&EPA
United States
Environmental Protection
Agency
OHice of
Solid Waste ana
Emergency Response
DIRECTIVE NUMBER: 9441.26(84)
TITLE: Definition of "Empty Container" Removal Methods
APPROVAL DATE: 9-11-84
EFFECTIVE DATE: 9-11-84
ORIGINATING OFFICE: office of solid waste
H FINAL
D DRAFT
LEVEL OF DRAFT
D A Signed by AA or DAA
D B Signed by Office Director
D C Review & Comment
REFERENCE (other documents):
OS WER OS WER OS WER
VE DIRECTIVE DIRECTIVE Dl
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PART 261 SUBPART A - GENERAL
DOC: 9441.26(84)
Key Words:
Regulations^
Subject:
Addressee:
Originator:
Source Doc:
Date:
Sir-unary:
Containers
40 CFR 261.7(b)(l), 261.33(f)
Definition of "Empty Container" Removal Methods
William M. Parker, III, Akzo Chemie America, 300 South Wacker Dr.,
Chicago, Illinois 60606
Alan S. Corson, Chief, Studies and Methods Branch
\
#9441.26(84)
9-11-84
According to 40 CFR §261.7(b)(1), containers that held commercial chemical
products from 40 CFR §261.33(f) are empty when common emptying practices have
been used to remove materials and no more than one inch of residue remains on
the bottom of the container; or, if the container is 110 gallons or less in
size, no more than 3 percent of the weight of the container's capacity remains.
Pouring contents out of a bag and then shaking and tapping the outside of a bag
is a common emptying practice that would probably result in an empty container
according to the RCRA definition and would not be subject to RCRA.
States' hazardous waste programs that operate in lieu of RCRA may have
slightly different viewpoints on this issue.
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9441.26 0
Mr. William M. Parker ill Ğp } I
Akzo Chemie America *^
300 South Wacker Drive
Chicago, IL 60606
Dear Mr. Parker;
I a.iğ responding to your request for a written confirmation
o£ the interpretation that tne RCRA/Superfund Hotline gave you.
According to 40 CFR $261Ğ7(b)(1), containers that held commercial
chemical products from 40 C?ft $261.33(f) are etapty when they
have oeen emptied using the practice commonly used to remove
materials and no more than one inch of residue remains on the
bottom of the container, or no more than 3 percent of the weight
of the container's capacity remains if the;container is 110 .,'
gallons or less in size. .v " ;' " ,''. : " "
. '>'''': .
Thus, pouring out the contents from a bag, then shaking
and tapping the outside of bags containing solid maleic anhydride
(U147) or solid phthalic anhydride (U190) is"a common emptying
practice. This practice would likely result in empty containers
meeting the definition cited above. These "empty containers* are
not suoject to Federal RCRA regulation. .
Ğ * *. f
of course, the 44 States and territories that have instituted.
nazardous waste programs that operate in lieu of RCRA may have
slightly different viewpoints on this issue. You should be
familiar with regulatory standards of any States you deal with
The RCRA/Superfund Hotline (800/424-9346) can send you a
list of the State hazardous waste agency addresses and phone
.numbers if you need it. .: ; ' /'.'.'
I am glad to be able to confirm the Hotline's assessment
of your emptying practices.- Let ne know if I can be of any
future assistance. "- "- ' '
Sincerely yours.
Alan S. Corson
Chief ' .
Studies and Methods Branch
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