«>EPA
United States
Environmental Protection
Agency
Office of
Water Enforcement Permits
Washington, DC 20460
September 1985
Water
RCRA Information
on Hazardous Wastes
for Publicly Owned
Treatment Works
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RCRA Information On Hazardous Wastes
For Publicly Owned Treatment Works
September 1985
U.S. Environmental Protection Agency
Office of Water Enforcement and Permits
401 M Street, SW
Washington, DC 20460
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Acknowledgement
This document was prepared under the guidance of EPA Headquarters, Office
of Water Enforcement and Permits, by Science Applications International
Corporation (SAIC), EPA Contract No. 68-01-7043, Work Assignment No. P-4.
Staff from the Office of Solid Waste provided valuable comments on earlier drafts
of this document. Comments from EPA Regional staff were also helpful. Special
appreciation is extended to the following individuals for their participation in the
document's preparation: Or. James 0. Gallup, Chief of the Municipal Programs Branch;
David Lee, Environmental Engineer; and Jessica Kaplan, Judith Mayer, and Susan
Rohland of SAIC.
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TABLE OF CONTENTS
Page
1. Introduction 1-1
1.1 Purpose of This Manual 1-1
1.2 Relationship of RCRA to Pretreatment 1-1
1.3 Organization of the Manual 1-4
2. RCRA Obligations for Generators and Transporters of
Hazardous Waste 2-1
2.1 Hazardous Waste Determination 2-2
2.2 RCRA Requirements for Hazardous Waste Generators 2-10
2.3 RCRA Requirements for Transporters of Hazardous Waste 2-18
3. POTW Authority to Regulate Toxic Waste Dischargers Under
the General Pretreatment Regulations 3-1
3.1 The National Pretreatment Program 3-1
3.2 Elements of a Local Pretreatment Program 3-3
3.3 Notification of Toxic Waste Dischargers by POTWs 3-3
3.4 Practical Guidelines for POTWs 3-5
4. RCRA Requirements for POTWs 4-1
4.1 Overview of POTW Requirements 4-1
4.2 Basic Requirements for POTWs with RCRA Permits by Rule 4-2
4.3 Corrective Action Requirements for POTWs with RCRA
Permits by Rule 4-4
4.4 Alternatives to Current Permits by Rule 4-5
APPENDICES
Appendix A: Regional and State Contacts
Appendix B: RCRA Information Brochure
Appendix C: EPA Listed Hazardous Waste
Appendix D: Notification of Hazardous Waste Activity (EPA Form 8700-12)
Appendix E: Uniform Hazardous Waste Manifest (EPA Forms 8700-22 and 8700-22A)
Appendix F: Generator Annual Report (EPA Form 8700-13)
Appendix G: Draft Letter to lUs
Appendix H: EPA Pamphlets on Small Quantity Generators
Appendix I: Biennial Hazardous Waste Report (EPA Form 8700-13B)
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LIST OF TABLES
Table Page
2.1 EP Toxicity Contaminants 2-8
3.1 Notification Checklist 3-8
LIST OF FIGURES
Figure Page
2.1 Hazardous Waste Identification Process 2-5
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1. INTRODUCTION
1.1 PURPOSE OF THIS MANUAL
This manual provides guidance to municipal personnel in understanding
hazardous waste requirements of the Resource Conservation and Recovery Act
(RCRA) and the implications of these RCRA requirements for the wastewater
treatment plant operated by your municipality, for your local pretreatment
program, and for local industries served by the treatment plant. This
guidance manual has three purposes.
First, the RCRA notification requirement specified in the General
Pretreatment Regulations is the manual's primary purpose. 40 CFR
403.8(f)(2)(iii) requires that publicly owned treatment works (commonly called
POTWs) notify their industrial users (lUs) "of applicable Pretreatment
Standards and any other applicable requirements under Section 204(b) and 405
of the Clean Water Act and Subtitles C and D of the Resource Conservation and
Recovery Act." The manual focuses on Subtitle C, rather than Subtitle D,
requirements. Subtitle C is directly applicable to industries since this
program regulates generators, transporters, and disposers of hazardous waste.
Subtitle D, on the other hand, focuses on nonhazardous solid waste management,
and regulates landfills of sewage sludge as well as land application and
storage lagoons for sludge and septage.
In order to fulfill the pretreatment IU notification provision, you must
be familiar with RCRA itself. The manual's second purpose, then, is to
provide you with a general understanding of how Federal RCRA requirements for
hazardous waste affect lUs. However, it may be possible that your municipal
treatment plant is subject to certain RCRA requirements (as will be explained
later). Thus, the manual's third purpose is to enable you to comply with any
applicable Federal requirements incumbent upon your POTW under Subtitle C of
RCRA.
1.2 RELATIONSHIP OF RCRA TO PRETREATMENT
To make best use of the manual, it is first helpful to explain the basic
operation of RCRA and the National Pretreatment Program and the ways in which
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hazardous waste management under RCRA and the regulation of indirect dis-
charges of toxic pollutants under the pretreatment program overlap. The
distinction between "hazardous" waste and "toxic" pollutants is also important
to clarify. RCRA regulates specific waste types as hazardous wastes if they
e/ither exhibit certain characteristics or are listed in the regulations, and
imposes controls to ensure that designated wastes are subject to rigorous
tracking and management practices. Included in the RCRA regulated community
are hazardous waste generators, transporters, and treatment, storage and
disposal facilities.
By contrast, the National Pretreatment Program, established under the
Clean Water Act, has a different focus. It requires POTWs or States to
control toxic pollutants discharged into sewerage systems that may interfere
with, pass through, or otherwise upset the POTWs treatment processes. These
toxic pollutants are identified in the Clean Water Act (Sections 301 and 307).
In some instances, the same pollutants are considered both toxic and hazardous
under the National Pretreatment Program and RCRA, respectively. To alleviate.
any confusion, this manual uses the term "hazardous" for those wastes which
are transported, treated, or stored, and which are defined in 40 CFR Part 261,
and "toxic" for those wastes discharged into POTWs and regulated under the
National Pretreatment Program.
The first overlap between RCRA and pretreatment, and central to the
manual's purpose, is that Ills regulated under the National Pretreatment
Program may also be hazardous waste generators under RCRA. In fact, many lUs
generate hazardous wastes in the course of pretreating wastewaters (e.g.,
electroplating wastewater treatment sludges are a listed hazardous waste).
Recognizing this fact, the General Pretreatment Regulations call on POTWs to
assist lUs with RCRA compliance by notifying them of applicable Subtitle C and
D requirements.
Second, under RCRA's Domestic Sewage Exemption (see Section 2.2.3 of this
manual), any waste generator or industry may discharge what would otherwise be
considered hazardous waste into the sewer if such discharges are mixed with
domestic sewage. With the RCRA amendments of November 1984, which will bring
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a larger universe of waste generators under regulation, it is possible that
the POTU may see an Increase in toxic wastes discharged into the sewer system
as more waste generators take advantage of this exemption. Thus, RCRA defers
to the Clean Water Act and pretreatment program regulation to make sure that
wastes released to POTWs under the Domestic Sewage Exemption are properly
managed. Clearly, the overlap caused by this exemption places a special
regulatory challenge on POTWs with pretreatment programs.
A third key overlap affecting municipalities is that POTWs themselves may
be regulated parties subject to RCRA requirements. A POTW that generates a
sludge which either fails the extraction procedure toxicity test or exhibits
one of three other characteristics (ignitability, corrosivity. or reactivity)
is considered a hazardous waste generator and must comply with RCRA regula-
tions. Section 2.1.1 explains these four criteria for determining hazardous
waste. POTWs which receive hazardous wastes by truck, rail, or separate pipe
(where hazardous waste is not mixed with domestic sewage) are considered
treatment, storage, and disposal facilities under RCRA and subject to permit-
by-rule requirements (see Section 4.2 of this manual). These three overlaps
between RCRA and pretreatment can directly affect how your municipality
regulates the discharge of toxic pollutants.
Although RCRA charges the Federal government with responsibility to
control hazardous wastes, States are authorized to take over program imple-
mentation if they have procedures and statutory and regulatory authority
equivalent to those required in Federal regulations. The RCRA program uses a
phased approach to delegate programmatic responsibilities to the States.
Under this approach, a State first obtains interim authorization (consisting
of two phases), and then final authorization. The RCRA program also gives
States a degree of flexibility in the way in which they run their hazardous
waste management programs. Since this manual addresses only requirements of
the Federal RCRA program, it is essential that you learn about all State (and
local) hazardous waste requirements that may affect the municipal treatment
plant's operation. Appendix A lists State solid waste agencies that can
provide you with information on hazardous waste management requirements in
your State.
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This manual gives you an understanding of the relevant provisions of both
RCRA and the General Pretreatment Regulations which affect you and practical
guidance on how you can inform industrial users of their RCRA obligations and
assist them in complying with these obligations. Still, due to the Act's
technical complexity, its staggered deadlines for program implementation and
compliance, and the possibility that your State hazardous waste management
program requirements differ from Federal regulations, some questions will
undoubtedly require additional assistance beyond this manual's scope.
Questions or problems not completely addressed here should be referred to your
State solid waste management office or to the appropriate EPA Regional office.
A list of these offices appears in Appendix A.
Further, the most recent amendments to RCRA (in November 1984) require
EPA to undertake studies of and develop regulations for various provisions of
the Act. For example, EPA is now reviewing the Domestic Sewage Exemption, and
it is possible that the exemption may be revised, based on this review. In
addition, EPA needs to develop regulations to implement the notification
requirement for industrial users specified in Section 3010 of RCRA (and
discussed briefly in Section 2.2.1 of this manual). Similarly, the Agency
will be drafting more specific permit-by-rule and corrective action require-
ments than those outlined in Chapter 4 of this manual. And finally, the
Agency is in the process of revising the extraction procedure toxicity test to
regulate a larger number of pollutants. These ongoing EPA activities make it
especially important that you keep in touch with the EPA Regional office in
your area or your State waste management agency.
1.3 ORGANIZATION OF THE MANUAL
The balance of this manual is organized into the three chapters.
Chapter 2 summarizes RCRA requirements for generators and transporters of
hazardous waste. Chapter 3 outlines POTW requirements under the General
Pretreatment Regulations and explains how POTWs must regulate discharges of
toxic pollutants by industrial users into the collection system. It also
provides guidance on how to inform Ills of their waste management requirements.
Chapter 4 describes POTW obligations under RCRA and focuses on POTWs that
accept hazardous wastes by truck, rail, or separate pipe. Chapter 4 also
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explains general hazardous waste management requirements for POTWs accepting
hazardous wastes under RCRA permits by rule.
The appendices contain materials that you can photocopy and use or
distribute to notify lUs and waste transporters of their RCRA obligations.
Specifically included are:
t Lists of hazardous wastes regulated by Federal requirements
• Selected EPA-approved forms for hazardous waste facilities to use
t RCRA Information Brochure briefly outlining the Act's impact on
industries that generate or transport hazardous wastes
• EPA pamphlets summarizing information for generators of small
quantities of hazardous waste.
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2. RCRA OBLIGATIONS FOR GENERATORS AND
TRANSPORTERS OF HAZARDOUS WASTE
Congress enacted the Resource Conservation and Recovery Act in 1976 (and
subsequently amended it in 1978, 1980, and 1984) to define a Federal role in
solid waste and resource management and recovery. The Act's primary goals
are: (1) to protect human health and the environment from hazardous and other
solid wastes; and (2) to protect and preserve natural resources through
programs of resource conservation and recovery. Its principal regulatory
focus is to control hazardous waste. To this end, RCRA mandates a compre-
hensive system to identify hazardous wastes and to trace and control their
movement from generation through transport, treatment, storage, and ultimate
disposal.
Extensive hazardous waste regulations have been promulgated under RCRA's
authority. These regulations are codified under 40 CFR Parts 260, 261» 262,
263, 264, 265, 266, and 270. Specifically, RCRA provisions are focused in the
following way:
0 Part 260: General
• Part 261: Hazardous waste identification and listing
• Part 262: Hazardous waste generators
• Part 263: Hazardous waste transporters
• Parts 264-265: Owners and operators of hazardous waste facilities
• Part 266: Special requirements
• Part 270: Hazardous waste permits.
The remainder of this -chapter provides an overview of hazardous waste require-
ments which may apply to IDs served by your POTW or to your POTW itself if it
produces a sludge that displays the hazardous waste characteristics described
in Section 2.1.1. It is designed to enable you to understand RCRA's general
provisions. Section 2.1 describes how generators of solid waste can determine
whether that waste is hazardous. Section 2.2 presents management requirements
under RCRA for hazardous waste generators. Requirements for hazardous waste
transporters are addressed in Section 2.3.
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Appendix B contains a brochure which condenses the information presented
in this chapter. For your convenience, the brochure has been designed.
especially to be photocopied and sent to your lUs, enabling you to satisfy the
RCRA notification requirement of the General Pretreatment Regulations.
2.1 HAZARDOUS WASTE DETERMINATION
As part of a comprehensive program to regulate hazardous wastes from
"cradle to grave," Section 3001 of RCRA directs EPA to establish ways to
determine what waste materials are considered hazardous for regulatory
purposes. The Section 3001 regulations are codified in 40 CFR Part 261. In
addition, 40 CFR Part 262 requires solid waste generators to determine whether
their wastes are hazardous.
If a business generates any material which is discarded or disposed of,
it must determine if that material is a "solid waste," according to the
regulatory definition. In January 1985, EPA proposed its final definition
of solid waste. According to this definition, "solid waste" is any material
that is abandoned or disposed of, burned, or incinerated — or stored,
treated, or accumulated before or in lieu of these activities. The term
includes essentially all forms of waste (i.e., solids, liquids, semisolids, or
contained gaseous substances).
In addition, most recycled materials are now considered solid wastes by
EPA, depending on both the recycling activity itself and the nature of the
recycled material. The following four types of recycling activities are
potentially subject to RCRA regulation:
• Uses which actually constitute ultimate disposal (for example, land
spreading of wastewater treatment sludges for fertilizer)
• Burning waste or waste fuels for energy recovery or using wastes to
produce a fuel
• Reclamation -- regeneration of wastes or the recovery of material from
wastes
• Speculative accumulation -- either accumulating wastes that are
potentially recyclable but for which no recycling (or no feasible
recycling) market exists, or accumulating wastes before recycling
unless 75 percent of the accumulated material is recycled during a
one-year period.
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Five categories of recycled (termed secondary) materials also fall under this
solid waste definition.
• Spent materials -- materials that have been used and no longer serve
the purpose for which they were originally produced without being
regenerated, reclaimed, or otherwise reprocessed. Examples include
spent solvents and spent acids.
• Sludges — residues from pollution control processes, such as
wastewater reatment sludges and air emission control wastes.
• By-products -- residual materials resulting from industrial,
commercial, mining, and agricultural operations that are not primary
products, are not produced separately, and are not fit for a desired
end use without substantial further processing. Examples are process
residues from manufacturing or mining processes, such as distillation
column residues or mining slags.
• Commercial chemical products ~ products listed in 40 CFR Part 261.33
when they are recycled in ways that differ from their normal use.
• Scrap metal — metal parts discarded after consumer use or that result
from metal processing operations. Examples include scrap automobiles
and scrap radiators.
Some materials, however, are NOT considered solid wastes under RCRA,
including domestic sewage or any mixture of domestic sewage and other wastes
that pass through a sewer system to a POTW. Also excluded are wastes regu-
lated under other Federal laws, such as industrial wastewater discharged
directly to public waters (which must be properly permitted) and many nuclear
or radioactive materials (regulated by the Department of Energy and/or the
Nuclear Regulatory Commission). Section 2.2.3 discusses three specific
situations in which wastes are exempted rrom RCRA requirements.
There are two ways to know if a waste is regulated as a hazardous waste
under Federal law:
• If it exhibits one or more of the following four characteristics -•
ignitability. corrosivity, reactivity, and toxicity (based on EPA
extraction procedures) -- it is considered a characteristic waste
under RCRA.
• If it (or any part of it) is listed in 40 CFR 261.31-261.33, it is
commonly called a listed waste in RCRA regulations. Appendix C
contains these listed wastes.
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Characteristic and listed wastes are described below. Figure 2.1 shows EPA's
hazardous waste identification process.
Whether a waste is regulated as a hazardous waste may also depend on two
other factors. First, as the 1984 RCRA amendments go into effect, some new
wastes that previously were not regulated will be subject to the hazardous
waste regulations. Second, some States apply their own hazardous waste
regulations to wastes in addition to those listed in Federal regulations.
Thus, if an industry is in doubt about whether its waste is regulated under
Federal or State hazardous waste regulations, it should contact the State
hazardous waste agency or EPA regional office.
2.1.1 Characteristic Wastes
EPA has identified four characteristics which cause a waste to be
regulated as a hazardous waste:
• Ignitability
t Corrosivity
• Reactivity
• Extraction procedure toxicity.
For each characteristic, EPA has developed or approved methods for determining
whether a waste is hazardous. A solid waste generator must determine whether
its waste exhibits any of these four characteristics if its waste is not a
listed waste (as described in Section 2.1.2 of this Chapter). A brief
description of each characteristic and applicable tests follows.
2.1.1.1 Ignitability
A waste is hazardous by virtue of being ignitable if it is:
• A liquid with a flash point less than 140°F (other than an aqueous
solution containing less than 24 percent alcohol by volume)
• Not a liquid, but is capable of causing fire through friction,
absorption of moisture, or spontaneous chemical changes under standard
temperature and pressure conditions
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CEEBBATOB OF A SOLID HASTE
iDurririts HASTI 01
OP HASTESTUAM
Listed
Hastes
Append!*
VIII
Appendix
VII
N)
Ln
HH from Nonspecific
Sources
Hazardous Constitu-
ents for Each Hsste-
stream are Listed in
Appendii VII
BU from Specific
Sources
Hazardous Constitu-
ents for Each Haste-
stream are Listed in
Appendix VII
Acute EV from
Production of Off-
spec or Discarded
Commercial
Chemicals
Tonic Haste fro»
Production of Off-
spec or Discarded
Commercial
Chemicals
Tes
ste
vastestre
rs on the List
(F.E.Porll)
•o
Generator Must Test Haste to
Determine if it Bears One or
More of the Characteristics
of Hazardous Haste
Generator Must notify EPA and
Comply with ICEA Section 3010and
40 CPE Parts 262-2*5 and 270
•See 40 CPE Part 261 Subpart C for specific test criteria to determine characteristics of hazardous waste.
Figure 2.1 Hazardous Waste Identification Process
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• An ignltable compressed gas
• An oxidizer.
If is has any of these characteristics, it is identified for regulatory
purposes as EPA hazardous waste number D001.
2.1.1.2 Corrosivity
A waste is hazardous by virtue of being corrosive if it is:
t An aqueous waste with pH less than or equal to 2.0 or greater than or
equal to 12.5
• A liquid which corrodes steel at a rate greater than 6.35 millimeters
per year at a temperature of 55°C.
If it is corrosive, it is identified for regulatory purposes as EPA hazardous
waste number D002.
2.1.1.3 Reactivity
A waste is hazardous by virtue of being reactive if it:
t Is normally unstable and readily undergoes violent change without
detonating
• Reacts violently with water
• Forms potentially explosive mixtures with water
t Generates toxic gases, vapors, or fumes when mixed with water.
If it is reactive, it is identified for regulatory purposes as EPA hazardous
waste number D003.
2.1.1.4 Extraction Procedure Toxicity
According to EPA regulation, a waste is hazardous by virtue of being EP
toxic if it "fails" the extraction procedure (EP) toxicity test. This
regulatory interpretation of fails means that when the combined liquid and
extract from a representative sample contains any of eight metals or six
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herbicides/pesticides at levels in excess of specified concentration values,
that sample has failed the EP toxicity test and is hazardous. Table 2.1 lists
the EP toxicity contaminants and their concentration values (set at 100 times
the maximum contaminant levels in regulations pursuant to the Federal Safe
Drinking Water Act for these fourteen contaminants). The EP toxicity test is
used to determine whether leachate from disposal of a particular waste will
pollute ground water to levels in excess of maximum concentration levels
established under the Act.
EPA is in the process of developing a new extraction procedure that will
cover significantly more pollutants, including toxic organic compounds. If
you are in doubt about whether your waste or sludge is considered EP toxic or
have questions regarding appropriate test procedures, contact your State
hazardous waste agency or EPA Regional office for more information.
2.1.2 Listed Wastes
A waste is regulated and must be managed as a hazardous waste if it
exhibits one or more of the hazardous waste characteristics of 40 CFR
261.21-261.24 or if it is listed in 40 CFR 261.31-261.33. EPA developed these
lists of hazardous wastes based on what was known about specific chemicals and
wastestreams. Whether or not a waste is hazardous according to the criteria
for characteristic wastes, if your waste appears on any of the lists, it is a
regulated hazardous waste. Thus, you must comply with the notification
requirement of RCRA Section 3010 and with the requirements in 40 CFR Parts
262-266 and 270. These regulations are described in Section 2.2 and 2.3 of
this manual.
Most listed wastes are considered toxic; however, some wastes appear on
a list solely because they exhibit one or more of the characteristics of
hazardous waste (described above in Section 2.1.1). A description of the
kinds of substances included in each list is presented below. Specific
substances on each list are shown in Appendix C of this manual. EPA has
proposed to add additional organic wastes and acute toxics to these lists.
Thus, the lists in Appendix C may be expanded in the near future.
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Table 2.1
EP Toxicity Contaminants
EPA Hazardous Maximum Concentration
Waste Number
D004
D005
0006
0007
0008
0009
0010
0011
0012
0013
0014
0015
0016
0017
Contaminant
Arsenic
Barium
Cadmium
Chromium
Lead
Mercury
Selenium
Silver
Endrin
Lindane
Methoxychl or
Toxaphene
2,4-0
2,4,5-TP (Silvex)
(mg/1)
5.0
100.0
1.0
5.0
5.0
0.2
1.0
5.0
0.02
0.4
10.0
0.5
10.0
1.0
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2.1.2.1 Hazardous Wastes from Nonspecific Sources (F-XXX)
All wastes listed in 40 CFR 261.31 (the "F" list) must be managed as
hazardous wastes. These wastes are generated by activities which are not
specific to a particular industry. For example, spent degreasing solvents are
listed as F wastes.
2.1.2.2 Hazardous Wastes from Specific Sources (K-XXX)
All wastes listed in 40 CFR 261.32 (the "K" list) must be managed as
hazardous wastes. These include wastes generated by a specific product
process by a particular industry, such as distillation bottoms from
nitrobenzene production by the nitration of benzene. Seventy-six hazardous
wastes from 12 industry categories are listed as K wastes in the current Code
of Federal Regulations; others have been promulgated since July 1984.
2.1.2.3 ACUTELY HAZARDOUS commercial chemical products, off-specification
species, container residues, and spill residues (P-XXX)
Any discarded chemicals included on the "P" list [40 CFR 261.33(e)] must
be handled as hazardous wastes. P wastes are acutely hazardous and include
discarded chemical products manufactured or formulated for commercial or
manufacturing use, and which consist of the commercially pure grade of the
chemical, any technical grades of the chemical that are produced or marketed,
and all formulations in which the chemical is the sole active ingredient. In
listing P wastes, EPA intends to include all acutely toxic chemical products
which are sometimes thrown away in pure or diluted form. Reasons for
discarding these materials might be that the materials do not meet required
specifications, that inventories have been changed, or that the product line
has been changed.
2.1.2.4 TOXIC commercial chemical products, off-specification species,
container residues, and spill residues (U-XXX)
Any discarded chemicals included on the "U" list [40 CFR 261.33(f)] must
be managed as hazardous wastes. Substances appear on the "U" list because
they either are chronically toxic or exhibit one or more of the
characteristics of hazardous waste (ignitability, corrosivity, reactivity, or
EP toxicity). U wastes include chemical products manufactured or formulated
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for commercial or manufacturing use, and which consist of the commercially
pure grade of the chemical, any technical grades of the chemical that are
produced or marketed, and all formulations in which the chemical is the sole
active ingredient.
If a waste does not appear on any of these lists, then the waste
generator must determine whether its waste exhibits one or more of the
characteristics of a hazardous waste, as described in Section 2.1.1.
2.2 RCRA REQUIREMENTS FOR HAZARDOUS WASTE GENERATORS
Section 3002 of RCRA gives EPA authority to regulate generators of
hazardous waste in order to protect human health and the environment. These
regulations, in 40 CFR Part 262, specify hazardous waste management procedures
for generators, including recordkeeping, labeling, use of appropriate con-
tainers, information reporting, and use of shipping manifests. Basic require-
ments for generators of hazardous waste are explained below.
These requirements for hazardous waste generators are also affected by
whether EPA considers that generator to be a "small quantity generator." As
of August 5, 1985, EPA distinguishes three classes of small quantity
generators for regulatory purposes:
0 Those generating between 100 and 1,000 kilograms of nonacutely
hazardous waste per calendar month
• Those generating up to 100 kilograms of nonacutely hazardous waste per
calendar month
• Those generating less than one kilogram of acutely hazardous waste per
calendar month.
In general, the latter two classes of small quantity generators are
subject to less stringent requirements than establishments producing large
quantities of hazardous waste. Section 2.2.3.3 discusses the small quantity
generator exclusion in more detail. If you have questions about how these
regulations apply to your operations, contact your State hazardous waste
agency or EPA Regional office.
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2.2.1 Notification to EPA
Any business that generates, transports, treats, stores, or disposes of
hazardous wastes (and is not exempt from regulation) must notify EPA or an
authorized State and obtain an identification number. Most small quantity
generators are not required to notify EPA. It is important to note that many
States have regulations that differ from Federal requirements. All businesses
involved in hazardous waste activities should contact their appropriate State
agency to determine which regulations are applicable to them.
The RCRA Amendments of 1984 extend notification requirements to "solid
and dissolved materials in domestic sewage" if they contain materials that
would be defined as "hazardous waste" were they not discharged to sewers.
Under this provision, lUs covered by the Domestic Sewage Exemption are
required to notify EPA of any hazardous wastewaters discharged to POTWs. How-
ever, EPA has yet to formally implement this expanded notification requirement
for industries making use of the domestic sewage exemption. lUs discharging
wastes to POTWs under the Domestic Sewage Exemption should periodically con-
tact their State or EPA Region to keep abreast of these impending notification
requirements. If EPA determines or agrees with an industry's argument that it
cannot conduct monitoring to satisfy this provision, EPA or an authorized
State can do the monitoring and pass along costs to the industry.
2.2.2 Waste Management, Shipping, and Manifest Requirements for Off-Site
Disposal of Hazardous Waste
If you generate, transport, treat, store, or dispose of any hazardous
wastes (and your waste activities are not exempt from regulation), you must
comply with applicable Federal, State, and local hazardous waste management
requirements, both when the waste remains on your premises and when it is
transported off-site. The following sections explain basic requirements for
the off-site disposal of hazardous wastes.
2.2.2.1 EPA Identification Number for Generator and Transporter
i
Most Federally regulated generators and transporters of hazardous waste
must have EPA identification numbers. An EPA identification number is
required prior to any transportation, treatment, storage, or disposal of
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hazardous waste. A regulated generator must not deliver hazardous waste to
any transporter or treatment, storage, and disposal facility without an.EPA
identification number. This number can be obtained by completing EPA Form
8700-12 and submitting it to the appropriate EPA Region or authorized State.
A copy of form 8700-12 is included in Appendix D.
2.2.2.2 Manifests
Generators of hazardous waste are required to prepare a manifest
containing the following information for each load of hazardous waste shipped
off-site:
• Generator name, address, telephone number and EPA identification
number
t Transporter name and EPA identification number
• Name, address, and EPA identification number of permitted facility
receiving waste
• Description of hazardous wastes transported
• Waste quantities, types, and number of containers
t Certification for proper packaging, marking, labeling and
transportation
• Waste minimization certification
t Manifest document number.
Special manifest requirements for small quantity generators are discussed in
Section 2.2.3.3.
The waste minimization certification is a new requirement which became
effective on September 1, 1985. Basically, the certification states that the
s
generator has a program in place to reduce the volume or quantity and toxicity
of such waste to the degree determined by the generator to be economically
practicable, and that the proposed method of treatment, storage, or disposal
is the practicable method currently available which minimizes the present and
future threat to human health and the environment. Any generator of more than
1,000 kilograms of hazardous waste per month must sign the certification by
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hand. Generators of hazardous waste in quantities below those specified in 40
CFR 261.5 are exempt from this certification requirement.
The Uniform Hazardous Waste Manifest is EPA Form 8700-22 and, if
necessary, 8700-22A. Copies of both forms appear in Appendix E. Some States
require that their own version of this form be used. Forms should be obtained
from:
• The State to which the shipment is transported (consignment State)
• The State in which the generator is located (generator State).
If neither the generator State nor the consignment State supplies the
manifest, the generator must then obtain a manifest form from any source.
Each manifest should include enough copies for the generator, each
transporter, and the designated facility receiving the waste, as well as a
copy to be returned to the generator. Upon delivery of waste to the trans-
porter, the generator should sign and date the manifest, have the transporter
sign the manifest, retain one copy, and provide the transporter with all
remaining copies. A generator who does not receive, within 35 days, a
manifest copy signed by the facility designated to receive the waste must
contact the transporter and designated facility to determine what happened to
the waste. A generator who has not received, within 45 days, a signed
manifest copy must submit an exception report to the EPA Region.
Before transporting any hazardous waste off-site, a generator must comply
with packaging, labeling, marking, and placarding requirements. RCRA pre-
transport requirements generally incorporate U.S. Department of Transportation
regulations, described in 49 CFR Parts 171-172.
2.2.2.3 Follow-up on Manifests
It Is the generator's responsibility to ensure that all waste shipped
off-site will be acceptable to the TSDF designated on the manifest. A copy of
the signed manifest must be returned by the TSDF to the generator so that the
final disposition of hazardous wastes can be traced at a later date. To make
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sure that wastes can be traced later, generators should follow up on each
waste shipment. Generators must keep a copy of each signed manifest for at
least three years, or until they receive a signed copy from the facility
designated to receive the wastes. Generators must then retain this signed
copy for at least three years.
Whenever deliveries to TSDFs do not match the information on the manifest
forms for any shipment or whenever the generator does not receive a returned
copy of the manifest from the designated TSDF, the generator should call
and/or write to the TSDF to check on whether the delivery was actually
received. If discrepancies cannot be resolved by phone or mail, the generator
should file an exception report with EPA or the authorized State hazardous
waste agency.
Generators must keep copies of exception reports for at least three
years. Generators must also keep records of any test results, waste analyses,
or other determinations made in accordance with 40 CFR 262.11 for at least
three years.
2.2.2.4 Biennial Report
Generators that ship their hazardous wastes off-site must prepare and
submit a report to the appropriate EPA Region by March 1 of each even-numbered
year. This report covers hazardous waste generator activities during the
previous odd-numbered calendar year and should be submitted on EPA Form
8700-13 (see Appendix F) or on a form specified by the State. EPA plans to
revise the form to add waste minimization information items. Some States
require annual reports. Generators must retain biennial reports for at least
three years after they are submitted to EPA.
2.2.3 Exceptions and Exemptions to RCRA Regulations for Generators
Wastes that are normally subject to hazardous waste regulations are
exempt in three specific circumstances:
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t Domestic sewage exemption
• On-site treatment exemption
• Small quantity generator exclusion.
Each is described below.
2.2.3.1 Domestic Sewage Exemption
Hazardous wastes that are discharged to a POTW and are mixed with
domestic sewage are excluded from RCRA control because they are not defined as
"solid waste." Thus, the domestic sewage exemption covers:
• "Untreated sanitary wastes that pass through a sewer system"
• Any mixture of domestic sewage and other wastes that passes through a
sewer system to a POTW for treatment.
2.2.3.2 Exemption for On-Site Treatment or Storage of Wastewaters
RCRA regulations contain an exemption for on-site treatment and storage
of wastewaters. RCRA regulations governing TSDFs and RCRA permitting
regulations contain provisions which exempt owners and operators of the
following types of facilities, based on definitions in 40 CFR 260.10:
• Wastewater Treatment Units - Devices which: (1) are part of a
wastewater treatment facility subject to regulation under Sections 307
or 402 of the Clean Water Act (i.e., direct dischargers of waste-
waters); (2) receive and treat or store hazardous influent wastewater;
and (3) meet the definition of a tank. EPA interprets the term
"wastewater" to refer to waste which is mostly water with a few
percent contaminants. A "tank" is a stationary device constructed
primarily of nonearthen materials (e.g., wood, concrete, steel,
plastic) which provide structural support. To determine if the unit
is a tank, the unit should be evaluated as if it were free standing,
and filled to its design capacity with material it is intended to
hold. If the walls or shell of the unit alone provide sufficient
structural support to maintain the structural integrity of the unit
under these conditions, the unit can be considered a tank. Accord-
ingly, if the unit is not capable of retaining its structural
integrity without supporting earthen materials, it must be considered
a surface impoundment.
0 Totally Enclosed Treatment Facilities - Facilities to treat hazardous
waste which are directly connected to an industrial production
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process, and constructed and operated in a manner which prevents the
release of any hazardous waste or any constituent thereof into the
environment during treatment. An EPA policy memorandum (July 27,
1981) states that "a totally enclosed treatment facility" must: (1)
be completely contained on all sides, (2) pose negligible potential
for escape of constituents to the environment, (3) be connnected
directly by pipeline or similar totally enclosed device to an indus-
trial production process. The memorandum also indicates that effluent
discharged to a POTW is exempt fron RCRA regulation. However, it is
subject to pretreatment regulations.
• Elementary Neutralization Units - Devices used for neutralizing waste
defined as hazardous solely because it is corrosive, and which meet
the definitions of tank, container, transport vehicle or vessel in 40
CFR 260.10.
These three definitions, but principally the definition of "wastewater
treatment unit," create a broad exemption applying to the treatment and
storage of wastewater. Taken together, the definitions of "wastewater
treatment unit" and the regulatory provisions exempting owners and operators
of wastewater treatment units from TSDF regulations can be construed to allow
storage of wastewater treatment sludge as long as the facility meets the 40
CFR 260.10 definition of "tank" and is part of a wastewater treatment facility
subject to regulations under Sections 402 or 307(b) of the Clean Water Act.
The treatment and storage exception cited above does not apply to any
on-site facility which does not qualify as a wastewater treatment unit, a
totally enclosed treatment facility, or an elementary neutralization unit.
Consequently, open storage facilities (e.g., waste piles or surface impound-
ments) and on-site disposal operations (e.g., landfills, land application, or
incineration) are governed by storage and disposal facility requirements and
RCRA permitting requirements.
Federal hazardous waste regulations clearly apply to both industrial and
POTW sludges, unless they are contained in a tank which is part of a waste-
water treatment unit [according to RCRA Sections 1004(26A) and (27) and EPA
regulatory decisions published in the Federal Register of May 19, 1980, Vol.
45, No. 98, p. 33101], Owners or operators of industries and POTWs that
generate, treat, or dispose of sludge that fits the regulatory definition of a
"solid waste" are obligated, under RCRA Subtitle C, to determine whether the
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sludge they generate is a hazardous waste. Definitions and procedures for
this determination are contained in RCRA Section 3001 and in 40 CFR 261, and
are summarized in Section 3.1 of this manual.
RCRA is designed to provide stringent regulations for open facilities,
such as surface impoundments, which are more likely to result in a release of
hazardous wastes, while providing somewhat more flexible regulation of
enclosed or semi-enclosed systems (e.g., treatment tanks, etc.) which tend to
pose less risk to the environment. The RCRA Amendments of 1984 strengthen
Federal regulatory authority over all of these systems. EPA is in the process
of revising regulations for these systems and developing corrective action
standards for the*.
EPA is also in the process of developing comprehensive sludge management
regulations based on Subtitles C and D of RCRA, the Clean Water Act, the
Marine Protection, Research, and Sanctuaries Act, and other Federal statutes.
These comprehensive regulations will be issued by the end of 1987. For the
most current information on sludge management regulations, contact your State
solid or hazardous waste management agency, or EPA Regional office.
2.2.3.3 Small Quantity Generator Exclusion
Currently, EPA does not regulate generators of small quantities of
hazardous waste as stringently as it regulates generators of larger quanti-
ties. This exclusion reduces the burden of paperwork on small quantity
generators, State hazardous waste agencies, and EPA. The Agency now divides
small quantity generators into three classes:
• Generators of less than one kilogram per month of acutely hazardous
waste
• Generators of less than 100 kilograms per month of nonacutely
hazardous waste
• Generators of between 100 and 1,000 kilograms per month of nonacutely
hazardous waste.
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The first two classes of hazardous waste generators are required only to
perform a hazardous waste determination (described in Section 2.1), store,
treat, or dispose of hazardous waste on-site in accordance with regulations,
or ensure its delivery to an authorized hazardous or nonhazardous treatment,
storage, or disposal facility.
The third class of generators, those who generate between 100 and 1,000
kilograms of hazardous waste per month, while still exempt from the bulk of
RCRA requirements, are now required to accompany all off-site shipments of
hazardous waste with a single copy of the Uniform Hazardous Waste Manifest
(EPA Forms 8700-22 and 8700-22 A) or the State equivalent. This form must
contain the following information:
• Name and address of the waste generator
• U.S. Department of Transportation description of the waste, including
shipping name, hazard class, and identification number (UN/NA)
• Number and type of containers
• Quantity of waste in the shipment
• Name and address of the facility designated to receive the waste.
Although EPA does not regulate small quantity/generators as stringently
as large quantity generators, several States have small quantity generator
requirements which are more stringent than Federal requirements. If you have
any questions about requirements for hazardous waste Management, contact your
State hazardous waste agency or EPA.
2.3 RCRA REQUIREMENTS FOR TRANSPORTERS OF HAZARDOUS WASTE
EPA, the U.S. Department of Transportation, and many States regulate
transportation of hazardous waste in order to protect human health and the
environment from hazardous waste releases. EPA's regulatory authority for
transporters is based on Section 3003 of RCRA. EPA and the Department of
Transportation have jointly set standards for hazardous waste transportation,
which are described in 40 CFR Parts 262 and 263, and 49 CFR Parts 171 and 172.
These standards include recordkeeping, labeling, and manifest requirements, as
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well as the requirement to transport hazardous wastes only to permitted
facilities for treatment, storage, or disposal, as designated on hazardous
waste shipping manifests. Hazardous waste transporters hauling wastes to POTH
collection systems or treatment plants mist ensure that these wastes meet all
local. State, and Federal pretreatment standards, in addition to RCRA
requirements.
2.3.1 Notification to EPA and EPA Identification Number
Transporters of hazardous waste must notify EPA or an authorized State
hazardous waste agency and obtain an EPA identification number. Transporters
must not move hazardous wastes without an EPA identification number. This
number can be obtained by completing EPA form 8700-12 (Appendix D) and
submitting it to the EPA Region or authorized State.
EPA Regional Offices have special procedures to issue provisional
identification numbers to generators and transporters of hazardous waste under
emergency or other unusual circumstances when it becomes necessary to trans-
port the waste to an authorized hazardous waste management facility. In
emergency situations, the transporter should telephone the EPA Regional Office
(refer to Appendix A) and obtain a provisional identification number and
additional instructions.
Transporters who store manifested shipments of hazardous waste in
approved containers at a transfer facility for ten days or less are not
subject to regulations for treatment, storage, and disposal facilities under
40 CFR Parts 264, 265, and 270. Transporters storing shipments for more than
ten days must obtain permits as hazardous waste storage facilities.
2.3.2 Manifests and Reports
Transporters may not accept hazardous waste from generators unless each
load is accompanied by a completed manifest (as described in Section 2.2.2.2
of this chapter). Prior to transporting hazardous wastes, transporters must
sign and date each manifest, acknowledging that they have accepted the
hazardous waste described by the manifest. A copy of each manifest must be
left with the consigning generator. The manifest must accompany the hazardous
waste at all times.
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Upon delivery of the hazardous waste to another transporter or designated
facility, transporters must:
• Have the new transporter or owner/operator of the designated facility
sign and date the manifest
• Retain one copy of the manifest and give the remaining copies to the
transporter or facility accepting the waste.
2.3.3 Transporter or Generator Agreements With Designated Facilities
In many cases, treatment, storage, and disposal facilities (including
POTWs) will accept deliveries of hazardous waste only if they have standing
agreements with transporters and/or generators. These agreements may
designate types, strengths, and quantities of hazardous waste which the
facility will accept, limit conditions of waste to be accepted (for example,
"no liquid hazardous wastes"), designate times and locations for accepting
deliveries, and designate treatment, storage, or disposal fees. Hazardous
waste transporters are legally responsible for delivery of the entire quantity
of hazardous waste accepted from a generator or another transporter to the
facility designated by the manifest, or to designated alternate facilites.
Before accepting any consignment of hazardous waste for transportation, the
transporter should make sure that the treatment, storage, or disposal facility
designated on the manifest or an alternate designated facility will accept
delivery of its waste.
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3. POTW AUTHORITY TO REGULATE TOXIC WASTE DISCHARGERS
UNDER THE GENERAL PR EIRE AT ME NT REGULATIONS
The General Pretreatment Regulations (40 CFR Part 403) require that
municipal treatment plants regulate nonresidential waste discharges into
public sewers. These Federal requirements provide the legal framework within
\
which your local pretreatment program can control discharges of toxic wastes.
Some of these wastes may also be affected by RCRA provisions. This chapter
details how the National Pretreatment Program can be used to control toxic
waste discharges and explains the RCRA notification provision of the General
Pretreatment Regulations.
3.1 THE NATIONAL PRETREATMENT PROGRAM
The goal of EPA's National Pretreatment Program is to protect POTWs and
the environment from the adverse impact that may occur when hazardous or toxic
wastes are discharged into a sewage system. This protection is achieved
primarily by regulating industrial users that discharge toxic wastes or
unusually strong conventional wastes. There are four major problems that can
be prevented through implementation of a local pretreatment program:
• Interference with POTW operations
• Pass through of pollutants to receiving waters
• Contamination of municipal sludge
• Exposure of workers to chemical hazards.
Under the National Pretreatment Program, there are three possible ways
for you to control toxic waste discharges:
• Implement prohibited discharge standards
t Enforce categorical pretreatment standards
• Require compliance with local limits.
Each type of control is summarized below.
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3.1.1 Prohibited Discharge Standards
Section 403.5(a) of the General Pretreatment Regulations gives POTWs the
authority to prohibit or limit discharges of any pollutant, including
hazardous wastes, which could pass through the treatment process into
receiving waters, interfere with treatment plant operations, or limit sludge
disposal options. This prohibition applies to substances which would cause
treatment process interference or pollutant pass through, either alone or in
combination with other discharges or constituents in the system. More
specifically. Section 403.5(b), the prohibited discharge standards, requires
the POTW to prohibit discharges of pollutants that:
• Create a fire or explosion hazard in the sewers or treatment works
• Are corrosive (with a pH lower than 5.0)
• Obstruct flow in the sewer system or interfere with POTW operations
• Upset treatment processes or cause a violation of the POTWs discharge
permit
« Increase the temperature of wastewater entering the treatment plant to
above 104°F (40°C).
These provisions allow your POTW to regulate or prohibit discharges of many
wastes that are ignitable, corrosive, reactive, or EP-toxic and termed
"characteristic" wastes under RCRA. (Characteristic wastes were described in
greater detail in Chapter 2.)
3.1.2 Categorical Pretreatment Standards
To complement the prohibited discharge standards which apply to all
industrial and commercial establishments connected to POTWs, the General
Pretreatment Regulations also establish categorical pretreatment standards.
Categorical standards regulate industrial discharges in specific industrial
categories determined to be the most significant sources of toxic pollutants
to POTWs. Each standard contains limits for pollutants commonly discharged by
a specific industrial category. These standards are technology-based;
pollutant limits specified in the standards apply at the end of the regulated
manufacturing process. All firms falling within particular category are
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required to comply with applicable standards, no matter where they are located
in the country. To date, EPA has proposed 27 specific categorical standards
of which 22 standards are final. Many industries regulated by categorical
pretreatment standards generate hazardous wastes regulated by RCRA as well.
3.1.3 Local Limits
The General Pretreatment Regulations give POTWs the responsibility to
develop, implement, and enforce local limits. Local limits are developed to
prevent interference, pass through, and sludge contamination. POTWs must
establish and enforce local effluent limits if:
• A categorical industry discharges pollutants harmful to the treatment
system and EPA has not yet promulgated categorical standards for that
industry
• Categorical standards are not sufficient to protect treatment plant
operations
• The POTW considers them necessary to protect its operational
integrity.
Local limits are a third way in which hazardous waste dischargers can be
regulated under your pretreatment program.
3.2 ELEMENTS OF A LOCAL PRETREATMENT PROGRAM
A local pretreatment program blends legal authority, technical informa-
tion, and administrative procedures to effectively control nondomestic dis-
charges to the POTW, including toxic wastes and wastes discharged under the
Domestic Sewage Exemption. Legal authority means that the POTW is able to
apply and enforce Federal pretreatment requirements and any other State or
local regulations to control industrial users. Permits or contracts are
commonly used to implement a POTW's legal authority. Technical information
consists of the data obtained by the POTW to identify and characterize
nondomestic discharges to its treatment system. These data are used to
establish local effluent limits that protect the treatment plant's operation,
its receiving water quality* and its sludge quality.
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The third element of a local pretreatment program is its administrative
procedures. According to 40 CFR 403.8(f)(2), the POTW must establish
procedures to:
• Notify industrial users of applicable standards and requirements
• Receive and analyze self-monitoring reports and other notices from
industrial users
• Randomly sample and analyze industrial effluents
• Investigate instances of noncompliance
• Comply with public participation requirements.
Section 403.8(f)(2)(iii) states that the POTW shall notify industrial users of
applicable pretreatment requirements and other applicable requirements under
both Sections 204(b) and 405 of the Clean Water Act and Subtitles C and D of
the Resource Conservation and Recovery Act.
3.3 NOTIFICATION OF TOXIC WASTE DISCHARGERS BY POTWS
The requirement that POTWs notify their industrial users of applicable
provisions under Subtitles C and D of RCRA ensures that those users that
produce hazardous wastes are informed of their hazardous waste management
obligations under Federal law. Although these users may discharge toxic
substances into the public sewers and thereby be exempt from certain RCRA
requirements, the same wastes disposed of by other means may be subject to
Subtitles C and D requirements. Firms in this situation may not be aware of
their RCRA requirements.
Further, under the 1984 RCRA Amendments, any industry that generates more
than 100 kilograms (about half of a 55 gallon drum) of hazardous waste per
month will soon be subject to RCRA regulations as a hazardous waste generator.
As a result of these recent amendments, the number of businesses subject to
RCRA regulations will increase from about 15,000 to roughly about 175,000.
Many of these hazardous waste generators may not be aware of what these
requirements entail. Since most local hazardous waste generators are also
customers of your POTW, your notification that they may be subject to State
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and Federal hazardous waste regulations will greatly assist them in complying
with such regulations.
If industries and other toxic waste generators are not adequately
informed about RCRA and State waste management regulations, they may not
understand these regulations because of their complexity. They may take
advantage of RCRA's domestic sewage exemption and discharge additional toxic
wastes to your POTW. Therefore, it is important for your users to understand
how hazardous waste management regulations affect them.
3.4 PRACTICAL GUIDELINES FOR POTWS
This section suggests steps that your staff may wish to take in order to
notify IDs of applicable RCRA requirements. Each POTW has its own ways of
classifying nondomestic users and its own ways of communicating with them.
Thus, these suggested steps are general in nature and you should feel free to
modify them to meet your POTW's unique conditions.
3.4.1 How to Inform Ills
If you want to make sure that your users know about local, State, and
Federal hazardous waste management regulations, here are some possible steps
POTW staff can take.
3.4.1.1 Contact Your State or Local Hazardous Haste Agency
As a first step, you can contact the agency administering RCRA plus any
other State hazardous waste regulations about special State requirements for
hazardous waste generators, storage facilities, and transporters in the area
served by your POTW. A list of the appropriate State agencies is contained in
Appendix A of this manual. POTWs located in States or territories without
authorized hazardous waste programs should contact the waste management
division at the appropriate EPA Region. States will often have information
packets containing State hazardous waste management requirements, like the
Federal RCRA regulations, which they can send to you. By contacting your
State or EPA Regional waste management division, you may also be able to
obtain a list of local industries that generate, handle, or dispose of
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hazardous waste. Such a list will be very helpful since it identifies those
industries subject to RCRA requirements.
3.4.1.2 Review List of POTH Industrial Users
Your next step is to review the original list of lUs compiled as part of
your industrial waste survey for the pretreatment program. Because some
industries which might not be classified as lUs under your pretreatment
program discharge substances regulated by RCRA, it is important to go back to
the original list of industries possibly subject to pretreatment requirements,
rather than using a list representing pretreatment industries only. For
example, commercial establishments, warehouses, railroad yards, auto repair
shops, and radiator shops may not be covered by your local pretreatment
program, but can generate, handle, or transport hazardous wastes, and thus
should be notified about applicable RCRA provisions.
From the original IU list, you can determine which industries may be
subject to RCRA requirements. To make this determination, you may have to
call local industries or otherwise determine precisely what processes they
operate. Alternatively, you may want to develop a simple questionnaire to
send to these industrial and commercial facilities that will enable you to
determine which generate, handle, and transport hazardous waste. Your efforts
in this step should result in a list of industries potentially regulated by
RCRA.
3.4.1.3 Notify Your Industrial Users
Notification of your IDs may take several forms. At a minimum, you may
simply wish to send a letter with the sewer service bill stating that the IU
may be subject to hazardous waste requirements under RCRA Subtitles C and D.
A copy of such a letter can be seen in Appendix G. If you want to send more
detailed information, Appendix B of this manual may be copied and mailed to
local industries. In addition, two pamphlets describing small quantity
hazardous waste generators are available from EPA Headquarters. A copy of
each appears in Appendix H. These pamphlets as well could be sent to your
lUs.
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To supplement this written material, you may wish to schedule an informa
tional meeting with representatives of industrial users so that Federal and
State hazardous waste requirements can be explained to your customers. A
representative of EPA or the State could speak at this meeting and inform ILJs
of relevant RCRA or State hazardous waste regulations.
3.4.2 Checklist for Notification of Industrial Users
The checklist in Table 3.1 is provided to assist you in taking necessary
steps to notify your industrial users of their hazardous waste management
requirements under Federal, State, and local regulations. Some items may not
apply to your particular situation and the checklist can be modified
accordingly.
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Table 3.1 Notification Checklist
Check when
done, if
Task applicable
1. Determine whether your State has been authorized to
administer hazardous waste regulations required under
RCRA. (Call appropriate EPA Region, if necessary.)
2. Determine whether any local jurisdictions served by
your POTW have additional regulations for hazardous
waste generators and transporters.
3. Contact State (and local, if applicable) hazardous
waste regulatory authorities to clarify any variations
on Federal RCRA regulations that apply in your POTW's
service area.
4. Review State and local hazardous waste management
regulations received from State and local authorities,
or EPA Region.
5. Modify forms in appendices of this manual to reflect
State requirements or obtain examples of State forms
to use or revise.
6. Compile a list of industrial users which may be
subject to local, State, and Federal pretreatment
requi rements.
7. Add any other users suspected of discharging
hazardous/toxic substances to the POTW, if desired.
8. To provide basic information on RCRA applicability,
send some form of short notice to all industrial
users on the list described in 7 and 8, above.
9. To provide additional information, send notification
packets described in Chapter 3 to all users on the
second list.
10. Follow up with informational meetings on hazardous
waste regulations, if desired.
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4. RCRA REQUIREMENTS FOR POTWs
4.1 OVERVIEW OF POTW REQUIREMENTS
ALL POTWS THAT RECEIVE HAZARDOUS WASTE BY TRUCK, RAIL, OR PIPE (WHEN THE
HASTE IS NOT NIXED WITH DOMESTIC SEWAGE) ARE SUBJECT TO SOME RCRA HAZARDOUS
WASTE MANAGEMENT REQUIREMENTS because EPA considers these POTWs to be TSDFs.
The first step to ascertain if your POTW is a hazardous waste TSDF is to
determine whether or not your facility receives, by truck, train, or dedicated
pipe, wastes defined as hazardous under RCRA (see Chapter 2 for information on
hazardous waste definitions). If a generator discharges hazardous wastes to
your POTW through a pipe that does not carry domestic sewage and does not mix
with domestic sewage before the treatment plant headworks, then the domestic
sewage exemption does not apply. In this situation, your POTW becomes a
hazardous waste TSDF. Check with your State hazardous waste authority or EPA
to determine your plant's situation.
In general, POTWs that receive hazardous waste and that comply with
their NPDES permits are covered by "permits by rule," according to 40 CFR
270.60(c). Section 4.2 describes permit-by-rule requirements.
If your POTW does not receive hazardous waste (according to the
definitions of hazardous waste in Chapter 2 of this manual), then it is not a
TSDF and does not need to comply with RCRA hazardous waste treatment
regulations. If your POTW only receives substances described in Section 2.1
through a sewer or mixed with domestic sewage, then it is not a TSDF and does
not need to comply with many RCRA regulations.
Some POTWs receiving these wastes only through sewers or mixed with
domestic sewage still generate sludge which States or EPA may regulate as a
characteristic hazardous waste. Although sludge from most POTWs is not a
hazardous waste, States do regulate the disposal of POTW sludge with high
concentrations of certain toxic constituents as hazardous waste. Since State
hazardous waste program requirements may be more stringent than Federal
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regulations, you should check with your State discharge permitting authority
or your State solid waste authority to find out how management of your POTW's
sludge is regulated. In some areas, storage and disposal of sludge with high
metal or other toxicant content is regulated in the same way as would be any
other hazardous waste.
4.2 BASIC REQUIREMENTS FOR POTWS WITH RCRA PERMITS BY RULE
A POTW that receives hazardous wastes and is subject to a permit by rule
must comply with the requirements described below, according to 40 CFR
270.60(c).
1. The POTW owner or operator must have a NPDES penrit, issued by EPA or
a delegated State.
2. The POTW Must comply with the conditions of its NPDES permit or State
discharge permit.
3. The hazardous waste received by the POTW must meet all Federal,
State, and local pretreatment requirements which would apply to the
waste if it were discharged into the POTW through a sewer. This
means that POTWs under RCRA permits by rule may only accept types of
waste or waste with pollutant concentrations that would be permis-
sible under the General Pretreatment Regulations, including pro-
hibited discharge standards, categorical standards (if the waste is
from a categorical industry) and/or local limits. Wastes that are
prohibited by any pretreatment standard may not be transported or
discharged to the POTW treatment plant or collection system.
Industrial monitoring criteria for sewered wastes regulated by the
pretreatment program also may apply to hazardous wastes transported
by truck, train, or separate pipe to the POTW treatment plant or
collection system.
4. The POTW must apply for and obtain an EPA hazardous waste facility
identification number from the appropriate State or EPA Region Waste
Management Division.
5. The POTW operator must use the hazardous waste manifest system for
recordkeeping and reporting by TSDFs, as described in 40 CFR 264.71.
According to these regulations, operators of POTWs receiving
hazardous waste must fill out the TSDF portions of the EPA/U.S.
Department of Transportation uniform manifest form or the equivalent
State form.
Any delivery of hazardous waste to the POTW treatment plant or
collection system by truck or rail must be accompanied by a hazardous
waste manifest form. The POTW operator accepting the hazardous waste
delivery should make sure that the generators' and transporters'
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sections of all manifest forms are properly filled out. The POTW
operator should complete the treatment/storage/disposal sections of
the manifests, and do the following things:
• Sign and date each copy of the manifest, certifying that the POTW
received the hazardous waste covered by the manifest.
• Note all significant discrepancies in the manifest on each copy of
the manifest. Significant discrepancies include differences
between the amount or type of hazardous waste described on the
manifest and the amount or type of waste the POTW actually
received. A significant difference is greater than 10 percent by
weight for bulk waste, or any difference in the number, size, or
total volume of containers for batch waste. Discrepancies in type
can be discovered by quick inspection or by waste analysis. They
include instances such as the substitution of a solvent for an
acid, or the presence of toxic constituents not reported on the
manifest. It is not necessary for the operator to analyze the
waste before signing the manifest. The operator must report
unexplained discrepancies later, however.
• Immediately give the transporter at least one copy of the signed
manifest.
§ Send a copy of each signed manifest to the generator named on the
manifest, within 30 days after delivery.
t File a copy of each manifest at the treatment facility and retain
these manifests for at least three years from their delivery
dates.
• The POTW operator should not accept hazardous waste delivered by
train or boat unless the waste description and quantity sections
of the manifest or shipping paper have been properly filled out.
If the manifest or shipping paper does not have the necessary EPA
hazardous waste generator and transporter numbers, generator's
certification, and signatures, the POTW operator must still fill
out the TSDF sections of the manifest or shipping paper, and
immediately give the train or boat transporter at least one copy.
If the POTW operator does not receive a complete copy of the
manifest within 30 days, the operator should send a signed and
dated copy of the shipping paper back to the generator to certify
that the POTW received the waste. The POTW should not accept
hazardous waste deliveries from generators of greater than 100
kilograms but less than 1000 kilograms (during one calendar month)
without an accompanying manifest.
6. If the POTW operator accepts hazardous waste without a manifest or
shipping paper, the operator must send a report to the authorized
State agency or EPA Regional Waste Management Division. The report
must be sent within 15 days after the waste is received.
4-3
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7. The POTM operator must keep a written operating record at the
facility. This information must be recorded as it becomes available
and maintained in the facility's permanent operating record.
Generally, the records necessary to comply with NPDES permits also
fulfill many RCRA requirements. Operators must also record the
following information:
• A description of the quantity of each hazardous waste received
t Method(s) and date(s) of its treatment, storage or disposal
including sludge disposal.
8. The POTV owner or operator must submit a report to the authorized
State agency or EPA Region Haste Management Division by March 1 of
each even-numbered year. One copy of this biennial report must be
submitted on EPA form 8700-13B or State equivalent. A copy of EPA
form 8700-13B is included in Appendix I of this booklet. The report
must cover treatment plant activities during the previous odd-
numbered calendar year and must include:
• POTW's EPA hazardous waste identification number and facility
address
• Calendar year covered by the report
• EPA hazardous waste identification number for each hazardous waste
generator from which hazardous waste was received
• Descriptions and quantities of each hazardous waste received
during the year, listed by each generator's EPA identification
number
• Method of treatment or storage for each hazardous waste, if there
is any variation in these at the POTW
• Signature/certification of the POTW owner or operator.
4.3 CORRECTIVE ACTION REQUIREMENTS FOR POTWS WITH RCRA PERMITS BY RULE
*** NOTICE ***
All RCRA permits issued to TSDFs after November 8, 1984 must require
corrective action for all releases of hazardous waste or constituents to any
environmental media from solid waste management units regardless of when the
hazardous waste was accepted. EPA is currently developing a regulatory
strategy for POTWs affected by this provision (those that accept hazardous
waste by truck, rail, or dedicated pipe). POTWs and lUs that discharge
hazardous wastes to POTWs are advised to contact appropriate State or EPA
hazardous waste officials to stay abreast of new developments in this area.
4-4
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4.4 ALTERNATIVES TO CURRENT PERMITS BY RULE
There are three alternatives open to POTWs accepting hazardous waste not
covered by the domestic sewage exemption, by truck or train, under the new
RCRA requirements:
• The POTU «ay choose to no longer accept delivery of any hazardous
waste, by truck, train, or separate pipe, separate from domestic
sewage
• The POTU nay obtain a regular RCRA peralt as a treatment, storage, or
disposal facility
• At a later date, EPA expects to establish a regulatory scheae that «ay
provide for POTW corrective action requirements in a national RCRA
penrit by rule.
You may wish to weigh the advantages of each option according to the situation
of your own POTW.
4-5
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Appendix A
Regional end Staff Contact*
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REGIONAL ORGANIZATION AND STAFF
(August 1985)
Region Regional Administrator
Division Director
(RCRA) Branch Chief
(RCRA) Enforcement Contact
I Michael R. Del and
John F. Kennedy Bldg.
Boston, MA 02203
FTS 8-223-7210
(617) 223-7210
II Christopher J. Daggett
(2RA RM 900)
26 Federal Plaza
New York, NY 10278
FTS 8-264-2525
(212) 264-2525
III James M. Seif (3RAOO)
841 Chestnut Street
Philadelphia, PA 19107
FTS 8-597-9814
(215) 597-9814
IV Jack E. Ravan
345 Courtland St., N.E.
Atlanta, GA 30365
FTS 8-257-4727
(404) 881-4727
/ Valdas V. Adamkus
230 So. Dearborn St.
Chicago, IL 60604
(5RA14)
FTS 8-353-2000
(312) 353-2000
Merrill S. Hohman
Waste Management
Division
FTS 8-223-5186
(617) 223-5186
Conrad Simon
(2AWM-SW RM 1000)
Air and Waste Management
Division
FTS 8-264-2302
(212) 264-2302
Stephen R. Wassersug
Hazardous Waste Management
Division (3HWOO)
FTS 8-597-8131
(215) 597-8131
Tom Devine
Waste Management Division
FTS 8-257-3454
(404) 882-3454
Bill Constantelos
Waste Management Division
(5H13)
FTS 8-886-7579
(312) 886-7579
Dennis Huebner
State Waste Program
Branch
FTS 8-223-6883
(617) 223-6883
Rich Walka
(2AWM-SW RM 905)
Solid Waste Branch
FTS 8-264-0504/5
(212) 264-0504/5
Robert Allen
Waste Management
Branch (3HW30)
FTS 8-597-0980
(215) 597-0980
James H. Scarbrough
Residuals Management
Branch
FTS 8-257-4298
(404) 881-3016
Karl J. Klepitsch
Solid Waste Branch
(5HS13)
FTS 8-886-7435
(312) 886-7435
Gerald Levy, Chief
Compliance Monitoring
and Enforcement Section
FTS 8-223-1591
(617) 223-2591
Stan Siegel
(2AWM-SW RM 905)
Compliance and Enforcement
FTS 8-264-9638
(212) 264-9638
Bruce Smith, Chief
Hazardous Waste
Enforcement Branch (3HW10)
FTS 8-597-1720
(215) 597-1720
Allan Antley, Chief
Waste Compliance Section
FTS 8-257-4298
(404) 881-3016
Bill Miner, Chief
Hazardous Waste
Enforcement Branch
(5HE13)
FTS 8-886-4658
(312) 886-4658
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Region Regional Administrator
Division Director
(RCRA) Branch Chief
(RCRA) Enforcement Contact
VI Dick Whittington, PE
1201 Elm Street (6RA)
InterFirst Two Bldg.
Dallas, TX 75270
FTS 8-729-2600
(214) 767-2600
VII Morris Kay
726 Minnesota Avenue
Kansas City, KS 66101
FTS 8-757-2800
VIII John Welles
1860 Lincoln Street
Denver, CO 80295
FTS 8-564-1603
(303) 293-1603
IX Judith Ayres
215 Fremont Street
San Francisco, CA 94150
FTS 8-454-8153
(415) 974-8153
X Ernesta B. Barnes
1200 6th Avenue
Seattle, WA 98101
(mail stop 601)
FTS 8-399-5810
(206) 442-5810
Allyn M. Davis
Air and Hazardous Materials
Division (6AW)
FTS 8-729-2730
(214) 767-2730
Dav,id Wagoner
Waste Management Division
FTS 8-758-6529
(816) 374-6529
Robert L. Duprey
Waste Management Division
FTS 8-564-1719
(303) 293-1719
Harry Seraydarian
Toxics and Waste Management
Division (T-l)
FTS 8-454-7460
F(415) 974-7460
Charles Findley
Hazardous Waste Division
(mail stop 529)
FTS 8-399-1352
(206) 442-1352
William Rhea
Hazardous Materials
Branch (6AW-H)
FTS 8-729-2645
(214) 767-
Mike Sanderson
RCRA Branch
FTS 8-758-5082
(816) 247-5082
Louis W. Johnson
Waste Management Branch
FTS 8-564-1519
(303) 293-1519
Philip Bobel
RCRA Programs
Branch (T-2)
FTS 8-454-8119
(415) 974-8119
Kenneth D. Feigner
Waste Management Branch
(mail stop 533)
FTS 8-399-2782
(206) 442-2782
Bill Taylor, Chief
Enforcement Section
(6AW-HE)
Hazardous Materials Branch
FTS 8-729-9730
(214) 767-9730
Mike Sanderson,
Acting Chief
Compliance Section
(816) 374-5082
Diana Shannon, Chief
RCRA Compliance Section
FTS 8-564-1500
(303) 293-1500
Paul Blais, Chief (T-2-3)
RCRA Enforcement Section
RCRA Programs Branch
FTS 8-454-8129
(415) 974-8119
Chuck Rir^, Chief
RCRA Con,, liance Section
(mail stop 533)
FTS 8-399-2808
(206) 442-2808
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STATE SOLID AND HAZARDOUS WASTE AGENCIES
(August 1985)
ALABAMA
Daniel E. Cooper, Director
Land Division
Alabama Dept. of Environmental
Management
1751 Federal Drive
Montgomery, Alabama 36130
(205) 271-7730
ALASKA
Stan Hungerford
Air and Solid Waste Management
Dept. of Environmental. Conservation
Pouch 0
Juneau, Alaska 99811
(907) 465-2635
AMERICAN SAMOA
Pati Faiai, Executive Secretary
Environmental Quality Commission
American Samoa Government
Pago Pago, American Samoa 96799
Overseas Operator
(Commercial Call 633-4116)
Randy Morris, Deputy Director
Department of Public Works
Pago Pago, American Samoa 96799
ARIZONA
Sally Mapes, Acting Manager
Compliance Section
Department of Health Services
2005 North Central
Third Floor
Phoenix, Arizona 85004
(602) 257-2209
ARKANSAS
Vincent Blubaugh, Chief
Solid and Hazardous Waste Div.
Department of Pollution Control
and Ecology
P.O. Box 9583
8001 National Drive
Little Rock, Arkansas 72209
(501) 562-7444, ex. 504
CALIFORNIA
Joel Moskowitz, Deputy Director
Toxic Substance Control Program
Department of Health Services
714 P Street, Room 1253
Sacramento, California 95814
(916) 322-7202
Michael Compos, Executive Director
State Water Resources Control Board
P.O. Box 100
Sacramento, California 95801
(916) 445-1553
COLORADO
Keneth Waesche, Director
Waste Management Division
Colorado Department of Health
4210 E. llth Ave.
Denver, Colorado 80220
(303) 320-8333
Orville Stoddard, Deputy Director
Waste Management Division
Colorado Department of Health
4210 East llth Ave.
Denver, Colorado 80220
(303) 320-8333
A-3
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FLORIDA
ILLINOIS
Robert W. McVety
Environmental Administrator
Solid Waste Section
Florida Department of Environmental
Regulation
Twin Towers Office Building, Rm 421
2600 Blair Stone Road
Tallahassee, Florida 32301
(904) 488-0300
GEORGIA
John D. Taylor, Chief
Land Protection Branch
Environmental Protection Division
Georgia Department of Natural Resources
270 Washington Street, S.W., Rm 824
Atlanta, Georgia 30334
(404) 656-2833
HAWAII
Melvin Koizumi, Deputy Director
Environmental Health Division
Department of Health
P.O. Box 3378
Honolulu, Hawaii 96801
California FTS Operator 8-556-0220
(808) 548-4139
IDAHO
Steve Provant, Supervisor
Hazardous Materials Bureau
Department of Health and Welfare
State House
Boise, Idaho 83720
(208) 334-2293
Robert Kuykendall, Manager
Division of Land Pollution Control
Environmental Protection Agency
2200 Churchill Rd. Room A-104
Springfield, Illinois 62706
(217) 782-6760
William Child, Deputy Manager
Division of Land Pollution Control
Environmental Protection Agency
2200 Churchill Rd. Room A-104
Springfield, Illinois 62706
(217) 782-6760
INDIANA
David Lamm, Director,
Land Pollution Control Division
State Board of Health
1330 West Michigan Street
Indianapolis, Indiana 46206
(317) 243-5010
IOWA
Ronald Kolpa
Hazardous Waste Program Coordinator
Dept. of Water, Air and Waste Mgmt.
Henry A. Wallace Building
900 East Grand
Des Moines, Iowa 50319
(515) 281-8925
KANSAS
Dennis Murphey, Manager
Bureau of Waste Management
Dept. of Health and Environment
Forbes Field, Building 321
Topkea, Kansas 66620
(913) 862-9360
A-4
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KENTUCKY
MONTANA
J. Alex Barber, Director
Division of Waste Management
Dept. of Environmental Protection
Cabinet for Natural Resources and
Environmental Protection
18 Reilly Rd.
Frankfort, Kentucky 40601
(502) 564-6716
LOUISIANA
Gerald J. Healy, Administrator
Solid Waste Management Division
Dept. of Environmental Quality
P.O. Box 44307
Baton Rouge, Louisiana 70804
(504) 342-1216
Duane L. Robertson, Chief
Solid Waste Management Bureau
Dept. of Health and Environmental
Sciences
Cogswell Bldg.
Helena, Montana 59602
(406) 444-2821
NEBRASKA
Mike Steffensmeier, Acting Chief
Hazardous Waste Management Section
Dept. of Environmental Control
State House Station
P.O. Box 94877
Lincoln, Nebraska 68509
(402) 471-2186
Glenn Miller
Solid Waste Management Division
Dept. of Environmental Quality
P.O. Box 44307
Baton Rouge, Louisiana 70804
(504) 342-1227
MISSISSIPPI
Jack M. McMillan, Director
Division of Solid and Hazardous
Waste Management
Bureau of Pollution Control
Department of Natural Resources
P.O. Box 10385
Jackson, Mississippi 39209
(601) 961-5062
MISSOURI
Dave Bedan, Director
Waste Management Program
Department of Natural Resources
117 East Dunalin Street
P.O. Box 1368
Jefferson City, MO 65102
(314) 751-3241
NEVADA
Verne Rosse
Waste Management Program Director
Division of Environmental Protection
Dept. of Conservation and
Natural Resources
Capitol Complex
201 South Fall Street
Carson City, Nevada 89710
(702) 885-4670
NEW HAMPSHIRE
Dr. Brian Strohm, Assistant Director
Division of Public Health Services
Office of Waste Management
Director of Health and Welfare
Health and Welfare Building
Hazen Drive
Concord, New Hampshire 03301
(603) 271-4608
NEW JERSEY
Dr. Marwan Sadat, Director
Division of Waste Management
Department of Environmental Protection
32 E. Hanover Street, CN-027
Trenton, New Jersey 08625
(609) 292-1250
A-5
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NEW MEXICO
SOUTH DAKOTA
Tony Drypolcher, Chief
Ground Water and Hazardous Waste Bureau
Environmetnal Improvement Division
N.M. Health and Environmental Dept.
P.O. Box 968
Santa Fe, New Mexico 87504-0968
(505) 984-0020, ext. 272
Peter Pache, Program Manager
Hazardous Waste Section
Ground Water and Hazardous Waste Bureau
Environmental Improvement Division
N.M. Health and Environmental Dept.
P.O. Box 968
Santa Fe, New Mexico 87504-0968
(505) 984-0020, ext. 340
Joel C. Smith, Administrator
Office of Air Quality and Solid Waste
Dept. of Water and Natural Resources
Joe Foss Building
Pierre, South Dakota 57501
(605) 773-3329
TENNESSEE
Tom Tiesler, Director
Division of Solid Waste Management
Bureau of Environmental Services
Tennessee Department of Public Health
150 9th Ave., North
Nashville, Tennessee 37203
(615) 741-3424
NORTH CAROLINA
O.W. Strickland, Head
Solid and Hazardous Waste
Management Branch
Environmental Health Section
Department of Human Section
Division of Health Services
306 North Wilmington Street
P.O. Box 2091
Raleigh, North Carolina 27602-2091
(919) 733-2178
RHODE ISLAND
John S. Quinn, Jr., Chief
Solid Waste Management Program
Dept. of Environmental Management
204 Cannon Building
75 Davis Street
Providence, Rhode Island 02908
(401) 277-2797
SOUTH CAROLINA
Robert E. Mai pass, Chief
Bureau of Solid and Hazardous Waste
Management
S.C. Dept. of Health and
Environmental Control
2600 Bull Street
Columbia, South Carolina 29201
(803) 758-5681
TEXAS
Jack Carmichael, Chief
Bureau of Solid Waste Management
Texas Department of Health
1100 West 49th Street, T-602
Austin, Texas 78756
(512) 458-7271
Jay Snow, Chief
Solid Waste Section
Texas Department of Health
1700 North Congress, Room 237-1
P.O. Box 13087, Capitol Station
Austin, Texas 78711
(512) 475-2041
UTAH
Dale Parker, Director
Bureau of Solid and Hazardous
Waste Management
Department of Health
P.O. Box 2500
150 West North Temple
Salt Lake City, Utah 84110
(801) 533-4145
A-6
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VERMONT
Richard A. Valentinetti, Director
Air and Solid Waste Programs
Agency of Environmental Conservation
State Office Building
P.O. Box 489
Montpelier, Vermont 05602
(802) 828-3395
VIRGIN ISLANDS
Robert V. Eepoel, Director
Hazardous Waste Program
Division of Natural Resources
Department of Conservation and
Cultural Affairs
P.O. Box 4340, Charlotte Amalie
St. Thomas, Virgin Islands 00801
D.C. Overseas Operator 472-6620
(809) 774-6420
A-7
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Appendix B
RCRA Information Brochure
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To assemble this brochure, copy both sides of the
four pages which comprise it. By stapling the middle
of all pages together, you will have a brochure of roughly
4 inches by 5 inches. By completing the address spaces
on the front, the brochure can be sent out.
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RCRA
Information Brochure
-------
HCRA INFORMATIOff BROCHURE
This brochure is designed to give you an understanding of the
Resource Conservation and Recovery Act (RCRA) and how the Act
affects you as an Industry that generates or transports
"hazardous" wastes. The brochure's Intent Is to provide you
with basic guidance about applicable RCRA provisions. How-
ever, due to the Act's technical complexity. Us staggered
deadline for program implementation and compliance, and the
potential for your State hazardous waste management program
requirements to differ fro* Federal regulations, questions
will undoubtedly arise that require assistance beyond the
brochure's scope. Questions or problems not completely
addressed here should be referred to your State solid waste
management office or the appropriate EPA Regional office.
Congress enacted the Resource Conservation and Recovery Act in 1976 (and
subsequently amended It in 1978, 1980, and 1984) to define a Federal role in
solid waste and resource management and recovery. The Act's primary goals
are: (1) to protect human health and the environment from hazardous and other
solid wastes; and (2) to protect and preserve natural resources through
programs of resource conservation and recovery. Its principal regulatory
focus is to control hazardous waste. To this end, RCRA mandates a comprehen-
sive system to Identify hazardous Hastes and to trace and control their move-
ment from generation through transport, treatment, storage, and ultimate
disposal.
Extensive hazardous waste regulations have been promulgated under RCRA'5
authority. These regulations are codified under 40 CFR Parts 260, 261, 262,
263, 264, 265, 266, and 270. Specifically, RCRA provisions are focused 1n the
following way:
• Part 260: General
• Part 261: Hazardous waste identification and listing
• Part 262: Hazardous waste generators
• Part 263: Hazardous waste transporters
• Parts 264-265: Owners and operators of hazardous waste facilities
• Part 266; Special requirements
• Part 270: Hazardous waste permits.
This brochure briefly outlines 40 CFR Parts 261, 262, and 263.
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HOW TO DETERMINE IF YOUR WASTE IS HAZARDOUS
As part of a comprehensive program to regulate hazardous wastes from
"cradle to grave. Section 3001 of RCRA directs EPA to establish ways to
determine what waste materials are considered hazardous for regulatory
purposes. The Section 3001 regulations are codified in 40 CFR Part 261. In
addition, 40 CFR Part 262 requires solid waste generators to determine whether
their wastes are hazardous.
If your business generates any material which is discarded or disposed
of, you must determine if that material is a "solid waste," according to the
regulatory definition. In January 1985, EPA proposed its final definition of
solid waste. According to this definition, 'solid waste* Is any material that
is abandoned or being disposed of, burned, or Incinerated — or stored,
treated, or accumulated before or in lieu of these activities. The term
includes essentially all forms of waste (I.e., solids, liquids, sem1sol1ds, or
contained gaseous substances).
In addition, most recycled materials are now considered solid wastes by
EPA. depending on both the recycling activity Itself and the nature of the
recycled material. The following four types of recycling activities are
potentially subject to RCRA regulation:
• Uses which actually constitute ultimate disposal (for example, land
spreading of wastewater treatment sludges for fertilizer)
• Burning waste or waste fuels for energy recovery or using wastes to
produce a fuel
• Reclamation -- regeneration of wastes or the recovery of material from
wastes
• Speculative accumulation — either accumulating wastes that are
potentially recyclable but for which no recycling (or no feasible
recycling) market exists, or accumulating wastes before recycling
unless 75 percent of the accumulated material is recycled during a
one-year period.
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to transport the waste to an authorized hazardous waste management facility.
In emergency situations, the transporters should telephone the EPA Regional
Office and obtain a provisional identification number and additional
instructions.
Hanlfests and Reports
Transporters may not accept hazardous waste from generators unless each
load is accompanied by a completed manifest. The manifest must accompany the
hazardous waste at all times. Upon delivery of the hazardous waste to another
transporter or designated facility, transporters must:
t Have the new transporter or owner/operator of the designated facility
sign and date the manifest
• Retain one copy of the manifest and give the remaining copies to the
transporter or facility accepting the waste.
Transporter or Generator Agreements With Designated Facilities
In many cases, treatment, storage, and disposal facilities (Including
POTHs) will accept deliveries of hazardous waste only if they have agreements
with transporters and/or generators. These agreements may designate types,
strengths, and quantities of hazardous waste which the facility will accept,
limit conditions of waste to be accepted (for example, "no liquid hazardous
wastes"), designate times and locations for accepting deliveries, and desig-
nate treatment, storage, or disposal fees. Hazardous waste transporters are
legally responsible for delivery of the entire quantity of hazardous waste
accepted from a generator or another transporter to the facility designated by
the manifest, or to designated alternate facllites. Before accepting any
consignment of hazardous waste for transportation, you should make sure that
the treatment, storage, or disposal facility designated on the manifest or an
alternate designated facility will accept delivery of your waste.
10
Five categories of recycled (termed secondary) materials also fall under this
solid waste definition:
• Spent materials -- materials that have been used and no longer serve
the purpose for which they were originally produced without being
regenerated, reclaimed, or otherwise reprocessed. Examples include
spent solvents and spent acids.
• Sludges -- residues from pollution control processes, such as
wastewater treatment sludges and air emission control wastes.
• By-products -- residual materials resulting from industrial,
commercial, mining, and agricultural operations that are not primary
products, are not produced separately, and are not fit for a desired
end use without substantial further processing. Examples are process
residues from manufacturing or mining processes, such as distillation,
column residues or mining slags.
e Commercial chemical products — products listed in 40 CFR Part 261.33
when they are recycled in ways that differ from their normal use.
• Scrap metal -- metal parts discarded after consumer use or that result
from metal processing operations. Examples include scrap automobiles
and scrap radiators.
Some materials, however, are NOT considered solid wastes under RCRA,
including domestic sewage or any mixture of domestic sewage and other wastes
that pass through a sewer system to a POTH. Also excluded are wastes regu-
lated under other Federal laws, such as industrial wastewater discharged
directly to public waters (which must be properly permitted) and many nuclear
or radioactive materials (regulated by the Department of Energy and/or the
Nuclear Regulatory Commission).
There are two ways to know if your waste 1s regulated as a hazardous
waste under Federal law:
If It exhibits one or more of the following four characteristics --
ignitabillty, corrosivity, reactivity, and toxicity (based on EPA
extraction procedures) -- it 1s considered a characteristic waste
under RCRA.
If It (or any part of it) Is listed in 40 CFR 261.31-261.33, it is
commonly called a listed waste In RCRA regulations. EPA developed
these lists of hazardous wastes based on what was known about specific
chemicals and wastestreams. Whether or not a waste is hazardous
-------
according to the characteristic wastes criteria, if your firm's waste
appears on any of the lists, it is considered a listed hazardous
waste. Thus, your firm must comply with the notification requirement
of RCRA Section 3010 and with the requirements outlined in 40 CFR
262-266 and 270-271 (described below). Most listed substances a^e
considered toxic; however, some wastes or substances appear on the
list solely because they exhibit one or more of the characteristics of
hazardous waste.
Whether a waste is regulated as a hazardous waste may also depend on two
other factors. First, as 1984 RCRA amendments go into effect, some new wastes
that previously were not regulated will come under hazardous waste regula-
tions. Second, some States apply their own hazardous waste regulations to
wastes in addition to those listed in Federal regulations. Thus, 1f you ire
In doubt about Hhether your waste is regulated under Federal or State hazar-
dous waste regulations, your should contact the State hazardous waste agency
or EPA Regional office.
RCRA REQUIREMENTS APPLICABLE IF YOUR INDUSTRY GENERATES HAZARDOUS WASTE
Section 3002 of RCRA gives EPA authority to regulate generators of
hazardous waste in order to protect human health and the environment. These
regulations, in 40 CFR 262, specify hazardous waste management procedures for
generators, including recordkeeping, labeling, use of appropriate containers,
information reporting, and use of shipping manifests. Basic requirements for
generators of hazardous waste are explained below.
These requirements for hazardous waste generators are also affected by
whether EPA considers your facility to be a "small quantity generator." As of
August 5, 1985, EPA distinguishes three classes of small quantity generators
for regulatory purposes:
• Those generating between 100 and 1,000 kilograms of nonacutely
hazardous waste per calendar month
• Those generating up to 100 kilograms of nonacutely hazardous waste per
calendar month
• Those generating less than one kilogram of acutely hazardous waste per
calendar month.
- Name and address of the waste generator
- U.S. Department of Transportation description of the waste,
including shipping name, hazard class, and identification number
(UN/NA)
- Number and type of containers
- Quantity of waste in the shipment
- Name and address of the facility designated to receive the waste.
Although EPA does not regulate small quantity generators as
stringently as large quantity generators, several States have small
quantity generator requirements which are more stringent than Federal
requirements. Thus. If you have any questions about requirements for
hazardous waste Mnageaent. you should contact the State hazardous
waste agency or EPA.
RCRA REQUIREMENTS APPLICABLE IF YOUR INDUSTRY TRANSPORTS HAZARDOUS WASTE
EPA, the U.S. Department of Transportation, and many States regulate
transportation of hazardous waste in order to protect human health and the
environment from hazardous waste releases. EPA's regulatory authority for
transporters is based on Section 3003 of RCRA. EPA and the Department of
Transportation have jointly set standards for hazardous waste transportation,
which are described in 40 CFR Parts 262 and 263, and 49 CFR Parts 171 and 172.
These standards include recordkeeping, labeling, and manifest requirements, as
well as the requirement to transport hazardous wastes only to permitted
facilities for treatment, as designated on hazardous waste shipping manifests.
Hazardous waste transporters hauling wastes to POTW collection systems or
treatment plants must ensure that these wastes meet all local, State, and
Federal pretreatment standards, in addition to RCRA requirements.
Notification to EPA and EPA Identification Number
If your firm transports hazardous waste, you must notify EPA or an
authorized State hazardous waste agency and obtain an EPA Identification
nurter. Transporters must not move hazardous wastes without an EPA Iden-
tification number. EPA Regional Offices have special procedures to Issue
provisional Identification numbers to generators and transporters of hazardous
waste under emergency or other unusual circumstances when It becomes necessary
-------
meets th« definitions of tank, container, transport vehicle or
In 40 CF» 260.10,
The treatment ami storage exception cited above does not apply to any
on-lite facility which does not qualify as a wastewater treatment
unit, a totally enclosed treatment facility, or an elementary
neutralization unit. Consequently, open storage facilities (e.g.,
waste pile* or surface impawirtmetrts) and em-sit* disposal operations
(e.g., landfills, land application, or Incineration) are governed by
storage and disposal facility requirements and BC«A permitting
BCBA is designed to provide stringent regulations for open facilities,
such «s surface Impoundments, which are More likely to result 1n a
release of hazardous wastes, while providing somewhat more flexible
regulation of enclosed or semi-enclosed systems (e-g-« treatment
tanks, etc.) which tend to pose less risk to the environment. The
RCBA Amendments of 1984 strengthen Federal regulatory authority over
all of these systems. EPA Is in the process of revising regulations
for these system and developing standards for corrective action for
th«m. For MMW complete and current Information, you should contact
your State hazardous wast* agency or EPA Region,
Snail Quantity generator Exclusion. EPA does not currently regulate
generators of small quantities of hazardous waste as stringently as It
regulates generators of larger quantities. SMll quantity generators
are ex**pt fro* notification, generator, transporter, TSOF, and ROtA
permitting requirements. The Agency now divides small quantity
generators into three classes:
- Generators of less than one kilogram per month of acutely hazardous
waste
- Generators of less than 100 kilograms per month of nonacutely
hazardous waste
- Generators of between 100 and 1,000 kilograms per month of
nonacutely hazardous waste.
The first two classes of hazardous waste generators are required only
to perform a hazardous waste determination, store, treat, or dispose
of hazardous waste on~s1t« In accordance with regulations, or ensure
Its delivery to an authorized hazardous or nonhazardous treatment,
storage, or disposal facility,
The third class of generators, those who generate between 100 and
1,000 kilogram* of hazardous waste per month, while still exempt from
the bulk of RCRA requirements, are now required to accompany all
off-site shipments of hazardous waste with a single copy of the
Uniform Hazardous Haste Kanlfest (EPA Forms 8700-22 and 8700-22 A) or
the State equivalent. This form must contain the following
Information:
In general, the latter two classes of small quantity generators are
subject to less stringent requirements than establishments producing large
quantities of hazardous waste. The small quantity generator exclusion Is
discussed In more detail below. If you have questions aJ»ut how these
regulations apply, contact your State hazardous taste agency or EPA Regional
office.
Notify EPA
If your facility generates, transports, treats, stores, or disposes of
hazardous wastes and is not exempt from regulation, you must notify EPA or an
authorized State and obtain an Identification number. Most small quantity
generators are not required to notify EPA, It is important to note that many
States have regulations that differ from Federal requirements. If your
business is involved In hazardous waste activities, you should contact the
appropriate State agency to determine which regulations are applicable to you.
The BCRA Amendments of 1984 extend notification requirements to
Industries covered by the Domestic Sewage Exemption, that is industries which
discharge "solid and dissolved materials in domestic sewage" that would be
defined as "hazardous waste" were they not mixed with domestic sewage and
discharged to sewers. EPA has yet to formally implement this expanded
notification requirement. If yom fall under this exemption, you should
periodically contact your State or EPA Region to ke«p abreast of these
impending notification requirements.
Off-Site Disposal of Hazardous Hastes
If you generate, transport, treat, store or dispose of any hazardous
wastes (and your waste activities are not exempt from regulation), you Must
comply with applicable Federal, State, and local hazardous waste management
requirements, both when the waste remains on your premise and when it is
transported off-site. Basic requirements for the off-site disposal of
hazardous wastes Include:
-------
• Obtain EPA Identification Number -- Host Federally regulated
g*nenton and transporters of hazardous waste Bust have EPA
Identification numbers. An EPA identification number is required
prior to any transportation, treatment, storage, or disposal of
hazardous waste. A generator must not deliver hazardous waste to any
transporter or TSDF without an EPA identification number.
* Complete Manifests -- Generators of hazardous waste are required to
prepare a manifest containing the following information for each load
of hazardous waste transported:
- Generator name, address, telephone number and EPA identification
number
- Transporter name and EPA identification number
- Name, address, and EPA identification number of permitted
facilities receiving waste
- Description of hazardous wastes transported
- Waste quantities, types and number of containers
- Certification for proper packaging, marking, labeling and
transportation
- Waste minimization certification
- Manifest document number.
Upon delivery of waste to the transporter, the generator
should sign and date the manifest, have the transporter sign
the manifest, retain one copy, and provide the transporter
with all remaining copies. A generator who does not receive,
within 35 days, a manifest copy signed by the facility
designated to receive the waste must contact the transporter
or designated facility to detenaine what happened to the
waste. A generator wno has not received, within 45 days, a
signed manifest copy must submit an exception report to the
EPA Region.
It is important to remember that, before transporting any hazardous
waste off-site, » generator must comply with packaging, labeling,
narking, and placarding requirements. RCRA pretransport requirements
generally Incorporate U.S. Departnent of Transportation regulations,
described In 49 CFR Parts 171-172. In addition, all generators Bust
keep records of any test results, waste analyses, or other
determinations made 1n accordance with 40 CFR Part 262.11 for at
least three years.
Prepare Biennial Report -- Generators that ship hazardous wastes
off-site must prepare and submit a report to the appropriate EPA
Region by March 1 of each even-numbered year. This report covers
hazardous waste generator activities during the previous odd-numbered
calendar year. Some States require annual reports.
Exceptions and Exemptions to RCRA Regulations for Generators
If the wastes your business generates would normally be subject to
hazardous waste regulations, they may be exempt in three specific
circumstances:
• Domestic Sewage Exemption. In order to regulate hazardous waste
generators under 40 CFR 261.4(a), materials which would normally be
subject to hazardous waste regulations are exempt because they are not
defined as "solid waste." Thus, the domestic sewage exception covers:
- "Untreated sanitary wastes that pass through a sewer system"
- Any mixture of domestic sewage and other wastes that passes through
a sewer system to a POTH for treatment.
* On-s1te Treatment or Disposal Exemption. RCRA regulations contain a
broad exemption for the on-s1te treatment and storage of wastewaters,
including the following types of facilities:
- Wastewater Treatment Units -- Devices which: (1) are part of a
wastewater treatment facility subject to regulation under Sections
307 or 402 of the Clean Water Act (I.e., direct dischargers of
wastewaters); (2) receive and treat or store hazardous influent
wastewater, or generate and accumulate a hazardous wastewater
treatment sludge, or treat or store hazardous wastewater treatment
sludge; and (3) meet the EPA definition of a tank.
- Totally Enclosed Treatment Facilities — Facilities to treat
hazardous waste which are directly connected to an Industrial
production process, and constructed and operated in a manner which
prevents the release of any hazardous waste or any constituent
thereof Into the environment during treatment. EPA states that "a
totally enclosed treatment facility" must: (1) be completely
contained on all' sides, (2) pose negligible potential for escape of
constituents to the environment, (3) be connected directly by
pipeline or similarly totally enclosed device to an industrial
production process. The Agency also Indicates that effluent
discharged to a POT* Is exeapt fro* RCRA regulation. However, it
is subject to pretreataent regulations.
- Elementary neutralization Units — Devices used for neutralizing
waste defined as hazardous solely because It is corrosive and which
-------
Appendix C
EPA Listed Hazardous Waste
-------
HAZARDOUS WASTE FROM NONSPECIFIC SOURCES (F LIST)
40 CFR PART 261.31
Hazardous waste u
hazardous wast* No. Mazaroout wast* Hazard code
3«n
F001 T"6 '°Howmg spent haksgenated Solents used m degreaung: tetrachloroerhylene. tnchloroemylene. methylene chloride 1 1 unchtoroeth- (T)
ane- cart*10 letrachtonde. and ehlormated fkjorocarbons: and sludges from the recovery of these solvents m degreasing operations
FOOZ _ The tallowing spent halogenated solvents: telrachtoroethylene. methylene chionde. tnchloroethylene. 1.1,1-tnchioroethane chlorobenzene m
1.1.2-tncnloro-1.2.2-tnfluoroetnane, ortno-dehJorobeiuene, and tnchhxofluoromethane; and the still bottoms from the recovery at these
solvents.
F003 The toltowmg spent non-halogentted solvent*: xylerw. acetone, ethyl acetate, ethyl benzene, ethyl ether, methyl 1sobutyl ketone n-butyl (I)
^^ alcohol cyctonexanone. and methanol; and the still bottoms from the recovery of these solvents.
F004 The following spent non-ftalogenated solvents: cresols and cresylic and and nitrobenzene; and the still bottomt from the recovery of. these (T)
F005 _ The following spent noivhatogenated solvents: toluene, methyl ethyl ketone. carbon disulfide. isobutanol. and pyndine: and the still bottoms (I, T)
from the recovery of these solvents.
F006 -. Wastewater treatment sludges from electroplating operations except from the following processes: (1) sulfuric acid anodizing of aluminum; (T)
(2) tin plating on carbon steel: (3) zinc plating (segregated basis) on carbon steel: (4) aluminum or zinc-aluminum plating on carbon steel;
(5) cleaning/stripping associated with tin, zinc and aluminum plating on carbon steel; and (6) chemical etching and milling of aluminum.
F019 „ - Wastewater treatment sludges from the chemical conversion coating of aluminum (T)
F007 Spent Cyanide plating bath solutions from electroplating operations. (R. T)
FO08 Plating sludges from the bottom of plating baths from electroplating operations where cyanides are used m the process (R. T)
FOC9 Spent slipping and cleaning bath solutions from electroplating operations where cyanides are used in the process. (R. T)
FO10 Quenching bath residues from oil baths from metal heat treating operations where cyanides are used in the process. (R. T)
FO11 Spent cyanide solutions from salt bath pot cleaning from metal heat treating operations. (R. T)
F012 Quenching wastewater treatment sludges from metal heat treating operations where cyanides are used in the process. (T)
FO24 Wastes, including, but not limited to, distillation residues, heavy ends, tars, and reactor cleanout wastes from the production of (T)
chlorinated aliphatic hydrocarbons, having carbon content from one to five, utilizing free radical catalyzed processes. [This listing
does not include light ends, spent filters and filter aids, spent dessicants, wastewater. wastewater treatment sludges, spent
catalysts, and wastes listed in §261.32].
F020 Wastes (except wastewater and spent carbon from hydrogen chloride purification) from the production or manufacturing use (as a (H)
reactant. chemical intermediate, or component in a formulating process) of m- or tetrachlorophenol, or of intermediates used to
produce their pesticide derivatives. (This listing does not include wastes from the production of Hexachlorophena
from highly purified 2.4.5-trichlorophenol.).
FO21 Wastes (except wastewater and spent carbon from hydrogen chloride purification) from the production or manufacturing use (as a (H)
reactant. chemical intermediate, or component in a formulating process) of pentachlorophenol, or of intermediates used to
produce its derivatives.
FO22 Wastes (except wastewater and spent carbon from hydrogen chloride purification) from the manufacturing use (as a reactant. (H)
chemical intermediate, or component in a formulating process) of tetra-. penta-. or hexachlorobenzenes under
alkaline conditions.
FO23 Wastes (except wastewater and spent carbon from hydrogen chloride purification) from the production of materials on equipment (H)
previously used for the production or manufacturing use (as a reactant, chemical intermediate, or component in a formulating
process) of tn- and tetrachlorophenols. (This listing does not include wastes from equipment used only for the production or use of
Hexachlorophene from highly purified 2.4,5-trichkjrophenol.).
FO26 Wastes (except wastewater and spent carbon from hydrogen chloride purification) from the production of materials on equipment (H)
previously used for the manufacturing use (as a reactant, chemical intermediate, or component in a formulating process)
of tetra-, penta-. or nexachlorobenzene under alkaline conditions.
FO27 Discarded unused formulations containing tri-, tetra- or pentachlorophenol or discarded unused formulation containing compounds (H)
derived from these chlorophenols. (This listing does not include formulations containing Hexachlorophene synthesized from
prepurified 2.4.5-tricnlorophenol as the sole component.).
F028 Residues resulting from the incineration or thermal treatment of soil contaminated with EPA Hazardous Waste Nos. F020. FO21, (T)
F022, F023. FO26. and FO27.
[261.31 amended by 45 FR 47833. July 16. 1980. revised by 45 FR 74890, November 12, 1980. 46 FR 4617. January 16. 1981. 46 FR
27476, May 20, 1981. 49 FR 5312. February 10, 1984; 50 FR 661. January 4, 1985. 50 FR 1999. January 14. 1985]
C-l
-------
HAZARDOUS WASTE FROM SPECIFIC SOURCES (K LIST)
40 CFR PART 261.32
industry and EPA Hazardous waste Hwtrdcodt
hazardous waste No.
n'all0n. .......................... Bottom segment sludge from the treatment of wastewatefs from wood preserving processes that use creosote and/or penlachloropherwl.... (T)
K002 .............. . ........................ Wastewaler treatment sludge from the production of chrome yellow and orange pigments [[[ (T)
K003 ..*.." .................................. Wastewater treatment sludge Irom the production ol molybdate orange pigments [[[ (T)
K004 ".'".'".'". ............................... Wastewater treatment sludge Ircm (he production of zinc yellow pigments [[[ (T)
K005 -. Waslewater treatment sludge from the production of chrome green pigments [[[ (T)
K00fl ....................................... Wastewater treatment sludge from the production o( chrome oxide green pigments (anhydrous and hydrated) [[[ (T)
K007 .......................................... Wastewater treatment sludge Irom the production of iron blue pigments [[[ (T)
K008 .......................................... Oven residue from the production ol chrome oxide green pigments [[[ (T)
Organ* Chemicals:
K009 .......................................... OsMlation bottoms Irom the production of acetaldehyde from ethytene [[[ U)
K010 ........................................... Distillation side cuts Irom the production ol acelaldehyde Irom ethytene [[[ (T)
K01 1 - ......................................... Bottom stream from the wastewater stnpper m the production ol acrylonitnle [[[ (R. T)
K013 .......................................... Bottom stream from the acetonitnte column in the production of acrylomtnle [[[ (R, T)
K014 ........................................... Bottoms from the acetonitnle purification column in the production of acn/lomlnle [[[ (T)
K015 ........................................... Still bottoms Irom the distillation ol benzyl chlonde [[[ CO
KQ16 ........................................... Heavy ends or distillation residues from the production ol carbon tetrachtoode ............ . [[[ (T)
K017 ........................................... Hoavy ends (still bottoms) from the punfication column irrihe production of epichlorohydrin [[[ (T)
K018 ........................................... Heavy ends from the fractionatton column in ethyl chtonde production [[[ „ ....... (T)
K0t9 ........ ."1. ........... „ ............... _ Heavy ends from the dotation of ethytene dtchtonde m elhylene dichlonde production [[[ (T)
K020 ......................... _ ........ _____ Heavy ends from the distillation of vtnyl chlonde m vmyt chloride monorrwr production [[[ (T)
K021 ........................................... Aqueous spent antimony catalyst waste from ftuoromethanes production.... [[[ (T)
K022...... ..................................... Distillation bottom Urs from the production of phenol/acetone from cumene [[[ (T)
K023 ........................................... Distillation ligM ends from the production of phthalic anhydnde from naphthalene [[[ (T)
K024 ........................... _ .............. Distillation bottoms from the production of phthalic anhydride from naphthalene [[[ (T)
K093 ............................. - ............ Distillation tight ends from the production of phthalic annydride from ortho-xylene [[[ (T)
K094 ........................................... Distillation bottoms from the production of phthalic anhydride, from ortho-xylerw [[[ (T)
K025 .......................................... Distillation bottoms from the production of nitrobenzene by the nitration of benzene [[[ (T)
K026 ........................................... Stripping still tails from the production of methy ethyl pyndines [[[ (T)
K027 ........................................... Centnfuge and distillation residues from toluene diisocyanate production [[[ (R, T)
K028 ..................................... _.. Spent catalyst from the hydrochlonnalor reactor m the production of 1,1,1-tnchkxoethane ........................................... . ............................................ (T)
K029 ........................................... Waste from the product steam stripper in the production of 1,1.1-lnchloroethan* .................. _ ................ . [[[ . ............ (T)
K095 ........................................... Distillation bottoms from the production of 1,1,1-tnchkxoethane [[[ .,„..„ .................. (T)
K096 ........................................... Heavy ends from the heavy ends column from the production of M.Mrtchloroethan* ............................ . [[[ (T)
K030 ........................................... Column bottoms or heavy ends from the combined production of tnchloroethylene and percWoroeihylen* [[[ (T)
K083 ........................................... Distillation bottoms Irom aniline production [[[ _ ............................................. , ....................... . .............. (T)
K103 ........................................... Process residues from aniline extraction from the production of aniline [[[ . ................ fT)
K104 ........................................... Combined wastewater streams generated Irom nitrobenzene/ aniline production [[[ (T)
K085 ....................................... .... Distillation or fractionation column bottoms Irom the production of chlorobenzenes.- [[[ , ............ (T)
K105 ........................................... Separated aqueous stream from the reactor product washing step in the production ol chtorobenzenet ...................................... . .......................... (T)
Inorganic Chemicals:
K071 ........................................... Brine purification muds from the mercury cell process in chlorine production, where separately prepunfied brine m nol used ............................... (T)
K073 ........................................... Chlorinated hydrocarbon waste from the purification step of the diaphragm cell process using graphite anodes in cWw.ne production .............. (T)
K106 ........................................ ... Wastewater treatment sludge from the mercury cell process in chlorine production [[[ ,, ...................... (T)
Pesticides:
K031 ........................................... By-product salts generated in the production of MSMA and cacodylic acid [[[ (T)
K032 ........................................... Wastewater treatment sludge from the production of chlordane [[[ (T)
K033 .......................................... Wastewater and scrub water from the chtonnation of cyctopentadiene *n the production ol cntordarw ...................................... . .............................. (T)
K034 .......................................... Filter solids from the filtration of hexachlorocyclopentadiene in the production of chlordane [[[ „. (T)
K097.,.. ....................................... Vacuum stripper discharge Irom the chloidane chlonnator in the production of chlordane ................................. . [[[ (T)
K035 ........................................... Wastewater treatment sludges generated m the production ol creosote [[[ (T)
K036 ..................... . ..................... Sl'lt bottoms from toluene reclamation distillation in the production of disulloton [[[ (T)
K037 ........................................... Wastewater treatment sludges from the production of disulfoton ............... , .......................................... . [[[ (T)
K038 ........................................... Wastewater Irom me washing and stripping of phorate production ............................................... , [[[ ..... (T)
K039 ........................................... Filter cake from the tiltration ol dielhylphosphorodithioic acid in the production of phorate [[[ (T)
K040 ...................................... _... Wastewater treatment sludge Irom the production of phorate ................................ . [[[ (T)
K041 ........................................... Wastewater treatment sludge Irom the production of toxaphene [[[ _...._ ..... „ ________ _ ..... _.. ........... „ ........ (T)
K098 ........................................... Untreated process wastewater from the production of toxaphene ................. ..... [[[ '.... (T)
K042 ........................................... Heavy ends or distillation residues from the distillation of tetrachlorobenzene in the production of 2.4, 5-T ....................................... !....!.'.!!....!!"!.!!.' (T)
K043 ........................................... 2,6-Dichlrxophenol waste from the production of 2.4-0 ........... - ........ . [[[ (T)
K099 .......................................... Untreated wastewater from the production of 2,4-0 [[[ _ .................... _ ........................ "If (j)
Explosives:
-------
DISCARDED COMMERCIAL CHEMICAL PRODUCTS, OFF-SPECIFICATION SPECIES
CONTAINER RESIDUES, AND SPILL RESIDUES IDENTIFIED AS ACUTE HAZARDOUS WASTES (P LIST)
40 CFR PART 26l.33(e)
Hmntout
wttttNo.
P023,,,,,,,,,
POOJ
POST
POSS.
POSS..—
P001
POOS,,,,,.
P003.
POTO,,,,.
POO*.
POOS,
POO*,,,,,
POOT
POOS..,,.
P009,,,,,
P119
P010,,,.,
P012
P011
POIt,,,,,
P012
P03S..,.,
POS*..,
poia..,
POS*..
P377..
P0»...
PO*J,..
Subatance
AceltWahyde, chloro-
Aeetamida, NHamnothloxontathylV
Acetamida, Wluoro-
Antic Kid, HUOTO-, wdium talt
Acatinwiic acid. N-t(methyte»r-
oamoyl)oxy)thio^ methyl *tt«
,,.,l
POU
P02&.
POIS, ..
P0!1...
Pt J3,.,
P103
P02S,,.,
POM...
P09S,
P033...
POZ3....
P02*,...
POZ8...
POZ7 ...
P030.™
PM1,..
P03*,,.,
P03S,,,,
P03»,,
P0*1...,
P040...
P0«.,.
PO**.,.,
PO*S...
POTV.
and ultt, when present at concentrations
greater than 0.3%.
(P001 amended by 49 FH 19923,
May 10, 1984)
1-Acetyt-S-thioorea
Aciolain
Aldicarb
*K*nn
Allyl alcohol
Aluminum phosphide
S-tAmmomathylKhaic4ol
i-iAmmooyndioe
Ammonium picrate lR)
Ammonium vanadate
Arsenic acid
Arsenic (III) mode
Arsenic (V) oxide
Arsenic pentoxide
Arsenic tnoxide
Arsme, diethyl-
Anndne
Binum cyanida
Senzenamne. 4hydnwy-J-(methy(.
ammotethvl\-
BenTenethiol
Beniyl cnionde
Beryftumrfusl
Bistchloronwtnyl) ethet
Bromoacetone
Hazardous
waste No.
P050
POM
post i v
PO*S ,
P04S,,
P08*. , ...
P101
POS*.
PQ97
POSS.
POST
POSS.
POSS.
P059 .. .
post, „.„„„
»03T
POSO,,,,,,., >„,,,„
Substance
Endoautttn
EndothaH
Endrtn
Fluorlna
Ruoroacatic add, sodium uK
Fulrmrnc add. merouryfll) salt (R,T)
Haptachlor
t,2,3A10,104«exachlon>«,7-epo>exahydro-1,*:S.8-endo, endo-dimeth-
onaphthalane
a No
hait«hydn>-1 ,*:5,8-«ndo,aKj-
dimatntnonaphtMalaoa
P060 ,
POS2
P1 tS,
POS8
POS3.
P063...
P09S,
POS*.
P007
POSZ
POS5
P01S.
P112
dimethanonaphthalene
Hexaethy* tatraphosphata
Hydrmzmecarbothioamide
Hydranna, meth^-
...| Hydrocyanic aod
.„> Hydrogen cyanide
..,[ Hydrogen phosphide
... Isocyarwc aod, methyl est»r
,„; 3t2HH»o«a»>lone, S-(ammomethyt>-
1 Mercury. (acetato-O)phenyt-
.. ] Mercury futmnata (R,T)
, Catoium cyarnda
C»mpl>en«, octacMoto-
, CwbanwndoMtanoK aod
Cartion baullida
i Cartxm daulMa
' Cartxsnyl cfttonda
.,.! CNonna cyamda
1 CNoroac«t»ldal>yda
POSZ. ........ ,
P0«
P047,
3-Chtorapn]pionrtF*a
Coppar cyaradaa
Cyaradn (aokiCM* cyanda Mta). not •!«-
wrwra apaoliad
Cyanogan
Cyanogan cMonda
Oicnloropftanylarvna
Dwtttylarara
O,O-Dw0iyl S-[2-(athy*ain)«hvl) phoaplwo-
O,O-0*«Hvl O-pyraznyl phoapnonxhioata
POS».
POSS.
PO87
P068,
POS*.
posa.
POT1
P072
P073
POT*,.—
P07*.
POT3.. ,
POTS.
POTS,
POTT
POTS,
POTS.
POTS,,—
POSt
POS2 »
POS*.—
P050
P08S.....
POS?
POST.....
POS8.
..., Methan*. tetrantro- (R)
. ! Methanathral, feichtoro-
1 *.7-M»thana-tHjnden»,
! tacf*x»-3a,4,7,7«-(alrahydro-
Mathyl aocyanata
2-MatfiyRacunusla
Mathyl paratncn
alpha-Napnthylthiograa
NKkal cattonyl
Nx*ti cyanida
NckaKU) cyanida
Nrettal tatnjcartsonyl
Nsonna and salt*
Nrtncond*
Nitrogan dnxida
NMroganW <»«»•
Nitrogtycanna (R)
acnkvo, eydc su(Sta
Octamalhylpyropooiphoraniida
Osnuum oxida
Osnwm tattonda
•ad
phoapnan>
Mn*ttylniro«ainna
alpha, alpha^)»na«>ylpnana«-cyeW««ylphanol
POS».
POS*.
P04».
P04T .....
POM — ,..,.,„. Dinotab
PO«S- _____ —„.! OipBo»phwam«»a, oe«am«hy»-
POM. ___________ I OnuDoton
P0*9. _________ J 2.4-Dftnnbiurat
WOaV ____ I Odhiqpyiaelwapoonc acid. Wraaihyl a
POQ9.
P038
POBZ.
POS3.
POM....
POS5..-
PO»,,
P041
Phanol *n>ar»na
Phany^mareunc acatata
I Phornta
Photg»na
1 Pnosphma
!| Phoaphonc aoi, dwthyl p-nrtroph»n>i
PlOt...
POJ7...
P044 ................ j Phosphoradithioic acid, 0,0-dmathy< S-I2-
j (irwthyl«mino|-2-OK)e(hyUaj»f
P043 ............... 1 Phosphorafluooc acid. tw(1 -m«ihyl«myl)-
I estof
POM ............. ] Phospnorothioic acid. O.O-diamyl S-
'{ (e%tttw)m«thyl esler
WSS ............... j Phosphcrottwa aad, O,O-di«myl CHp-rairo-
i phsnyi) estsf
P040 ............. j Phospnorottiioic aad. 0,O-<*«thyl 0- pyrazmyl
estar
P097 ........... Phosphorathioic >ad. Q.O-dimethyl O-tp-((oV
mathylaminol-sultonyllphwiyllesler
P1 10 .......... Plumbana, tetraethyl-
P098 ..... ' Potassium cyanide
P099 ....... Potassium silver cyanide
P070 ................ | Propanal, 2-m8thyi-2-(m«thylthlo)-, O-
[ tmethytanKno)cartx)nyii oxtrrw
Propanenrtnte
Proparnmtrta. 3-chton>
.! Proparwnitnla. 2-hydroiy-2-m«thyl-
! ',2,3-Proparwtnol, tnmtrat*. (R)
.! 2-Propanons, t-bromo-
, Propargyl alcohol
.. 2-Prop«nal
J J.Propen-1-ol
i 1,2-Propyleninnna
! 2-Propyn-t-ol
, 4-Pyndmarrarw
, PynArw, (S)-3K1-m»thyl-2 t3.
PH*.
Pits,
P045.
P01*. ............
Pits, ............
POZS, ...........
P077, ............
P093 .............
P11&. ............
PtKJ, .. ......
PI JO ...........
P001 ______ .......
rts
Thnphenoi
Thngra«, (2<«(orophen(*)-
Thnurea, t-naph
Toxaphene
TncNonxnettwnethiol
VflAao>c add. ammonium salt
Vanadium penfoxide
Va<»duin(V| oixla
Warfarin, when present at concentra-
tions greater than 0.3%.
[POOt amended by «» FR 19823,.
May 10, 198*1
arc cyanide
Zinc phosphide, when present at con
•centrations greater than 10%.
fPl22 amended Oy «8 FP. 19323s
ktty 10,1964]
C-3
-------
DISCARDED COMMERCIAL CHEMICAL PRODUCTS, OFF-SPECiFICATIOH SPECIES,
CONTAINER RESIDUES, AND SPILL RESIDUES IDENTIFIED AS TOXIC WASTES (D LIST)
40 CFR PART 261.33(f)
Hazardous
Waste No.
U005 . ' Acetamide, N-9H-fluoren-2-yl-
Ul 12 . . ' Acetic acid, ethyl ester (I)
U144 . , .| Acetic acid, lead salt
U214 Acetic acid, thall'um(l) *alt
U002 i Acelone (I)
U003 -i Acetonitnle il.T)
U004 .- ! Acetophenone
U005 .. . 2-Acetylaminotluorene
U006 . .. . i Acetyl chloride (C.H.T)
U007 . . .. | Acrylamide
U008 ! Acrylic add H
U009 1 Acrylonitn.
U150 i Alanme, 3-[p-tiis(2-chloroethyl)amino]
phenyk L-
UOn j Amitrole
U012 . , Aniline (I.T)
J248 3-(alpha-Acetonylbenzyl|-4-hydroxy-
coumann and salts, when present at con-
centrations of 0.3% or less.
U014 i Auramine
U01S | Azasenn*
U010 Azinno(2'.3'.3.4)pyrrolo(1.2-a)indole-4.7-dione,
6-amino-8-[((aminocarbonyl) oxy)methyl)-
i. 1 a,2.8,8a.8b-hexahydro-8a-methoxy-5-
methyl-.
U157 8anz[j]aceanthrylene. 1.2-dinydro-3-melhvf-
U016 Benzfcjacndine
U016 3,4-Benzacndine
U017 Senzal chlonde
U018 BenzCalanthracene
U018 1,2-Benzanthracene
U094 1.2-Benzanthracene, 7,12-dimethy|.
U012 Benzenamine (I.T)
U014 Benzenamina. 4.4'-carbonirrodoylbis(N,N-<)i-
methyl-
U049 Benzenamirw, 4-chloro-2-metnyl-
U093 Benzenamine. N.N'-dimethyl-4-phenylazc~
U158 Benzenamine, 4,4'-methylenebis<2-chlorc-
U222 Benzenamine. 2-methyl-, hydrochlonde
U181 : Benzenamine, 2-methyl-5-nitro
UOI9 Benzene (I.T)
U038 Benzeneacetic acid. 4-chtoro-alpha-(4-chlorc-
phenyl)-alpha-nydroxy. ethyl aster
U030 Benzene, 1-bromo-4-phenoxy-
U037 Benzene, chloro-
U190 [ t.2-Benzenedicarboxylic acid anhydnd*
U028 1,2-Benzenedicarboxylic acid. (bis(2-ethyl-
hexyl)) ester
U069 1,2-Benzenedicarboxylic acid, dibutyl eater
U068 i ,2-Benzenedlcarboxylic acid, diethyl eater
U102 1.2-Benzenedicarboxylic acid, dimethyl ester
U107 1,2-BenzenedicartxDxylic acid, di-n-octyl eater
U070 Benzene, 1,2-dichloro-
U071 Benzene. 1,3-dichloro-
U072 Benzene, 1,4-dichloro-
U017 i Benzene, (dlchtoromethyl)-
U223 I Benzene. 1,3-dinocyanatom»thyl- (R.T)
U239 j Benzene, dim»thyl-(l,T)
U201 i 1,3-Benzenediol
U127 • Benzene, hexachloro-
U056 .... | Benzene, hexahydro- (I)
U16B I Benzene, hydroxy-
U220 i Benzene, methyl-
U105 j Benzene, 1 -methyl-1-2.4-dinrtrc-
U106 ; Benzene. 1-melhyl-2.6-dmitro-
U203 j Benzene, 1,2-methylenedloxy-4-allyl-
U141 Benzene. 1,2-metnylenedioxy-4-propenyl-
U090 , Benzene. 1.2-metnylenedioxy^propyl-
U055 Benzene. (1-methytethyl|-(I)
U169 Benzene, nitro-(I.T)
U1S3 Benzene, pentachloro-
U18S . . I Benzene, pentachloro-nrtro-
U020 1 Benzenesullonic acid chkxide (C.R)
U020 . . .! Benzenesulfonyl chlonde (C.H)
U207 i Benzene. 1.2.4.5-telrachlOfO-
LI023 ... . j Benzene. (tnchloromethyll-(C.R.T)
C234 .. I Benzene, 1.3.5-tnmtro-(R.T)
U021 | Benzidine
J202 1,2-Benzisothiazolin-3-one. 1,1-dioxide
U120 Benzo(|,k]fluorene
U022 Benzo[a]pyrene
U022 j 3,4-8enzopyrene
U197 | p-Benzoquinone
U023 . .. j Benzotnchlonde (C.R.T)
U050 . I 1,2-Benzphenanthrene
U085 . i 2.2'-Bioxirane (I.T)
U021 j (1.r-Biphenyl)-4.4'-diamin«
U073 . .. i (1.1-8iphenyl)-4.4-diamine. 3.3'.dichloro-
U091 , (l,1'-Biphenyl)-4,4'.diamine. 3.3-dimethoxy-
U095 ,. , (1.1'-Biphenv1)-4,4'-diamine. 3.3'-dimethvl-
J024 . Bis(2-chloroethoxy) methane
U027 ... . : Bis(2-chloroisopropyl| ether
U244 ! Bis(dimethylthiocarbamoyl) disulfide
U028 . ... ! Bis(2-elhylhexyl) pnthalate
U246 , Bromine cyanide
U225 I Bromolorm
U030 .. . | 4-Bromophenyl pheny) elhflf
U128 i 1.3-Butadiene, 1.1,2,3.4.4-hex«chloro-
U172 .. . i 1-Butanamine. N-butyl-N-ffltroso-
U035 i Butanoic acid, 4-[Bis(2-chloroflthyl)an«no)
benzene-
U031 1-Bulanol (I)
U159 2-8utanone (I.T)
UI60 , 2-Bulanone peroxide (H,T)
U053 ! 2-ButenaJ
U074 ; 2-Butene. 1,4-drchloro-(I.T)
U031 1 n-Butyl atehonol (I)
U136 j Cacodylic acid
U032 ' Calcium chromate
U238 1 Carbamic acid, ethyl ester
U178 Carbamc acid, methylnitrojo-. ethyl e«l«r
U170 j Carbamide. N-ethyl-N-mtroso-
U177 Carbamide, N-metrryl-N-nrtroso-
U219 Carbamide, thio-
U097 Carbamoyl chloride, dimethyl-
U215 Carbonic acid, dithallium(l) ult
U158 Carbonochlondk: acid, methyl ester (I.T)
U033 Carbon oxyfluonde (R.T)
U211 Carbon tetrachkxid*
U033 Carbonyl fluoride (R.T)
U034 Chloral
U03S ChtorambucH
U036 Chlordine, technical
U024 Chlomaphaane
U037 Chlorobenzene
U039 4-Chloro-m-creaol
U041 1-Chloro-2.3-epoxyprop«n«
U042 2-Chloroethyl vinyl ether
U044 Chloroform
U046 | Chloromeltryl melhyl ettwr
U047 i bet«-Chloron«phthal«»
U04« o-Chlorophenol
U049 4-Chloro-o-toluidirw, hydrochlorid*
U032 Chromic acid, calcium salt
U050 Chryaerw
U051 Creosote
U052 Cretola
U052 CreiySC icid
U053 i Crotonaldehyd*
U055 Cumeoe (I)
U246 Cyanogen brorrada
U197 1.4-Cydohexadienedione
U058 Cyclohexane (1)
U057 Cyclotwxanorw (I)
U130 1,3-Cydopenndiene. 1,2.3,4.5,5-rwui- chkxo-
U058 Cyclophospriamide
U240 2.44-D, sals and esters
U059 Oaunomyan
U080 ODD
U061 DDT
U142 0«cachlorooctanydro-1,3.4-metheno-2H-
cyclobuta[c.d]-pentalen-2-on«
U062 DiallaM
U133 Diamine (R.T)
U221 Oiaminotoluene
U063 OibenzCa.h]anthracene
U063 1.2:S.6-Oibenzanthracene
U064 1,2:7,8-Dibenzopyr«n»
U064 DibenzCa.ilpyrene
U066 1,2-Oibromo-3-chloropropan«
U0«9 1 Dibutyl phthalate
U062 S-(2.3-Oichloroalryl) diiaopropylthncartumate
U070 o-Dichlorobenzene
U071 m-Oichlorobenzene
U072 1 p-Drehkjrobenzerw
U073 ! 3,3'.Dichlorobenzidine
U074 ] 1,4-Oichloro-2-butene (I.T)
U075 ! Dichlorodilluoromethane
U192 j 3.5-Oichloro-N-(1,1-dimethyl-2-propynyl)
benzamide
U060 ! Oichloro diphenyl dichloroethane
U061 i Oichloro diphanyl trichloroethane
U078 , 1. l-Dichloroethylene
U079 ; l ,2-Dicnloroethylene
U025 j Oichloroethyl ether
U081 .... 2.4.0ichlorophenol
U082 , 2.6-Dichlorophenol
U240 2 4-Dichlorophenoxyaceuc acid, salts
osiers
U083 1.2-Dichloropropane
U084 i 1,3-Dichloropropene
U085 1 2'3.4-Diecoxvbutarw II.Tl
UIO«
UOM
U0»7
UOM
U089
U148
U090
U091
U09Z
U093
l t.4-0«thylenedk>ud«
, N.N-OwlriylhydrinM
j O.O-OMtlyl-S-nwIhyl-drWapniMprwM
Diethylstilbeitrol
1 ,2-Dihyaro-3.6-pyrac4zinedione
Dihydrosafrolt
3,3'-Oimetrioxyb«nzidin«
Dim«tftylimin« (I)
OimetHyloninoUOlMnMrw
j 7.12-0imerhylbenz[|]«
C-4
-------
W*M*NO.
uots
UOM
U097
UOM
UOM
Ut01
U109
U10S
U105
UtM
yiO?
ytOi
U10»
U110
UOP1
U174
U047
U07«
UOTT
U114
U131
UOM
uoos..
U117
UOM.
U1«4
uaoi
U2O»
U21»
U«7
U227
U0«3_
U042
U07«..
U07«
U210-
U173
U004
uooe
una
U113
UJ3J
UOM
U114
U0«7
U077
U11S
uua
U117
U118
U119
U139
U120
U122
U123
U124
U12S
U147
U213
U12S
U124
U2OS
U1»
U183
U127
U128
U129
U130
U131
U132
U243
U133
UOM
UOM
UOM
U109
U134
U134
U13S....
UOM
U136
UW
U137
U13»
U140
U141.. ..
U142
U143
U144
U14S
U146
U129
U146 ,.
Subetam*
3.3'-Oimethylberadine
'.1-0imethythydraw>e
1.2.amethylhydr«Boe
2.4-Oimethylphenol
Dimethyl mrlate
2.4-OMtroMuene
2.6-Ontrotoluene
r*n-octyl phthalate
i.4-Dioxane
t.2- Ophenyttiydruine
OpropyMmne (1)
Ethanal(l)
Ethanamne. N-ethyt-N-nrtroeo-
Ethane. 1,2-d*>romo-
EttttftAt 1,1-^fchloco-
Ethane, 1.2-dKfttoro-
Etnww. 1. 1.1.2 .2.2-he*achtoro-
Ethana, 1.1^Cmelhyleoeb«Xoify)lt»»t2-chloro-
EthaoenrtrKe (1. T)
Ethane.l.Voxytxe- (1)
Ethane, 1.1 -oxybia(2-chloro-
Ethane, pentacrHoro-
Etnane, 1,1,1 ,2*te(rvcMorO"
Ethane. 1.1,2.2-tetrechioro-
Ethane. 1.1.1.-2^-oaOMioxyl]-7.8.9.10-tetrahydro-
6.8.11 -mhydroxy- 1 -methoxy-
Naphthalene
Naphthalene. 2-chtorc-
1 .4-Naphthalenedione
2.7-Naphthalenediaurlonc acid. 3.3'-[(3.3'-o>-
melhyMI .1 --e»phenyl)-4.4'dryl)]-bia
(azo)bi*(S-amnc-4-hydroxy)-.tatraaodlum
salt
i.4.Naphtha<)unone
1 -Napnthylamme
2-Naphthylamne
2-NapMhyt*VTW*. N N' -to*Xa-Chk* OfT^Xfryi).
NAroterenn* (I.T)
2-Nitroofooane (1)
N ^NitrosoOKn-Outytamm*
N- Nrtr osCKJiftthylamtrw
N- Ni tr oso-N-propy tamine
N-Nitroso-N-eibyiufsa
N-Nilroso-N-methyhjrea
N-Nitroscoyroiidine
i 2-Oxaihiolan«, .?.2-dioxide
e^yl)amino]telra,Tvdro-. ox*de 2-
Oxirane (i.T)
Cxirana. 2-tchlvXOfT7etf>yl)-
PtraWahvcto
PentachKxoo«nz«n«
P«rtac^iofo«th«n«
P9ntach!crtxwtrot)«oz«iT«
PttnUchiC'Ophcnol
i 3-P«rtiad»oe (1)
Ph«>n«c«ftn
Ptwxx
Phenol, i-cnloco-
Phenot, 4
Phafx)!, 2.4.5-»ichkx^
Ph«noJ, 2.4 6-tnch*OfO-
V 1 0-r .2-ooenyt«o«>pyf»n«
I^hosc^onc aod. L«d Mtt
U0«7 .
acid. 0.0-dMtny*-. S-meltiy-
U18S . .
U190
U191 . .. .
0192
U194
U110
U0«6
U14S
UI71
U027 . . .
U193 ..
U235 .
U1M .
U140
U002
U007
UOM
U243
U00»
U1S2 .. .
uooe
U113
U118
U161
See FO27
U184 . .. .
U083
U1SS.. ..
U178
J'91
0164
U180
U200
U201
U202
U203
U2O4 .. .
U2O4 .. . .
U205 .
U015
S*eFO27
UOM
0208
U13S
U103 ,
U1M
UJOS
SeeF027
U20t ....
3eeFO27
U213
U214
US15 .
0218
U217
U153
U244
U220 . .
U221
U223
U222
U011
U227
U228
SeeF027
Do
Oo
U182
U23S
U2M
U237
U237
U043
U248
0200
U24S
' letter
Phoaphoroua surride (R)
Phthale annydnde
2-Picoiine
Pronamide
1 -Propanarmne (1.0
1 •Propanamtne. N-propyl- (I)
Propane. 1 .2 Oibromo-3-chloro-
Propanedimmie
Propane. 2-niiro- (I)
Propane. 2.2'oxybist2-chioro-
i .3-Propane sultone
i-Propanol. 2.3-dibromo-. phosphate (3 i)
-Prooanol. 2.3-epoxy-
1-Propanol. 2-methyl- (I.T)
2-Propanone (1)
2-Propenamide
Propene. 1.3-dichlorc-
1-Propene. 1.1.2.3,3,3-hexachioro-
2-Propenemtnle
2-PropenoK acid (I)
2-Propenoic acid, efyi ester ;l)
2-Prooenoic acid. 2-methyi-. ethyl ester
2-Prooenoic lad, 2-meihyK methy* ester 'I ^
Propionic acid. 2-(2.4.5-tnchloroDnenoxvl-
n-P'opylarmre (>.T)
Prcovene dicr'onde
Pyicire hexahyaro-N-nitroSO-
triioxo-
Pyrrole. :elrahydro-N-nitrosc-
Sacchann and sails
Sairole
Selenous acid
Seiennjm ctoxide
L-Senne. diazoacetate (ester)
Sfrepaoac4ocai
Sultur hydnda
SuHunc acid, dmethyl ester
SuWur phosphide (R)
Sulfur selenide (R.T)
2.4,5-T
1 2 4.5-Tetrachtoroberuene
1 . 1 .2.2-Tetracrtoroethane
2.3.4,6-Tetrachlorophenol
Tetrahydrofuran (1)
ThalliurrKt) acetate
Thalliurnd) carbonate
ThaMunXQ chtonde
ThallmnXI) nitrate
Thiomemanol (I.T)
TNourea
TTirarn
Toluene
Toluenedlarnine
Toluene dusocyanate (R.T)
O-Toluidme hydrocNonde
1 H-1 ,2.4-Tnazol-3-4mine
1,1.1-Trichloroethane
1.1.2-ThcNoroelhane
TncNoroethene
ntnHxoeu ly let le
2.4.S-Tnchlarophenol
2.4.6-Tncntorophenol
2.4.S-Tnchhyophenoxyacetic aod
1.3.S-Tnoxane. 2.4,5-tnmethyl-
Tns(2.3-oi6fomopropyl) phosphate
Trypan blue
Uraal. 5Cb>s<2-ctikxomerfiyl)amino)-
Uracil mustard
Vinyl cNonde
ol 0.3% or Was.
[U248 added try 49 FR 19923. May 10, 1984)
Xylene (1)
Yohimban-16-carboxylic acKt. 1 1 , 1 7-dmeth-
oxy-18-C(3.4,5-tnmethoxy-beraoyl)o«y]-.
methyl ester
Zmc pnoaphata, whan preaant at concand'a-
tenaot 10%orl*m.
(U249 adOed by 4S FR 19923. May 10, 1984)
C-5
-------
Appendix D
Notification of Hazardous
Waste Activity
(EPA Form 8700-12)
From EPA pamphlet entitled "Notification of Hazardous Waste Activity.
Prepared by the Office of Solid Waste and Emergency Response, 1985.
-------
How To Notify U.S. EPA of Your Waste Activities
I. How To Decide If You Handle A Regulated
Hazardous Waste:
Persons who generate, transport, treat, store, or dispose of solid
wastes must decide if their solid waste is a hazardous waste
regulated under the Resource Conservation and Recovery Act
(RCRA). In addition, persons who recycle secondary materials
must also determine whether those materials are solid and
hazardous wastes under the provisions of RCRA. If you need
help making this determination after reading these instructions,
contact the addressee listed for your State in Section II(C).
You will need to refer to 40 CFR Part 261 of the Code of Federal
Regulations (copy enclosed) to help you decide if the waste you
handle is regulated under RCRA*
To determine if you are regulated under RCRA, ask yourself the
following questions:
A) Do I Handle A Solid Waste?
Section 261.2 of the Code of Federal Regulations (hereafter
referred to as CFR) defines "solid waste" as any discarded
material that is not excluded under Section 261.4(a) or that is
not excluded by variance granted under Sections 260.30 and
260.31. A discarded material is any material which is:
1) abandoned, as explained in 261.2(b); or
2) recycled, as explained in 261.2(c); or
3) considered inherently waste-like as explained in 261.2(c).
For a more complete discussion of the "Definition of Solid
Waste" refer to the Federal Register of January 4, 1985.
(Excerpts of that notice are included in this package for your
reference.)
B) Has My Waste Been Excluded From The Regulations?
The list of exclusions can be found in Section 261.4 of the CFR. If
the solid waste that you handle has been excluded or exempted,
then you do not need to notify U.S. EPA for that waste.
If your solid waste was not excluded from the regulations, you
need to decide if it is a hazardous waste that U.S. EPA regulates.
The U.S. EPA regulates hazardous waste two ways: 1) by specif-
ically listing the waste and assigning it a unique EPA Waste
Code Number; or 2) by regulating it because it possesses any of
four hazardous characteristics and assigning it a generic EPA
Waste Code Number.
E) Has My Waste Been Exempted From The Regulations?
The list of exemptions can be found in 261.5 and 261.6(aM3) of
Part 40 of the CFR. If the hazardous waste that you handle has
been exempted, then you do not need to notify U.S. EPA for that
waste.
II. How To File Form 8700-12, "Notification
of Hazardous Waste Activity"
If your waste activity is regulated under RCRA by the U.S. EPA,
you must notify the U.S. EPA of your activities and obtain a U.S.
EPA Identification Number. You can satisfy both of these
requirements by completing and signing the enclosed notifica-
tion form and mailing it to the appropriate address listed in Part
C of this section for your State.
A) How Many Forms Should I File?
A person who generates hazardous waste, or owns or operates
a facility that treats, stores or disposes of hazardous waste
needs to submit one notification form per site or location. If you
conduct hazardous waste activities at more than one location,
you must submit a separate form for each location.
If you only transport hazardous waste and do not generate, treat,
store or dispose of these wastes, you may submit one form
which covers all transportation activities your company con-
ducts. This form should be sent to the appropriate address (listed
in Part C) that serves the State where your company has its
headquarters. However, if you are a transporter who also gener-
ates, treats, stores, or disposes of hazardous wastes, you must
complete and submit separate notification forms to cover each
location.
B) Can I Request That This Information Be Kept Confidential?
All information you submit in a notification can be released to
the public, according to the Freedom of Information Act unless it
is determined to be confidential by U.S. EPA pursuant to 40 CFR
Part 2. Since notification information is very general, the U.S.
EPA believes it is unlikely that any information in your notifica-
tion could qualify to be protected from release. However, you
may make a claim of confidentiality by printing the word "CON-
FIDENTIAL" on both sides of the Notification Form and on any
attachments.
EPA will take action on the confidentiality claims in accordance
with 40 CFR Part 2.
C) Where Should I Send My Completed Fotm?
Listed alphabetically below are the names, addresses and
phone numbers of the proper contacts in each State where you
can get additional information, more forms and where you
should mail your completed forms.
As shown here, the U.S. EPA and many States have arranged for
the States to answer your questions and receive your completed
forms. In a few instances the workload is shared between U.S.
EPA and the State, or handled by U.S. EPA alone. To avoid delay
and confusion, follow the directions for your State very carefully.
C) Is My Solid Waste Specifically Listed As A Hazardous
Waste?
Sections 261.31 — 261.33 of the CFR identify certain solid
wastes that U.S. EPA has specifically listed as hazardous. Per-
sons who handle listed hazardous waste are subject to regula-
tion and must notify U.S. EPA of their activities. Refer to this
section of the CFR (enclosed) to see if your waste is included as a
"listed waste."
D) Does My Solid Waste Possess A Hazardous
Characteristic?
Even if your waste is not specifically listed as a hazardous waste,
it may still be hazardous because it exhibits certain hazardous
characteristics. These characteristics are 1) Ignitability; 2) Cor-
rpsivity; 3) Reactivity; and 4) Extraction Procedure Toxicity. Sec-
tion 261.20 through 261.24 of the CFR explains what each of
the characteristics are and outlines the testing procedures you
should use to determine if your waste meets these characteris-
tics. Persons who handle characteristic waste that is regulated
must notify U.S. EPA of their activities.
'Many States have requirements that vary from the Federal regulations. These State regulations may be more strict than the Federal requirements by identifying
additional wastes as hazardous, or may not yet include all wastes currently regulated under RCRA. It is your responsibility to comply with all regulations that apply to
you. For more information on state requirements, you are strongly urged to contact the appropriate addressee listed for your State in Section II(C) of these
instructions.
EPA Form 8700-12 (Rev. 6-85)
D-l
-------
Alphabetized State Listing Of Hazardous Waste Contacts
Alabama
Land Division
Alabama Department of Environmental Management
State Capitol
Montgomery, AL 36130
(205)271-7730
Alaska
EPA Region X
Waste Management Branch
MS-530
1200 Sixth Avenue
Seattle, WA 98101
(206)442-2777
American Samoa
To Obtain Information or Forms Contact:
American Samoa Government
Department of Public Works
Pago Pago, American Samoa 96799
(Commercial Call 633-41 16)
Mail Your Completed Forms To:
U.S. EPA Region IX
Toxics and Waste Management Division
215 Fremont Street
San Francisco, CA 94105
Arizona
To Obtain Information or Forms Contact:
Arizona Department of Health Services
2005 N. Central, Room 301
Phoenix, AZ 85005
(602)257-0022
Mail Your Completed Forms To:
U.S. EPA Region IX
Toxics and Waste Management Division
21 5 Fremont Street
San Francisco, CA 94105
Arkansas
Arkansas Department of Pollution Control
Solid and Hazardous Materials
P.O Box 9583
Little Rock, AR 72219
(501)562-7444
California
To Obtain Information or Forms Contact:
California Department of Health Services
Toxic Substances Control Division
714 P Street
Sacramento, CA 95814
(916)324-1781
Mail Your Completed Forms To:
U.S. EPA Region IX
Toxics and Waste Management Division
215 Fremont Street
San Francisco, CA 94105
Colorado
Colorado Department of Health
Waste Management Division
4210 E. 11th Ave.
Denver, CO 80220
(303)320-8333
Commonwealth of North Mariana Islands
To Obtain Information or Forms Contact.
Department of Public Health and Environmental Services
Division of Environmental Quality
Saipan, Mariana Islands 96950
Overseas Operator 6984
Cable address GOV NMI Saipan
Mail Your Completed Forms To'
U.S EPA Region IX
Toxics and Waste Management Division
21 5 Fremont Street
San Francisco, CA 94105
Connecticut
Connecticut Department of Environmental Protection
Hazardous Materials Management Unit
State Office Building
165 Capitol Ave.
Hartford, CT06106
(203)566-5712
Delaware
Delaware Department of Natural Resources and Environment
Solid Waste Management Branch
P.O. Box 1401
Dover, DE 19901
(302)736-4781
District Of Columbia
Department of Environmental Services
Pesticides and Hazardous Materials Division
5000 Overlook Ave., S.W.
Washington, DC 20032
(202) 767-8422
Florida
Solid Waste Section
Florida Department of Environmental Regulation
Twin Towers Off'ce Bldg. Rm. 421
2600 Blair Stone Road
Tallahassee, FL 32301
(904) 488-0300
Georgia
Land Protection Branch
Environmental Protection Division
Georgia Department of Natural Resources
270 Washington St., S.W
Room 824
Atlanta, GA 30334
(404) 656-2833
Guam
To Obtain Information or Forms Contact:
Jim Branch, Administrator
Guam EPA
P.O. Box 2999
Agana, GU 96910
(Overseas Operator) 646-8863
Mail Your Completed Forms To:
U.S. EPA Region IX
Toxics and Waste Management Division
215 Fremont Street
San Francisco, CA 94105
EPA Form 8700-12 (Rev. 6-85)
D-2 i
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Hawaii
To Obtain Information or forms Contact:
Hawaii Department of Health
Environmental Protection and Health Services Division
Noise-and Radiation Branch
P 0 Box 3378
Honolulu, HI 96801
(808) 4S8-307S
Mail Your Completed Forms To:
U.S. EPA Region IX
Toxics and Waste Management Division
215 Fremont Street
San Francisco, CA 94105
Idaho
EPA Region X
Waste Management Branch
MS 530
1200 Sixth Avenue
Seattle, WA98101
(206)442-2777
Illinois
To Obtain Information or Forms Contact:
Illinois Environmental Protection Agency
Division of Land Pollution Control
2200 Churchill Road
Springfield, IL 62706
(217)782-6761
Mail Your Completed Forms To;
RCRA Activities
U.S.EPA Region V
Waste Management Division
P.O. BoxA3587
Chicago. IL 60690
Indiana
RCRA Activities
US EPA Region V
Waste Management Division
P.O. Box A3587
Chicago. IL 60690
(312)886-6148
low*
U.S. EPA Region VII
RCRA Branch
726 Minnesota Avenue
Kansas City. KS 66101
(816)374-6534
Kansas
Kansas Department of Health and Environment
Bureau of Waste Management
Forbes Field. Bldg. 321
Topeka. KS 66620
(913)862-9360
Kentucky
Division of Waste Management
Kentucky Department for Environmental Protection
Fort Boone Plaza. Building No. 2
18ReillyRoad
Frankfort. KY 40601
(502)564-6716
Louisiana'
Louisiana Department of Environmental Quality
Solid Waste Management Division
P 0. Box 94307
Baton Rouge. LA 70804
(504)342-1227
'If you dispose ol RCRA listed or characteristic waste in
Louisiana you must have an EPA IO Number
Maine
Maine Department of Environmental Protection
Bureau of Oil and Hazardous Materials Control
Division of Licensing and Enforcement
State House—Station 17
Augusta, ME 04333
(207)289-2651
Maryland
Maryland Department of Health and Mental Hygiene
Waste Management Administration
201 West Preston St..
Baltimore. MD21201
(301)383-5740
Massachusetts
Massachusetts Department of Environmental Quality
Division of Solid and Hazardous Waste
One Winter Street
Boston, MA 02108
(617)292-5851
Michigan
RCRA Activities
U.S. EPA Region V
Waste Management Division
P.O. Box A3587
Chicago. IL 60690
(312)886-6148
Minnesota
To Obtain Information or Forms Contact:
Minnesota Pollution Control Agency
Solid and Hazardous Waste Division
1935 West County Rd.. B-2
Roseville, MN55113
(612)297-1779
Mail Your Completed Forms To:
RCRA Activities
U.S. EPA Region V
Waste Management Division
P O. Box A3587
Chicago. IL 60690
Mississippi
Division of Solid and Hazardous Waste Management
Mississippi Department of Natural Resources
P O. Box 10385
Jackson, MS 39209
(601)961-5078
Missouri
Missouri Department of Natural Resources
Waste Management Program
P.O. Box 1368
Jefferson City. MO 65102
(314)751-3241
Montana
Montana Department of Health and Environmental Science;
Solid and Hazardous Waste Bureau
Cogswell Building, Room B201
Helena, MT 59620
(406)444-2821
Nebraska
Nebraska Department of Environmental Control
Hazardous Waste Management Section
P.O. Box 94877
Lincoln. NE 68509
(402)471-2186
EPA Form 87OO-12 (Rev. 6-85)
D-3
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Nevada
To Obtain Information Or Forms Contact:
Nevada Department of Conservation and Natural Resources
Division of Environmental Protection
Capitol Complex
Carson City, NV 89701
(702) 885-4670
Mail Your Completed Forms To:
U.S. EPA Region IX
Toxics and Waste Management Division
215 Fremont Street
San Francisco, CA 94105
New Hampshire
New Hampshire Department of Health and Welfare
Office of Waste Management
Health and Welfare Building
Hazen Drive
Concord, NH 03301
(603)271-4608
New Jersey
To Obtain Information or Forms Contact:
New Jersey Department of Environmental Protection
Division of Waste Management
Hazardous Waste Advisory Program
32 E. Hanover Street
P.O. Box CN028
Trenton, NJ 08625
(609) 292-8341
Mail Your Completed Forms To:
U.S. EPA Region II
Air and Waste Management Division
26 Federal Plaza
New York, NY 10278
New Mexico
Hazardous Waste Section
New Mexico Environmental Improvement Division
P.O. Box 968
Santa Fe, NM 87504-0968
(505) 984-0020 Ext. 340
New York
To Obtain Information or Forms Contact:
New York Department of Environmental Conservation
Division of Solid and Hazardous Waste
Manifest Section
50 Wolf Rd., Room 209
Albany, NY 12233-0001
(518)457-0530
Mail Your Completed Forms To:
U.S. EPA Region II
Air and Waste Management Division
26 Federal Plaza
New York, NY 10278
North Carolina
Solid and Hazardous Waste Management Branch
Environmental Health Section
Department of Human Resources
Division of Health Services
306 North Wilmington Street
P.O. Box 2091
Raleigh, NC 27602-2091
(919)733-2178
North Dakota
North Dakota Department of Health
Division of Hazardous Waste
Management and Special Studies
1200 Missouri Ave., Room 302
Bismarck, ND 58501
(701)224-2366
Ohio
RCRA Activities
U.S. EPA Region V
Waste Management Division
P.O. Box A3587
Chicago, IL 60690
(312)886-6148
Oklahoma
U.S. EPA Region VI
Air and Hazardous Materials Division
1201 Elm Street
Inter-First Two Building
Dallas, TX 75270
(214)767-9885
Oregon
EPA, Region X
Waste Management Branch
MS 530
1200 Sixth Avenue
Seattle, WA 98101
(206) 442-2777
For Information On State Requirements:
Oregon Department of Environmental Quality
Hazardous and Solid Waste Management Division
P.O. Box 1760
Portland, OR 97207
(503)229-5913
Pennsylvania
U.S. EPA Region III
Waste Management Branch
MS 3HW 34
841 Chestnut Street
Philadelphia, PA 19107
(215)597-7354
Puerto Rico
To Obtain Information Or Forms Contact:
Environmental Quality Board
Land Pollution Control Area
P.O. Box 11488
Santurce, PR 00010-1488
(809) 722-0439
Mail Your Completed Forms To:
U.S. EPA Region II
Air and Waste Management Division
26 Federal Plaza
New York, NY 10278
Rhode Island
Rhode Island Department of Environmental Management
Division of Air and Hazardous Materials
204 Cannon Bldg.
75 Davis Street
Providence, Rl 02908
(40!) 277-2797
South Carolina
Bureau of Solid and Hazardous Waste Management
South Carolina Department of Health and Environmental Control
2600 Bull Street
Columbia, SC 29201
(803) 758-5681
South Dakota
South Dakota Department of Water and Natural Resources
Office of Air Quality and Solid Waste
Joe Foss Building
Pierre, SO 57501
(605) 773-3329
Tennessee
Division of Solid Waste Management
Tennessee Department of Health and Environment
Customs House, 4th Floor
701 Broadway
Nashville, TN 37203
(615) 741 -3424, 2577, 3959
EPA Form 8700-12 (6-85)
D-4
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Texas
Commercial, Municipal. Federal. State, Handlers Contact:
Texas Department of Health
Bureau of Solid Waste Management
1100 West 49th Street. T-602
Austin, TX 78756
(512)458-7271
Industrial Handlers Contact:
Texas Department of Water Resources
Industrial Solid Waste Section
P.O. Box 13087
Capital Station
Austin, TX 78711
(512)475-2014
Utah
Utah Department of Health
Bureau of Solid and Hazardous Waste
State Office Building, Room 4231
P.O. Box 45500
Salt Lake City, UT 84145-0500
(801)533-4145
Vermont
Vermont Agency of Environmental Conservation
Air and Solid Waste Programs
State Office Building
79 River Street
Montpelier, VT 05602
(802) 828-3395
Virgin Islands
To Obtain Information Or Forms Contact:
Division of Natural Resources Management
Hazardous Waste Program
Department of Conservation and Cultural Affairs
P.O. Box 4340
Charlotte Amahe
St. Thomas, VI 00801
(809) 774-3320
Mail Your Completed Forms To:
U.S. EPA Region II
Air and Waste Management Division
26 Federal Plaza
New York, NY 10278
Virginia
Virginia Department of Health
Division of Solid and Hazardous Waste Management
Madison Building
109 Governor Street
Richmond, VA 23219
(804)786-5271
Washington
U.S. EPA Region X
Waste Management Branch
MS 530
1200 Sixth Avenue
Seattle, WA 98101
(206) 442-2777
For Information on State Flequirements:
Washington Department of Ecology
Hazardous Waste Section
Olympia, WA 98504
(206)459-6300
West Virginia
West Virginia Department of Natural Resources
Division of Water Resources
1201 Greenbrier Street
East Charleston, WV 25311
(304) 384-5935
Wisconsin
To Obtain Information or Forms Contact
Wisconsin Department of Natural Resources
Bureau of Solid Waste Management
P.O. Box 792I
Madison, Wl 53707
(608) 266-2111
Mail Your Completed Forms to:
RCRA Activities
U.S. EPA Region V
Waste Management Division
P 0. Box A3587
Chicago, IL 60690
Wyoming
EPA Region VIII
Waste Management Division (8HWM.-ON)
One Denver Place
Suite 1300
999 18th Street
Denver, CO 80202-2413
(303)293-1502
EPA Form 8700-12 (Rev. 6-85)
D-5
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III. Line-By-Line Instructions For Completing
EPA Form 8700-12
Type or print in black ink all items except Item X, "Signature,"
leaving a blank box between words. When typing, hit the space
bar once between characters and three times between words. If
you must use additional sheets, indicate clearly the number of
the item on the form to which the information on the separate
sheet applies.
ITEMS I-IH — Name. Mailing Address, and Location of
Installation:
Complete Items I — III. Please note that the address you give for
Item III — "Location of Installation" must be a physical address,
not a post office box or route number. If the mailing address and
physical facility location are the same, you can prim "SAME" in
box for Item III.
ITEM IV — Installation Contact:
Enter the name, title and business telephone number of the
person who should be contacted regarding information submit-
ted on this form.
ITEM V - Ownership:
A) Enter the name of the legal owner of the installation. Use
additional sheets if necessary to list more than one owner.
B) Enter an "F" in the box if the installation is owned by a
Federal Agency An installation is Federally-owned if the owner
is the Federal Government, even if it is operated by a private
contractor. If the facility is not owned by the Federal Govern-
ment leave the box blank.
ITEM VI — Type of Hazardous Waste Activity:
Mark "X" in the appropriate box(es) to show which hazardous
waste activities are going on at this installation.
A) Generation: Mark an "X" in this box if you generate a
hazardous waste identified or listed in 40 CFR Pan 261.
For Small Quantity Generators (Less Than 1000 Kilograms/
Month):
If the total amount of hazardous waste that you generate is less
than 1000 kilograms in each calendar month, please mark an
"X" in the GENERATOR box and print the words "SMALL
QUANTITY GENERATOR" across the top of the Notification
Form (Form 8700-12).
B) Transportation: If you move hazardous waste by air, rail.
highway, or water then mark an "X" in this box. All transporters
must complete Item VII. Transporters do not have to complete
Item IX of this form, but must sign the certification in Item X.
Refer to Part 263 of the CFR for an explanation of the Federal
regulations for hazardous waste transporters.
C) Treat/Store/Dispose: If you treat, store or dispose of regu-
lated hazardous waste, then mark an "X" in this box. You are
reminded to contact the appropriate addressee listed for your
State in Section II(C) of this package to request Part A of the
RCRA Permit Application. Refer to Parts 264 and 265 of the CFR
for an explanation of the Federal regulations for hazardous
waste facility owners/operators.
D) Underground Injection: Persons who generate and/or treat,
store, or dispose of hazardous waste must place an "X" in Box 0
if an injection well is located at their installation. An injection
well is defined as any hole in the ground, including septic tanks.
that is deeper than it is wide and that is used for the subsurface
placement of fluids.
ITEM VII — Mode Of Transportation:
Complete this item only if you transport hazardous waste. Mark
an "X" in the box to indicate the method(s) of transportation you
use.
ITEM VIII — First Or Subsequent Notification:
Place an "X" in the appropriate box to indicate whether this is
your first or a subsequent notification. If you have filed a pre-
vious notification, enter your EPA Identification Number in the
boxes provided.
NOTE: When the owner of a facility changes, the new owner
must notify U.S. EPA of the change, even if the previous owner
already received a U.S. EPA Identification Number. Because the
U.S. EPA ID Number is "site-specific," the new owner will keep
the existing ID number.
If the facility moves to another location, the owner/operator
must notify EPA of this change. In this instance a new U.S. EPA
Identification Number will be assigned, since the facility has
changed locations.
ITEM IX — Description Of Hazardous Waste:*
You will need to refer to Title 40 CFR Part 261 (enclosed) in order
to complete this section. Part 261 identifies those wastes that
EPA defines as hazardous. If you need help completing this
section, please contact the appropriate addressee for your state
as listed in Section II(C) of this package.
Section A — If you handle hazardous wastes that are listed in
the "nonspecific sources" category in Part 261.31, enter the
appropriate 4-digit numbers in the boxes provided.
Section B — If you handle hazardous wastes that are listed in
the "specific industrial sources" category in Part 261.32, enter
the appropriate four-digit numbers in the boxes provided.
Section C — If you handle any of the "commercial chemical
products" listed as wastes in Part 261.33, enter the appropriate
four-digit numbers in the boxes provided.
Section D — Disregard, since EPA has not yet published infec-
tious waste regulations.
Section E — If you handle hazardous wastes which are not
listed in any of the categories above, but do possess a hazardous
characteristic, you should describe these wastes by their
hazardous characteristic. (An explanation of each characteristic
is found at Part 261.21 —261.24.) Place an "X" in the box next to
the characteristic of the wastes that you handle.
ITEM X — Certification:
This certification must be signed by the owner/operator or an
authorized representative of your installation. An "authorized
representative" is a person responsible for the overall operation
of the facility (i.e., a plant manager or superintendent, or a
person of equal responsibility). All notifications must include
this certification to be complete.
'Transporters requesting a US. EPA Identification Number do not need to complete this item, but must sign the "Certification" in Item X.
EPA Form 8700-12 (Rev. 6-8S)
D-8
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IV. Definitions
The following definitions are included to help you to under-
stand and complete the Notification Form:
Act or RCRA means the Solid Waste Disposal Act, as
amended by the Resource Conservation and Recovery Act of
1976, as amended by the Hazardous and Solid Waste Amend-
ments of 1984, 42 U.S.C. Section 6901 et seq.
Authorized Representative means the person responsible for
the overall operation of the facility or an operational unit (i.e.,
part of a facility), e.g., the plant manager, superintendent or
person of equivalent responsibility.
Disposal means the discharge, deposit, injection, dumping,
spilling, leaking, or placing of any solid waste or hazardous
waste into or on any land or water so that such solid waste or
hazardous waste or any constituent thereof may enter the
environment or be emitted into the air or discharged into any
waters, including ground waters.
Disposal Facility means a facility or part of a facility at which
hazardous waste is intentionally placed into or on any land or
water, and at wtjich waste will remain after closure.
EPA Identification (I.D.) Number means the number assigned
by EPA to each generator, transporter, and treatment, storage,
or disposal facility.
Facility means all contiguous land, and structures, other
appurtenaces, and improvements on the land, used for treat-
ing, storing, or disposing of hazardous waste. A facility may
consist of several treatment, storage, or disposal operational
units (e.g., one or more landfills, surface impoundments, or
combinations of them).
Generator means any person, by site, whose act or process
produces hazardous waste identified or listed in Part 261 of
this chapter or whose act first causes a hazardous waste to
become subject to regulation.
Hazardous Waste means a hazardous waste as defined in 40
CFR Part 261.
Operator means the person responsible for the overall opera-
tion of a facility.
Owner means a person who owns a facility or part of a facility.
Storage means the holding of hazardous waste for a temporary
period, at the end of which the hazardous waste is treated,
disposed of, or stored elsewhere.
Transportation means the movement of hazardous waste by
air, rail, highway, or water.
Transporter means a person engaged in the off-site transpor-
tation of hazardous waste by air, rail, highway, or water.
Treatment means any method, technique, or process, includ-
ing neutralization, designed to change the physical, chemical,
or biological character or composition of any hazardous waste
so as to neutralize such waste, or so as to recover energy or
material resources from the waste, or so as to render such
waste nonhazardous, or less hazardous; safer to transport,
store or dispose of; or amenable for recovery, amenable for
storage, or reduced in volume.
EPA Form 8700-12 (Rev. 6-85)
D-9
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Appendix E
Uniform Hazardous Waste Manifest
(EPA Forms 8700-22 and 8700-22A)
-------
facilities to use this form (8700-22) and. unique five digit number assigned to this
if necessary, the continuation sheet Manifest (e.g., 00001) by the generator.
(Form 8700-22A) for both inter and
intrastate transportation.
Federal regulations also require Item 2. Page 1 of
generators and transporters of pnter (ne total number of pages used
U.S. EPA Form 8700-22 hazardous waste and owners or to complete this Manifest, i.e.. the first
Read all instructions before operators of hazardous waste treatment, page(EPA Form 8700-22) plus the
romoletina this form storage and disposal facilities to number of Continuation Sheets (EPA
' / , 8 . , ' . , c complete the following information: Form 8700-22A). if any.
This form has been designed for use r J
on a 12-pitch (elite) typewriter a firm
point pen may also be used—press GENERATORS I'-*'" 3 Generator's Home and Mailing
down hard. Adilress
ForWal rponlatinns nunnrp apnprnlnrq Itfim 1. Generator's U.S. EPA ID ,
hederal regulations n.quire generators v , Mnnif»~nin,-nn,»n, v,,n,h»f Enter the name and mailing address of
• inrl truncnnrtpra nf ha7arrlnii« vuaotB .VU/77Oer—A/f7/?7't'.->f JJO(.time/It /VU/7/Otfr .• . ~i ., u 111 .
,ina iransponers 01 ndzaraous waste the generator. The address should be the
and owners or operators of hazardous Enter the generator's U.S. EPA twelve location that will manage the returned
waste treatment, storage, and disposal Jjgjt identification number and the Manifest forms.
E-l
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Please print or type (Form designed for use on elite (12-pitch) typewriter./
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UNIFORM HAZARDOUS 1 . Generator's US EPA ID
WASTE MANIFEST | | | | |
No.
Manifest
1 tj>OCUmentrt°
3. (Jenerator s Name and Mailing Address
4. Generator's Phone ( )
s. Transporter 1 Company Name 6
1 1 1
7 Transporter 2 Company Name 8.
1 1
9. Designated Facility Name and Site Address 10.
1 1 1
|
I
US EPA ID Number
1 1 1 1
US EPA ID Number
III II
US EPA ID Number
1 1 1 1
1 2. Com
1 1 US DOT Description (Including Proper Shipping Name, Hazard Class, and ID Number)
No.
a.
b.
c.
d.
1
15 Special Handling Instructions and Additional Information
2. Page 1 Information in the shaded areas
is not required by Federal
of law
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16 GENERATOR'S CERTIFICATION: I hereby declare that the contents of this consignment are fully and accurately described above by
proper shipping name and are classified, packed, marked, and labeled, and are in all respects in proper condition for transport by highway
according to applicable international and national government regulations.
Unless I am a small quantity generator who has been exempted by statute or regulation from the duty to make a waste minimization certification
under Section 3002(b) of RCRA, I also certify that I have a program in place to reduce the volume and toxicity of waste generated to the degree I
have determined to be economically practicable and I have selected the method of treatment, storage, or disposal currently available to me which
minimizes the present and future threat to human health and the environment
Printed/Typed Name
1 7. Transporter 1 Acknowledgement of Receipt of Materials
Printed/Typed Name
18 Transporter 2 Acknowledgement of Receipt of Materials
Printed/Typed Name
19. Discrepancy Indication Space
Signature
Month Day Year
\ III
Signature
Month Day Year
1 1 1 1 1
Signature
Month Day Year
i ill
20. Facility Owner or Operator: Certification of receipt of hazardous materials covered by this manifest except as noted in Item 19
Printed/Typed Name
Signature
Month Day Year
III 1
EPA Form 87OO-22 (Rev. 4-85) Previous edition is obsolete.
E-2
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Item 4. Generator's Phone Number
Enter a telephone number where an
authorized agent of tht generator may
be reached in the event of an
emergency.
Item 5. Transporter 1 Company Name
Enter the company name of the first
transporter who will transport the
waste.
Item 8. U.S. EPA ID Number
Enter the U.S. EPA twelve digit
identification number of the first
transporter identified in item 5.
Item 7. Transporter 2 Company Nome
If applicable, enter the company name
of the second transporter who will
transport the waste. If more than two
transporters are used to transport the
waste, use a Continuation Sheet(s) (EPA
Form 8700-22A) and list the transporters
in the order they will be transporting the
waste.
Item & U.S, EPA ID Number
If applicable, enter the U.S. EPA
twelve digit identification number of the
second transporter identified in item 7.
Not*.—If more than two transporters are
used, enter each additional transporter's
company name and U.S. EPA twelve digit
identification number in items 24-27 on the
Continuation Sheet (EPA Form 8700-22A),
Each Continuation Sheet has space so record
two additional transporters. Every
transporter used between the generator and
the designated facility must be listed.
Item ft Designated Facility Name and
Site Address
Enter the company name and site
address of the facility designated to
receive the waste listed on this
Manifest, The address must be the site
address, which may differ from the
company mailing address.
Item 10. U.S. EPA ID Number
Enter the U.S. EPA twelve digit
identification number of the designated
facility identified in item 9.
Item 11. U.S. DOT Description
fIncluding Proper Shipping Name.
Hazard Class, and ID Number / UN/
NA)]
Enter the U.S. DOT Proper Shipping
Name, Hazard Class, and ID Number
(UN/NA) for each waste as identified in
49 CFR 171 through 177.
Note.—If additional space is needed for
waste descriptions, enter these additional
descriptions in item 28 on the Continuation
Sheet (EPA Form 870O-22A).
Item 12. Containers (No, and Type)
Enter the number of containers for
each waste and the appropriate
abbreviation from Table I (below) for
the type of container.
Table I—Types of Containers
DM=Metal drums, barrels, kegs
DW=Wooden drums, barrels, kegs
DF=Fiberboard or plastic drums,
barrels, kegs
TP=Tanks portable
TT=Cargo tanks (tank trucks)
TC=Tank cars
DT=Dump truck
CY=Cylinders
CM=Metal boxes, cartons, cases
(including roll-offs)
CW=Wooden boxes, cartons, cases
CF=Fiber or plastic boxes, cartons.
cases
BA=Burlap, doth, paper or plastic bags
Item 13. Tata} Quantity
Enter the total quantity of waste
described on each line.
Item 14. Unit (Wl/VoL)
Enter the appropriate abbreviation
from Table II (below) for the unit of
measure.
Table II—Units of Measure
G=Gallons (liquids only)
P= Pounds
T=Tons (2000 Ibs)
Y=Cubic yards
L= Liters (liquids only)
K=Kilograms
M=Metric tons (1000 kg)
N=Cubic meters
Item 15. Special Handling Instructions
and Additional Information
Generators may use this space to
indicate special transportation,
treatment, storage, or disposal
information or Bill of Lading
information. States may not require
additional, new, or different information
in this space. For international
shipments, generators must enter in this
space the point of departure (City and
State) for those shipments destined for
treatment, storage, or disposal outside
the jurisdiction of the United States,
Item 16. Generator's Certification
The generator must read, sign (by
hand), and date the certification
statement If a mode other than highway
is used, the word "highway" should be
lined out and the appropriate mode (rail,
water, or air) inserted in the space
below. If another mode in addition to
the highway mode is used, enter the
appropriate additional mode (e.g., and
rai!} in the space below.
Note.—All of the above information exrepf
the handwritten signature required m i!em 18
may be preprinted.
E-3
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TRANSPORTERS
Item 17. Transporter 1
Acknowledgement of Receipt of
Materials
Enter the name of the person
accepting the waste on behalf of the Tint
transporter. That person must
acknowledge acceptance of the waste
described on the Manifest by signing
and entering the date of receipt.
Item 18, Transporter 2
Acknowledgement of Receipt of
Materials
Enter, if applicable, the name of the
person accepting the waste on behalf of
the second transporter. That person
must acknowledge acceptance of the
waste described on the Manifest by
signing and entering the date of receipt.
Sola.—International Shipments—
Transporter Responsibilities.
Exports—Transporters must sign and enter
the date the waste left the United'States in
ilem 15 of Form 8700-22.
Imports—Shipments of hazardous waste
regulated by RCRA and transported into the
United Stales from another country must
upon entry be accompanied by the U.S. EPA
Uniform Hazardous Waste Manifest.
Transporters who transport hazardous waste
into the United.States from another country
ore responsible for completing the Manifest
(40 CFR 263.10(c)(l));
Owners and Operators of Treatment,
Storage, or Disposal Facilities
flam 19. Discrepancy Indication Space
The authorized representative of the
designated (or alternate) facility's owner
or operator must note in this space any
significant discrepancy between the
waste described on the Manifest and the
waste actually received at the facility.
Owners and operators of facilities
located in unauthorized States (i.e., the
U.S. EPA administers the hazardous
waste management program) who
cannot resolve significant discrepancies
within 15 days of receiving the waste
must submit to their Regional
Administrator (see list below) a letter
with a copy of the Manifest at issue
describing the discrepancy and attempts
to reconcile it (40 CFR 264.72 and
265.72).
Owners and operators of facilities
located in authorized States (i.e., those
States that have received authorization
from the U.S. EPA to administer the
hazardous waste program) should
contact their State agency for
information on State Discrepancy
Report requirement!.
EPA Regional Administrators
Regional Administrator, U.S. EPA
Region I, ).F. Kennedy Fed. Bldg..
Boston, MA 02203
Regional Administrator. U.S. EPA
Region II, 26 Federal Plaza, New York.
NY 10278
Regional Administrator, U.S. EPA
Region III. 6th and Walnut Sts..
Philadelphia. PA 19106
Regional Administrator, U.S. EPA
Region IV, 345 Courtland St., NE..
Atlanta, CA 30365
Regional Administrator. U.S. EPA
Region V, 230 S. Dearborn St..
Chicago. IL 60604
Regional Administrator, U.S. EPA
Region VI. 1201 Elm Street. Dallas, TX
75270
Regional Administrator, U.S. EPA
Region VII. 324 East llth Street.
Kansas City, MO 64106
Regional Administrator. U.S. EPA
Region VIII. 1860 Lincoln Street.
Denver. CO 80295
Regional Administrator, U.S. EPA
Region IX 215 Freemont Street. San
Francisco, CA 94105
Regional Administrator. U.S. EPA
Region X1200 Sixth Avenue. Seattle,
WA 08101
Item 20. Facility Owner or Operator
Certification of Receipt ofHatardoui
Materials Covered by Thit Manifest
Except as Noted in Item 19
Print or type the name of the person
accepting the waste on behalf of the
owner or operator of the facility. That
person must acknowledge acceptance of
the waste described on tht> Manifest by
signing and entering the date of receipt
Items A-K are not required by Federal
regulations for intra- or interstate
transportation. However, States may
require generators and owners or
operators of treatment, storage, or
disposal facilities to complete some or
all of items A-K as part of State
manifest reporting requirements.
Generators and owners and operators of
treatment storage, or disposal facilities
are advised to contact State officials for
guidance on completing the shaded
areas of the Manifest
E-4
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Ptstas prmi o» type, fform
«er yes an >l*e (U-prtCfi)
Foim Apprened. OMi Ne 2000-04O* C*<.rM 731 86
UNIFORM HAZARDOUS
WASTE MANIFEST
21. GenarMW* US EM ID No.
ManrfMI
Document No.
23.1
22. Page
Information in th« sneded
trMi i* not required by Federal
lew.
L SIM* Mwutatt I
M. Sun Generator s tO
24. Tranaporter Company Ncnw
25. US EM H> Numtoor
I
N. StM«Tri
• K>
>. T
28. Tri
27. US Er>A 10 Number
P. Stete TrtfMpOTMr'i 10
2tU8 DOT Deotriplion (Including frt
M.
30.
Tout
31
Unit
T Mandlirq Cooea lei Wastes Listed Above
32. Special Handling Instructions and Additional Information
S3. Transporter ActncwieJavn*™ o* Kece-pt of Mdtit'n' t
Printed/Typed Name
Signature
34. Traniportef Acfcnowlyjge^ent of Rece-pt o< Matern's
Wj j.-t £)«»
I I
Oft
Printed/Typed Nam*
Signature
I I
JS. Discrepancy Indication Space
EPA Form •70O-22A |3-I4>
E-5
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Instructions—Continuation Sheet, U.S.
EPA Form 8700-22A
Read all instructions before
co.Tplnting this form.
This form has been designed for use
on a 12-pitch (elite) typewriter a firm
point pen may also be used—press
down hard.
This form must be used as a
continuation sheet to U.S. EPA form
8*00-22 if:
• More than two transporters are to be
used to transport the waste:
• More space is required for the U.S.
DOT description and related
information in Item 11 of U.S. EPA
Form 8700-22.
Federal regulations require generators
and transporters of hazardous waste
and owners or operators of hazardous
waste treatment, storage, or disposal
facilities to use the uniform hazardous
waste manifest (EPA Form 8700-22) and.
if necessary, this continuation sheet
(EPA Form 8700-22A) for both inter- and
intrastate transportation.
GENERATORS
Hem 21. Generator's U.S. EPA ID
Number—Manifest Document Number
Enter the generator's U.S. ErA twelve
digit identification number and the
unique five digit number assigned to this
Manifest (e.g.. 00001) as it appears in
item 1 on the first puge of the Manifest.
ltu:n 22. Aye
Enter the page number of this
Continuation Sheet.
l!>'m 2,1. Generator's ,\'un;e
Enter the generator's name as it
•ippiiars in iti-m 3 on the first page of ihe
Manifest.
Ill :n _'•/. Transporter Company
\unie
IT additional transporters are used to
transport the waste described on this
Manifest, enter the company name of '
etich Additional transporter in the order
in which they -will transport the waste.
Enter after the word "Transporter" the
order of the transporter. For example,
Transporter 3 Company Name. Each
Continuation Sheet will record the
names of two additional transporters.
Item 25. U.S. EPA ID Number
Enter the U.S. EPA twelve digit
identification number of the transporter
described in item 24.
Item 26. Transporter -
Name
• Company
If additional transporters are used to
transport the waste described on this
Manifest, enter the company name of
each additional transporter in the order
in which they will transport the waste.
Enter after the word "Transporter" the
order of the transporter.For exaniDle.
Transporter 4 Company Name. Each
Continuation Sheet will record the
names of two additional transporters.
Item 27. U.S. EPA ID Number
Enter the U.S. EPA twelve digit
identification number of the transporter
described in item 26.
Item 28. U.S. DOT Description Including
Proper Shipping Name, Hazardous
Class, and ID Number (UN/NA)
Refer to item 11.
Itmn 29. Containers (No. and Type)
Refer to item 12.
Item 30. Total Quantity
Refer to item 13.
Item 31. Unit (Wt./VolJ
Refer to item 14.
Item 32. Special Handling Instructions
Generators may use this space to
indicate special transportation.
treatment, storage, or disposal
information or Bill of Lading
information. States are not authorized to
require additional, new, or different
information in this space.
TRANSPORTERS
HI-HI :IJ. Tninspurtrr
Ai:kn
-------
Appendix F
Generator Annual Report
(EPA Form 8700-13)
-------
Please print or type with ELITE type (12 characters per inch).
vvEPA
U.S. ENVIRONMENTAL PROTECTION AGENCY
HAZARDOUS WASTE REPORT
Form Approved OMB No. 2000-0058
GSA No. 0271-EPA-AR
PART A: GENERATOR ANNUAL REPORT
THIS REPORT IS FOR THE YEAR ENDING DEC.31.
PART B: FACILITY ANNUAL REPORT
PLEASE PLACE LABEL IN THIS SPACE
THIS REPORT FOR YEAR ENDING DEC. 31,
PARTC: UNMANIFESTED WASTE REPORT
THIS REPORT IS FOR A WASTE
RECEIVED (day, mo., & yr.)
INSTRUCTIONS: You may have received a preprinted label attached to the front of this pamphlet; affix it in the designated space above-left. If any of the
nformation on the label is incorrect, draw a line through it and supply the correct information in the appropriate section below. If the label is complete and
correct, leave Sections II, III, and IV below blank. If you did not receive a preprinted label, complete all sections. "Installation" means a single site where
lazardoitt waste is generated, treated, stored, or disposed of. Please refer to the specific instructions for generators or facilities before completing this form.
The information requested herein is required by law (Section 3002/3004 of the Resource Conservation and Recovery Act).
II. INSTALLATION'S EPA I.O. NUMBER
III. NAME OF INSTALLATION
IV. INSTALLATION MAILING ADDRESS
_J
STREET OR P.O. BOX
CITY OR TOWN
V. LOCATION OF INSTALLATION
STREET OR ROUTE NUMBER
VI. INSTALLATION CONTACT
NAME (last and first)
VII. TRANSPORTATION SERVICES USED (for Part A reports on
List the EPA Identification Numbers for those transporters whose services were used during the reporting year represented by this report.
VIIK COST ESTIMATES FOR FACILITIES (for Part B reports only)
A. COST ESTIMATE FOR FACILITY CLOSURE
B. COST ESTIMATE FOR POST CLOSURE MONITORING AND
MAINTENANCE (disposal facilities only)
I certify under penalty of law that I have personally examined and am familiar with the information submitted in this and all attached documents, and that
based on my inquiry of those individuals immediately responsible for obtaining the information, I believe that the submitted information is true, accurate,
and complete. I am aware that there are significant penalties for submitting false information, including the possibility of fine and imprisonment
A. PRINT OR TYPE NAME
B. SIGNATURE
C. DATE SIGNED
EPA Form 8700-13 (1-81)
PAGE
OF
-------
PAGE
OF
Please print or type with ELITE type 112characters/inch).
Form Approved OMB No. 2000-0058
GSA No. 12345-XX
\. DATE RECEIVED
XVII. FACILITY'S EPA I.D. NO.
XVI. TYPE OF REPORT (enter art "X")
FOR OFFICIAL.
XX. GENERATOR ADDRESS (street or P.O. box, city, state, & zip code)
XVIII. GENERATOR'S EPA I.D. NO.
XIX. GENERATOR NAME (sped
XXI. WASTE IDENTIFICATION
c.
HAND-
LING
METHODI
(enter
code)
B. EPA
HAZARDOUS
WASTE
NUMBER
(see instructions)
D. AMOUNT
OF WASTE
A. DESCRIPTION OF WASTE
U.S. ENVIRONMENTAL PROTECTION AGENCY
FACILITY REPORT - PARTS B & C
(Collected under the authority of Section 3004 of RCRA.)
I I
12
XXII. COMMENTS (enter information by line number ~ see instructions)
y,
*
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GENERAL INSTRUCTIONS: UNMANIFESTED WASTE REPORT {EPA Form 8700-13 & 138)
GENERAL INFORMATION
Included with these instructions is a detachable copy of EPA Form 8700-13,
Hazardous Waste Report and EPA Form 8700-13B, Facility Report-Parts
B &C (forms are printed back-to-back). In addition to these General Instruc-
tions and the Summary of Specific Instructions, a partial reproduction of
applicable instructions originally printed in the Federal Register, Volume 45,
No. 98, pages 33228, 33256, & 33257 is included. Ignore all shaded instruc-
tions and form sections because they do not apply to Unmanifestad Waste
Reports.
WHO MUST FILE
Any hazardous waste treatment, storage, or disposal facility that accepts
wastes from an off-site source without an accompanying manifest must file
an Unmanifested Waste Report.
WHAT TO FILE
An Unmanifested Waste Report consists of two forms:
(1) The Hazardous Waste Report, EPA Form 8700-13, as a cover sheet,
with
(2) The Facility Report-Parts 8 & C, EPA Form 8700-13B.
The Hazardous Waste Report asks general information, such as the name and
address of the facility.
The Facility Report —Parts B & C, asks more detailed information. The
Facility Report is used both as part of the Annual Report (Part Bl. and as
an Unmanifested Waste Report (Part C). To use this form as an Unmani-
fested Watt* Report, you mutt road all the directions for Paris B & C, and
follow the special instructions for Part C.
WHEN TO FILE
The owner or operator must prepare and submit the Unmanifested Waste
Report within 15 days after receiving an Unmanifested waste (see 40 CFR
265.76).
WHERE TO FILE
Mail this report to the Regional Office that serves your State. Please use
Table 1 to determine the address of the appropriate Regional Office.
SUMMARY OF SPECIFIC INSTRUCTIONS
Section I-Part C
Please enter the date that the Unmanifested waste was received at the facili-
ty. Parts A and B of this Section do not apply to the Unmanifested Waste
Report.
Sections II through VI
Complete as instructed in the Specific Instructions that follow.
SsctionsVl and VIII
Ignore these sections.
Section IX
Complete as instructed in the Specific Instructions that follow.
Section XVI
When using this form as an Unmanifested Waste Report, put an "X" in the
box marked Part C.
Sections XVII through XXI
Complete as instructed in the Specific Instructions that follow.
Section XXII: IMPORTANT
Facilities accepting an unmanifiested hazardous waste shipment mi'St supply
EPA with information which clearly indentif ies the transporter of such ship-
ment, as required in the Subpart C Specific Instructions relating to this sec-
tion. Additionally, facilities should include here any information known re-
garding the generators of the wastes included in the Unmanifested shipment.
SPECIFIC INSTRUCTIONS FOR EPA FORM 8700-13 (ignore shaded areas)
(Reproduced from the Federal Register, Volume 45, No. 98, pages 33256 & 33257.)
IMPORTANT: Read all instructions before completing this form.
Section I: Type of Hazardous Waste Report
PART A: GENERATOR ANNUAL REPORT
For generators who ship their waste off-site to facilities which they do not
own or operate; fill in the reporting year for this report (e.g., 19821.
NOTE: Generators who ship hazardous waste off-site to a facility which
they do not own or operate must complete the facility (fart B) report
instead of the Part A report.
PART B: FACILITY ANNUAL REPORT
For owners or operators of on-site or off-site facilities that treat, store, or
dispose of hazardous waste; fill in the reporting year for this report (e.g.,
1982).
PART C: UNMANIFESTED WASTE REPORT
For facility owners or operators who accept for treatment, storage, or dis-
posal any hazardous waste from an off-site source without an accompanying
manifest; fill in the date the waste was received at the facility (e.g., April
12. 1982).
Section II Through Section IV: Installation I.D. Number, Name of Installa-
tion, and Installation Mailing Address
If you received a preprinted label from EPA, attach it in the space provided
and leave Sections II through IV blank. If there is an error or omission on
the label, cross out the incorrect information and fill in the appropriate
items(s). If you did not receive a preprinted label, complete Section II
through Section IV.
Section V: Location of Installation
If your installation location address is different than the mailing address,
enter the location address of your installation.
Section VI: Installation Contact
Enter the name (last and first) and telephone number of the person whom
may be contacted regarding information contained in this report.
Section VII: Transportation Services Used (for Part A Reports Only)
List the EPA Identification Number for each transporter whose services
you used during the reporting year.
Section VIII; Cost Estimates for Facilities (for Part B Repom Only)
A. Enter the most recent cost estimate for facility closure in dollars. See
Subpart H of 40 CFR parts 264 or 265 for more detail.
B. For disposal facilities only, enter the most recent cost estimate for post
closure monitoring and maintenance. See Subpart H of 40 CFR parts 264 or
265 for more detail.
Section IX: Certification
The generator or his authorized representative (Part A reports) or the owner
or operator of the facility or his authorized representative (Parts B and C re-
ports) must sign and date the certification where indicated. The printed or
typed name of the person signing the report must also be included where
indicated.
NOTE: Since more than one page is required for each report, enter the
page number of each sheet in the lower right corner as well as the total
number of pages.
-------
PART B SPECIFIC INSTRUCTIONS FOR EPA FORM 8700-13B (ignore shaded areas)
Facility Annual Report for owners or operators of on-site or off-site facilities
that treat, store, or dispose of hazardous waste.
NOTE: Generators who ship hazardous waste off-site to a facility they own
or operate must complete this Part B report instead of the Generator (Part
A) Annual report.
IMPORTANT: Read all instructions before completing this form.
Section XVI: Type of Report
Put an "X" in the box marked Part B.
Section XVII: Facility's EPA Identification Number
Enter the EPA identification number for your facility.
Example:
Section XVIII: Generator's EPA Identification Number
Enter the EPA identification number of the generator of the waste describ-
ed under Section XXI which was received by your facility during the report-
ing year. A separate sheet must be used for each generator. If the waste came
from a foreign generator, enter the EPA identification number of the im-
porter in this section and enter the name and address of the foreign genera-
tor in Section XXII, Comments. If the waste was generated and treated,
stored, or disposed of at the same installation, leave this section blank.
Section XIX: Generator's Name
Enter the name of the generator corresponding to the generator's EPA ident-
ification number in Section XVIII.
If the waste was generated and treated, stored, or disposed of at the same
installation, enter "ON-SITE."
If the waste came from a foreign generator, enter the name of the importer
corresponding to the EPA identification number in Section XVIII.
Section XX: Generator's Address
Enter the address of the generator corresponding to the generator's EPA
dentification number in Section XVIII. If the waste was generated and
treated, stored, or disposed of at the same installation, leave this section
blank, if the waste came from a foreign generator, enter the address of the
importer corresponding to the EPA identification number in Section XVIII.
Section XXI: Waste Identification
Ml information in this section must be entered by line number. A separate
ine entry is required for each different waste or mixture of wastes that your
acility received during the reporting year. The handling code applicable to
that waste at the end of the reporting year should be reported. If a different
landling code applies to portions of the same waste, (e.g., part of the waste
s stored while the remainder was "chemically fixed" during the year), use
3 separate line entry for each portion. See example below.
NOTE: When filing an Unmanifested Waste Report, enter information re-
garding the specific shipment being reported, as opposed to annual aggre-
gates.
XXI. WASTE IDENTIFICATION
Steel Finishing Sludge
Steel Finishing Sludge
B. EPA
HAZARDOUS
WASTE
NUMBER
(tee I'njfrucfionj)
HAND'
LING
METHOD
(enter
code!
K 06 0
KO 6 0
K'O 6 1
ICO 61
ZW C
I
Section XXI-A: Description of Waste
For hazardous wastes that are listed under 40 CFR Part 261, Subpart D,
enter the EPA listed name, abbreviated if necessary. Where mixtures of listed
wastes were received, enter the description which you believe best describes
the waste.
For unlisted hazardous waste identified under 40 CFR Part 261, Subpart C,
enter the description which you believe best describes the waste. Include the
specific manufacturing or other process generating the waste (e.g., green
sludge from widget manufacturing) and if known, the chemical or generic
chemical name of the waste.
Section XXI-B: EPA Hazardous Waste Number
For listed waste, enter the four digit EPA Hazardous Waste Number from 40
CFR Part 261, Subpart D, which identifies the waste.
For a mixture of more than one listed waste enter each of the applicable
EPA Hazardous Waste Numbers.
Four spaces are provided. If more space is needed, continue on the next
line(s) and leave all other information on that line blank. See example be-
low.
For unlisted hazardous wastes, enter the EPA Hazardous Waste Numbers
from 40 CFR Part 261, Subpart C, applicable to the waste. If more than
four spaces Eire required, follow the procedure described above.
Section XXI-C: Handling Code
Enter one EPA handling code for each waste line entry. Where several
handling steps have occurred during the year, report only the handling code
representing the waste's status at the end of the reporting year or its final
disposition. EPA handling codes are given in Table 2 which follows these
instructions.
(2)
-------
PART B SPECIFIC INSTRUCTIONS FOR EPA FORM 8700-13B - Continued
Section XXI-O: Amount of Waste
Enter the total amount of waste described on this line which you received
during this reporting year.
Section XXI-E: Unit of Measure
Enter the unit of measure code for the quantity of waste described on this
line. Units of measure which must be used in this report and the appropriate
codes are:
Units of Measure
Pounds
Short Tons (2,000 Ibs) . . .
Kilograms ....
Tonnes (1,000 kg)
Code
P
T
K
M
Units of volume may not be used for reporting but must be converted into
one of the above units of weight, taking into account the appropriate density
or specific gravity of the waste.
Section XXII: Comments
This space may be used to explain or clarify any entry. If used, enter a
cross-reference to the appropriate Section number.
NOTE: Since more than one page is required for each report, enter the
page number of each sheet in the lower right hand corner as well as the
total number of pages.
Where required by 40 CFR 264 or 265, Subparts F or R, attach ground-
water monitoring data to this report.
PART C SPECIFIC INSTRUCTIONS: UNMANIFESTED WASTE REPORT
Unmanifested Waste Report for facility owners or operators who accept for
treatment, storage, or disposal any hazardous waste from an off-site source
without an accompanying manifest.
IMPORTANT: Read all instructions before completing this form.
For the Unmanifested Waste Report, EPA Forms 8700-13 and 8700-13B
must be filled out according to the directions for the Part B Facility Annual
Report except that:
(1) Blocks for which information is not available to the owner or opera-
tor of the reporting facility may be marked "UNKNOWN," and
(2) The following special instructions apply:
Section VIII: Cost Estimates for Facilities
Do not enter closure or post-closure cost estimates.
Section XVI: Type of Report
Put an "X" in the box marked Part C.
Section XXI-A: Description of Waste
Use as many line numbers as are needed to describe the waste.
Section XXI- C: Handling Code
Enter the handling code which describes the status of the waste on the date
the report is filed. (See Table 2, attached.)
Section XXI- D: Amount of Waste
Enter the amount of waste received, rather than a total annual aggregate.
Section XXII: Comments
a. Enter the EPA Identification number, name, ana address of tha trans-
porter, if known. If the transporter is not known to you, enter the nama and
chauffeur license number of the driver and the State and license number of
the transporting vehicle which presented the waste to your facility, if
known.
b. Enter an explanation of how the waste movement was presented to your
facility; why you believe the waste is hazardous; and how your facility plans
to manage the waste. Continue on a separate blank sheet of paper if addi-
tional space is needed.
NOTE: Include here any information known regarding the generators of
wastes included in the Unmanifested shipment.
TABLE 1 - REGIONAL MAILING ADDRESSES AND AREAS SERVED
Address each to:
Regional Administrator
Ann- RCHA Unmanifested Waste Report
Regional Mailing Address
REGION I
U.S. Environmental Protection Mgency
John F. Kennedy Building
Boston, Massachusetts 02203
REGION II
U.S. Environmental Protection Agency
26 Federal Plaza
New York, New Yo'k 10007
REGION III
U.S. Environmental Protection Agency
6th & Walnut Streets
Philadelphia, Pennsylvania 19106
REGION IV
U.S. Environmental Protectie-i Agency
345 Courtland Street, N.E.
Atlanta, Georgia 30365
REGION V
U.S. Environmental Protection Agency
230 South Dearborn Street
Chicago, Illinois 60604
Areas Served
Connecticut, Maine,
Massachusetts, New
Hampshire, Rhode Is-
land, Vermont
New Jersey, New
York, Virgin Islands,
Puerto Rico
Delaware, District of
Columbia, Maryland,
Pennsylvania, Virgin-
ia, West Virginia
Alabama, Florida,
Georgia, Kentucky,
Mississippi, North
Carolina, South Caro-
lina, Tennessee
Illinois, Indiana,
Michigan, Minnesota,
Ohio, Wisconsin
Regional Mailing Address
REGION VI
U.S. Environmental Protection Agency
First International Building
1201 Elm Street
Dallas, Texas 75270
REGION VII
U.S. Environmental Protection Agency
324 East 11th Street
Kansas City, Missouri 64106
REGION VIII
U.S. Environmental Protection Agency
1816 Lincoln Street
Denver, Colorado 80203
REGION IX
U.S. Environmental Protection Agency
215 Fremont Street
San Francisco, California 94105
REGION X
U.S. Environmental Protection Agency
1200 6th Avenue
Seattle, Washington 98101
Areas Served
Arkansas, Louisiana.
New Mexico, Okla-
homa, Texas
Iowa, Kansas, Missou-
ii, Nebraska
Colorado, Montana,
North Dakota, South
Dakota, Utah, Wyo-
ming
Arizona, California.
Hawaii, Nevada,
Guam, American
Samoa, Trust Terri-
tories
Alaska, Idaho, Ore-
gon, Washington
(3)
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TABLE 2 - HANDLING CODES
(Reproduced from the Federal Register, Volume 45, No. 98, page 33228.)
Enter the handling code(s) listed below that most closely represents the
technique(s) used at the facility to treat, store, or dispose of each quantity
of hazardous waste received.
1 . Storage
SOI Container (barrel, drum, etc.)
S02 Tank
S03 Waste pile
S04 Surface impoundment
505 Other /specify)
2. Treatment
(a) THERMAL TREATMENT
T06 Liquid injection incinerator
T07 Rotary kiln incinerator
T08 Fluidized bed incinerator
T09 Multiple hearth incinerator
T10 Infrared furnace incinerator
T1 1 Molten salt destructor
T12 Pyrolysis
T13 Wet air oxidation
T14 Calcination
T15 Microwave discharge
T16 Cement kiln
T17 Limekiln
T18 Other (specify)
(b) CHEMICAL TREATMENT
T19 Absorption mound
T20 Absorption field
T21 Chemical fixation
T22 Chemical oxidation
T23 Chemical precipitation
T24 Chemical reduction
T25 Chlorination
T26 Chlorinolysis
T27 Cyanide destruction
T28 Degradation
T29 Detoxification
T30 Ion exchange
T31 Neutralization
T32 Ozonation
T33 Photolysis
T34 Other (specify)
(c) PHYSICAL TREATMENT
(1) Separation of Components
T35 Centrifugation
T36 Clarification
T37 Coagulation
T38 Decanting
T39 Encapsulation
T40 Filtration
T41 Flocculation
T42 Flotation
T43 Foaming
T44 Sedimentation
T45 Thickening
T46 Ultrafiltration
T47 Other (specify)
(2) Removal
T48
T49
T50
T51
T52
T53
T54
T55
T56
T57
T58
T59
T60
T61
T62
T63
T64
T65
T66
of Specific Components
Absorption-molecular sieve
Activated carbon
Blending
Catalysis
Crystallization
Dialysis
Distillation
Electrodialysis
Electrolysis
Evaporation
High gradient magnetic separation
Leaching
Liquid ion exchange
Liquid extraction
Reverse osmosis
Solvent recovery
Stripping
Sand filter
Other (specify)
(d) BIOLOGICAL TREATMENT
T67
T68
T69
T70
T71
T72
T73
T74
T75
T76
T77
T78-79
3. Disposal
D80
D81
D82
D83
D84
D85
Activated sludge
Aerobic lagoon
Aerobic tank
Anaerobic lagoon
Composting
Septic tank
Spray irrigation
Thickening filter
Trickling filter
Waste stabilization pond
Other (specify)
[Reserved]
Underground injection
Landfill
Land treatment
Ocean disposal
Surface impoundment (to be closed as a landfill)
Other (specify)
(4)
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Appendix G
Draft Letter to I Us
-------
Dear [POTW Customer]:
We are writing to you to advise you that your facility, [insert name],
may be subject to solid or hazardous waste management requirements pursuant to
the Federal Resource Conservation and Recovery Act (PL 94-580 as amended) and
State hazardous waste management regulations.
The enclosed general material describes Federal [and State] requirements
for hazardous waste generators and transporters. This packet includes
descriptions of hazardous waste management requirements which may apply to
your operation if it involves generating or transporting hazardous waste. It
also contains EPA-approved [or State-approved] forms which you will need to
fulfill these requirements.
In order to ensure that your operations comply with Federal, State, and
local hazardous waste management regulations, please consult [name, address,
and phone number of local, State, or EPA Regional hazardous waste authority]
to determine all specific requirements that apply to your operation.
Sincerely yours,
[Responsible POTW Official]
G-l
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Appendix H
EPA Pamphlets on
Small Quantity Generators
-------
United States March 1985
Environmental Protection EPA/530-SW-85-006
Agency
Solid Waste and Emergency Response
&EPA Requirements for
Small Quantity
Hazardous Waste
Generators
Questions and
Answers
H-l
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In 1976, Congress enacted the Resource
Conservation and Recovery Act (RCRA) to protect
human health and the environment from improper
waste management practices. In issuing hazardous
waste regulations under RCRA, the Environmental
Protection Agency (EPA) first focused on those
large generators who produce the greatest portion
of the hazardous waste. Regulations EPA published
on May 19, 1980. exempted "small quantity
generators" from most of the hazardous waste
requirements. But amendments to RCRA signed
into law November 8, 1984, mandate several new
requirements for small quantity generators. Here
are answers to basic questions arising as a result of
the 1984 amendments.
Q. What is a small quantity generator?
A. A "small quantity generator" is a business or
organization that produces hazardous waste in
quantities less than 1,000 kilograms (approximately
2,200 pounds) per calendar month. There are
600,000 to 650,000 such establishments currently
operating in the United States.
Q. Are all small quantity generators affected by the
new law?
A. No. The new law will initially affect about
175,000 generators who produce 100 to 1000
kilograms of hazardous waste per month.
Generators who produce less than 100 kilograms
per month will not be immediately affected by the
amendments.
Q.How much hazardous waste is produced by small
quantity generators?
A.Altogether, generators of less than 1000 kilograms
per month produce about 940,000 metric tons of
hazardous waste per year. Generators affected by
the new law account for an estimated 700,000
metric tons per year.
Q.What kinds of businesses are likely to be small
quantity generators?
A.An EPA survey indicated that nearly 85 percent of
the small quantity generators are in
nonmanufacturing industries. Vehicle maintenance
and construction establishments are the largest
categories covered. Other nonmanufacturing
establishments affected include laundries and dry
cleaners, photographic processors, equipment
repair shops, laboratories, and schools. The other
15 percent of small quantity generators are in
manufacturing: primarily metal manufacturing, but
also including printing, chemical manufacturing
and formulating, furniture manufacturing, and
textile manufacturing establishments.
This information is based on a survey conducted
by EPA. The survey covered 22 industry categories
that were likely to contain a significant number of
small quantity generators. EPA estimates that
approximately two-thirds of all small quantity
generators fall into these 22 industry groups.
Q.What kinds of waste do small quantity generators
produce?
A.Some of the most common wastes produced by
small quantity generators are:
—spent solvents and chemicals
—chemical wastes produced during manufacturing
or industrial processes
—discarded chemical products
—chemical containers and chemical spill residues
—used lead-acid batteries.
Q. How have requirements for small quantity
generators changed?
A. Under the May 1980 hazardous waste regulations,
small quantity generators have been required only
to determine whether or not they produce
hazardous waste, and to see that the waste is sent
to facilities approved by EPA or a state to manage
solid or hazardous waste.
In the 1984 amendments to RCRA, however,
Congress directed EPA to publish by March 31.
1986, regulations covering generators of more than
100 but less than 1,000 kilograms of hazardous
waste per month. In these regulations, EPA must,
at a minimum, require these small quantity
generators to see that their hazardous waste is
managed at an approved hazardous waste facility.
The new law also specifies that by August 5,
1985, generators of 100 to 1,000 kilograms of
hazardous waste per month will be required to
complete parts of the Uniform Hazardous Waste
H-2
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Manifest to accompany hazardous waste they ship
off their premises. The Manifest is a specific form
EPA requires all regulated hazardous waste
generators to use when they ship ha/ardous waste.
Use of the Manifest also satisfies Department of
Transportation (DOT) requirements for shipment of
hazardous materials.
As of August 5. 1985. affected small quantity
generators will be required to complete the
following information on the Manifest:
—name, address, and signature of the generator
—DOT shipping name, hazard class, and waste
identification number
—number and type of containers
—quantity of hazardous waste being transported
—name and address of facility designated to
ceceive the hazardous waste.
Q.VVhat if EPA does not promulgate final regulations
by the March 31. 1986. deadline?
A.The 1984 amendments include a number of
provisions that will automatically become effective
April 1, 1986. if EPA does not publish final rules
before that date:
• Generators of 100 to 1,000 kilograms of waste
per calendar month must continue to complete the
Uniform Manifest and include the name of the
waste transporter in addition to the other
information required.
• Treatment, storage, and disposal of waste
produced by these generators must occur at a
"Subtitle C facility"—that is. a facility authorized
under Subtitle C by EPA or a state to treat, store, or
dispose of hazardous waste.
• A copy of each manifest must be signed by the
facility designated to receive the waste, and
returned to the generator, who must keep it on file
for 3 years.
• Manifest Exception Reports must be filed with
EPA twice a year. A generator who has not
received a signed copy of the Uniform Manifest
from the designated facility confirming its receipt
of a waste shipment must list such "lost
shipments" on the manifest Exception Report.
These provisions do not necessarily reflect the
standards that EPA is required to develop for small
quantity generators under the 1984 amendments.
Those regulations will be proposed in the Federal
Register in the summer of 1985.
Q.Do provisions taking effect August 5. 1985. require
the use of approved hazardous waste transporters
or disposal facilities by affected small quantity
generators?
A.No. The August 1985 requirement tor these
generators to complete parts of the Uniform
Ha/ardous Waste Manifest still allows them to
send wastes to either an authorized ha/ardous
waste facility or to a facility approved by the state
to manage nonha/ardous solid waste, such as a
sanitary landfill. In reality, however, small
quantity generators may find that only ha/ardous
waste transporters and ha/ardous waste facilities
are willing to accept waste that is accompanied by
a Manifest. If this is the case, state hazardous
waste offices should be able to provide lists of
licensed transporters and hazardous waste facilities
to help small quantity generators locate these
services.
By March 31. 1986. or by the date that new-
regulations issued by EPA become effective, small
quantity generators will be required to treat, store.
or dispose of their hazardous waste at an
authorized hazardous waste (Subtitle C) facility.
(Certain wastes, principally used lead-acid
batteries, will continue to remain exempt from
most RCRA requirements if they are recycled.)
Q.How can small quantity generators determine if
they produce the kinds or quantities of waste that
make them subject to the 1984 amendments?
A.Generators must first determine whether they
produce hazardous waste. EPA considers a waste
hazardous if (1) it has any one of four
characteristics (ignitability, reactivity, corrosivity,
toxicity) that make it dangerous to human health
and the environment after it is discarded; or (2) it
is listed among the approximately 400 substances
EPA has determined to be hazardous.
EPA's hazardous waste regulations are explained
in detail in the Code of Federal Regulations (CFR)
at 40 CFR Parts 260-266. If the Code of Federal
Regulations is not available for reference, contact
one or more of the following for information:
H-3
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—EPA's RCRA Hotline: 800-424-9346 (382-3000 in
the Washington, DC. area)
—EPA's Small Business Hotline: 800-368-5888
—EPA Regional Offices (see list below)
—national or regional trade associations
In ALL cases, generators should contact their
state agency responsible for hazardous waste
management for information on state requirements.
Q.How can generators obtain copies of the Uniform
Manifest?
A. Small quantity generators should first check with
their state agency responsible for hazardous waste
management since 22 states require use of their
own versions of the Uniform Manifest and may
require additional information, such as generator
identification numbers or the name of the waste
hauler. EPA regional offices (see list below) may be
able to assist small quantity generators in obtaining
the proper manifest form. If no state manifest is
required, the manifest may be photocopied from
the Federal Register of March 20. 1984. or
purchased from some commercial printers.
Q. What requirements do states impose on small
quantity generators?
A.State requirements may be stricter than federal
requirements for small quantity generators. For
example, 15 states (California. Illinois, Kansas,
Louisiana, Maine, Maryland, Massachusetts,
Minnesota, Missouri, New Hampshire. New Jersey.
Rhode Island. South Carolina. Vermont, and
Washington) already require generators of under
1.000 kilograms per calendar month to manifest
their waste and ship it only to authorized
hazardous waste management facilities. Four states
(California. Louisiana, Minnesota, and Rhode
Island) have no small quantity generator
exemptions and, therefore, currently regulate all
generators of hazardous waste. Other states have
differing exclusion levels. Firms that think they
may be generators of hazardous waste are strongly
encouraged to contact their state hazardous waste
management agency for information on the
requirements.
Q. Where can small quantity generators get further
information or assistance?
A. Generators should contact their state hazardous
waste offices for information on requirements they
must meet.
For questions on the RCRA amendments or
federal hazardous waste regulations in general,
generators may contact their EPA regional office
(see list below) or EPA's toll-free RCRA Hotline.
800-424-9346; in Washington, DC, 382-3000. Small
quantity generators may also wish to contact EPA's
Small Business Hotline: 800-368-5888.
EPA Regional Offices
EPA Region 1
JFK Federal Building
Boston. MA 02203
(617)223-7210
Connecticut. Massachusetts.
Maine. New Hampshire,
Rhode Island, Vermont
EPA Region 2
26 Federal Plaza
New York, NY 10007
(212)264-2525
New Jersey, New York,
Puerto Rico. Virgin Islands
EPA Region 3
6th and Walnut Streets
Philadelphia, PA 19106
(215)597-9800
Delaware. Maryland.
Pennsylvania, Virginia,
West Virginia. District of Columbia
EPA Region 4
345 Courtland Street NE
Atlanta, GA 30365
(404) 881-4727
Alabama. Florida. Georgia.
Kentucky, Mississippi.
North Carolina. South
Carolina. Tennessee
EPA Region 5
230 South Dearborn Street
Chicago, IL 60604
(312)353-2000
Illinois. Indiana,
Michigan, Minnesota.
Ohio, Wisconsin
EPA Region 6
1201 Elm Street
Dallas. TX 75270
(214) 767-2600
Arkansas, Louisiana,
New Mexico, Oklahoma,
Texas
EPA Region 7
726 Minnesota Avenue
Kansas Ciw. K A 66101
(913) 23*2800
Iowa. Kansas. Missouri.
Nebraska
EPA Region 8
1860 Lincoln Street
Denver. CO 80295
(303) 837-3895
Colorada. Montana.
North Dakota, South
Dakota. Utah. Wyoming
EPA Region 9
215 Freemont Street
San Francisco, CA 94105
(415)974-8153
Arizona, California. Hawaii.
Nevada, American Samoa, Guam.
Trust Territories of the Pacific
EPA Region 10
1200 Sixth Avenue
Seattle. WA 98101
(206)442-5810
Alaska. Idaho, Oregon,
Washington
H-4
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United States March 1985
Environmental Protection EPA/530-SW-85-005
Agency
Solid Waste and Emergency Response
v>ERA Small Quantity
Hazardous Waste
Generators
The
New RCRA
Requirements
H-5
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On November 8, 1984, amendments were
enacted strengthening the Resource
Conservation and Recovery Act (RCRA), the federal
law which protects human health and the
environment from improper waste management
practices. This now legislation—the Hazardous and
Solid Waste Amendments—makes many changes
in the national program which regulates hazardous
waste from the time it is generated to its final
disposition. The program is administered by the
U.S. Environmental Protection Agency (EPA)
through its Office of Solid Waste.
One of the new RCRA provisions directs EPA to
promulgate regulations for the generators of small
quantities of hazardous waste. Previously, EPA
regulated only those establishments generating
more than 1,000 kilograms (2,200 pounds) of
hazardous waste per month. Under the new law,
establishments that generate 100 kilograms (220
pounds, or roughly half a 55-gallon drum) but less
than 1,000 kilograms in a calendar month will
have to comply with those requirements which
cover the transportation and disposal of hazardous
waste.
Newly Regulated Businesses
EPA estimates that the new RCRA will increase the
number of federally regulated generators from
about 15,000 to well over 100,000 firms. An EPA
survey released in March 1985 suggested that more
than half of these small quantity generators fall
into one of five categories:
• Vehicle maintenance
• Manufacturing and finishing of metals
• Printing
• Photography
• Laundries and dry cleaners
Other industrial categories with a substantial
number of small quantity generators are: wood
preserving, analytical and clinical laboratories,
construction, and pesticide applicators.
The new federal requirements will have their
greatest impact on the waste management practices
of firms not now regulated by state hazardous
waste laws. At least 22 states currently impose
some degree of regulation on small quantity
generators.
August 1985 Requirements
Starting in August 1985, small quantity generators
who ship their hazardous waste off their premises
must obtain and fill out parts of a Uniform
Hazardous Waste Manifest. This is a form that EPA
and the Department of Transportation (DOT)
currently require all regulated hazardous waste
generators to use when they ship hazardous
waste. The manifest provides a way to track a
shipment of hazardous waste from its origin to its
final disposal.
The manifest must accompany shipments of
hazardous waste made after August 5, 1985. The
manifest must include:
• The generator's name, address, and signature.
• The DOT description of the waste, including the
shipping name, hazard classification, and
identification number.
• The number and type of containers.
• The quantity of waste being transported.
• The name and address of the facility designated
to receive the waste.
March 31, 1986 Deadline
By March 31, 1986, EPA must issue final
regulations that protect human health and
environment from small quantities of hazardous
waste. At a minimum, the new regulations must:
• Require that hazardous waste from generators of
more than 100 kilograms per month must be
treated, stored, or disposed of at an approved
hazardous waste facility.
• Allow small quantity generators to store waste
on the premises of the establishment for up to 180
days without the need for a storage permit. The
period may be extended to 270 days for waste that
must be transported more than 200 miles, provided
that no more than 6,000 kilograms are stored.
If EPA fails to issue final regulations by March
31, 1986, hazardous waste from small quantity
generators automatically becomes subject to these
minimum requirements.
In addition, for waste shipped off-site, small
quantity generators will be required to:
• Include the name of the transporter on the
manifest.
H-6
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• Retain manifests signed by the hazardous waste
facility for at least 3 years. (The facility will be
required to return a copy of the signed manifest to
the generator.)
• Notify EPA at least twice a year of any manifests
that are not returned by the facility.
Education/Assistance Program
Because the new RCRA provisions regulate a large
number of companies for the first time, EPA is
conducting an education/assistance program to
alert small quantity generators to their
responsibilities under federal law. The program is
in two phases, paralleling the two phases in which
the new RCRA will be implemented.
For the provisions that must be implemented by
August 1985, EPA will:
• Identify potential small quantity generators.
• Provide information—through EPA regional
offices, states and trade associations—to help small
quantity generators determine if they are affected
by the new regulations. This information will
identify wastes by product trade names, chemical
and slang names, or general descriptions; and will
correlate the waste with the appropriate
Department of Transportation identification
number wherever possible.
• Inform small quantity generators of the need to
prepare a Uniform Hazardous Waste Manifest to
accompany any waste they ship, and explain how
and where to obtain the appropriate manifest form.
For the final regulations—to be issued by March
31, 1986, or that take effect automatically on April
1, 1986, if EPA does not issue final regulations on
time—EPA must:
• Alert the small quantity generators to the new
regulations and the additional requirements.
• Provide them with complete instructions and
industry-specific information that will help them
in complying.
To help in carrying out this education/assistance
program, EPA is working closely with trade
associations, small business organizations, and
state and local government organizations.
H-7
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Appendix I
Biennial Hazardous Waste Report
(EPA Form 8700-13B)
-------
OMB#: 2050-0024Expires: 12-31-86
NOTE: Ks Of press time, this 1983 biennial report form
was the most current used by EPA. Contact your
appropriate State or Regional office with any
questions.
U.S. Environmental Protection Agency
Hazardous Waste
Treatment, Storage, and
Disposal Facility
Report for
1983
THIS BOOKLET CONTAINS FORMS AND INSTRUCTIONS FOR COMPLETING
THE 1983 RCRA FACILITY BIENNIAL HAZARDOUS WASTE REPORT.
A RESPONSE IS REQUIRED BY LAW.
EPA Form 8700 - 13B (5-80) Revised (11-83)
-------
INSTRUCTIONS FOR COMPLETING THE FACILITY
(TSD) BIENNIAL HAZARDOUS WASTE REPORT
(EPA Form 8700-13E)
IMPORTANT: READ ALL INSTRUCTIONS CAREFULLY BEFORE COMPLETING
THE BIENNIAL HAZARDOUS WASTE REPORT FORM.
GENERAL INSTRUCTIONS
Who Must File
Owners or operators of facilities that treated, stored,
or disposed of federally regulated quantities of hazardous
waste at any time during the 1983 calendar year must file a
biennial report with EPA. The information requested in
this report is required by law (Section 3004 of RCRA).
If your facility did not treat, store, or dispose of
regulated quantities of hazardous waste at any time during
the 1983 calendar year, you must still file page one of the
biennial report form to notify EPA of your non-regulated
status (pursuant to Section 3007 of RCRA).
If your installation generated or accumulated regulated
quantities of hazardous waste (pursuant to 40 CFR §262.34)
during the 1983 calendar year but did not treat, store (for
more than 90 days), or dispose of any portion of that waste
on-site, you must complete the Generator Report instead of
this Facility Report. However, if you filed a Part A
permit application with EPA, you must still file page one
of this facility report to indicate your non-regulated status
(see instructions for Section I). You must complete both a
Facility and Generator Report if your installation shipped
hazardous waste off-site (or stored for less than 90 days
waste generated on-site) and also treated, stored (for more
than 90 days), or disposed of hazardous waste on-site. (If
you did not receive a copy of the generator report form, it
may be obtained by contacting the appropriate EPA Regional
Office.)
When and Where To File
The biennial report must be submitted to the appropriate
EPA Regional Office (see list of addresses following these
instructions) no later than March 1, 1984, and cover
activities during the 1983 calendar year (see 48 FR 3977,
January 28, 1983). You are subject to enforcement action
if you do not file by this date.
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What Must Be Reported
All regulated quantities of hazardous waste that were
treated, disposed of, or that were received for (or placed
in) storage between January 1 and December 31, 1983 must be
reported by individual generator on the facility form.
The total quantity of waste in storage at your facility
as of December 31, 1983, must be reported, by storage method,
in Section XIII. Total Waste In Storage.
Only wastes or portions of waste shipments that are
regulated as either characteristic or listed hazardous
wastes should be reported. The characteristic and listed
hazardous wastes are identified in the Appendix that was
sent to you along with the biennial report forms. Do not
report any wastes that are not regulated as hazardous under
the Federal hazardous waste regulations, even if manifested
(e.g., PCBs, asbestos, etc.).
If any or all of the waste handled by your facility
was delisted (see 40 CFR §§260.20 and 260.22) at some time
during the 1983 calendar year, you must still report those
wastes for the portion of the year in which they were
regulated. Please indicate in the comment section the line
numbers of any such waste(s).
Note: If you have not received a RCRA Permit from the USEPA
and are located in a State that has received interim
authorization to operate its own hazardous waste program,
you must comply with State reporting requirements in lieu
of the Federal requirements. However, if you have a USEPA
RCRA Permit, you must comply with all applicable State and
permit requirements. You may be required by a State to
report additional wastes or quantities beyond those that
are Federally regulated.
INSTRUCTIONS BY SECTION
(Page 1 of Form)
SECTION I. NON-REGULATED STATUS
Complete this section only if your facility did not
treat, store (for more than 90 days), or dispose of regulated
quantities of hazardous waste on-site at any time during the
1983 calendar year.
Place an X in the box indicating that the facility
identified in Section II did not treat, store, or dispose
of regulated quantities of hazardous waste during the
calendar year 1983. Indicate in the space provided the
-------
reason(s) your facility is no longer subject to regulation
(e.g. closed prior to the beginning of the reporting year,
do not handle hazardous wastes, etc.).
If you complete Section I, you must also complete Sections
II, III, iv, V, VI, and VIII and return the first page of the
form to the appropriate EPA Regional Office. Leave all other
sections blank.
SECTION II. FACILITY USEPA IDENTIFICATION (I.D.) NUMBER
Enter your facility's 12 digit USEPA identification number
here.
SECTION III. NAME OF FACILITY
Enter the name of your facility here.
SECTION IV. FACILITY MAILING ADDRESS
Enter the mailing address of your facility here.
SECTION V. LOCATION OF FACILITY
Enter the location of your facility here, if different
from mailing address.
SECTION VI. FACILITY CONTACT
Enter the name (last and first) and telephone number
of the person who may be contacted regarding information
contained in this report.
SECTION VII. COST ESTIMATES FOR FACILITIES
A. Enter the most recent cost estimate for facility
closure in dollars. See Subpart H of 40 CFR Parts 264 or 265
for more detail.
B. For disposal facilities only, enter the most recent
cost estimate for post-closure monitoring and maintenance.
See Subpart H of 40 CFR Parts 264 or 265 for more detail.
SECTION VIII. CERTIFICATION
The owner or operator of the facility or his authorized
representative (in accordance with 40 CFR 260.10) must sign
and date the certification where indicated. The printed or
typed name and title of the person signing the report must
also be included where indicated.
-------
(Page 2 of Form)
Note: A separate sheet must be used for each generator from
whom wastes were received during 1983. If the number of
wastes for a given generator exceeds 12, use a separate sheet
to report additional wastes. Reproduce additional sheets
before making any entries on the form.
SECTION IX. FACILITY'S USEPA (I.D.) NUMBER
Enter the USEPA I.D. number for your facility, again,
and on each additional page submitted.
SECTION X. GENERATOR'S USEPA (I.D.) NUMBER
Enter the USEPA identification number of the generator of
the waste described under Section XIV which was received by
your facility during the 1983 calendar year. If the waste came
from a foreign generator, enter the USEPA identification
number of the importer in this section and enter the name and
address of the foreign generator in Section (XV), Comments.
If the waste was generated and treated, stored, or disposed
of at the same installation (your facility), enter your USEPA
ID number, again.
SECTION XI. GENERATOR'S NAME
Enter the name of the generator corresponding to the
generator's USEPA identification number in Section X.
If the waste was generated and treated, stored, or
disposed of at the same installation (your facility) enter
your facility's name and place an X in the box marked
ON-SITE.
If the waste came from a foreign generator, enter
the name of the importer corresponding to the USEPA identifi-
cation number in Section X.
SECTION XII. GENERATOR'S ADDRESS
Enter the address (including Zip Code) of the generator
corresponding to the generator's USEPA identification number
in Section X. If the waste was generated and treated, stored,
or disposed of at the same installation (your facility),
leave this section blank. If the waste came from a foreign
generator, enter the address of the importer corresponding to
the USEPA identification number in Section X.
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SECTION XIII. TOTAL WASTE IN STORAGE ON DECEMBER 31, 1983
(To be completed only once)
For each of the handling codes identified in this
section, enter the total quantity of hazardous waste, from
all sources, that was in storage at the facility on December
31, 1983. This includes wastes placed into storage both
prior to and during the 1983 reporting year. A description
of the handling codes for storage (SOI, S02, S03, S04, SOS)
are provided in the table immediately following these
instructions. Enter the appropriate unit of measure (UOM)
code from the table on page 7 of these instructions.
COMPLETE THIS SECTION ONLY ONCE. DO NOT REPEAT ON SUPPLEMENT-
AL SHEETS.
SECTION XIV. WASTE IDENTIFICATION
A separate line entry is required for each different
waste or waste mixture that your facility treated, stored,
or disposed of during the 1983 calendar year for the generator
identified in Section X (or at your facility if on-site).
A. DESCRIPTION OF WASTE
For hazardous wastes that are listed under 40 CFR
Part 261, Subpart D (see Appendix), enter the USEPA listed
name, abbreviated if necessary. Where mixtures of listed
wastes were received, enter the description which you believe
best describes the waste.
hazardous waste identified by character-
ignitable, corrosive, reactive, or EP Toxic),
Part 261, Subpart C, please include the follow-
the description from the list of characteristics
the Appendix which you believe best describes the waste;
For unlisted
istic (i.e.,
under 40 CFR
ing: (1)
in
(2) the specific manufacturing or other process generating
the waste; and (3) the chemical or generic chemical name of
the waste, if known.
Example;
1. 1
1
1
WASTE IDENTIFICATION
A. Description of Waste
Ignitable spent solvent used
in widget production; mixture
of mineral spirits and kerosene.
B. EPA Hazardous
Waste No.
(see instructions)
Di Oi Oi 1| , i i
ii U,,i7 40
i 1 i 1 I I I
"41 44 4^ 48
1 I ; ' : i 1
i i i i ; J — i —
C.
Handling
Method
TiOiS
49 "il
i i
>-!
D. Amount of Waste
i i i i2'4; Ii5
nil
E. Unit (
Measure
T
iii
-------
B. EPA HAZARDOUS WASTE NUMBER
For listed waste, enter the four-digit USEPA Hazardous
Waste Number from 40 CFR Part 261, Subpart D (see Appendix)
which identifies the waste. For unlisted wastes which
exhibit hazardous characteristics, enter the four-digit
USEPA Hazardous Waste Number from 40 CFR Part 261, Subpart
C (see Appendix) which is applicable to the waste.
If the waste contains more than one listed or unlisted
waste, enter all of the relevant USEPA Hazardous Waste
Numbers. Four spaces are provided for this on each waste
line. If more space is needed, continue on the next line(s)
and leave all other items on that line blank, as shown by
the example below.
Example;
XII. \
tt
1
_J
1
2
/VASTE IDENTIFICATION
A. Description of Waste
Chlorinated distillation
residues
K
*
41
K
B. EPA Hazardous
Waste No.
(see instructions)
0 il 16
Ollitf
44
Oi3iO
KiOil .8
£,o,2,1!/
45 48
I I I
I I I
C.
Handling
Method
T 0 3
49 "5!
I I
D. Amount of Waste
i I i il i4i9i5iO
52 60
I I I I I I I I
f e
'c5!
^S
uJ2
T
bl
C. HANDLING CODE
Enter one USEPA handling code for each waste line
entry. Where several handling steps have occurred during
the year, report only the handling code representing the
waste's final disposition or its status at the end of the
reporting year, at your facility. For example, a waste
intended for eventual land disposal that is in storage at
the close of the calendar year should be reported as in
storage. Conversely, a waste that was in storage at the
beginning of the calendar year but was land disposed at
some time during the year should be reported by its disposal
code. If a different handling code applies to portions of
the same waste (e.g., part of the waste is stored while the
remainder was incinerated during the year), use a separate
line entry for each portion, as shown in the example below.
USEPA handling codes which must be used for this report are
contained in the Table immediately following these instruc-
tions.
-------
Example;
XII WASTE IDENTIFICATION
•I*
91
1
2
A. Description of Waste
ignitabie spent solvent used
in widget production; mixture
of mineral spirits and kerosene
ignitable spent solvent used
in widget production; mixture
_oj_jnin^ral spirits and kerosene
B. EPA Hazardous
Waste No.
(see instructions)
D
Ji
41
lO lO il
i6
i i i
44
Dl Oi Oi 1
1 1
1 1 1
37 40
1 1 1
45 48
1 1 1
1 1 1
c.
Handling
Method
T Oi3
49 51
SlOl 1
D. Amount of Waste
1 i i I i2i 3iO
T '
1 1 1 ll ll
21
0 T
5
di
T
D. AMOUNT CF WASTE
Enter the total quantity of the waste or waste mixture
described on this line that was received from the generator
identified in Section X during this reporting year.
"Right justify" your entries. (This means the number you
enter in the boxes should be put in the boxes as far to the
right as possible.) The example shown above illustrates
this form of entry.
E. UNIT OF MEASURE
Enter the unit of measure code for the quantity of
waste described on the line. Units of measure which must be
used in this report and the appropriate codes are:
Units of Measure
Code
Pounds
Short tons (2,000 Ibs.)..
Kilograms
Metric Tonnes (1,000 kg.)
Gallons*
Liters*
P
T
K
M
G
L
the
If these codes are used, you must provide
density (rounded off to the nearest tenth)
of each waste, by line number, in the comment
section of the page on which that waste
is identified.
-------
SECTION XV. COMMENTS
This space may be used to explain, clarify, or continue
any entry. If used, enter a cross-reference to the appropriate
Section number.
NOTE: Enter the page number of each sheet as well as the
total number of pages in the lower right hand corner of each
page. If the facility receives wastes from various generators,
or receives more than 12 wastes from any one generator, additional
pages will be required. Reproduce additional pages before making
any entries on the form.
REMEMBER TO SIGN THE CERTIFICATION STATEMENT (ITEM VIII).
HANDLING CODES FOR TREATMENT, STORAGE,
AND DISPOSAL METHODS
1. Storage
SOI Container (barrel, drum, etc.)
S02 Tank
S03 Waste Pile
S04 Surface Impoundment
SOS Other (specify in comment section)
2. Treatment
T01 Tank
T02 Surface Impoundment
T03 Incinerator
T04 Other (Use for thermal, biological, chemical, or
physical treatment not occurring in tanks,
surface impoundments, or incinerators.
Specify in comment section.)
3. Disposal
D79 Injection Well
D80 Landfill
D81 Land Application
D82 Ocean Disposal
D83 Surface Impoundment
D84 Other (specify in comment section)
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Claims of Business Confidentiality
You may not withhold information from the Administrator
or his authorized representatives because it is confidential.
However, when the Administrator is requested to consider infor-
mation confidential, he is required to treat it accordingly
if disclosure would divulge methods or processes entitled to
protection as trade secrets. EPA's regulations concerning
confidentiality of business information are contained in Title
40 of the Code of Federal Regulations, Part 2, Subpart B.
These regulations provide that a business may, if it desires,
assert.a claim of business confidentiality covering all or part
of the information furnished to EPA. Section 2.203(b) tells how
to assert a claim. The Agency will treat information covered by
such a claim in accordance with the procedures set forth in the
Subpart B regulations. If someone requests release of informa-
tion covered by a claim of confidentiality or if the Agency
otherwise decides to make a determination as to whether such
information is entitled to confidential treatment, we will
notify the business. EPA will not disclose information as to
when a claim of confidentiality has been made except to the
extent and in accordance with 40 CFR Part 2, Subpart B.( If,
however, the business does not claim confidentiality whfen it
furnishes information to EPA, we may make the information
available to the public without notice to the business.
FOR ADDITIONAL INFORMATION, CONTACT;
U.S. EPA Region II
Permits Administration Branch
Room 432 2PM-P A-H
26 Federal Plaza
New York, New York 10007
(212) 264-0503
EPA Region VIII
Waste Management Branch (8AW-WM)
1860 Lincoln St.
Denver, Colorado 80295
(303) 837-6238 or 837-6258
RCRA Activities
EPA Region V
P.O. Box A-3587
Chicago, Illinois
(312) 886-6148
60690
U.S. EPA
Region 9, T-2-2
215 Freemont Street
San Francisco, Calif.
(415) 974-7472
94105
EPA Region 10, M/S 530
1200 6th Ave.
Seattle, Washington 98101
(206) '442-2859
RCRA/Superfund Hotline: (800) 424-9346 (toll-free) or
(202) 382-3000 (in Washington,
D.C. )
6U.8. GOVERNMENT PRINTING OFPICE1 986-U91- 191- 52937
-------
ENVIRONMENTAL PROTECTION AGENCY
FACILITY BIENNIAL HAZARDOUS WASTE REPORT FOR 1983
This report is for the calendar year ending December 31, 1983.
Read All Instructions Carefully Before Making Any Entries on Form
Explain your non-regulated status in the space below.
I. NON-REGULATED STATUS
See instructions before completing this section.
This facility did not treat, store, or dispose of
regulated quantities of hazardous waste at any
time during 1983 D
I. FACILITY EPA I.D. NUMBER
17 A C
12 13 14 15
This Facility's Non-Regulated Status is Expected to Apply:
D For 1983 Only D Permanently
D Other (explain
in comment section)
I. NAME OF FACILITY
I I I I I I I I I I I I I I I I I I I I I I I
_LJ_
30
IV. FACILITY MAILING ADDRESS
• I I I I I I I I I I I I I I I I I I
I I
15 16
Street or P.O. Box
45
15 16
City or Town
V. LOCATION OF FACILITY (if different than section IV above)
I I
|41 42
47 51
State Zip Code
15 16
Street or Route number
45
15 16
City or Town
I I I I I
141 42
47
51
State Zip Code
VI. FACILITY CONTACT
I I I I I I I I I I I i
15 16
Name (last and first)
45
46
Phone No. (area code & no.)
55
VII. COST ESTIMATES FOR FACILITIES
"^ i f l_l__l^___t Sf
16
19
22
25
28
A. Cost Estimate for Facility Closure B. Cost Estimate for Post Closure Monitoring
and Maintenance (disposal facilities only)
VIII. CERTIFICATION
I certify under penalty of law that I have personally examined and am familiar with the information submitted in this and all attached
documents, and that based on my inquiry of those individuals immediately responsible for obtaining the information, I believe that the
submitted information is true, accurate, and complete. I am aware that there are significant penalties for submitting false information
including the possibility of fine and imprisonment.
Print/Type Name
Title
Date Signed
-------
Dp not make entries in shaded areas
H ENVIRONMENTAL PROTECTION AGENCY
If Facility Biennial Hazardous Waste Report for 1983 (cont.)
This report is for the calendar year ending December 31, 1983.
Date rec'd:.
.Rec'dby:.
XI. GENERATOR NAME (specify generator from
whom all wastes on this page were received)
IX. FACILITY'S EPA I.D. NO.
L£L
T,'A C
ON-SITED
1 2
13 14 15
XII. GENERATOR ADDRESS
X. GENERATOR'S EPA I.D. NO.
ica i i i i i i i i i i
16
I XI11. TOTAL WASTE IN STORAGE ON DECEMBER 31, 1983 (complete this section only once for your facility)
•; SOI i i I I i i i I I ' 1 I S02 I I I I I I I I I I I 1 S03 i i i i i i i I—I—I
: AMOUNT OF WASTE UOM AMOUNT OF WASTE UOM AMOUNT OF WASTE
S04 I i i I I i i I I I | i S051 i i i i i i i i i I I
AMOUNT OF WASTE UOM AMOUNT OF WASTE UOM
UOM
j| XIV. WAS
1
2jg|fj|J$ii jg
,-^JS2
", V^^/C^OT 5
. "- -,". y&'$&j'-r*:n%
------- |