oEPA United States Environmental Protection Agency Office of Solid Waste and Emergency Response DIRECTIVE NUMBER: 9487.04(85) TITLE: Management of Liquid Hazardous Wastes in Landfills APPROVAL DATE: 8-7-85 EFFECTIVE DATE: 8-?-85 ORIGINATING OFFICE: office of Solid Waste E FINAL » » D DRAFT STATUS: t ] A- Pending OMB approval B- Pending AA-OSWER approval C- For review &/or comment [ ] D- In development or circulating REFERENCE (other document*): headquarters OSWER OSWER OSWER VE DIRECTIVE DIRECTIVE Dl ------- PARTS 264 AND 265 SUBPART N - LANDFILL DOC: 9487.04(85) Key Words: Liquid Wastes, Landfills, Paint Filter Test Regulations: 40 CFR 264.314, 265.314,270.1(c)(2)(vii), 270.72(c) Management of Liquid Hazardous Wastes in Landfills Subject: Addressee: Originator: Source Doc: Date: Summary: Mr. Peter S. Daley Director, Research and Development Chemical Waste Management, Inc. Technical Center 150 West 137th Street Riverdale, Illinois 60627 John P. Lehman Director Waste Management and Economics Division #9487.04(85) 8-7-85 This letter clarifies the following procedural matters dealing with the management of liquid hazardous wastes in landfills: - Use of the Paint Filter Liquids Test for containerized materials; Stabilization of liquids standing on bulk loads manifested as solids; - Disposal of bulk liquid wastes to which the generator has added an absorbent; and Containerization and solidification of bulk liquid wastes, ------- 9487.04 (85) AUG 7 iS85 Mr* Peter S. Daley D tractor, Research and Development Chemical Waste Management, Inc. Technical Center 150 West 137th Street Riverdale, Illinois 60627 Dear Mr. Daley: This is in response to your letter of June 24, 1985, in wteich you requested clarification of a number of procedural natters dealing with the management of liquid haaardous wastes irr landfills. Your first issue concerns the use of the Paint Filter Liquids Test for containerized materials. You are correct in your under- standing that the Paint Filter Liquids Teat (Federal Register, April 30, 1985) applies to containerized materials only as a means to verify, where needed, that there are no "free-standing" liquids. The current regulations ($$264.314 and 265.314) prohibit that disposal in landfills of "free-standing liquids" in containers, not "free liquids" (see 47 Federal Register 12316, March 22, 1982). The March 22 preamble described free-standing liquids as those that- font distinct pools or layers above or below- the waste in a container. The preamble further states that where it is difficult to determine whether a layer is a free-standing liquid, the paint fli&er teat can b« used* Where there are no distinct layers or- pools of liquid at the surface or within the waste there are no free-stand ing liquids. Free-standing liquids are a subset of free liquids. Thus, the waste might contain free liquids (in accordance with' the Paint Filter Liquids Test) but miqht not be classified sar containing free-standing liquid. On the other hand, a!A;.£ss)S)ii«tandin<7 liquids are free liquids. ' ,. In th« March 22, 1982, rule and preamble, the Agency stated that landfill operators should use readily available, technically feasible techniques, such as decanting of free-standing liquids frost containers or other reuoval methods, or absorbing or solidifying tits- free-standing liquids in containers, to eliminate free-standing liquids prior to landfilling. In nost cases, determining the ------- presence CHT absence of free-standing liquids will not be difficult. *Wi«r« it ia difficult to determine whether a given substance ia a free-standing liquid, the preamble stated that the paint filter teat can be used. The promulgation of the Paint Filter Liquids Teat on April 30, 1935, does not change how the current requirements for containers (i.e., free-standing liquids) should be complied with. Your auggeation to supplement visual inspections with routine paint filter testing is a good quality control practice. Your second issue concerns the stabilization of liquids standing on bulk loads Manifested aa aolida. You state that these liquida could be the result of rain, snow, or transporta- tion vibrations, and that this occurrence can be especially troublesome at sites without treatment penults if stabilization of this liquid in situ is considered "treatment." You propose to apply a stabTTliacion agent to these standing liquids on bulk loads and verify the effectiveness of this action by the use of the Paint Filter Liquids Teat rather than turning away such loads at the gate. If the standing liquid layer -canBofe^flirpoured off or decanted, then your concept of applying a stabilization agent to the surface of the load can be perforned. However, as you pointed out, this treatment would require a treatment permit. There is no exemption or exception to the treatment definition for the chemical treatment of bulk liquids. A facility.that does not have a treatment permit may be able to use the exemption that applies to wastes and absorbents when they are added to a container for the first time . (S270.1(c)(2){vii)). (See 47 federal Register 8304). If the> standing liquid on the bulk load can be decanted or otherwise removed, this liquid can be placed in a container with absorbents, or an absorbent can be added without requiring a treatment permit. The disposal of the container must comply with th* current requirements for containers. •- .ttr^. Another* provision in the regulations allows the use of new treatment^ processes at interim status facilities to facilitate Compliance with new regulatory provisions. Under §170.72(c)r an owner or operator of a hazardous waste management facility having interim status may file an amended Part A application for a change in treatment, storage, or disposal processes, or the addition of such processes, if the change ia necessary to comply with Federal regulations or State or local laws. Any such change in the Part A would have to be approved by EPA or an authorized State. ------- AM a matter of clarification, we assume that by "in situ" you mean tfcsj*-n«ste is treated in the bulk container or other container, tank, or device, and do not mean treatment in the landfill aince all bulk hazardous wastes must be treated prior to placement in the landfill. Your third issue concerns the disposal of bulk liquid wastes to which the generator has adde^ an absorbent. You believe that such waste can be chemically stabilized through the addition of sufficient stabilization reagents, and that the resulting product will pass the Paint filter Liquids Test. You asked for guidance on the acceptability of this. Based on the recent amendments to the Resource Conservation and Recovery Act (RCRA), we believe the Congress intended that liquid wastes that can be safely incinerated or otherwise treated or that can be reclaimed and reused, especially organic liquids, should be so treated or reclaimed. Further, we believe the language of Section 3004(c)(l) of RCRA prohibiting the landfilling of liquids that are solely treated by the use of absorbents is intended to encourage such treatment or reclamation. Therefore, generators should be discouraged from simply adding absorbent materials to such wastes. On the other hand, Congress also intend ~d that the ban on landfilling absorbent-treated liquid waste should not be construed to restrict the landfilling of chemically stabilized or treated wastes. Therefore, it is our belief that bulk liquid wastes to which an absorbent has been added can be chemically stabilized and can be landfilled after being stabilized.A We believe this type of activity id consistent with the intent of Congress and is acceptable as long as the chemical stabilization is in compliance with the bulk hazardous liquid waste guidance (e.g., the treated waste passes the Paint Filter Liquids Test). Your fourth and last issue concerns the containerization and solidification of bulk liquid wastes. You asked whether, on a ape)' Wqm$JM»*'.£•• *•• certain bulk wastes could be solidified and landfills)* in containers. This is allowable under our interpretation of'the statute. Disposal of these containers in the) landfill must, of course, comply with the current disposal requirements for containers (40 CFR 264.314 or 265.314). X hope these responses fully answer your questions; if you should have additional concerns or comments, please feel free to contact Mr. Paul Cassidy of my staff, at 202*382-4682. ------- The Ageacy is still considering all comments, including your*, that have been received on the bulk hazardous liquid waste guidance* We hope to issue revised guidance as soon as possible. Sincerely, John P. Lehman Director Waste Management and Economics Division cci Ken Shuster Paul Cassidy Barbara Pace RC&A Division Directors! Regions I - X WH-565E:PCassid*tJ*S*:382-4&58 ------- |