,  solid wastes are under




a separate branch of EPA.




         "Do you foresee a realignment within the EPA to




bring these two related functions under one branch?  If not,




the strategy should address, to a much greater degree, the




mechanics for coordination of these two functions."




         Up until, what was it, early summer, yes; it was




true that the solid waste program was in the Office of Air




and Hazardous or Air and Waste Management in association




with the radiation program, the noise program and the air




pollution control program.




         And, at that time, I think this comment, this




question was really well put.




         However, over the last six months, the Office of




Solid waste has been reorganized into the Office of Water




and Hazardous Materials under Tom Jorling who spoke to us




this morning.




         And in addition to solid waste, he has responsibilit




for the water Pollution Control Program and the Drinking




Water Program.

-------
                                                    137




         And this has made a great deal of difference in




our ability to work with other elements of the Agency that




are concerned with gound water and surface water protection,




and to coordinate our activities on a common interest such




as the management of sludge and other residuals on land.




         Now, as Al Merino indicated from nis experience




in California, coordination is always not the easiest




thing in the world.  And I wouldn't pretend that all of




our problems are solved.




         But I think that the new structure really has




made an important difference in that we are now much




more capable of pulling our programs together into a co-




herent unit.




         The next question is, it says this:  "RCRA mandates




state and local government, as well as Federal, to consider




recovered or recycled material and products purchased.




         "What plans does EPA have in providing technical




support, product performance criteria or test methods




for new products that will assist the public purchasing




community and industry to fill these procurement mandates?




         "Where will the technical assistance come from?




How will industry be involved?"




         And, Steve Lingle, would you speak to that, please?




         Steve, if you would like to have the question, it




might be helpful to you.

-------
                                                    138




         MR. LINGLE:  I will use a little speed reading




here.




         Okay.   The first part of the question regarding




information of the types or opportunities for use of




recovered materials and various products, performance,




standards, and so forth.




         We ara required, EPA is reauired, under Section




6002 of RCRA, to write guidelines to aid Federal, state




ana local agencies to comply with the requirement that




products be purchased with the maximum practicable quantity




of recovered materials.




         So, basically, the guidelines will attempt to




define the opportunities in some  of  these specifications




as well.




         Now, with regard to technical assistance, the




Panel mechanism is a legitimate means of state and local




governments getting assistance on the issue of how to




purchase products containing various products of recovered




materials.




         How will industry be involved?




         Well, industry will be involved in the development




of the guidelines that I just mentioned.




         There will be meetings with industry, public




meetings, and so forth, in order to get their inputs on




the opportunities in this area.

-------
                                                    139



         MODERATOR PLEHN:  It's been suggested to ne that.




it might be more practicable for me to distribute the




questions to the person who anpropriately could answer it,




so that as they rsad it, they could be prepared to provide




you with the answer.




         So we will do it.  And what we might do is just




kind of go around among the group as w.= work our way through




these questions.




         Jack, why don't you take the next one here?




         MR. LEHMAN:  One of the questions is, "Under the




Federal Pollution Control Act or RCRA, would the generator




of a chemical waste be subjected to continued liability




even if the waste removal is contracted out to a transporter




         "If so, under what specific provisions of these




Acts would this take place?"




         Well, I can't speak for the Federal water Pollution




Control Act because I'm not as familiar with it as I am




with RCRA.




         But speaking for RCRA, it does not specifically




address the legal liability issue directly.




         That is still, the province of the courts and not




of a regulatory agency to determine.




         However, I might noint out that we ar° structuring




the regulatory program under the Hazardous Waste provisions




to ensure that it is the generator's responsibility to assur

-------
                                                    140




the prooer management of his hazardous waste.




         This is to counter a current problem which is




that the transporter of the waste, as it goes off-site,




is the decisionmakar as to what happens to that waste.




         We are going to change that.  The generator is




going to be the decision-maker as to who transports that




waste and where it goes.




         And the transporter becomes merely a common carrier




transporting it from point A to point B, and point B being




specified by the generator.




         Now.  As to the legal liability, getting back to




that, I think we should make the point that under common




legal cases that have — either have been decided recently




or are underway, it appears to point to -- an analysis of




those cases seems to point to a shared liability between




ten generator of the waste and the transporters and the




disposers.




         Now that's the way it is now.




         I  think a further comment is that that's the way




it's operating where there are no rules.  And, basically,




there are no rules.




         Some states have rules, hut few.  And so the judge




makes the rules when you get into court.




         But under the advent of RCRA and the Hazardous




Waste Program, there will be a set of national standards

-------
                                                    141




upon which a court of law can have a more even judgment




as to liability.




         And I would think that if a generator has followed




the rules, namely, has met, in all respects, his responsi-




bility under the Hazardous Waste Provisions once they




become effective, that he would have a pretty good case




in a legal liability situation.




         We have a follow-on question.




         Yes, sir.




         VOICE:  At present, the Department of Transportatioi




now, are we going to use the Department of Transportation's




definition of the hazardous material or the EPa's, such




as carcinogenicity or mutagenicity?




         MR. LEHMAN:  You've asked another question. Not




a follow-on to that one, but I guess I will handle it since




you've raised it.




         And that is similar to another question that I have




and I will answer both of those at the same time.




         And let me just state the other question too so




we will get it all out on the table.  And that is:  "What




progress or plans have been instituted to coordinate the




DOT's role'with the EPA regulations?"




         That is similar to your question I think.




         VOICE:  It's my question.




         MR. LEHMAN:  We didn't forget you.  We're going

-------
                                                     142




to get there.




         The answer to that is, that substantial progress




has been made recently to coordinate the DOT'S responsibilit




under the Hazardous Materials Transportation Act and EPA's




responsibilities under RCRA.




         We are in agreement now, after a number of nego-




tiations over the last several weeks, that is, DOT will




adopt the EPA requirements and promulgate EPA's require-




ments under the DOT authorities.




         So that those that are impacted by both, mainly




the transporters, will be reading it all in the same part




of the Federal Register, namely, C.F.R. 49.




         We will then adopt, by reference, the DOT require-




ments under RCRA.  So you will have a dual authority there,




but it will be published under DOT.




         We hope that that will resolve a lot of the prob-




lems that are possible in the transportation industry by




having EPA getting into it.




         Now there is a timing problem in all of this,




however.




         It is absolutely essential that the transportation




aspect of the Hazardous Waste Program go into effect




simultaneously with all of the other parts of the hazardous




waste regs.




         So, as a fallback position, EPA is going to go

-------
                                                    143




ahead and propose the transportation regulations under




RCRA in the Federal Register under EPA aegis.




         And so that if for some reason DOT is not able




to meet our schedule to get their regs out, then we will




be in a position to promulgate ours.




         So I hope everyone understands what I'm saying




".here; it is that we want to go along in a fallback posi-




tion so that if this timing situation doesn't work out




right, we're not holding up the whole Hazardous VJaste Pro-




gram.




         MR. LINGLE:  I have a couole of questions here




relating to the technical assistance panels and how they




are going to function and, particularly, one of them is




how people or individuals will be selected to serve on




the panels, particularly those frora the private sector.




         Let me explain the basic function of the technical




assistance panels.  How they are set up to operate.




         The resources that can he utilized at the technical




assistance panels are basically these:  first of all, there




will be private consultants under contract to EPA in each




of our regions.  They will be multidi/fciplinary in that




they will be able to provide assistance in all areas of




solid waste management, resource, recovery, land disposal




and hazardous waste collection.




         So the consultants are one of the resources.

-------
                                                    144





         The second resource is what we call peer matching,




which is something that was mentioned earlier this morning




which is simply, obviously, one city official helping anothe




and one state official helping another, and so forth.




         And that is carried out through a series of grants




which we have with various of the public interest groups.




         The third basic resource is the staff of EPA, both




regional and headquarters.




         And the fourth resource is staff of other Federal




agencies.




         And the fifth resource is people from the private




sector.




         Now, the responsibility for putting together a




panel falls, in each case, on the team leader from the




region.




         As was mentioned earlier, the panels are region-




alized.  All requests go into the regions and the regions




carry out the response to those requests.




         So, the regional -- a team leader will be named




for each of the requests which is going to be filled.  And




that team leader will select from this pool of resources




the team that he thinks can best fulfill the TA needs.




         Another part of the question was, how do cities




request assistance through the TA panel mechanism?




         Requests will be made to each of EPA's 10 regional

-------
                                                    145




offices and the request should be m.ade in writing.  And




thare is a list of points which should K° covered in the




request, which I won't go into here.




         In some cases, the regional officers, depending




on the region you're going to request, or may request, that




requests go through the state before coming to EPA.




         That is a decision that each regional office can




make on its own.




         Ones the request reaches the regional office,




they will evaluate the various requests, prioritize then




and make decisions, obviously, on who can get assistance,




and so forth.




         Okay.  I think that orattv much covers the basic




elements of the panel orogram, unless somebody has a specifi




question or point of clarification on that.




         MR. SKINNER:  I have three questions on land




disposal which are somewhat related.




         The first one is, "what statutory remedies are




available to citizens confronted by the construction of




a non-federally assisted landfill which may adversely




affect drinking of recreational waters?"




         Under Section 4004, we nave to issue standards for




disposal sites, all disposal sites, including landfills,




and there should be. And the stafcss should be doing federall




assisted landfills and non-federally assisted landfills.

-------
                                                    146





         I'm not sure why that was asked.  There shouldn't




be a distinction, but these apply to all land disposal




sitss in the United States within a definition of solid




waste and disposal in the Act.




         Those standards are implemented by the states, and




the states have to put together programs to ensure that




all nsw disposal is done in compliance with those criteria,




and, that all existing disposal facilities that do not




meet the criteria are either closed or upgraded over a




period of time.




         In those situations, when there is not an approved




state plan and the state does not have the site in viola-




tion of the criteria under a compliance schedule to bring




it into compliance with the standards, the citizen's suit




provision  of the Act could be invoked, and citizens could




sue, in Federal court, for the correction of that land




disposal site.




         The next question in "What prioritv will mining




operations, including the overburdened lakes, settling




ponds, et cetera, be regulated, and is overburden, as well




as the settling ponds or treatment lake considered an




open dump?"




         As you probably are aware, there is a Mining Waste




Study in the Act which is due for comnletion this October.




And the current draft of the Hazardous Waste Regulations

-------
                                                    147





exclude mining wastes from the Hazardous Waste Regulatory




aspects of the Act until that study is completed.




         For the non-hazardous waste regulations, the legis-




lative history excludes mining and milling residues that




are returned to the mine.




         And so, those have been excluded from the disposal,




the land disposal standards that are being prepared under




Subtitle D.




         But all other disposal operations for mining wastes




will have to comply with the 4094 land disposal criteria.




And if a settling pond or a treatment lake for mining wastes




does violate those criteria, that is, if it has an adverse




impact upon surface water or ground water or violates any




of the other criteria that have been indicated, it would




be an open dump under the Act and then subject to the up-




grading or closure provisions of the Subtitle D state planning




activities.




         In our guidance to the states, we have indicated




a relatively low priority to mining wastes in the next




year, mainly because we would like to complete the mining




waste study to get a better feel for the ways in which




mining wastes would be dealt with.




         But the states do have the opportunity to use the




Subtitle D planning provisions on their own to regulate




mining wastes.

-------
                                                    148





         And the final question which, again, is along




the same lines.




         "Would you elaborate, in more detail, on how waste




water impoundments, equalization and aerated lagoons




will be regulated?




         "What guidelines will be written and when would




they go into effect?"




         Again,  the Section 4004 land disposal criteria




would apply to such impoundments.




         It would not apply to municipal waste water im-




poundments because those are explicitly excluded in the Act.




Solid waste does not include dissolved solids in domestic




sewage but industrial waste water impoundments would be




subject to the Section 4004 land disposal criteria.




         And they would go into effect when they are final~




ized which we expect to be sometime toward the middle or




end of this year.




         MR. HICKMAN:  I will pick up with a couple of




more.




         "For a metropolitan community in the southeastern




United States comprising of over approximately .300,000




persons, how much money and other assistance will be allotte




for employing consulting engineers to design or provide a




feasibility study for implementation of the solid waste




and resource recovery system?"

-------
                                                    149




         The first part, of how much would be available




in Fiscal Year '78, none.




         Perhaps, depending upon how the money — the budget




survives in '79 and how state agencies, themselves, will




utilize their resources, somebody might be available.




         Most of the money in RCRA that goes to state and




local government is done on a population allotment basis,




and this money will flow to the regional office and, in




turn, will flow to the state government.




         We have nothing in our plans in '78, or at the




present time in  "79, to have any direct funding assistance




programs to local governments.




         At present, the plan visualizes a passthrough




clown through state government.




         As far as technical assistance in this sort of




area, I think Steve has described the technical assistance




program to some degree.




         And our program, in technical assistance, will




not do design work nor will it do feasibility studies, per




se.




         Now, we believe that we could be most effective




with state governments, and this is where our priorities




are in the next couple of years, and with local govern-




ments, also, in TA, to be involved with them in the early




planning phases  so that when they go out to contract for

-------
                                                    150
a feasibility study with a qualified consulting firm, that
they lay out the necessary requirements within their work
scope to get the product back that they want to help make
decisions.
         And then we will ride shotgun with them in that
decisionmaking process.
         This has been our normal experience with other
cities to date.
         A second question along the same line.  "In additio
how soon will this assistance be made available?"
         Our Technical Assistance Program is in place now
and it's available through the regional offices.  And if
you have an interest in a particular regional office and
in contacting that regional office, if you will see Steve
Lingle, or me, or any of the members up here on the Panel
after this meeting, we will give you the right name and
address to contact.
         MODERATOR PLEHN:  One question was will EPA
strategy involve the Department of Commerce in assisting
and in market analysis?
         I think the answer-to that is that we think that
the responsibilities assigned to the Department of Commerce
for such things as development of product specifications
for recycled material and their assistance in market
development are quite important to the future of resource

-------
                                                    IbJL
recovery in this country.
         And w=* are very suopcrtive of -those.  Anrt, in
assisting in that development.
         I have two questions here relating to the; activities
of thri Kesource Conservation Committee which are related
         One is, "Please comment on tn=» prospects for a
product disposal charqe similar to California's tax."
         .And the second question is, "Under RCRA, the 7e
Conservation Committee lias responsibility to make recom-
mendations on implication of charcr°s on consumer nroducts
to reflect solid waste mananc-ment costs.
         "RCRA authorizes EPA to conduct a pilot disposal
charge program.
         "Does EPA plan to conduct that pilot program and
what is the timing of it?"
         I think the answer to both of those questions is
that the Resource Conservation Committee is actively or
staff of the Resource Conservation Committee, which means,
primarily, staff of the Office of Solid Waste, is actively
analyzing ths concept of the product charge in some detail,
both to try to come to some resolution about very difficult
design issues that would be involved in such a oroposal
and, also, to define, as well as can be, what the economic
and environmental, and other imnacts of such a proposal are
         Once that analysis is complete, that concept will

-------
                                                     152
be reviewed by the Resource Conservation Committee and it
will mak= the decision as to whether it wishes to make
a recommendationto the President and the Congress regarding
it.
         We have no pilot program to — a pilot study to
test out the product charge underway in the office and
have no plans to undertake such.
         VOICE:  Do you have a target date for that  analysis
         MODERATOR PLEHN:  Well, the Resource Conservation
Committee's statutory life expires sometime in the fall.
And the analysis, I think, is expected to be completed in
March, or Ppril or May.  Sometime in that time period.
         MR. LINGLE :  I have another question  here which
I think really relates to the Resource Conservation Com-
mittee too.
         It regards the various state or Federal proposals
for deposits — beverage container deposit laws, and the
questions is, "Whether or not, with RCRA, what will EPA's
stand be on state bills or the national bill?"
         The EPA does not take a stand on state bills of
this type.
         With regard to a national bill, again, the Resource
Conservation Committee is charged to look at this and they
produced  sort of an interim report on this issue about a
month ago.

-------
                                                    153
         And in that report, they delayed a final decision
as to whether or not they would recommend a national law
of this type.
         And a final recommendation will be forthcoming
some months into the future; maybe six months, or so, into
the future.
         So, there is not  a Federal resolution on the
national bill in terms of a recommendation from the Resource
Conservation Committee.
         I also have a question here which relates back
to the one on procurement.
         And the question relates to the responsibilities of
the Department' of Commerce and NBS.  And it was pointed
out that both the Department of Commerce, particularly,
NBS, does have some responsibilities in their Section 5002
under RCRA which relates to the procurement of recovered
materials.
         In particular, they are charged with developing
specifications for recovered materials under Section 5002.
Specifications meaning the kind of specifications that
materials would have to meet in order to be sold to a user
so that they could use it in the product;
         So, yes, very definitely.  Department of Commerce
and NBS does have a role in the procurement area.
         And as Steff Plehn mentioned, they also have a

-------
                                                     154




broader role in the area of marketing.




         And I might also mention at this time, although




it hasn't been brought up, that the Department of Energy




has a role in the area of resource recovery from waste.




         And  in the case of both the Department of  Commerce




and the Department of Energy, we are working together with




those agencies in a cooperative way, and we've worked out




inttragency agreements with them and we're going to  try




to tie the whols process togethsr so that we can have an




integrated Federal program frorr all of those agencies.




         MR. LEHMAN:  It's my turn again.




         I have a blizzard of questions here.  Why don't




I do this, Steff?




         I will just continue to answer some of these until




you think I've had too long in the barrel and then you can




come back.




         The first ones I would like to address are  follow-




up questions on what I said before.




         The first question:  "Mr. Lehman stated that DOT




will adopt the EPA requirements for identifying and  trans-




porting hazardous waste.




         "Does that include resolution on the 100 degree




versus 140 degree flash point criteria?  Which will  prevail?




         Let me comment on the first part first.




         I did not mean to imply that DOT was going  to

-------
                                                    155
adopt EPA requirements for identifying hazardous waste.

No, sir, or ma'am, as the case may be.

         DOT is adopting the transportation requirements

of RCRA, but not the identification requirement.  That is

a separate regulation and that will remain the sole province

of EPA to define what a hazardous waste is and to identify

it.

         Wherever possible in that identification process,

we are trying to make the EPA definition of the criteria

and the DOT criteria ident>fical.  And if not identical,

you know, very consistent.

         Now, you've got to bear in mind, there, they

may not always be identical because the criteria for the

DOT hazardous materials transportation regulation are

based on transportation safety.  Whereas, RCRA  is aimed

at public health and environmental protection which are

similar but not identical goals.

         And that gets down to this last point of that

question.

         There is, in our current draft, a difference in

describing flash point.  The DOT flammability criteria

cuts off at 100 degrees Fahrenheit flash point whereas we

are contemplating 140 degrees.

         Nov.', this has relevance only whan the identificatio

-------
                                                    156




of whether a waste is a hazardous waste.




         It does not necessarily change the shipping re-




quirements and all the placarding, and all of that.  In




other words,  you would use the DOT symbols for a waste




in accordance with the DOT criteria, once it's been identi-




fied as a hazardous waste.




         I hope that answers that question.




         Okay.  Another questions.  A similar followup.




         "If the waste generator has a primary responsi-




bility for hazardous waste management and waste haulers




will have lesser liability if improper disposal exists,




would not a shared responsibility for either or, or both




gsnerator and haulers make both parties interested in com-




plying with regulations?"




         Well let me just clarify that.




         The transporters don't get off scottfres here




Either.




         I mentioned there is a set of requirements under




HCRA National Standards for Transporters, and they have




to abide by those standards whether it's administered




ar.d promulgated under RCRA or promulgated under DOT.  It




makes no difference.




         And, this concept of liability is really, as I




said sarli?r, 1 think more a legal issue rathsr than a




regulatory issue.

-------
                                                    157


         Ivnoth -r followup. "In your r--?pons- *~o an earlier



question, you discussed a concept cf s'iar = r! liabilities



 existing between ths generator and the transporter.



         "Can you name any specific court cast-:s addressing
                                                            ft


this concupt?"



         Off the top of my head, I cannot.  But if the



author would writs me, I will respond to this question



from our filss.  I will dig out som-s stuff then.



         A new qu-stion.  "Thi objectiv=s of ths strategy



rifarrec to establishing a 'acctptablo l=vils of protection



for solid waste, generally' but uses the terra 'eliminate



present or potential hazards' in referenca to hazardous



waste.



         "Docs the implementation strategy contemplate



a zero rislt concept for hazardous wasti?"



         The answer is no.  Arid, as a matter of fact, I



had the same comment on my copy of the draft strategy.



I caught that word "eliminate hazards" also bscause it's



a question of wording, and we certainly do not want to



imply a zero risk strategy because that is not the case.



         A question.  "Please comment on the developmet



of performance standards for specific substances under TSCA,



Toxic Substance Control Act, versus process standards for



general classes of waste under RCRA."



         Okay.  First of all, there is a slight misunderstan
ing

-------
                                                    158
her- in ths question because the RCRA standards arr per-
formance standards also.
         I don't want to get into dstails, but w^ are.
basing the hazardous waste regulations on nerformanct-,
supplemented by process standards.
         But the. primary standards are performance oriented.
         To get at the meat of the question, I believe
ths questioner is referring to tho PCB disposal regulations
under TSCA which ar^ explicitly mandated, by TSCA and, you
know, how is that going to relate to -he overall issua
of control of the disposal and treatment and storage of
all hazardous waste?
         Mow that's a good question.
         I think our intantion hare is, well, first of all,
the Agency must respond to TSCA as well as RCRA.  We really
have no choice.  We have to develop both of those regulations
because the law requires that so that is bsing dons.
         The intent is to fold in ths PCB disposal regula-
tions into the RCRA permit process at a latsr time when
the RCRA system goes into effect.
         Now.  As ro subsequent substances identified under
TSCA that need special regulations, we feel that the RCRA
Hazardous Wasts Disposal regulations will be generally
sufficient to cover all of those.  And so you won't need
e.xplici-, specific disposal regulations under TSCA.

-------
                                                    159



         However, if it turns out that there is some rationa]J.=-




that a particular toxic substance needs som-; special degre




of management or cart in the disposal or treatment or




storage phase, then that is certainly possible that one




could supplement the RCRA regulations with additional spe-




cific requirements.  And, that could bi. done under the




authority of TSCA or RCRA.




         Anyway, that's the general plan as to how to rr




those two requirements together.




         Another questions.  "What are the proposed rsgula-




tions to be published in the Federal Register for Subtitle C




and Subtitle D criteria for landfill?"




         John Skinner really answered the last part of




that question already.




         He mentioned that the proposed landfill criteria




are on the Administrator's desk awaiting signature and




should be published momentarily.




         The Subtitle C schedule for proposed regulations




is that some of you may not realize that there are ssven




different regulations being prepared in parallel under




Subtitle C.




         We intend to phase the proposed regulations over




time so that the public is not overwhelmed, and I think-.




that is an accurata word, not overwhelmed with seven




r2gulations to comment on simultaneously.

-------
                                                    160




         Also, wfc' ra going to phase thsrn in tin;, because





of other reasons.




         Ths first regulation or, it's actually a guide-




line under Subtitle C, is the one under Section 3006 that




deals with the critsria by which one will judg". whether




a state hazardous waste management program is equivalent




and consistent to the Federal hazardous waste program for




purposes of authorizing that state to carry on the program.




         Now, that guideline is also in its final stages.




7ind the last I heard yesterday afternoon, that was finally




breaking loose.  And it has already been through most of




the clearance processes and it also should be hsaded




towards the Administrator's desk today or tomorrow or




close to it.




         So you should look for that particular proposed




reg which will be the first one under Subtitls C to be




in the Federal Register shortly.  Soon afte.r the landfill




criteria.




         From then on, all of the other regulations under




Subtitle C will be phased in at approximately monthly




intervals.





         3010, on notification, we anticipate'to come out




in February; 3001 — well, 3003 on transport will be the




next one, and probably also in February or March; and then




3001, 3002, 4 and 5, in that order, hopefully.

-------
                                                    161      !



         And hopefully, that answers your question.          j




         Well, 1st r.k= clarify, though, that while we may




propose thise in a staggered sequence, we intend to pro-




mulgate i.hera in final form simultaneously.  All of them




simultaneously except for the first two I mentioned.




         And we have th« ona dealing with the states and




one dealing with the notification.  Those two can stand




alone.




         The others are a set and have to go into affect




simultaneously so thiy will ba promulgated simultaneously.




         VOICE:  April 21st?




         Ml. LEHMAN:  The law requires that they be pro-




mulgated on April 1st, 1978, which is, if I look at; my




watch, hert, is approximately three months from today.




         I doubt, seriously, that you will see that happen.




         MODERATOR PLEIIN :  I might just jump in there, Jack,




to givs you a short breather because we have a question that




is related to that which says:   "The Act contained rathar




ambitious benchmark dates for accomplishment of objectives




of the regulations.




         ?7hsr= doss EPA stand on progress versus original




schedule?"




         I think the short answer to that is w^ ars some-




where between six months and 10 months, probably, behind




various deadlines that art set in tlia Act.

-------
                                                     162



         I think a major reason fox that was  that  the  Act




was passed -- will, I think, probably a major reason is




that the requirements which the Act placed  on EPA  and




regulation d3vr.lopmant wsra exceedingly complex, and that




that problem was compounded by the timing with its  occurring




as th=. Ag-.-ncy was going through ths transition between




the two administrations, which is not the tinu; that the




Agency generally does its bast work or most rapid  wor!:.




         And to give Jack just a little bit more of a  rest,




I rniqht take or.™ mor-- question which is this :  "The




strategics, as most EPA strategies, fails to  addrsss tht




desirability of privat^ sector participation,  particularly




in recycled (prevention).




         "Does EP.A concern itself with s^rat-'gizing to




accomplish mor' effective and cost efficient  results via




private sector involvement?




         "Does EPA realize that its lack of W2ll-T^at = c]




goals and lad- of internal coordination seriously  serves




to discourage major private sector participation?




         "The private sector finds it difficult to risk




its resources to any —" let's s.ee —  "sales...'  I think




i1: is, "ether than sal- of Equipment to the municipalities




since we find it difficult to fathom the long-t=rm rul^s




of your game."





         I think that's a sentim=nt which the Office of

-------
Soldo Waste is quit= sympathetic  to.




         1 know ir- was always  a Major  concern  in th-_  ar_a




of hazardous wastt :r.anag=ment  that  thos-~;  privat; enter-




prises which invested, made thu necessary ir.vesti.>,nt  in




adequate, storage and treatment facilities,  disposal facili-




ties, found that thtir market  ware  not th^r°. as expected




because there wsre unregulated low-cost alternative?  which




Wore available to ths persons  with  hazardous wc.st=.c.




         Hopefully, the  regulatory  program undir Subtitle. C




will constitute a major  correction  in  that situation.




         And I think, in  that  ar-a,  rhat it will i>e thc-




actual promulgation of regulations  and their criforc ,n-^nt




that I think v/ill provide the  certitude of markets that




the private sector has bsen looking for.




         MR. HICKMAN:  Question.   "Are th-.re any sunset




clauses within RCRA..."  I gutss,  "...for ths developing




regulations and are there any  future decision points  for




modification of RCRA and  regulations and strategy?1'




         I guess, to the  legal sense,  are there sunset




clauses that says if you  don't do it by this date, the




door closes, thfvn the answer is no.




         As Jack and Steff havs both indicated, there ar-^




deadlines for when the guidelines and  criteria are sup-




posed to be out and we are running  behind on thosu.




         There is a requirement,  under the law, that every

-------
                                                    164
three years, all regulations and guidelines promulgated
under the authorities of RCRA must be reconsidered and
raevaluated and reissued.
         Thera is, as Steff has indicated this morning,
based on — already sent, but we received from you, it
makes sense to keep this strategy as a viable and a dynamic
sort of thing and look at it again as our experience in
implementing KCRA downstream begins to occur.
         So the strategy will be reconsidered and revised
and reissued at some period of time yet unclear to us.
         Let me take a couple more.
         Here's a super question, and I wish I had a good
anser for it.  "Several facilities, Federal facilities
will comply..." I'm glad to hear that.  "Federal facilities
will comply with EPA guidelines.
         "However, we are concerned, the state and local
agencies inspecting us, even though we're already being
inspected by EPA, will the Act consider this duplication
effort and sa/e us additional resources or services?"
"Or give us."  I can't tell from the writing.
         Well, the law says that Federal agencies must
comply with both Federal, state and local regulations and
guidelines for solid waste management.
         And we've had discussions with the Federal agencies
with state agencies and with our own office of Federal

-------
                                                    165




Activities, and the way we see it/ one best way to deal




with this — and it is not resolved, yet, as to what is




the best way if there is one — that the regional adminis-




trators of EPA and state agencies, in concert, may arrange




that only one agency will do the inspection for all




environmental regulations.




         And that inspection and monitoring would suffice




for all agencies that are concerned.




         This is one way to do it.  If that's not the case,




then, indeed, there may be state agencies inspecting facili-




ties as well as EPA agencies.  But it makes sense that




we ought to be able to work something out in a joint partner




ship between Federal agencies, EPA regional offices and




state agencies to see that one process will take care of




the needs of all parties concerned.




         Now, you have to recognize there is more to the




law than 3006. The land disposal criteria being developed




by John Skinner will also apply to the Federal agencies,




per se, due to the fact that state governments will have




to have regulations consistent with 4004 and Federal agen-




cies will have to meet those regulations.




         Jack, do you want to respond to how you are going




to regulate the Feds?




         MR. LEHMAN:  Well, Section, I believe it's 6001,




that you were referring to, Lanny, concerning the applicatio

-------
                                                    166



of all requirements of RCRA on Federal facilities, certainly




applies to the hazardous waste provisions as well.




         And so, if a state has an authorized hazardous




waste program, the Department requirements of that state




program would apply to Federal facilities within that state.




         If the state does not have a program, then the




Federal requirements would apply.  But there's no question




that the hazardous waste provision will be administered




to Federal facilities, as well as everybody else.




         MR. SKINNER:  I have a few other questions.




         Another question about when the 4004 standards




will be issued.




         And let me just use that as an opportunity to




indicate that when we do issue it, hopefully, within the




next few weeks, we will have a 90-day public comment




period.




         We will also have at least three public hearings




in Washington, probably Kansas City and somewhere on the




West Coast, San Francisco or Seattle.  And we encourage




you to attend the public hearings to testify at them and




also to submit written comments on these standards.




         Another questions.  "Why only regulations on




cadmium for land application?  What about nickel, copper,




zinc, cyanide and other heavy metals?"




         Most of the research that has been done with

-------
                                                    167




raspect to land fanning"and land application for agricul-




tural uses has been oriented around sewage sludge, or




municipal sewage sludge,  and cadmium has been singled out




as the primary metal of concern.




         It is uptaken in significant quantities and it's




also not vital toxic where it doesn't kill the plants.




So you can get high lav=ls of cadmium buildup in plants




where, with these other materials, it is less of a problem.




         Pending further research and further investiga-




tions, we will modify the criteria and include restrictions




on the uptake of these other metals as well.




         So, I just think more work has to be done along




those linss before we can do that.




         "What role do you see in the present adequate




sanitary landfills playing in the future waste disposal




technology?"




         I guass we all realize that land disposal is




here to stay.  And most waste disposal, in the future, is




going to be on the land,  one way or the other.




         And while we certainly encourage resource recovery




and will push aggressively for it, there's always going to




be a residual to be disposed of on the land.




         And W3 see sanitary landfilling being a key in




the future of waste disposal technology.  And we hope that




it's done properly with minimal environmental impacts in

-------
                                                     168



confor^ianc" wj th thr. standards that vo issn" and tha  states




issu . as w---ll.




         Another question. "What coordination bas been made




between EPA and Interior's Office of Surface Mining  Reclama-




tion and Enforcement regarding disposal of byproducts of





the mining site?"




         In th= mining study wnich we are currsntly  carrying




out right now undir Section 8000 of the Act, the Dipartraant




of In-c=.rior and the Bureau of Mines are participating with




us in that study.




         And they will review the results and we intend




to use their expertise with respect to mine waste disposal




as we develop our guidelines.




         A final question, and I'm not sure I understand




it.  I will answer it the way I think it is being posed.




         "What will be the factors separating industrial




water treatment, ponds, lagoons and basins and those ponds,




lagoons and basins under Section 4004?"




         And I don't know what you mean by the factors




separating.





         If you're referring to the fact that certain indus-




trial discharges to surface waters require a 402 permit




under the Federal Water Pollution Control Act, and that




the technology, the best management technology to comply




with that permit is also a condition of the permit,  if that'

-------
                                                        169




the point you're getting at, thosi discharges requiring




such a permit would not bs covered by RCRA.




         All other industrial impoundments, ponds, lagoons




and basins would b= covsred, both by the. Section 4004




criteria of the hazardous waste criteria if the basin,




pond or lagoon contained a hazardous waste.




         MR. LINGLE:  I have a couple of more questions here




related to resource recovery and the TA panels.




         This question, with regard to the panel, says:




"Will the EPA Technical Assistance Program be limited to




resource recovery, high technology, land disposal and




exclude or deny requests for assistance in other areas such




as procurement and energy conservation and recovery?"




         The Panel program is not limited to those items




such as high technology and land disposal.




         It is applicable to a broad range of issues re-




lating ro solid waste management.  The source separation




systems, resource recovery plants, land disposal, hazardous




waste management, collection.




         It is definitely applicable to the procurement




area.  And let me just give you an example there.




         That's a good example of how groups outside of




EPA might be pulled into this and how peer matching might




be used.




         In the procurement area, for example, the National

-------
                                                    170





Governor's Association has a committee of stata purchasing




officials.  Some of these people could serve through the




peer matching program to inform other officials of how




they have been able to incorporate into their procurement




specifications the requirements for recovery of materials.




         In addition to that, the Department of Commerce




is another Federal agency that could be brought into a




panel situation to advise on specifications relating to




procurement.




         So,  yes, it is definitely available.




         Now, it is not available for areas outside of




solid waste management.




         This mentions the general area of energy conser-




vation.  It would not be available for energy conservation




in matters not relating to solid waste management.




         Okay?  Is that clear or are thare any questions




on that?  Okay.





         The  other question is on a different thing, ami




it says:  "IThat progress has bean made in studying the




marketability of various elements in the solid waste




stream?   For  example, glass, paper, tires and aluminum?"




         Wall, that's a pretty difficult question to answer




succinctly here.





         I will say that EP.A has been evaluating marketabilii




of thsss products for quite some tine.  Several years, actually.

-------
                                                     171




And ws do have a number of publications on "them.




         And I r?.fi;r you to the list of publications -hat




is on the table outsids.  On the registration table.




         W= do have information or. a r.umb?r of those .




There also is going to be increased emphasis on that through




for: example, the Department of Commerce involvement  in the




Resource Recovery Act.  And industry is very much involved




in this.




         There's a committee of ASTM which is involvsd




with trying to set specifications so that they are fairly




uniform specifications for products recovered from the




waste stream.




         So, we have looked at these, both EPA and other




groups, and there's a fair amount of information on  them.




         There will, obviously, be additional studies




and evaluations and market -- determining market locations,




and so forth, for all of these various products.




         MR. LEHMAN:  Okay.  We have quite a few more




hazardous waste related qusstions, and let me get to those.




         Before I do, however, I would like to also  com-




ment, the same as John Skinner just did, that I mentioned




all of the Subtitle C regulations coming up in proposed




form in a staggered sequence.




         We also will have at least three public hearings




on each of those during the proposal comment hearing.  And,

-------
                                                     172
again, they will be sprinkled geographically  around  tht
country.
         We hope to -- well, we intend to have  a hearing
in at least every EPA Federal region.
         So, let me start out with the cards  again.
         One individual, here, has made a very  forthright
statement followed by a very perplexing question, and, so,
let me read the forthright statem&nt.
         It says, "I have learned more since  Q&R period
than all the morning session.  Suggest in future that
statements be read last and questions Le first."
         VOICES:  Hear, hear.
         MR. LEHMAN:  The perplexing question.
         We  had reference to a sunset clausa,  and this
one refers basically to a grandfather clause.
         It says, "How will small outfits that  oot to
abandon their facility rather than meet the provisions
of RCRA be closed and afforded long-term care?"
         Well, as I mentioned, that is a perplexing ques-
tion because there is no grandfather clause in  RCRA.  It
goes back and picks up all of thii problems that society
has generated over the last 300 years in this country.
         We are not unaware of that problem.  We havs
considered what remedies we might hav~ to deal with that
issue.   And, to be honest with you,  we don't  see any under

-------
                                                     173




RCRA at this tims .




         And if you hav.-= some concepts  about  how  RCRA could





be applied in those cases, please  get in  touch  with  us




b^causj we havt thought about it and not  been abl-a to




corns up with any yet.




         Ths n^xt questions.  "Who will hav=  the  rpsponsi-




hility to ensure that no hazardous substances ars -snittTd




during th= burning of solid waste?"




         Well, if the question  refers to  hazardous waste,




that is clearly covered under th«  Control Program under




Subtitl-- C whir^  "missions of all  sort, wh-x-thsr thsy he




into th'- air, in  surface water  or  into  ground water, v;ill




be covered by the perforir>anc.-- standards,  th?.  Rational




Standards, undsr  Ssction 3004,  and such facilities that




do incine:rats or burn hazardous waste will r-quir? a n-irni^




und-?r th:; regulations und-;r Sac^ion  3005.




         And, as  I mentioned, ths  whol= concept of RCRA,




in general, and the hazardous xvasta  provisions, in particula




is that the states ar« to take  on  this  program. That is




the Congressional intent.  It is vsry clsar.




         And sc, assuming the state  has that  authority,  it




would ba the state that would be carrying out the ^nforcc-





mant program ayainst such facilities.




         In the cas-= whare states  do not  taks it  on, it




would bu the Faderal EPA enforcament that would do that.

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                                                     174





         LJOW, if the question refers to municipal solid




waste burning, there are two parts to that:  one is, of




course, that if you arc rsferring to open burning, that




is prohibited by RCRA and by the definition of what  an




op-_n dump is, and so on.




         And, in that case, that would be, again, the- stata




responsibility to enforce against that.




         If we're talking about municipal solid waste from




incinerators, here, again, essentially, the only standards




that apply in that cast, as I understand it, are the Clean




Air Act standards for emissions such as particulates and




SO  and NO  and so on.  And that is generally enforced by
  x       x



a statt implementation plan under'the Clean Air Act.




         I hope that covars all of the possibilities, thtre.




Perhaps we read more into that question than was intended.




         This is a sort of u frustrated individual,  I think.




Iz says, "Please provide somr, examples of nonhazardous




industrial waste that fall within the 90 percent of  indus-




trial waste that would not require permits or disposal in




a hazardous waste management facility."




         I got the feeling that nobody trusts us out there.




         We -- well, I would be hesitant to say that a




specific waste will not be a hazardous waste.




         However, thera is one particular waste stream




which I think I can safely say would not be hazardous waste

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                                                    175
because we have some test data on -that already which, I thini

wll illustrate what we mean.  And that is, foundry sand.

Well, now, wait a minute.  That's not as simple as it

sounds.

         Foundry sand contains a substantial amount of

heavy metals.  And, in other words, if you did a chemical

analysis of foundry sand, you would find that it does

contain a substantial quantity of heavy metals; toxic

heavy metals.

         However, in the process of foundry operations, all

the material is essentially liquified into a mass which

cannot Isach or will not leach under normal conditions.

         And, so, consequently, it is clear that that

material, and there's a substantial amount of foundry

sand in this country which is then, I can safely say,

probably a nonhazardous industrial waste.

         But I think this is what I'm trying to get after

here.  It is that there are a number of industrial wastes

that have some toxic materials in them, let's say.  But

those materials are not available for emission into the

water or into the air.

         And, so, that is the distinction, I think one

of the major distinctions about nonhazardous versus

hazardous.

         There is sort of a ralated question.  It says,

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                                                     17C





"Would ths Ames Test-- being proposed  as  a  toxicity  screening




procedure,  and this is in the definitional  aspect,  do




you rsally =xpect that even municipal waste  and  sludge




would pass such a test, 1st alone most industrial wastes,




th-;r..by declaring most wastes to be hazardous?"




         It1--? a slight; variation on the  other  question.




         v.'tll, first of all, let m-3 comment  on that.




         r.unicipal waste, in our draft,  ara  exempted.  In




ether words, v;= fas! that it is not the  Congressional  intent




to bring municipal waste under th- hazardous wasts  control




system, so w; -^xt^nt them out cf hand.




         As to tha Ames Test, the wording  is being  proposed




as j toxicity scresning procedure.




         To b= mor° exact, it is under consideration.  It




is being consi-IirerT by us as a toxicity  serening proc--dur';.




and it is baing dons, not for toxicity,  per  se,  but as




an indicator screening tast for g;-.n~tic  change materials




and carcinogens.





         Mow, 1st me r«it--rats.  It has  not  bscn proposed




by EPA as a screening procedure.  It  is  under  consideration.




There are several other procedures and test  protocols




being considered as well.




         So, we have not reached any  agreement on -chat.




But, to get to the thrust of the question, really,  again,




I just reiterate that it is not our intent to  bring most

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                                                     177
wast;: under the control of th& hazardous waste program.
         Another question under Section 3005 permits.
"Why has a special —" "Vfliy have a special definition  for
'resource recovery facilities' if there, is to be no  special
limited permit provisions for such facilities such as
for product recovery facilities?"
         Well, I think there's some confusion here because,
in fact, not .only is there a definition, but there are,
in the current drafts of Section 3005 reg, there; are special
limited permit provisions for such facilities.
         And perhaps the confusion is in the two words.
         For a time, we referred to resource recovery
facilities in our draft regs, and then we changed that
wording to product recovery facilities.
         Perhaps that's ths root of this confusion.  But,
in fact, what we arc attempting to do, here, is to respond.
And I think this was commented upon by some of the spsak&rs
this morning.
         We rsally are attempting to address both aspects
of RCRA, namely, the public health protection and also
resource conservation and recovery in the hazardous waste
regulations.
         We are making a valiant effort to do that and
this is oii<= way to do it is to make it easier for people
in the resource recovery cr product recovery business  to

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                                                     173





get a permit than it would be otherwise  under the hazardous





waste provisions.




         So that'1; one of the concepts that we are seriously




considering and will probably be  in  the  proposal and




would be interested in your response  to  that.




         Another question.  Tha ne:;d  for perpetual care.




         "IThat research has been  done concerning perpetual




car-.--, for (a) hazardous waste sites,  and, (b)  municipal




landfills?"




         Well, 1st me just comment,  and  we  don't use the




term perpetual care in EPA; some  people  do  but we don't.




v:~ recognize that perpetual is a  long time  and no one




can guarantee, in perpetuity, what's  going  to happen.




         Me do ref?.r to long-term care,  however,  and that




distinction may escape you, but —




         VOICE:  It depends on your  ago.




         MR. LEHilAN :  Yes, it does.   And the comment




was, it depends on your age.




         WE do feel that ones —  no'-;, I'n talking specifi-




cally, now, about a hazardous vasts  site, that one;  you




havr- taken on the responsibility  of  accepting hazardous




waste in a land disposal facility  or  a land  spreading




situation,  that your responsibility continues after  you




c=asr- operations because there still  remains  the  possi-




bility that these materials can be leached out at a

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                                                     173



subs=-qu.--nt tims psriou.




         So w= are talking ahou^ pos4:  clormr^  rr rtuir =r:--n^s.




whic'i consist of a sampling of  -xistina  ground water,




monitoring v?lls, providing security to  the  facility to




prtvint unauthorized access, you know, this  type of situa-




tion.




         So, perhaps thc.r= is a misconception  hsr-..  I an




not sure about what the questioner meant by  saying  what




research has b-ezn done, because it's not a technological




aspect of p=rpstual care  so much as it is a  hous5l--s = ping




or surviillanc^ type of operation hsrc. in which I think




is well understood and rtially doesn't  rtquirr  a great dial




of rbS'iarcli.




         As to municipal  landfills, whil= I  guess I, per-




sonally -- I think John would agrss -- that's  a good icl=a




for municipal landfills.  It is not within the power,  I




don't beli=v=, of TICRA, as it's written, for us to  specify




post closure long-term cars for municipal landfill.




         So we really haven't addressed  that.




         I will savi th-i  best one for  last,  hers.




         "Uhat measures are --'' or, is,  I gusss, "...is




EPA taking to rssolve the question of  statas closing




th=ir borders to shipments of waste from other statss?"




         The importation  ban issue.  Thera was some dis-




cussion of this point this morning.

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                                                     180



         As you probably are avare, that particular  issue




is being addressed by the United States Supreme  Court  at




this point, and th=/'r- going to be issuing  ^  ruling on




thi new Jersey case at some- p=riod during their  court  year





which ends in June.




         So, we anticipate the Supreme Cour;; acting  on




that one way or the other.




         How, the point; is, though, that the N'ew Jersc-y




case isn't the whole issue.




         When you're talking about closing borders to  ship-




ments of waste, the New Jersey case doesn't  cover all  of




the possibilities there.




         EPA has gone on racord as a policy  of being




opposed to importation bans because we feel  that you can




consider waste flow to be -- you can draw a  parallel be.-




tw^en waste sheds and air sheds and water sheds.




         There are often/times, when it just  makes sense




for facilities to bs planned and built and operated  to




serve a community v;hich has a national marketing ar^a,




namely, a waste, shed which can, and often does,  cross




political boundaries.  And Philadelphia is one example,




Chicago is another one and St. Louis.




         There are a number of large Metropolitan areas




that crossed the barrisrs.





         So what are we doing, then, to resolvt  the-  question

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                                                     1 SI



         1'h- thing that w~.  art  going about; mostly is that;




under Section 3006 of  :^CPJv,  the Hazardous Waste, provisions,




wt ar= developing, as  I mentioned  ^arli^r, the criteria




for what constitutes an acceptable stat-  program, one




that is equivalent and consistent  with  the- Federal program




for hazardous waste.




         And we hav- a number of options  concerning tht




importation ban issue  that  ar=  discusstd  in that draft or




proposed r=g that I mentioned that is clos= to being on




the /"idministrator' s d.~sk.




         Mid so, what  ws. hav.-; done h-=re is w= hava picked




one of those options and going  to  propose that option.  But




we ar-j also going to name about five others that w& can




think of that cam- up  in all of our public me.2tings, and




in discussions with the states,  and so  on, and ask for




public comment on all  of them.




         And we hope to get a s&ns= of  what the public,




at large, feels about, you  know, how the  public at large




f--_els about this issui^ by this  mechanism.




         Depending on  that  outcome, then, we. will then




go forward with a final regulation or guideline under




Section 3006 which will incorporate th= best option.




         I think I'm through and I will pass it on down




the panel.




         !1R. HICKMAN:  I have saved thr%t= very unsatisfactor

-------
                                                     182





questions Ii^r=.




         So I will probably  give  you thres very unsatisfacto




answers b^caus, thsy are  questions  that I dor. ' t fesl thsrs





ar-; ar.s'Ji-rs.




         "Th= waste  problem has  b^en around for a long




tin-.  Why does EPA fsal  compelled  to press on with develop-




ing incompletely i=fin°d  regulations '-Than ther-- art serious




probl-i'is of criteria setting,  technology application and




start inpl-.-nen4-ation that  dictati a nor -> dclihs-rate pacs?"




         'V--11, based on the  schedule for us issuing the




regulations and criteria,  I  would say that our delibera-




tions to develop those criteria and regulations hava been




delivered and w; ara not  done-  yet.




         I don't zhink we  hav= a  fueling of compulsion.




The lav; requires us to do this and  wa will do it.   Ths




siiCi^t is doing it in such a v:ay  that the public can be




involved so that the regulations  and critaria that comt=




out make s=:ns;.




         That's what we want.




         Built within ths  law are provisions to allow for




timely r^spons- to those  regulations or comply with the;
         Thar?, is an interim  parmitting process within




Subtitle C that allows  for  deliverance schedule for com-




pliance with those requirements ; and  for the land disposal

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                                                    183




requirements within Subtitle D, there is a. fivs-ysar allow-




ance of scheduling for compliance.




         The law is directed with solving and helping deal




with some of the problems of solid wasta management.  And




hopefully, if we, and all those who participate with us,




tak-., it Serious, we can help deal with those problems




without throwing the wholt; process out of kilter.




         Hers's another question.




         •"Would i^ be possible to hold a meeting such as




this, addressee! specifically to the management of industrial




waste?   My interest in garbage is only peripheral.''





         Well,  one man's garbage is another man's money,




I guess.




         We're hera to review the. solid waste management




strategy for implementing RCRA, and that is addressed




at all wasts- streams.




         If whoever asked this question is concerned when




thf;y say by industrial wasta, their interest is in hazardous





waste.




         And, as Jack just mentioned, as these regulations




are being proposed in the various forms, there will be




ample opportunity to participate in public meetings and




discuss what is in those regulations.




         I don't believe we will be holding a public meeting




on industrial solid wasts, per s?..

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                                                              184





  1              Th-: last qu- stion  I  have,  "Since r;s-Jf>ch,  develop




  2     m-nt and demonstration is listed  as top priority, and this




  3     is  consistent with t;.= technology being listed as u  con-




  4     s'rraint, when does EW plan tc  de-finti ~ research project,




  5     research project priorities and what judgments will  be




  6     used in distributing funding  botwzen applied R&I3 that is




  7     usually found in the privat-  industry and basic nsn  usually




  8     found in Government and universities?"




  9              First, w^ ar-- trying tc  makf a conscious effort




 10     v'ith cur o'-*n research and d.-v-lopner.t cffic-: within  the




 11     Agency to plan tc respond tc  the  demand that 7CHZ* does




 12     plac_. upon th? solid wast?  nanag  m~nt corcnunit" for  n-w




 13      systrrs and -TChrologi^s .




 14               The s^ra-^^gy, in its-lf, will lay out scn°  guici = -




 15      poFtr and some paths of direction for research and d-'V"lop-




 16      n-nt.





 17               Our interest, in th-' Offic'-. of Gelid ^ast-i, has




 18      beer; nor-- of- t^? applied research and dr-v^lcpn^nt.   "nd




 19      w'  brli"7v=" t^a4- our function  is to s *: j T-IU I at - th~ ^volution




 20      of  technology syn't^ms fron  th;  beginning oilot concspt




 21      of  bench concent, to full demonstration.




 22               Bu^- Ollr focus will ha  working with industry and




23      with the developers at the  full-scale aizs in evaluating




24      th-.  systems and in making economic and environmental and




25      related information availabl - for th* industry and

-------
                                                      1S5




corraviuniti-s  to  make intullig :.nt decisions and s=l_cting




syst.-p.s.




          At  ta:.  sarac. time, wording  with th- r--sc-arch and




d-.v. lopnv-iit  community through our Offic-v of F^siarch and




D.,v. loDia:.nr  and EPA to iogin th^i cl=Vt-.lopnv..nt of new sys-j.ir.3




ol technology for th^ n=xt frontier of solid wasta manag^-




r.t.nt n^ids.




          As  far as exactly what judgments will b'= us^.d,




I tain!:  that, short-ttrm, \i<-. will so- more mon=y invested




in th>i  -Lmrncdiaci nsids rather than  the long-term needs




and rry  to piclcup and answer thb imrri^diat^ r^spons^ r^quirs-




itionts that ^CI-iT, places on us right  novr.




          iU1.. LIIIGLE:  Oni mor=..  And I'm suro you'r-j all




glad to  hear this is thi last one —




          MODERATOR 1'LEHN :  I've got ons mor_ too.




          ilR. LIUGLE:  This is a statement and a question




and I arisw-r-rd cha question previously but I did not




rsad the statement and I would  liks. ~o do that.




          It says, "The t'sdaral  Highv/ay Aandnistration  has




studied  and tli- technology now  exists to us.3 fus-=d and




unfusid  incinerator residue  for road bas^ with asphalt.




Howbvsr, ^ minimum of 33 p«rcant of this residue must  be




glass if tho process is  to b=  successful.




          "Several states have,  enactsd tha so-called




bottle  bill which limits the amount of glass going to

-------
                                                     186




incin-ra-iors, thereby  t.iwartiiuj  th-=  recovery of this rc-.sourc




         "V?ith UCUA, what will be  F.PA's stand on these




state bottle bills and  the  proposed  National Bottle Bill?':




         I r-spond=d to the question earlier but I didn't




re-ad the statement regarding ths use of the incinerator




residu -.




         My only comment on that is  that I was ^ littlt.




surprised to read that  because incinerator residue, in




Europe, is used fairly  extensively for roadbed construction.




Anci thsy liav_ a pretty  lov/  pcrc^ntay;-; of glass in their




wastB stream bj_causi; they do US5 r^fillable bottl.es to




     g^ extent.




         I would be interested,  if thi person is still here




\.'ho wrot= this, if you  would id=ntify yourself afterward,




and I would like to talk to you  more about this and gat




whatever information you have on it.




         Than): you.





         MODERATOR PLEHl'I:   I've  got  a last question and




it is, "Since seven-eigths  of the  world is water and only




one-eighth land, can it be  assumed EPA will hold to its




present policy of land  disposal  for  waste?"




         VJell, I could  go into the history of the Interna-




tional Ocean Dumping Convention  and  the U.S. Ocean Dumping




Law which is, as you may know, was recently artv.ndad by




the Congress so as to provide that all sewagp sludg= is

-------
                                                      1S7





co b-3 out of  r,h:-  oc,,  really very strongly concern id about  th-:-




prot-_ction of our oceans, not  only in this country, cut




in th& otJuir  nations ^_hat ar^.  senators -,o ch~ Cc-an




Dumping Convention.




         So,  whil3 I can't giv^ you  an  answer, I think




it's going to be.  guit._ awhili.




         Veil,  I  would like, to i-o  just  two things.  For




on.-; tiling, I  wouic ] ike tc say that  Eilr.cn Clauss^n, who




sat v;ith us today anc diCn't liav;  an opportunity to say




much, was -Ji= principle author of  this  draft.




         Ive ar.; really vary grat--:ful to her for e.11 r.he




worl:.  Silt manages this very wcll, you  s-^a, b^caus^- she.




has other people  up  front for her  covering.  But w= ar^




all very grat-ful to hsr for h.zr work on this.




         And  I v;ant  to say, spsahing for the Office and




for EPA, that w-'re  all very grat'-ful to all of you for




coming.  V75 will  consider all  of your corronints and questions




v>;ry carcfullv and v;e will hop*., to bF. out;  with a final




strategy which \->~ will, as I said  ;arli.rr, be part of  and




undr^r regular r-2vi_w and r-vision  sor.ictims: in thB not  too




distant futur- .




         I thank  you again vsry nuch for coming.




          (Wh'jr- upon, th= hiarirg '.'as adjourned at 2:56 p.ri.)

-------
                 REPORTER'S CERTIFICATE



DOCKET NUMBER:



CASE TITLE:  Public  Meeting:   Strategy  for  the  Implementation
             of  the  Resource  Conservation and Recovery Act of 1976

HEARING DATE: january  19,  1978


LOCATION OF HEARING:   Arlington,  Virginia




     I HEREBY CERTIFY that the proceedings  and  evidence

herein are contained fully and accurately in the notes

taken by me at the hearing in the above cause before the

   Environmental  Protection Agency

and that this is a true and correct transcript  of the

same.



                              DATED:  January 24,  1978
                                    Official  Reporter
                             Acme  Reporting Company
                             1411  K  Street
                             Washington,  D.  C.   20(105

-------
                   COMMENTS




                      On








                DRAFT STRATEGY




                    For The






             IMPLEMENTATION OF THE






RESOURCE CONSERVATION AND RECOVERY ACT OF 1976















                    By The















     American Consulting Engineers Council








             As Represented By Its








            Solid Waste Task Force






         William C. Anderson, Chairman










               January 19, 1978

-------
     The American Consulting Engineer's Council compliments




EPA on the development of a. Strategy for implementing the



Resource Conservation and Recovery Act of 1976 to guide the




Agency's efforts.  This approach   which recognizes limit-



ations, weighs alternatives and sets priorities   has too



often been lacking in the development of federal programs.






     We concur with the general priorities that have been




established.



     1.  Control waste disposal with emphasis on



         eliminating open dumps and controlling




         hazardous waste.



     2.  Establish resource conservation and recovery



         as the preferred solid waste management option.



     3.  Control hazardous industrial wastes.



     4.  Encourage state implementation.



     However, we do not always agree with the rationale



and/or background statements- leading to the priorities established



by EPA.




     More importantly, it is difficult for ACEC to comment further



on the proposed strategy because the strategy document lacks




specifics.  What is "considerable attention", "major emphasis",



"less emphasis".  The priorities established are a good



beginning.  However, they are not a complete strategy.  We



strongly recommend that target goals be established based on




these priorities.  In turn, the related effort and commitment of



resources necessary to meet those goals should be established in



specific yet general terms which will indicate more clearly the

-------
emphasis EPA will provide to each objective taking into account



all the limitations listed.  With better definition we and



others can then provide meaningful comments on whether or not



the strategy for future EPA actions will address what we believe



to be the major problems.  Such specifics are not only essential



for us to determine whether we agree with your priorities, but



also for your own specific management of the implementation



process.



     We strongly recommend that "coordination with other legis-



lative mandates, which has been recognized by Section 1006



of the Act, be added to the list of major activities to receive



major emphasis.  We, and everyone else  involved in implementing



the directives from Washington are continually frustrated by the



lack of coordination.  We recognize that the task is not easy



but the elimination of conflicting and  duplicative regulations



will enhance response to  your efforts  by States, Localities



and Private Industry.



     We are very concerned about the amount of effort that will



be applied to each area of activity.  However, rather than



pre-judge what EPA intends to do we challenge EPA to expand



its strategy to  include goals and allocations of resources, both



known  and  projected  for the next five years.  Provided this



kind of information we can then determine if, in our opinion,



EPA is providing the proper emphasis to the many activities



associated with  the program.

-------
            National   Wildlife   Federation
1412 16TH ST., N.W., WASHINGTON, D.C. 20036                                           Phone' 202-797-6800
                                                   February 1, 19?8
    Dr. John H. Skinner
    Chairman, RCRA Strategy Working Group
    U.S. EPA, Office  of Solid Waste
    1(01 M Street,  S.W.
    Washington, D.C.  2(*60


    Dear John:


    The National Wildlife Federation is pleased to have  the opportunity to  comment
    on OSW's draft strategy for the Implementation of The Resource Conservation
    and Recovery Act  of 1976 (RCRA).  We commend EPA on  the open manner in  which it
    is attempting  to  design a method for the fulfillment of its RSRA obligations.
    Furthermore, we view our opportunity to participate  in this process as  a vital
    one.

    Taking into consideration the unfortunate constraints placed upon EPA by virtue
    of severely limited resources in terms of money and  manpower and the less than
    adequate authority provided by the Act, we commend OS¥ for the balanced and
    practical approach to Implementation that it has developed to date.  Our problems
    lie more in the direction of the failings of RCRA as it applies to the  overall
    solid waste situation rather than in the manner in which OS¥ is trying  to come
    to grips with  RCRA implementation.  As has been pointed out many times, RCRA does
    not by itself  lay an adequate foundation from which  to launch a "national solid
    waste strategy."  It is, however, an important beginning.

    In general, we agree with the priorities which OS¥ has set, highlighting the
    necessity of controlling waste disposal practices in order to eradicate the
    immediate hazards to public health and the environment which are still  very
    much in evidence  throughout the country.  We recognize too, the critical, though
    largely unnoticed role, that industrial wastes, both  hazardous and non-hazardous,
    play in this regard.  While we understand and agree  with the reasoning  behind
    placing industrial and hazardous wastes in the top regulation priority, we urge
    that the momentum not be lost in developing the state programs that are underway
    to close down  or  upgrade the innumerable open dumps  that are overflowing with
    municipal wastes.

    Although the most significant waste problem, quantitatively, exists in  and
    around our nation's urban areas,  we cannot afford to relegate our rural areas to
    an era of neglect, in the handling of their wastes.  In certain isolated cases

-------
National Wildlife Federation
   Page  2
   Dr. John  Skinner
   February  1,  1978
   solid waste  IB more  of a  threat  to  public health in rural areas  (despite  the
   lesser quantities) than in urban areas.   The  ability to  finance  a  comprehensive
   or  adequate  management system  just  does  not exist for large portions  of rural
   America.  Moreover,  the practicalities of rural living and service management
   sometimes run in reverse  of what works best for urban areas.  For  example,
   incentives for resource recovery coming  about as an indirect  result of increased
   regulation (i.e. higher disposal costs)  may be the case  in urban situations.  IS
   rural areas, however,  where viable  markets are far and few between and benefits
   are still to be gained by economies of scale  in sanitary landfill  operations,
   this strategy will not be effective.  ¥e urge a. strategy which is  both flexible
   and sensitive to the conditions  and priorities of rural  areas if we are to design
   and implement a strategy  to cope with our waste problems that will be relevant
   and effective in rural areas as  well as  the cities.

   Although the greatest  authority  invested in EPA by RORA  falls in the  area of
   hazardous waste management, thereby Justifying its designation as  the number
   one priority for the next five years, the  frightening possibility  exists  that
   under OSW's  proposed interim authorization strategy,  some  states may  be able to
   slip through flimsy and inadequate  programs that will receive authorization by
   default.  Despite the  practical  problems  involved, ECHA's  inundate  for hazardous
   wastes is clear:  EPA  must insure that a tightly run and effective program is put
   into operation by the  states or  EPA must run  the program itself.   Flexibility may
   be  called for in the initial phases  of implementation, but once  full  authorization
   is  considered, conditions must be set hard and fast.

   Since technical assistance is viewed along with funding  (when either  exists) as
   the most important federal lever in promoting state  implementation, we urge that
   extraordinary measures be taken  to  assure  that the technical  assistance panels
   are useful,  well-staffed, and effective.   A ready  mechanism for  their quick
   evaluation and the institution of any changes that are necessary should be provided.
   Because of the limited funds available,  however, we  feel that if these panels are
   not going to be organlZBd and managed effectively, mcmoy jaiiouiH  nn-t- T^& Tjoq-hori in
   doing an inadequate  job.

   ¥e  found it  rather ironic, following the  publishing of the  excellent public par-
   ticipation guidelines  under ECEA, that this strategy document should  totally
   misinterpret the role  of  public  participation and its importance to the success of
   RCRA.  The strategy  document seems  to view public participation  only  as "public
   eduation," most precisely as an  exercise in selling the  public on  the acceptance
   of  disposal  sites.  We caution that should OSW underestimate  the necessity of public
   particiaption in  the entire solid waste  management process from  problem identifi-

-------
National Wildlife  Federation
  Page 3
  Dr.  John Skinner
  February 1,  19?8
  cation through solution implementation,  not only will  public  opposition to
  siting continue,  the  success  of the  entire  national solid waste  strategy will
  also be in jeopardy.   We urge OSW to involve the public,  not  try to  modify  its
  behavior.

  In general we  support the concept that an indirect  incentive  for conservation
  and resource recovery will result from the  proper enforcement of the new reg-
  ulations on waste disposal.   However, if we are  to  move  toward resource conser-
  vation and recovery as the preferred solid  waste imnagement options, then the
  economic and market incentives  being discussed by the  Resource Conservation
  Connittee  and  the procurement by the federal government  of products  made from
  recycled materials must be implemented.  Unfortvrvvtely,  since the RCC has no
  re_l authority and acts as an advisory boiy only, it is  debatable as to how
  nuch in the wsy of limited resources should be put  into  this  effort. We urge
  that state planning programs  authorized  under RCRA  must  address  both resource
  conservation and  recovery.

  Since so much  of  the  urgently needed worktbat must  be  done in solid  waste
  management even as  describee ard provided for by  RCRA is  to be left high aM
  dry due to severely inadequate  funding levels, we urge OSW to pursue with all
  vigor,  increased  funding for  RCRA within the Administration and  from CongresB.
  As  the  implementation process proceeds, it becomes more and more  apparent that
  without increased funding RCRA  will  be rendered  impotent.

  It  is also apparent that  the  smooth  and  effective implementation of  RCRA will
  require extraordinary organizational coordination between EPA Headquarters  and
  its  Regional Offices.   We are confidenttbst this can be  achieved.

  We would again like to express  our appreciation  at  youx  invitation to comment
  on  the  OSW RCRA implementation  strategy  and to be a part  of this  very open
  process.   We hope  our consents  have  teen helpful.
                                                  Sincerely,    .    ,;.
                                                     7-Jla^J
                                                  J. Mark Sullivan

                                                   "'-^i.-t/ /• "i-;--M.C.
                                                  Richard Korris
                                                  UK? Solid V.:aste Project
 Steffen Plehn
 Eileen Claxtssen

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                        Attendees—January 19,  1978
Allen,  Robert
Chief Hazardous Materials
U.S.  EPA-Region III
6th & Walnut Street
Philadelphia, Pa.  19106

Anderson,  Anthony  L.
Assistant  Director
Government Relations
Sun Company
1800  K  Street,  NW
Washington, D.C.  20006

Anderson,  Paul  E.
Mgr.  Energy Resources
Martin  Marietta Aluminum
6801  Rocklodge  Drive
Bethesda,  Md. 20034

Anderson,  William  C;,  P.E.
Chm., Solid Waste  Task Force
Pickard and Anderson
69 South Street
Auburn, N.Y. 13021

Anderson,  W. P . , P.E.
Asst. Dir. Environment &
Regulatory Affairs
Tenneco Chemicals
Park  80 Plaza West-One
Saddle  Brook, N.J. 07662

Axelrad, Robert
SOS/208 Coordinator
The Izaak  Walton  League
of America
1800  N. Kent Street
Arlington, Virginia 22209

Austin, John D.,  Jr.
Counsel
American Mining Congress
1200  18th  Street,  N.W.
Washington, D.C.  20036

Bahan,  Cathleen M.
Director of Information
Inst. of Scrap  Iron &
Steel,  Inc.
1627  K  Street,  N.W.
Washington, D.C.  20006

Bain, Diane
12501 Swirl Lane
Bowie,  Maryland 20715
Baker, Johnie R,
Regional Sales Manager
ILWD, Inc.
R. R. 5; Box 206
Nobelsville, In. 46060

Balick, San ford E.
Asst. Council
Transportation
FMC Corporation
Prudenti al PIaza
Chicago, Illinois 60601

Barta, J. W.
Project Chemist
Huntington Alloys Inc.
P. 0. Box 1958
Huntington, West Virginia 25704

Bassuener, Barbara
Manager of Public Affairs
Water Pollution Control Federation
2626 Pennsylvania Avenue, N.W.
Washington, D.C. 20037

Batchelder, Francis J., P.E.
Environmental Engineering Division
American Electric Power
Service Corporation
2  Broadway
New York, New York 10004

Baumblatt, Stanley
Attorney
Union Carbide Corporation
270 Park Avenue
New York, New York 10017

Beale, John
Manager, Environmental Information
Dow Chemical  U.S.A.
2030 Dow Center
Midland, Michigan 48640

Bensky,  Sy
Manager of Environmental Health
Occidental  Chemical Company
200 South Post Oak Road
P. 0. Box 1185
Houston, Texas 77001

Benson,  Barrett E. , P.E.
Sanitary Engineer
National Enforcement Investigations
Center;  Bldg. 53; Box 25227
Denver Federal Center
Denver,  Colorado 80225

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 Bent,  Charles
 Environmental  Engineer
 Reynolds Metals Company
 6601 West Broad Street
 Richmond, Virginia 23261

 Berke, Joseph  6.
 Project Director
 National Governors'Conference
 Hall of the States
 444 North Capitol  Street
 Washington, D.C. 20001

 Berman, Eugene
 Legal  Department
 E.I. DuPont De Nemours & Co.
 Wilmington, Delaware 19898

 Bertini, Catherine
 Corporate Affairs Manager
 Container Corporation of America
 One First National  Plaza
 Chicago, Illinois 60670

 Beygo, Turhan
 Environmental  Planner
 Prince George's County
 County Administration Bldg.
 Upper Marlboro, Md. 20870

 Bobrowski ,  Hans
 First Secretary-Science & Tech.
 Embassy of  the Republic of Germany
 4645 Reservoir Rd.
 Washington,  D. C.  20007

 Boltz, Sherry
 Government  Regulations Specialist
 N.P.C.A.
 1500 Rhode  Island  Ave.,N.W.
Washington,  D.C.  20005

Booth,  Federic H.K.
 EnviroPlan,  Incorporated
6621 Electronic Drive
Springfield,  Virginia 22150

Bory,  Laurence D.
Pol icy Analyst
N.V.P.D.C.
7309 Arc  Boulevard
 Falls  Church, Virginia 22042

Bowman, Scott
Chemical  Engineer
G.  Avenue West Freeman Field
Seymour.  Indiana  47274
 Boyd,  John A.
 President
 Environmental  Utilities  Corp.
 1776  K Street,  N.W.
 Washington,  D.C.  20006

 Brackett, David  E.
 Eastern Manager
 Gypsum Association
 1120  Connecticut  Avenue,  N.W.
 Washington,  D.C.  20036

 Bradd, Byron B.
 Environmental  Coordinator
 Chemicals Group
 Air Products &  Chemicals,  Inc.
 P. 0. Box 538
 Allentown, Pa.  18105

 Brown, Jerry L.
 Plant Chief  Chemist
 Monsanto Company
 P. 0. Box 249
 Anniston, Ala.  36202

 Brundage, Joyce
 Legal Assistant
 P. P. C.
 1800  K Street
 Washington,  D.C.  20006

 Buck, Kathleen A.
 Attorney
 One Farragut Square South
 Suite 1200
 Washington, D.C.  20006

 Cahaly, Richard F
 Corporate Environmental Programs
 Manager
 Polaroid Corporation
 565 Technology Square
 Cambridge, Massachuetts 02139

 Carr, Margaret
Asst. Director, Washington Office
 Research-Cohrel1
 1800 K Street, N.W.
Washington, D.C. 20006

 Gary, Matthew J.
 Director. Federal Programs
American Consulting Engineers Council
 1155 15th Street, N.W.
Washington, D.C. 20005

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Casey, Adrta Cv, Dp,
Label  Administrator
Corporate l^trel tntj Department
Stauffer Chemical Company
Westport, Ct.  06880

Chicca, William  E.
Chief, Industrial & Hazardous
Substances Sect.
Maryland Water Resources Adm.
Tawes  State Office Blgd.
Annapolis, Maryland 21401

Cinq-Mars, Robert J.
Environmental  Coordinator
Cities Service Company
Cities Service Building
Box 300
Tulsa, Oklahoma  74102

Cirino, Michael
Planning Administrator
A.A. Co. Planning & Zoning
Calvert, Annapolis, Md. 21401

Clark, Wendall J.
Coordi nator
Environmental  Protection Dept.
Texaco Inc.
P. 0.  Box 509
Beacon, N. Y.  12508

Clouser, David L.
PI anner
Office of Planning & Zoning
Anne Arundel County
Arundel Center
Annapolis , Md. 21401

Cobb,  Cliff
Project Director/Solid Waste
National Association of Counties
1735 New York  Avenue, N.W.
Washington, D.C. 20006

Conry, Tom
Project Coordinator
Technical Information Project
1346 Connecticut Ave., N.W.
Washington, D.C. 20036

Conrad, E. T., P.E.
President
SCS Engineers , Inc.
11800  Sunrise  Valley Drive
Reston, Virginia 22091
Cooper, Jack L.
Director, Environmental Affairs
National Canners Association
1133 Twentieth Street, N.W.
Washington, D.C. 20036

Coughlin, Thorn H., Met.Engr.
Chief Environmental Engineer
The Bunker Hill Company
Box 29
Kellogg, Idaho 83837

Damiano, David
Commissloner
City of Philadelphia
840 Municipal  Service Bldg.
Philadelphia,  Pa. 19107

Daniels, Stacy L., Dr.
Research Specialist
Dow Chemical U.S.A.
1702 Building
Midland, Michigan 48640

Darmstadter, Neill
Senior Safety  Engineer
American Trucking Assoc.,Inc.
1616 P Street, N.W.
Washington, D.C. 20036

Davis , Paul I.
Deputy General Manager
Gulf Coast Waste Disposal  Auth.
910 Bay Area Blvd.
Houston, Texas 77058

Dawson , Russel1 A.
Senior Editor
Solid Waste Report
B.P.I .
P.O.Box 1067
818 Roeder Road
Silver Spring, Md. 20910

De Melo, Jerome J.', Jr.
Staff Asst. Washington Operations
Boeing Engineering & Construction
955 L'Enfant Plaza.N. , S.W.
Washington, D.C. 20024

Denton, Kent A.
Asst. Manager  Transportation Safety
FMC Corporation
Chemical Group Headquarters
2000 Market Street
Philadelphia,  Pa. 19103

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 Denyes, Wells
 tfashrngton Representative
 Eastman Chemical Products, Inc.
 500 12th Street, S.W.
 Washington, D.C. 20024

 DeVille, William B.
 Research Director
 Staff Chairman NGA Subcomm.
 Louisiana Governor's Office
 P  0. Box 44066
 Baton Rouge, La. 70804

 Dexter, Bob
 Environmental  Protection Agency
 Office of Legislation
 Washington, D.C. 20460

 Diem, Michael  H., Maj.
 Entomologi st
 Solid Waste Management Division
 U S Army Environmental Hygiene Div.
 Aberdeen Proving Ground, Md.  21010

 Downey, Harry  L., Jr
 Washington Representative
 The Firestone  Tire & Rubber Co.
 1730 K Street, N.W.
 Washington, D.C. 20006

 Downing, James M.
 Di rector
 Knox County Department
 of Water,Sanitary Sewer,Waste-
water Treatment & Solid Waste
 Facilities
 701 East Vine  Avenue
 Knoxville, Tennessee 37915

Drance, Andrew
Washington Representative
Media General
2425 Wilson Boulevard
Arlington, Virginia 22201

Dunn ,  J . J . , Jr.
Executive  Secretary
 Institute  for  Solid Waste
American Public Works Association
1776 Massachuetts  Avenue, N.W.
Washington, D.C. 20036

Eason, Charles F.,  Jr.
Office of  Governmental  Affairs
Nuclear Engineering Co., Inc.
1100-17th  Street,  N.W.
Washington, D.C. 20036
Echeverrta, Alfredo  D.
Chief Policy &  Legal  Div.  OEPM
D. C. Government-D .E .S.
415-12th Street, N.W.
Washington, D.C. 20004

Eger, David L.
Engineer
Department of Public  Works
County of Fairfax
4100 Chain Bridge Road
Fairfax, Virginia 22030

Emler , Paul , Jr.
Senior Environmental  Advisor
Allegheny Power System
Cabin Hill
Greensburg, Pennsylvania 15601

Engleman , C .  H .
American Cyanamid Co.
Berdan Avenue
Wayne, N.J. 07470

Eri ckson, Frank
Deputy Law Director
City of Knoxville
City Hall  Park
Knoxville, Virginia 37901

Erickson, Lee E.
Administrator
Environmental  Control Dept.
Stauffer Chemical Company
Westport, Ct.  06880

Farrington, Edmond H.
Kerr-McGee Corporation
605 Commonwealth Bldg.
1625  K Street,  N.W.
Washington, D.C. 20006

Fehsenfeld, Fred M. ,  Jr.
President
ILWD, Inc.
P. 0. Box 68001
Indianapolis,  In. 46268

Feiger,  Robert  E.
Attorney
Betz
Somerton Road
Trevose, Pennsylvania 19047

Felix,  Charles  w.
Single Service  Institute, Inc.
250 Park Avenue
New York,  New  York 10017

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Fenberg,  Jan
Technical  Assistant
Pennzoil  Company
Pennzoil  Place
Box 2967
Houston,  Texas 77001

Fetterman,  Victor M.
Vice-President
Labelmaster
44 Oak Shade Road
Gaithersburg,  Md. 20760

Ford,  Gary  L.
Attorney-Law Department
Stauffer  Chemical Company
Westport,  Ct.  06880

Gilley, William F., P.E.
Department  of  Health
Commonwealth of Virginia
Madison Building
109 Governor Street
Richmond,  Virginia  23219

Gleason,  Thomas L.
Staff  Toxicologist
U S EPA ORD (RD-682)
Environmental  Protection  Agency
401 M  Street,  S.W.
Washington, D.C. 20460

Goelz, John C.
Asst.  Lab.  Supervisor
Milwaukee  Sewerage  Commission
8500 So.  5th Avenue
Oak Creek,  Wisconsin 53204

Gold,  Harvey S.
Director  Government Relations
Velsicol  Chemical Corporation
910 17th  Street, N.W., Suite 1000
Washington, D.C. 20006

Grasso, Rosalie T.
Director  Waste Management Program
National  Governors'  Association
Hall of the States
444 North  Capitol Street
Washington, D.C. 20001

Graziano,  R.M.
Director
Bureau of  Explosives
1920 L Street, N.W.
Washington, D.C. 20036
Gregoric, Albert L.
Regional Environmental  Control
Manager
Diamond Shamrock Corporation
350 Mt. Kemble Avenue
Morristown, New Jersey  07960

Guinan, Deborah K.
Environmental Chemist
Versar, Inc.
6621 Electronic Drive
Springfield, Va. 22151

Haber, Daniel R.
Haleth Physicist/ Industrial
Hygienist
RAD Servcies , Inc.
500 Penn Center
Pittsburgh, Pa. 15235

Hackel , Helene J.
Manager Business Development
Resource Recovery Division
Combustion Equiptment Associates,  Inc
555 Madison Avenue
New York, New York 10022

Hall ,  M.E.
Department Head Environmental
Protection
Union  Carbide
P. 0.  Box 2831
At. Albans, West Virginia 25177

Handley, Arthur
Manager, Solid Waste Program
Malcolm Pirnie, Inc.
2  Corporate Park Drive
White  Plains, N.Y. 10602

Harris, Gladys L.
Citizens Activities Officer  (WH-562)
Environmental  Protection Agency
Office of Solid Waste
401 M  Street, S.W.
Washington, D.C. 20460

Harvison, Clifford J.
Managing Director
National Tank Truck Carriers,  Inc.
1616 P Street, N.W.
Washington, D.C. 20036

Helsing, Crai g R.
Regulatory Liaison
1625 Massachusetts Avenue,  N.W.
Washington, D.C. 20036

-------
 Herbst,  Richard J.
 Office of Assistant Secretary for
 Science  8 Technology; Rm.  3419
 Department of Commerce
 14th  & Constitution
 Washington, D.C. 20230

 Hewson,  Tom
 Engineer
 Energy & Environmental Analysis
 1111  N .  19th Street
 Arlington, Va. 22209

 H i n t z e ,  D . L .
 Coordinator of Environmental
 Activities
 Union Oil Company of California
 Eastern  Regi on
 1650  East Golf Road
 Schaumburg, Illinois 60196

 Hoebel ,  Charles L.
 Washington Representative
 Carrier  Corporation
 The Blake Building-Suite 510
 1025  Connecticut Avenue
 Washington, D.C. 20036

 Houghton, James C.
 Coordinator Government Relations
 American Can  Company
 Suite 201--1660 L Street,  N.W.
 Washington, D.C. 20036

 Houston , Betsy , Mrs.
 Asst. Legal  Di rector
 American Inst. of Chemical  Engineers
 2000  L Street, N.W. Suite  520
 Washington,  D.C. 20036

 Hewlett, Kip
 Legi siative Counsel
 Georgia  Pacific Corporation
 1735  I Street, N.W.
 Washington ,  D.C. 20006

 Hudgi ns , Amy  L.
 Legal  Assistant
 Sutherland,  Asbill  & Brennan
 1666 K. Street,  N.W.
Washington,  D.C. 20006

 Hughes, Christopher F.
 Environmental  Projects Manager
 Edison Electric Institute
 1140 Connecticut Avenue,  N.W.
Washington,  D.C. 20036
 Ives, Joseph  S. ,  Jr
 Environmental  Counsel
 National Rural  Electric
 Cooperative Association
 2000 Florida  Avenue,  N.W.
 Washi ngton , D.C.  20009

 Jarchow, Everett  H .
 Corporate  Director of
 Occupational  Safety and Health
 C P C International Inc.
 Moffett Technical Center
 P.O. Box 345
 Argo, Illinois  60501

 Johnson, Charles  C., Jr
 Vice President
 Malcolm Pirnie, Inc.
 8757 Georgi a Avenue
 Silver Spring,  Md. 20910

 Jones , Edward
 Admi n . Assist.
 Calgon Corporation of Pittsburgh
 Box 1346
 Pittsburgh, Pa. 15230

 Jones, Phillip  W.
Technical  Affairs
 Ford Motor Co .
 815 Connecticut Avenue, N.W.
Washington, D.C. 20006

 Jordan,  David E.
Manager-Special Projects
 Union Carbide Corp.
One River  Road
Bound Brook, N.J. 08876

 Kadelecek ,  John
 Research Associate
A.S.R.C.-  State University of
New York
 1400 Washington Avenue-ES  324
Albany,  New York 12222

 Kadlubowski , Michael  F.
 Environmental  Engineer
VEPCO
 P.O. Box 26666
 Richmond,  Va.  23261

 Karter,  Patricia W.
Marketi ng  Manager
 Resource Recovery Systems, Inc.
 50 Maple Street
Branford,  Ct.  06405

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Katona ,  Alex,  Dr .
Manager  Environmental
Waste  Disposal
222  Rainbow  Blvd.
Niagara  Falls,  New  York 14302

Kaufman,  John  M.
Environmental  Geologist
Environmental  Quality  Control  Dept.
Consolidation  Coal  Company
924  N. Washington Rd.
McMurray,  Pa.  15317

Kavanagh,  Joseph N .
Vice-President-Safety
Chemical  Leaman Tank Lines,  Inc.
Downingtown, Pa. 19335

Kearns,  Dianne  R.
Journal 1st
Environmental  Reporter
1231 25th  Street, N.W.
Washington,  D.C. 20037

Keiser,  Kenneth D.
Reporter
Environmental  Health Ltr.
1097 National  Press Bldg.
Washington,  D.C. 20045

Kellogg,  Stephen R., P.E.
Project  Engineer
Weston
Weston Way
Wast Chester,  Pa. 19380

Kerr,  Edward R.
Customer  Service Manager
RAD  Services Inc.
9381 C Davis Avenue
Laurel ,  Maryland 20810

Kerst, Sandra  L.
Federal  Relations Assistant
Association  for Home Appliance  Mfg.
2033 K Street,  N.W.
Washington,  D.C. 20006

Kesten,  Norman  S.
Assistant  of the Vice  President
Environmental  Affairs
ASARCO Inc.
120  Broadway
New  York,  New  York.  10005
Kidwell , Alfred  S.
Director of  Governmental
Affairs
Inmont  Corporation
1255  Broad Street
Clifton, N.J. 07015
& Environmental
                Knight,  Gary  D.
                Associate  Manager
                Resources  and  Environmental  Quality
                Division
                Chamber  of Commerce  of the  United States
                1615  H Street,  N.W.
                Washington, D.C. 20062

                Knoeck,  John  W.
                Director of Planning
                Research & Development Department
                Cryogenic  Systems  Division
                Air Products  and Chemicals,  Inc.
                P.O.  Box 538
                Allentown,  Pa.  18105

                Korpon ,  Kathleen
                Professional  Staff
                Senate Environmental  PW  Committee
                4202  Dirksen Bldg.
                Washington, D.C. 20510

                Kucharskt, William A.
                Environmental Analyst
                Environmental Department
                Wisconsin  Electric Power  Co.
                231 West Michigan
                Milwaukee, Wisconsin  53201

                Landervil1e , Nancy
                Environmental  Protection  Agency
                401 M Street, S.W.
               Washington, D.C. 20460

               Lane.  Samuel M.
               Manager
                Environmental  and Manufacturing
               Services
               Mobil  Chemical Co.
                Phosphorus Division
                P.O. Box  26683
                Richmond,  Virginia 23261

                Langer, B.W. , Jr. , Ph.D.
                President
                GTA,  INC.
                Annelidic  Processing  Specialists
                506 Wilmington Trust  Bldg.
                Wilmington, DE 19801

                Langford,  Ellis C.
                Vice  President
                UNZ & Co.
                Government  Relations
                307 Yoakum  Parkway,  Unit  3-309
                Alexandria, Va. 22304

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Langford, James B.  Jr.
Staff Representative
Public  Af f ai rs
P.O. Drawer 1734
Atlanta, Ga .  30301

Larsen , Robert D . ,  Dr
Planning Consultant
Texas Department of Health
1100 W. 49th  Street
Austin , Texas 78756

Lazar , Emery  C.
Environmental Scientist
Enviromental  Protection Agency
Office of Planning  & Evaluation
Headquarters  PM-223
401 H Street, S.W.
Washington, D.C. 20460

Littlepage, Richard C.
Vice President and  Assistant
to the President
Chemical Leaman Tank Lines,  Inc.
P.O. Box 200
Downingtown,  Pa. 19335

Leubecker ,  Daniel W .
General  Engineer
Maritime Administration-Code  730.2
Department  of Commerce
Washington, D.C. 20230

Li ndsey , Alan M., P.E.
Coordinator,  Air &  Solid Waste
Environmental Quality
International Paper Co.
P.O. Box 16807
Mobile,  Alabama 36616

Marino ,  Al
Executive Officer
California  State Solid  Waste
Management  Board
1109 11th Street
Sacramento, California  95806

Martin ,  Charles
Grants Coordinator
D.C. Government
Department  of Environmental  Services
415 12th Street, N.W.
Washington, D.C. 20004

McBain, James A.
Executive Staff
Petroleum Refiners
1730 Pennsylvania Avenue, N.W.
Washington, D.C. 20006
McBride, Michael F.
Le Boeuf, Lamb, Leiby & MacRae
1757 N Street, N.W.
Washington, D.C. 20036

McCrary, Charles D.
Environmental  Licensing Engineer
Southern Company Services, Inc.
800 Shades Creek Parkway
P.O. Box 2625
Birmingham, Alabama 35202

McDonagh, John M.
Senior Business Analyst
Corporate Planning & Development
Stauffer Chemical Co.
Westport, CT 06880

McGrath , Edward J.
51 Monroe Street
Rockville, Maryland 20850

McHenry, Mary D.
Public Information RCRA
Maryland Water Resources Adm.
Tawes States Office Bldg.
Annapolis, Md.  21403

McLaurin, Craig R.
Supervisor, Legal Research
Aspen Systems  Corporation
20010 Century  Blvd.
Germantown, Md. 20767

McLeland , Le-Nhung
Research Assistant
Rubber Manufacturers Association
1901 Pennsylvania Avenue, N.W.
Washington, D.C. 20006

McManus , Frank
Editor & Publisher
Resource Recovery Report
1701 H Street,  N.W.
Washington, D.C. 20006

McMoran, Scott
Grants Policy Specialist
Environmental  Protection Agency
GAD- PM-216
401 M Street,  S.W.
Wasington, D.C. 20460

Michelsen, Donald L. ,Ph.D.
Virginia Polytechnic Institute and
State University
P.O. Box 17186
Wasington, D.C. 20041

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Mi ngst,  Barry C .
Nuclear  Engi neer
Nuclear  Regulatory Commission
Mail  Stop 604-SS
Washington, D.C.  20555

Moir, Robert S.
Supervisor, Rates and Transportation
Data  Section
American Cyanamid Co.
Wayne, New Jersey 07470

Honiut,  J.D.
Environmental  Engineer
U.S.  Steel Corp.
600 Grand Street
Pittsburgh, Pa. 15230

Monroe,  Anthony M.,  Captain
USA Environmental Hygiene Agency
USAEHA   SWMD
APG,
Washington, D ..C .  21010

Montorio, Lois
Legal Representative
American Paper Institute
1120  Connecticut  Avenue, N.W.
Washington, D.C.  20036

Morris,  Richard A.
EPA Solid Waste
Management Project
National Wildlife Federation
1412  16th Street  N.W.
Washington, D.C.  20036

Mullen,  Hugh
Director, Government Relations
IU Conversion Systems
3624  Market Street
Phila. ,  Pa. 19014

Mul1 on ,  Deborah
Administrative Assistant
The Society of the  Plastics Industry
1101  17th St. N.W.
Washington, D.C.  20036

Mulkey,  Charles E.
Environmental  Engineer
TVA
248 401   B-C, 4th &  Chestnut
Chattanooga, Tenn.  37401

Naidu, Janakivam  R.;
Ecologist
Brookhaven National  Laboratory
535 Safety & Environmental  Protection
Division
Upton, New York 11953
Norton , Lawrence
Manager, State Regulatory Affairs
NACA
115515th Street,  N.W.
Washington, D.C. 20005

Overby, Charles
OTA
U.S. Congress
Office of Technical  Assessment
Washington , D.C . 20510

Osborne , Wi1ey W.
Chief, Plans  & Programs Bureau
Division of SWM
Texas Department of Health
1100 W. 49th  Street
Austin Texas  78756

Ott, Reuben C.
Engineering Associate
E.I. DuPont De Nemours  & Co., Inc
Wilmington, DE 19898

Otto, Charles  J.
Manager, Agricultural Sales
Royer Foundry  & Machine Co,
158 Pringle Street
Kingston, Pa.  18704

Pase , James L ;
Chief of Planning
Delaware Solid Waste Authority
P.O. Box 981
Dover, DE 19901

Parker, Hampton M., Ph.D.
Technical Manager-Environmental
Affairs
Union Carbide  Corporation
Health, Safety and Environmental
Affairs Department
270 Park Avenue
New York, New  York 10017

Patton, Robert V.
Facilities Specialist
Defense Logistics  Agency
Cameron Station
Alexandria, Va. 22314

Pel 1i ssi er , Ri no L
Environmental  Engineer
FMC Corporation
Chemical Group Headquarters
2000 Market Street
Philadelphia,  Pa.  19103

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Wentworth, Marchant
Solid Waste Project
Environmental  Action Foundation
1346 Connecticut Avenue, N.W.
Washington, D.C. 20036

Willis, Durwood H.
Engineer, Industrial Programs
Commonwealth of Virginia
State Water Control Board
P.O. BOX 11143
Richmond, Va.  23230

Wimert, David  C.
Assistant for  Environmental
PT o g r a m s
American Chemical Society
1155 16th St,  N.W.
Washington, D.C. 20036

Wolper, Edward
Legal  Dept.-Counsel
Hercules Inc .
910 Market Street
Wilmington, Delaware 19899

Whitney, Scott C.
Professor of Law
College of William  and Mary
Wil1iamsburg ,  Va. 23185

Woolsey , John  L .
Research Chemist
International  Fabricare Inst.
12251  Technology Road
Silver Spring, Md.  20904
Young , Earle F.  Jr.
Director-Environmental Affairs
American Iron and Steel Institute
100 16th Street, N.W.
Washington, D.C. 20036

Young , James
A.M.S.A.
1015 18th Street, N.W.
Washington, D.C. 20036

Young, Willard
Manager of Environmental  Control
Texas-Eastern
Box 2521
Houston, Texas 77006

lack , Marie
Research Assistant
Energy 8 Environmental Analysis,  Inc,
1111 West 19th Street
Arlington, Va. 22209

Zi egler , George  A .
Manager, Gevernment  Relations
National Lime Association
5010 Wisconsin Avenue
Washington D.C.  20016
                      yo!668
                Shelf No. 673

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