oEPA United States Environmental Protection Agency Office of Solid Waste and Emergency Response DIRECTIVE NUMBER.- 9453.03(85) *• TITLE: Intent of 40 CFR 262.34 on 90-Day Accumulation Time APPROVAL DATE: 6-io-ss EFFECTIVE DATE: 6-io-as ORIGINATING OFFICE: office of solid waste C FINAL Q DRAFT STATUS: I I A- Pending OMB approval [ ] B- Pending AA-OSWER approval I ] C- For review 4/or consent [ ] D- In development or circulating REFERENCE (other documents): OSWER OSWER OSWER VE DIRECTIVE DIRECTIVE Dl ------- PART 262 SUBPART C - PRE-TRANSPORT REQUIREMENTS DOC: 9453.03(85) Key Words: Accumulation Rule, Treatment Regulations: 40 CFR 262.34 Subject: Intent of 40 CFR 262.34 on 90-Day Accumulation Time Addressee: Eileen Claussen, Director, Characterization and Assessment Division Originator: Bruce Weddle, Director, Permits and State Program Division Source Doc: #9453.03(85) Date: Summary: 6-10-85 The intent of the regulation allowing a 90-day accumulation time was to create a buffer between the manufacturing process and the hazardous waste management permitting process, regardless of whether the waste was treated, stored, or disposed of on-site or off-site. Under §262.34 generators are not permitted to treat wastes stored in accordance with the 90-day acculuraulation provision. If they treat the waste during this period, generators must obtain a permit to treat waste in tanks for up to 90 days without a permit. ------- 9453.03 (85) IBGB1.22 JDW I 0 885 MEMORANDUM SUBJECTi Intent, of 40 CFR 262.34 Regulation on Ninety-Day Accumulation Time for Hazardous Waste FROMi Bruce Weddle, Director^/ Permits and State Programs Division Tot Eileen Clauaaen, Director Characteriiation and Assessment Division Tha purpose of this memorandum is to explain tha intent of the regulation allowing generators; of hazardous waste to accumulate waste for up to ninety days without a permit. During our Senior Staff aeeting last week you stated that Mark Greenwood indicated that our regulations nay allow generators to treat hazardous waste on-site in tanXa for up to ninety days without the need for a permit. I expressed my view that Mark1* reading was contrary to the intent of the regu- lations* I further agreed to review the background documents to the provisions of $262.34. Attached is a portion of Background Document, Standards Applicable to Generators of Hazardous Waste, Part 262 (February 19, 1980). J The regulation allowing a ninety-day accumulation tice o was intended to deal with the Congressional directive not to interfere with the production process. The regulation intends •J0 that the accumulation of hazardous waste pending its removal •* for treatment, storage* or disposal should not constitute storage and should not require a permit. In the absence of g an allowable accumulation tine, every generator would Be a £ storage facility and would require a permit. This would have oo placed an unacceptable administrative burden on EPA and ^ would not have net the Congressional intent. -** - In deciding on the ninety-day limitation, EPA considered £ several optloos, including a variable tine baaed on the degree ^ of hazard of the waste being stored, and a quantity approach. i However, ia all these deliberations, EPA intended that the 3 waste would eventually be transported off-site for treatment, Q storage* or disposal. ~t \ Page B-1.13 of the Background Docuaent (attached) states * that the accumulation time applies only toTwaatec that are •* to be shipped off-site. EPA originally intended that generators § managing waste on—site should have a permit. However, the en ------- -2- regulatioey WJM subsequently amended to allow generators treat, store, or dispose of hasardous waste on-site to also utilise the ninety-day accumilatlon provisions* The intant« how«v«r» r«tain«d th« saaMi to create a buffer between the Manufacturing process and the hazardous waste nanagettent permitting process, regardless of whether the waste was treated, stored, or disposed of on-site or off-site* Based on this review, I conclude that Section 262*34 does not allow generators to treat waste in tanks for up to ninety days without a permit. Please contact Carolyn Barley at 382-2217 if you have any additional questions* cci John Skinner Mark Gre«nwood Rolf Bill bcci Implementation Branch ------- |