DRAFT
ENVIRONMENTAL IMPACT STATEMENT
             APPENDICES

         PROPOSED REGULATION

  CRITERIA FOR CLASSIFICATION OF
  SOLID WASTE DISPOSAL FACILITIES
                   \
                   *•
         OFFICE OF SOLID WASTE
  U.S. ENVIRONMENTAL PROTECTION AGENCY
             APRIL 1978

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               DRAFT
ENVIRONMENTAL IMPACT STATEMENT

            APPENDICES

        PROPOSED REGULATION

     CRITERIA FOR CLASSIFICATION OF
     SOLID WASTE DISPOSAL FACILITIES
           (40 CFR PART 257)
             PREPARED BY
        OFFICE OF SOLID WASTE
 U.S. ENVIRONMENTAL PROTECTION AGENCY
        WASHINGTON, D.C. 20460
           STEFFEN W. PLEHN
    DEPUTY ASSISTANT ADMINISTRATOR
          FOR SOLID WASTE
             APRIL 1978

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                        TABLE OF CONTENTS





                                                                 Page
APPENDICES



  I.  TEXT OF CRITERIA                                           1-1
II.
III.
IV.
V.
VI.
VII.
VIII.
IX.
VOLUME
I.
II.
III.
IV.
V.
RELEVANT FEDERAL LAWS
A. CRITERIA FOR CLASSIFICATION OF SOLID WASTE
DISPOSAL FACILITIES
B. CRITERIA-RELATED FEDERAL LAWS
TYPES OF DISPOSAL FACILITIES
A. LANDFILLS
B. LANDSPREADING
C. SURFACE IMPOUNDMENTS
ADVERSE EFFECTS AND CONTROL TECHNOLOGIES
A. ENVIRONMENTAL SENSITIVE AREAS
B. SURFACE WATER
C. GROUND WATER
D. AIR
E. APPLICATION TO LAND USED FOR THE PRODUCTION
OF FOOD CHAIN CROPS
F. DISEASE VECTORS
G. SAFETY
H. AESTHETIC AND OTHER ENVIRONMENTAL EFFECTS
ECONOMIC IMPACT ANALYSIS
A. ANALYSIS OF STATE STANDARDS VS. FEDERAL CRITERIA
B. METHODOLOGY FOR EACH DISPOSAL METHOD
WASTE AGE SURVEY OF LANDFILLS
EPA MEMO ON LANDSPREADING
REFERENCES
BIBLIOGRAPHY
I
EXECUTIVE SUMMARY
INTRODUCTION
MAJOR CRITERIA ALTERNATIVES AND ENVIRONMENTAL
CONSEQUENCES, FOR EACH ADVERSE EFFECT
IMPACT EVALUATION OF PROPOSED ACTION
REFERENCES
II-l
II-2
II -4
III-l
III-l
III-8
111-24
IV-1
IV-1
IV-14
IV-24
IV-45
IV-50
IV-63
IV-66
IV-77
V-l
V-l
V-5
VI-1
VII-1
VIII-1
IX-!

1-1
II-l
III-l
IV-1
V-i

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                    LIST  OF  TABLES  AND  FIGURES


Table                                                       page


 1  Relevant Federal Laws                                  II-5

 2  Landfill Data Base                                    III-4

 3  Land-Intensive Residuals - Management Practices        111-10

 4  Landspreading Data Base                               111-13

 5  Estimated Sludge Quantities Resulting from            111-15
    Pollution Control  Activities

 6  Estimate of  Numbers of Impoundment Sites,  for         111-27
    All  Categories,  by States

 7  Major Categories of Surface Impoundments by Size       111-28
    and Type

 8  Mechanisms Involved in Incidents of Damage by         111-30
    Disposal Method for Industrial  Wastes

 9  Industrial Wastewater Parameters Having Significant   111-32
    Ground-Wate0r Contamination Potential

10  Environmentally Sensitive Areas: Control               IV-9
    Technologies and Unit Costs

11  Surface Water:  Control Technologies  and               IV-22
    Unit Costs

12  Summary of Leachate Characteristics                    IV-30

13  Ground Water:  Control Technologies and                IY-38
    Unit Costs

14  Possible Ground-Water Criteria                          IV-42

15  Air:  Control Technologies and  Unit Costs               IV-48

16  Critical Cadmium Levels  .                              IV-51

17  Cadmium Intake That May Give A  Certain Response         IV-52
    Rate At Age  50

18  Land Application for Beneficial Utilization:            IV-59
    Control Technologies and Unit Costs

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Table                                                       Page
19  Disease Vectors:  Control Technologies and             IV-65
    Unit Costs
20  Safety:  Control Technologies and Unit Costs           IV-75
21  Aesthetics:  Control Technologies and Unit Costs        IV-81
22  Analysis of State Regulations vs. The Proposed          V-3
    Federal Criteria
23  Regulatory Alternatives                                 V-9
24  Landfill Site Size Data                                 V-ll

Figure                                                      Page
 1  Water Withdrawn for Drinking Water by Source           IV-25
    and Supply, 1970
 2  Water Withdrawn by Public Water Systems,  Mgd.           IV-2-6
 3  How Waste Disposal Practices Contaminate  the           IV-27
    Ground-Water System
 4  Possible Scheme for On-Site Treatment of                IV-35
    Nonrecycled Leachate
 5  Scheme of Gas Control Systems                          IV-70

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   APPENDIX I
TEXT OF CRITERIA

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   MONDAY, FEBRUARY 6,1978
         PART II
  ENVIRONMENTAL
    PROTECTION
       AGENCY
 SOLID WASTE DISPOSAL
       FACILITIES

  Proposed Classification Criteria
i-i

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4952
          PROPOSED RULES
  Dated: January 27,1978.

              DOUGLAS M. COSTLE,
                     Administrator.

 PART 257—CRITERIA FOR CLASSIFICATION OF
     SOLD WASTE DISPOSAL FACILITIES

 Sec.
 257.1 Scope and purpose.
 257.2 Definitions.
 257.3 Criteria  for  classification of  solid
    waste disposal facilities.
 257.3-1  Environmentally sensitive areas.
 257.3-2  Surface water.
 257.3-3  Ground water.
 257.3-4  Air.
 257.3-5  Application to  land used for the
    production of food chain crops.
 357.3-6  Disease vectors.
 257.3-7  Safety.
 257.4 Effective date.
  AUTHORITY: Sec. 1008(aX3). sec. 4004(a>,
 Pub. L. 94-580; 90 Stat  2803 and 2815; (42
 U.S.C. 6907UX3) 6944); sec. 405(d). Pub. L.
 95-217.

 § 257.1  Scope and purpose.
  (a) These Criteria are for use in de-
 termining  which solid  waste disposal
 faculties pose no reasonable probabil-
 ity of adverse effects  on health or the
 environment. Facilities failing to meet
 these-Criteria will be considered open
 dumps for the purposes of the  Solid
 Waste Disposal  Act,  as amended by
 the Resource Conservation and Recov-
 ery  Act of 1976  (the  Act). Sections
 4005(c) and 4003 of the Act prohibit
 open dumping, and require that such
 facilities must be  closed or upgraded.
 except  for facilities  operating  on a
 State-established compliance schedule
 which  specifies  an  enforceable  se-
 quence of actions or operations.
  (b)  These  Criteria also  provide
 guidelines  for sludge utilization and
 disposal, under section 405(d) of the
 Federal  Water Pollution Control Act,
 as amended by the Clean Water Act of
 1977 (Pub. L. 95-217). The  owner or
 operator of any publicly owned treat-
 ment works must comply with the Cri-
 teria in accordance with section 405(e)
 of that Act.
  (c) These Criteria apply to all solid
 waste disposal facilities as these terms
 are defined In the Act, with the follow
 ing  exceptions: (1) Facilities for the
 disposal  of  hazardous waste   must
 comply with the regulations promul-
 gated under Subtitle C of the Act; (2)
regulations for the State Underground
 Injection Control Program  (40  CFR
Part 146)  developed  under authority
of  the  Safe Drinking  Water Act of
 1974 (Pub.  L. 93-523.  88 Stat. 1660 et.
seq., 42 U.S.C. 300 et. seq.) will apply
to undergound well Injection in lieu of
these Criteria; (3) agricultural wastes,
including manures and crop residues,
which are returned to the soil as fertil-
izers or son conditioners are not sub-
ject to classification by these Criteria;
and (4) overburden  resulting  from
mining  operations, including mining
and milling waste, which is returned to
                                                                            the mine is not subject  to classifica-
                                                                            tion by these Criteria.
                                                                              As used in these criteria:
                                                                              (a) "Aquifer" means a geologic for-
                                                                            mation,  group of formations,  or part
                                                                            of a formation that is capable of yield-
                                                                            ing usable quantities of ground water
                                                                            to wells or springs.
                                                                              (b) "Base flood" means a flood that
                                                                            has a 1  percent or greater chance of
                                                                            recurring in  any year or a flood of a
                                                                            magnitude equalled or exceeded once
                                                                            in 100 years on the average over a sig-
                                                                            nificantly long period.  In any given
                                                                            100-year interval such a flood may not
                                                                            occur, or  more than  one such flood
                                                                            may occur.
                                                                              (c)  "Beneficial utilization" means
                                                                            the application of solid waste to land
                                                                            for the purpose of supplying nutrients
                                                                            or conditioning the soil.
                                                                              (d)  "Cation  exchange  capacity"
                                                                            means the sum of exchangeable  ca-
                                                                            tions  a  soil  can absorb  expressed hi
                                                                            milliequivalents per 100 gr&ms of soil
                                                                            as determined by the  pH 7.0 ammoni-
                                                                            um acetate procedure (Schollenberger,
                                                                            C.J. and Simon, R.H.. "Determination
                                                                            of  exchange  capacity and exchange-
                                                                            able  bases in  soil-ammonium  acetate
                                                                            method",  SOIL SCIENCE, 59: 13-25.
                                                                            1945).
                                                                              (e) "Contiguous zone"  means  the
                                                                            entire zone established or to be estab-
                                                                            lished by the United States under art!'
                                                                            cle 24 of the Convention of the Terri-
                                                                            torial Sea and the Contiguous Zone
                                                                            (Pub. L.  92-500, 86 Stat. 886. 33 U.S.C.
                                                                            1362).
                                                                              (f) "Discharge of pollutants" means
                                                                            (1) any  addition  of any pollutant to
                                                                            navigable  waters, (2)  any addition of
                                                                            any pollutant to the waters of the con-
                                                                            tiguous  zone or the ocean from any
                                                                            source other than a  vessel or other
                                                                            floating  craft.
                                                                              (g) "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 (Pub. L. 94-580. 90 Stat. 2799.
                                                                            42 U.S.C. 6903).
                                                                              (h) "Endangerment" means the  in-
                                                                            troduction of any physical,  chemical,
                                                                            biological, or radiological substance or
                                                                            matter into  ground water in  such a
                                                                            concentration that (1) makes it neces-
                                                                            sary  for  a ground-water  user to  in-
                                                                            crease treatment of the water (includ-
                                                                            ing treatment  to meet any maximum
                                                                            contaminant level set forth in any pro-
                                                                            mulgated National Primary Drinking
                                                                            Water Standard), (2)  makes it neces-
                                                                            sary for  a future user of the ground
                                                                            water to use more extensive treatment
                                                                            of the water  than would otherwise
                                                                            have been necessary (based on current
                             FEDERAL REGISTER, VOL. 43, NO. 25—MONDAY, FEBRUARY «, 1978
                                                       1-2

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                                                 PROPOSED RULES
                                                                      4953
 technology),  or (3)  otherwise makes
 the water unfit for  human consump-
 tion.
   (i) "Facility" means any land and ap-
 purtenances thereto used for the dis-
 posal of solid wastes.
   (j) "Facility structures" means any
 buildings  and  sheds,  or  utility  or
 drainage lines on the facility.
   (k) "Floodplain" means the lowland
 and  relatively  flat  areas  adjoining
 inland and  coastal  waters, including
 flood-prone  areas of offshore islands,
 which are inundated by the base flood.
   (1) "Food chain crops" means tobac-
 co; crops grown for human consump-
 tion; and pasture, forage, • and feed
 grain for animals whose products are
 consumed by humans.
   (m) "Ground water"  means water
 below the land surface in the zone of
 saturation.
   (n) "Leachate" means liquid contain-
 ing dissolved or suspended materials
 that emerges from solid waste.
   (o)  "Navigable waters" means the
 waters of the United States, including
 the territorial seas (Pub. L.  92-500. 86
 Stat. 886. 33 U.S.C. 1362).
   (p)  "Non-point source" means any
 origin from which pollutants  emanate
 hi an  unconfined  and  unchannelled
 manner, including but not  limited to
 surface runoff and leachate seeps.
   (q) "Open burning" means the com-
 bustion of solid waste without (1) con-
 trol of combustion air to maintain ade-
 quate temperature for efficient com-
 bustion, (2) containment of the com-
 bustion reaction in an enclosed device
 to  provide  sufficient residence time
 and mixing for complete combustion,
 or (3)  control of the  emission of the
 combustion products.
   (r) "Open  dump" means  a site  for
 the disposal of solid waste which does
 not comply with these Criteria  (Pub.
 L. 94-580,  90  Stat.  2800,  42  U.S.C.
 6903).
   (s) "Periodic application of cover ma-
 terial" means the application  of soil or
 other suitable  material over  disposed
 solid waste at such frequencies and in
 such  a manner as to Impede vectors
 and  infiltration   of  precipitation;
 reduce  and  contain  odors, fires, and
 litter; and to enhance the facility's ap-
 pearance and future utilization.
   (t) "Permafrost" means permanently
 frozen subsoil.
   (u) "Pesticide" means (1) any sub-
• stance or  mixture  of substances in-
 tended for preventing, destroying, re-
 pelling or mitigating any pest, and (2)
 and substance or  mixture  of  sub-
 stances intended for use as a plant reg-
 ulator, defoliant, or deslccant (Pub. L.
 92-516. 86 Stat. 975, 7 U.S.C. 136).
   (v)  "Point source"  means  any dis-
 cernible, confined and discrete convey-
 ance, including but not limited to any
 pipe, ditch, channel,  tunnel, conduit,
 well, discrete fissure, container, rolling
 stock, concentrated animal feeding op-
eration,  or  vessel  or other  floating
craft, from  which  pollutants are or
may be discharged (Pub. L. 92-500, 86
Stat. 887, 33 U.S.C. 1362).
  (w) "Pollutant"  means  any  sub-
stance added to air, land, or water
which impairs its chemical, physical.
biological, or radiological quality.
  (x) "Putrescible wastes" means solid
waste which contains organic matter
capable of being decomposed by micro-
organisms and of such a character and
proportion as to be capable of attract-
ing or providing food for birds and po-
tential disease vectors (such as rodents
and flies).
  (y) "Recharge zone" means an area
through  which  water   enters  an
aquifer.
  (z) "Sanitary landfill" means a facili-
ty  for  the  disposal of  solid waste
which meets these Criteria  (Pub. L.
94-580, 90 Stat. 2800, 42 U.S.C. 6903).
  (aa) "Sludge" means any solid, se-
mlsolid,  or  liquid  waste  generated
from a municipal,  commercial, or in-
dustrial  wastewater  treatment plant,
water supply treatment plant, or air
pollution control facility or any  other
such waste having similar characteris-
tics and effects (Pub. L.  94-580, 90
Stat. 2800, 42 U.S.C. 6903).
  (bb) "Solid waste" means  any gar-
bage,  refuse, • sludge from  a  waste
treatment  plant, water  supply  treat-
ment plant, or air pollution control fa-
cility and other discarded material, in-
cluding solid, liquid, semlsolld, or con-
tained gaseous material resulting from
industrial, commercial, mining, and ag-
ricultural operations, and  from com-
munity activies.  but does not include
solid or dissolved material in  domestic
sewage, or solid or dissolved materials
hi irrigation return flows or industrial
discharges  which  are  point sources
subject to permits under section 402 of
the Federal Water Pollution Control
Act,  as  amended  (86 Stat.  880), or
source, special nuclear,  or byproduct
material as  defined by  the Atomic
Energy Act  of 1954, as amended (68
Stat. 923).  (Pub. L. 94-580,  90 Stat.
2801, 42 U.S.C. 6903.)
  (cc)  "Stabilization"   means   any
chemical, physical, thermal, or biologi-
cal  treatment process that results in
the significant reduction  of pathogen-
ic organisms.
  (dd) "State" means any of the sever-
al States, the District of Columbia, the
Commonwealth  of  Puerto Rico, the
Virgin   Islands,   Guam,  American
Samoa, and  the Northern Mariana Is-
lands. (Pub. L. 94-580, 90 Stat. 2801, 42
U.S.C. 6903.)
  (ee) "Wetlands"  means those areas
that are inundated or  saturated by
surface or ground water at a frequency
and duration sufficient to support, and
that under  normal circumstances do
support, a   prevalence- of vegetation
typically adapted for life in saturated
soil condition. Wetlands  generally in-
clude  swamps,  marches,  bogs,  and
similar areas. (33 CFR Part 323—Per-
mits for Discharges of Dredged or Fill
Material into Waters of the United
States.)

§ 257.3  Criteria for classification of solid
    waste disposal facilities.
  For  the purposes  of  classification
under  Sections 4004(a) and 1008(a)(3)
of the  Act, a facility for the disposal of
solid waste poses no  reasonable prob-
ability of  adverse  effects on health,
safety, or the environment if it is so lo-
cated,  designed, constructed, operated,
completed,  and  maintained  that  it
meets the following criteria.

§ 257.3-1  Environmentally  sensitive areas.
  (a) Wetlands. The facility shall not
be located in a wetland unless:
  (1) The  facility obtains an NPDES
permit under Section 402 of the Feder-
al   Water  Pollution   Control  Act
Amendments of 1972 (Pub. L. 92-500,
86 Stat. 880, 33 U.S.C. 1342), and
  (2) If a levee  or other type of  con-
tainment structure is to be placed in
the water as part of the  disposal activ-
ity, the facility obtains a permit issued
under authority of Section 404  of the
Federal Water Pollution Control Act
Amendments of 1972 (Pub. L. 92-500,
86 Stat. 884, 33 U.S.C. 1344) according
to  the Army Corps of Engineers  Per-
mits for Discharges of Dredged  or Fill
Material  into Waters of the  United
States (33 CFR Part 323).
  COMMENT.—There Is a strong presumption
against the issuance of an NPDES permit
for the discharge of solid waste into wetland
areas.  Only upon a showing of extraordi-
nary circumstances—including a demonstra-
tion of alternative methods of disposal, an
assessment of  environmental  Impact for
each alternative, an assessment of the tech-
nical and economic feasibility of each alter-
native, and a justification for the wetlands
disposal alternative in view of the environ-
mental  impact  and  feasibility—will an
NPDES application be  considered  and an
NPDES permit issued. Any NPDES permit
Issued  for the discharge of solid waste into
wetland areas must assure that the facility
utilizes appropriate  technologies  and/or
best management practices  to minimize any
adverse effects.

  (b)  Floodplains. The  facility shall
not be located hi a floodplain unless it
is clearly demonstrated that:
  (1) The  facility will not restrict the
flow of the base  flood  or reduce the
temporary water-storage capacity  of
the floodplain  such that  increased
flooding upsteam or  downstream may
result from the base flood, and
  (2)  The  facility  is  designed,  con-
structed,  operated, and  maintained so
as to protect against inundation by the
base flood, unless .the  facility is for
land  application  of  solid  waste for
beneficial utilization as  agricultural
soil conditioners or fertilizers.
  (c)  Permafrost  areas.  The  facility
shall  not  be  located in permafrost
areas  unless:
                               FEDERAL REGISTER, VOL 43, NO. 25—MONDAY, FEBRUARY 6, 1978
                                                        1-3

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4954
          PROPOSED RULES
  (1) Other alternatives such as recy-
cling or salvaging of materials, inciner-
ation and energy recovery of combusti-
bles, deep well injection, and transport
of the wastes back to more temperate
regions are evaluated and determined
to be technologically or economically
infcasible, and
  (2) The facility is sited on relatively
dry and workable soils where minimal
or no vegetative cover exists, and the
facility is designed,  constructed, and
operated so as to rniniraze erosion and
to minimize surface area consumed,
and
  (3) Regional  disposal facilities are
developed to the maximum extent fea-
sible (including  technological and eco-
nomic considerations).
  (d) Critical  habitats. The  facility
shall not be located in critical habitat
areas listed in 50 CFR  Part 17,  Sub-
part F: Critical Habitat. 1760 et  sect..
unless: It is demonstrated that such
disposal operation  will  not jeopardize
the continued existence of endangered
species, and approval of the disposal
plan is obtained from the Office of En-
dangered  Species.  Fish and Wildlife
Service. Department of Interior.
  (e) Sole source aquifers. The facility
shall not be located in the reeharee
zone of an aquifer which is the sole or
principal source of drinking water for
an   area  designated  under Section
1424(e) of the  Safe Drinking  Water
Act  of 1974 (Pub.  L. 93-523 88 Stat.
1661, 1678.  42 UJS.C. 300f, 300h-3(e)>
unless:
  (1) Other alternative sites and waste
disposal methods have been evaluated
and  determined to be technologically
or economically infeasible.
  (2) It is located, designed, construct-
ed, operated, maintained, and moni-
tored to prevent endangerment of the
aquifer.
  NOTB.—Comments are specifically solicited
on the completeness,  adequacy, and impact
oX the environmentally Sensitive Areas cri-
teria.

§257.3-2  Surface water.
  The facility   does not  adversely
affect surface water quality and com-
plies with the following:
  (a) Point source discharge of pollut-
ants, including channelled surface Ica-
chate,  leachate  seepage,  surface
runoff, and leachate treatment efflu-
ent,  to off-site  surface waters, com-
plies with an NPDES permit issued for
the facility according to Section 402 of
the Federal Water Pollution Control
Act Amendments of 1972 (Pub.  L. 92-
500, 83 Stat. 880, 33 U.S.C. 1342).
  (b) Non-point  sources,  including sur-
face  leachate.  leachate  seepage,  and
surface runoff are  controlled so as to
prevent or minimize non-point  source
discharges of pollutants into any off-
site surface water.
§ 2374-3  Ground Water.
  The  facility  does  not  adversely
affect ground water quality in accor-
dance with Case I or Case II below.
  (a)  Case I. (1) For aquifers contain-
ing ground water which (i) is currently
used  or designated by the  State for
future use as a drinking water supply
for human consumption,  or (ii)  con-
tains less than 10,000 mg/1 total dis-
solved solids and has not received des-
ignation pursuant to Case II; the qual-
ity of the ground water  beyond the
disposal facility property boundary is
not endangered by the facility.
  (2)  For acquirers described in para-
graph (aXl) of this section the facility
snail  employ one of the following two
operational means to assure that en-
dangerment of the ground water qual-
ity Is  prevented:
  (i)-Any leachate produced shall be
collected through  use  of  artificial
liners. Collected leachate shall be re-
moved, recirculated, or treated as ap-
propriate.
  (U)  The facility shall control the mi-
gration  of  leachate  by utilizing the
site's   natural  hydrogeclogic  condi-
tions,  soil  attenuation  mechanisms
and/or recovej-y and treatment of con-
taminated water.  Where appropriate,
infiltration  cf water into  the solid
w aste shaJl be prevented or minimized
so as to reduce leachaie generation,
  (3) For as long as leachate may enter
ground water in such quantities and
concentrations that the ground water
quality may be endangered, monitor-
ing of ground water, prediction of lea-
chate migration, and a current and ac-
ceptable contingency plan for correc-
tive action are required.
  (b)  Case 11.  (1) For ground water
which is currently used or designated
by the State for use other than as  a
drinking water supply for human con-
sumption, the quality  of the ground
water beyond  the  disposal  facility
property boundary is  maintained at
such  quality as specified by the State.
O
  (2) A State may designate a ground-
water source for use other than  as  a
drinking water supply for human con-
sumption if:
  (i) The source is impractical for use
as a drinking water supply due to the
extent of its contamination, its depth.
or the potential yieid of the aquifer;
or. after public hearings, it is deter-
mined that adequate alternative drink-
Ing water supplies are available for all
users  in  the  affected  area into the
foreseeable future, taking into account
projected  population   growth,  the
extent, location, and nature of existing
sources of drinking water, and other
potential sources of ground water pol-
lution, and
  (ii) The waters of an adjacent State
or country will not be endangered and
adequate  hydrogeologic   conditions
exist  separating the ground water to
be designated from waters to be  pro-
tected so that protected waters are not
endangered.

§257.3-4  Air.
  The facility  controls  air emissions
(including emissions  by  evaporation,
sublimation,  and oxidation) so as to
comply with  all  applicable Federal,
State,, and local air regulations and to
protect public health and welfare, and
complies  with  the following  prohibi-
tions:
  (a) Open burning of residential, com-
mercial,  institutional, and industrial
solid waste is prohibited.
  (b)  Open  burning  of other  folid
waste (e.g. agricultural  and  silvicul-
tural) is prohibited unless in compli-
ance  with State and local regulations.

§ 257.3-5  Application to land used  for the
    production of food chain crops.
  A facility for the beneficial utiliza-
tion of solid wsu-te by application to
land  used for the production of  food
chain crops complies with the follow-
ing In addition to the  other criteria
contained in this regulation.
  (a)  Cadniitm. Any site that is  cur-
rently or will in the future be us«j for
the production of food chain crops
complies with either subparagraph (1)
or subparagraph (2) of this paragraph.
  (1) (i) The annual application of cad-
mium fronv  solid  waste  does  not
exceed the maximum additions below.

                       Jfozfnum ar.nvvl
                       Cd (M£di£iQn* (k&/
 2.0
1.25
 0.5
Present to Dec. 31.1981	
Jan. 1.19
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                                                PROPOSED RULES
                                                                      4955
comparable to those levels present in
similar crops or  meats produced local-
ly where solid waste has not been ap-
plied. A contingency plan is necessary
which identifies alternative courses of
action which may be taken if crop cad-
mium levels are not found to be com-
parable (e.g., restrictions on crop mar-
keting, future land use, and sludge ap-
plication rates).  The contingency plan
must also provide adequate safeguards
to preclude risks from alternative land
uses following the closure of the dis-
posal site.  This  alternative is  only
available to those facilities which dem-
onstrate that they possess the neces-
sary resources  and expertise to ade-
quately manage and monitor their op-
erations.
  (b) Pathogens. (1) If solid waste of
concern due to its pathogen content is
applied directly  to the surface of the
land it is  stabilized to reduce public
health hazards.
  (2) Land which  has received  solid
waste of concern due  to its  pathogen
content is  not used for the production
of human food  crops  which  are nor-
mally eaten raw (except crops such as
orchard fruits, where there is no con-
tact between the solid waste and the
crop) for at least  one  year  following
application or longer.
  (c) Pesticides  and persistent organ-
ic*. The application of solid waste con-.
taining pesticides on land  that is cur-
rently or will in the future be used for
the  production  of food  chain crops
does not result in  pesticide residues in
or on crops in excess of the tolerances
set pursuant to Section 408 of the Fed-
eral Pood, Drug   and Cosmetic  Act
(FFDCA; 21 U.S.C. 346a) and the regu-
lations thereunder (40 CPR Part 180)
and Section 409 of the Federal Food,
Drug and Cosmetic Act (FFDCA; 21
U.S.C. 348) and the regulations there-
under (21 CPIi Part 561).The applica-
tion  of solid wastes containing persis-
tent  organlcs on land that is currently
or will in the future be used for the
production of  food  chain  crops does
not result in persistent organic levels
in or on foods in excess of those estab-
lished by FDA (21 CFR Part 109).
  (d)  Direct ingestion. Solid waste of
concern due to its pathogen, toxic or-
ganic or  heavy metal content (e.g..
lead  and PCB) is not applied to a site
so that the freshly applied solid waste
may be directly ingested by animals
raised for milk or by humans.
§ 257.3-6  Disease vectors.
  The facility  protects public health
by controlling disease vectors. This
shall be accomplished through mini-
mizing  the  availability  of  food  and
harborage for vectors through the pe-
riodic application of cover material or
other techniques where appropriate.

§ 257.3-7  Safety.
  The facility does not pose a safety
hazard to facility employees and users
and  to  the  public in accordance with
the following:
  (a) Explosive gases. The  concentra-
tions of  explosive  gases  in  facility
structures (excluding gas control or re-
covery system components), or in  the
soil at the facility property boundary
do not reach the lower explosive limits
for the gases.
  (b)  Toxic  or  asphyxiating  gases.
Toxic or asphyxiating gases are not al-
lowed to migrate off site,  or accumu-
late  in  facility  structures  (excluding
gas control or recovery components) in
concentrations   harmful  to  human,
animal,  or plant life.
  (c)  Fires. All  fires are extinguished
expeditiously;  and  fire  hazards  are
minimized through proper site  con-
struction and design, and the periodic
application of  cover  material  where
appropriate.
  (d) Bird hazards to aircraft. Disposal
facilities  which  receive   putrescible
wastes  that may attract birds are not
located (1) within 3.048 meters  of any
runway used or planned to be used by
turbojet aircraft, or (2)  within 1,524
meters  of any runway used or planned
to be used only by piston-type aircraft,
unless it is determined that the  dispos-
al facility does not pose a bird  hazard
to aircraft.  Determinations shall be
made on a case-by-case basis for those
facilities  which are not  within  the
above  distances but  are  within  the
conical  surfaces described  by Federal
Aviation Regulations Part  77  as ap-
plied to an individual airport.
  (e) Access. Entry to the facility is
controlled so as to minimize exposure
of  the  public  to  hazards of  heavy
equipment   operation  and  exposed
waste.

§ 257.4  Effective date.

  These Criteria become  effective 30
days after final publication.
  tFR Doc. 78-3151 Piled 2-3-78; 8:45 am]
                               FEDERAL REGISTER, VOL 43, NO. 25—MONDAY, FEBRUARY 6, 1978
                                                         1-5

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                    II.   RELEVANT FEDERAL LAWS
     The first significant  Federal  effort  in  solid waste manage-
ment and resource recovery was initiated in 1965 with the passage
of  the  Solid  Waste  Disposal  Act  of  1965  (P. L. 89-272).    It
called for a  research  and development program and provided funds
to the States  for  making surveys of waste disposal practices and
for developing waste disposal plans.   The Resource  Recovery Act
of  1970  (P.  L.  91-512)  broadened  the  R&D  approach  to  include
major demonstrations and shifted  the emphasis from  disposal  to
recovery of  materials  and  energy  from solid  wastes.    It  also
required several  studies and  directed  the Environmental  Protec-
tion Agency to issue guidelines  on waste management and recovery
which are mandatory  for Federal  agencies,  but merely advisory to
others.

     On  October  21,  1976,  the Resource  Conservation and Recovery
Act  of  1976  (P. L. 94-580)  became  law,  amending  the  original
Solid Waste  Disposal  Act of  1965.   As stated  in Section 1003,
"The  objectives  of  this Act  are  to promote  the  protection  of
health and the environment  and to conserve valuable material and
energy resources by  ...  prohibiting  future open dumping on the
land  and  requiring  the  conversion  of existing  open  dumps  to
facilities which do not  pose  a  danger to the  environment or to
health ..."

     Congress was particularly concerned with:

     (1)  protecting public health and  the environment from solid
          waste   disposal   (both   hazardous   and  non-hazardous
          wastes);
     (2)  plugging  the  loopholes left  by  other environmentally-
          oriented  Federal  laws  and regulations  (now  land and
          ground-water  protection  in addition  to  surface water
          and air protection);
                               II-l

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     (3)  managing the  proper  disposal  of  the increasing amounts
          of  pollution  control   residuals   destined   for   land
          disposal (e.g.,  as  a  result  of  the Clean Air  Act  and
          Federal Water Pollution Control Act);  and
     (4)  implementing resource conservation and recovery.

A.   CRITERIA FOR CLASSIFICATION OF SOLID WASTE
     DISPOSAL FACILITIES

     In  the  February  6,  1978,  Federal Register  (43  Fed.  Reg.
4942),   EPA  proposed  "Criteria  for  Classification  of Solid  Waste
Disposal  Facilities   (40  CFR   Part 257).*    The   Criteria  are
proposed under the authorities of Sections  1008(a)(3)  and 4004(a)
of  the  Solid  Waste  Disposal  Act  as  amended   by  the  Resource
Conservation and Recovery Act (RCRA) of 1976 (Pub.  L.  94-480)  and
Section  405(b)   of  the Federal  Waster  Pollution  Control  Act
(FWPCA)  as  amended by  the Clean Water  Act  (CWA)  of  1977  (Pub.
L. 95-217).

     According to  RCRA,  the  proposed  regulations  are  to contain
minimum  criteria  for  determining   which  solid  waste  disposal
facilities   shall   be   classified   as  posing   no   reasonable
probability  of   adverse  effects  on  health  or   the  environment.
Facilities not meeting the Criteria are classified as  open dumps,
are  prohibited,  and  must  be  closed  or upgraded according to  a
State-established  compliance  schedule  containing  an  enforceable
sequence of actions leading to compliance.
*These proposed regulation are hereinafter referred to as  "the
Criteria."  The full  text of the Criteria appear in Appendix  I.
The preamble which also appeared in the Federal  Register contains
a lengthy background  discussion and explanation, but is not  re-
produced in the EIS.
                               II-2

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1.    Basic Provisions of RCRA Pertaining to Solid Waste  Disposal


     The  basic   provisions   of  RCRA  pertaining  to  solid  waste
disposal included the following:


     (1)  EPA  is  to develop  criteria  which  define  acceptable
          solid-waste disposal practices (Sections 1008(a)(3)  and
          4004(a)).

     (2)  All Facilities  which do  not  meet  EPA's criteria  are
          classified  as  open  dumps  (Sections  4004(a)  and  4005
          (a)).

     (3)  EPA is to publish an inventory of all  open  dumps in  the
          U.S.  (Section 4005(b)).

     (4)  Open  dumping  is  prohibited  (Sections  4003  (a)  and 4005
          (O).

     (5)  States receiving EPA solid-waste grants are to prohibit
          the establishment of new open dumps and are to close or
          enforce  upgrading  of   existing  open   dumps  within  a
          reasonable time, not to exceed five years from the date
          of publication  of the  inventory  (Sections  4003(a)  and
          (3),  4004(b) , and 4005(c)).

     (6)  Citizen suit and imminent hazard suit provisions enable
          other  enforcement  mechanisms in  addition  to  the  State
          programs (Sections 7002 and 7003).


     Section 1008(a)(3)  of RCRA  calls  for  EPA  to develop guide-
lines which  "provide minimum criteria to be used by the States to

define  those solid  waste management  practices  which  constitute
the  open  dumping  of solid  waste or  hazardous  waste."   Section
4004(a)  calls  for  EPA  to  "promulgate  regulations  containing
criteria  for determining  which  facilities shall be  classified
as...posing...no  reasonable  probability  of  adverse  effects  on
health  or  the  environment from disposal  of  solid waste,  at such

facilities."
                               II-3

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2.   Basic Provisions of the Clean Water Act Pertaining
     to Solid Waste Disposal

     The Criteria are also proposed as partial  fulfillment  of  the
requirement contained in Section 405{d) of the  Clean Water  Act of
1977 (CWA) which calls for EPA to develop guidelines for the  dis-
posal or utilization of sludge.  Under Section  405(e),  all  public
treatment works  owners  and  operators  must comply with  any  appli-
cable  guidelines developed by  EPA under Section 405(d).   Thus,
all  public  works  owners and  operators  who  dispose  or  utilize
sludge 0£ the 1 and must comply with these Criteria.

3.   Other Federal Regulations

     EPA  determined  that  whenever possible, the  Criteria  should
utilize  existing  Federal,  State,   and   local   regulations   or
approaches  in  order  to  avoid duplication,  inconsistencies,  and
unnecessary  new  regulations.    For  example,  the  wetlands  and
surface-water   criteria  utilized   the   NPDES   permit   system
established  for   point-source   discharge   of  pollutants   under
Section 402 of the Federal Water Pollution Control Act  Amendments
of 1972 (P.L. 92-500).  Also,  the ground-water  criterion utilizes
the  approach   of   the   Underground   Injection  Control  Program
proposed under the Safe Drinking Water Act (P.L.  93-523).

B.   CRITERIA-RELATED FEDERAL  LAWS

     There  are   a  number of  Federal  laws  and   regulations  and
Executive Orders related to  the proposed Criteria.

     To avoid duplication, inconsistencies or conflicts, the  pro-
posed  Criteria  use existing  laws  and  regulations  or  approaches
wherever  feasible.    Table  1   lists   the  major  relevant  Federal
laws, regulations, and Executive Orders.  Brief summaries  of  each
of these are presented below.
                               II-4

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                             TABLE 1

              RELEVANT FEDERAL LAWS AND REGULATIONS
Criterion
           Law/Regulation/Executive  Order
Environmentally
Sensitive Areas

  Wetlands
  Floodplai ns

  Critical  Habitat
  Sole-Source
  Aquifers
  Historical Pre
  servation and
  Archaeological
  Areas
Surface Water
Ground Water
Air

Land Application
P.L. 92-500, Federal  Water Pollution  Control
Act (Section 402, 404)

33 CFR Part 323, Permits for Discharges  of
Dredged or Fill Material Into Waters  of  the
U.S/

Executive Order 11900, Protection of  Wetlands

Executive Order 11988, Floodplain Management

P.L. 93-205, Endangered Species Act
(Sections 4, 7)

50 CFR Part 17, Subpart F, Critical Habitat

P.L. 93-523, Safe Drinking Water Act  (Section
1424(e))

Proposed Procedures for Sole-Source Aquifer
Designations (42 Federal Regulation 51620)

P.L. 93-291, Archaeological and Historical
Preservation Act, National Historic Preser-
vation Act of  1966

Executive Order 11593

P.L. 92-500, Federal  Water Pollution  Control
Act as amended  (Section 402)

P.L. 93-523, Safe Drinking Water Act, Pro-
posed  Underground Injection Control Program
(41 Fed. Reg.  36726)
P.L. 95-217, Clean Water Act (Section 304)

P.L. 93-319, Clean Air Act, as amended

P.L. 94-140, Federal   Insecticide, Fungicide,
and Rodenticide Act as  amended.
P.L. 94-460, Federal   Food, Drug, and Cosmetic  Act,
P.L. 95-217, Clean Water Act (Section 405(d))
                               II-5

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Table 1.  Relevant Federal Laws and Regulations (continued)
Criterion                      Law/Regulation/Executive Order

Safety
  Bird Hazards      FAA Order No. 5200.5, FAA Guidance Concern-
                    ing Sanitary Landfills On or Near Airports
Aesthetics
  Noise             40 CFR Part 205, Noise Emission Standards for
                    New Transportation Equipment
General
  Landfills         40 CFR Part 241, Guidelines for the Land Dis-
                    posal of Solid Wastes
1.   Environmentally Sensitive Areas

     a.   Wet!ands

          Executive  Order  11990,   Protection   of  Wetlands,  was
developed "to avoid, to the extent possible, the long- and short-
term adverse impacts associated with the destruction or modifica-
tion of  wetlands  and to avoid direct or  indirect  support of  new
construction  in  wetlands  wherever there  is  a  practicable alter-
native.  To  further  this  end, the Order directs that each agency
shall  provide  leadership  and  shall  take  action to  minimize  the
destruction, loss or degradation of wetlands, and to preserve  and
enhance the natural  and beneficial  values of wetlands in carrying
out the agency's responsibilities"  (Ref. 40).
                               II-6

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     The adverse effects of solid waste disposal  on wetlands  have
been widely  studied  and  noted.    The wetlands  portion  of  the
criterion  for  environmentally   sensitive   areas   reflects   the
emerging  EPA  policy   toward   wetlands   which   complements   and
enhances this Executive Order.

     In  the  July  19,  1977,  Federal  Register,  the Army Corps  of
Engineers published  their  final  regulations  for  Permits  for  Dis-
charge   of  Dredged  or  Fill  Material  Into Waters  of  the  United
States  (33 CFR Part 323).

     The  authorities  for   these  regulatory   programs  are  based
primarily on  various sections of the River and Harbor Act of  1899
(33 U.S.C. 401, et.  seq.),  commonly  referred to  as  "The  Refuse
Act," and Section 404  of the Federal Water Pollution Control Act
Amendments of  1972  (U.S.C. 1344).   With  regard  to the discharge
of solid wastes into wetlands,  the definition of fill material is
clarified as  follows:
          The   term    fill   material   means   any
          material  used for the primary purpose of
          replacing an  aquatic  area  with  dry  land
          or of changing the bottom elevation  of a
          waterbody.    the  term does  not  include
          any  pollutant discharge into  the  water
          primarily to  dispose  of waste,  as  that
          activity is  regulated under Section 402
          of  the  Federal  Water Pollution  Control
          Act Amendments of 1972.
     In  this  definition,   the  Corps  has  classified  discharges
according to  their primary  purpose.   Thus,  if  solid  wastes  are
being  discharged  into  a  landfill  located  in  a wetland  for  the
primary  purpose  of  waste   disposal,  an  NPDES permit  will   be
required under section 402, FWPCA.  Solid waste discharge for  the
primary purpose  of altering the  elevation of  land  beneath  water
or of  impounding  water  is  considered a fill  activity,  subject to
section 404, FWPCA.
                               II-7

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     With this point  of  law  so settled, a person wishing to open
a  landfill  in  a wetland  will  apply to  the  regional  EPA  for  an
NPDES permit (or to  a State,  if the State has been designated  by
EPA  to  administer  its own NPDES program).   If  the  site  requires
preparation  and/or  construction  of  dikes   for  containing  the
garbage, then a section 404 permit will be processed for  the site
at  the  same time  by  the  District  Engineers Office.   The  Corps
will withhold  final  action on  the  404 permit until  final  action
on the NPDES permit is taken.

     The proposed  Criteria embody  the  concept of this regulation
and require an  NPDES for facilities in wetlands.

     b.    Floodplai ns

          The floodplains  portion  of  the  criterion  for  environ-
mentally  sensitive areas  complies  with  Executive Order  11988,
Floodplain  Management;  its approach is  to  bring  Federal  regula-
tions and  procedures  into conformity  with  the  provisions  of the
"United National Program  for  Floodplain Management"  of the Water
Resources Council   (Ref. 87).

     The Executive Order seeks "to avoid, to  the extent possible,
the  long-  and  short-term  adverse  impacts  associated  with  the
occupancy and modification of  floodplains and to avoid direct  or
indirect  support   of  floodplain  development wherever there  is  a
practicable  alternative,"  by   providing   leadership  and  taking
action "to  reduce  the risk of flood loss, to minimize the impact
of  floods  on  human  safety,   and   to  restore  and  preserve  the
natural  and beneficial values  served by floodplains" (Ref.  87).
                               II-8

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     c.    Critical  Habitats


          Under    the    Endangered   Species    Act   of    1973
(P.  L.  93-205), all Federal agencies are required to cooperate  in

the  conservation of endangered and threatened species.   Section  7
of the  Act states that:

          The Secretary  (of Interior)  shall  review
          other  programs  administered by him  and
          utilize  such  programs  in  furtherance  of
          the  purposes  of  this  Act.   All  other
          Federal  departments  and agencies  shall,
          in  consultation  with and with  the  assis-
          tance  of the  Secretary, utilize  their
          authorities    in    furtherance   of   the
          purposes   of   this  Act  by  carrying  out
          programs    for   the   conservation   of
          endangered    species    and    threatened
          species  listed pursuant to  Section 4  of
          this  Act,  and   by   taking  such  action
          necessary to  insure that actions author-
          ized, funded,  or carried  out  by them  do
          not  jeopardize  the  continued  existence
          of     such    endangered   species    and
          threatened species  or result in  the des-
          truction  ip_r  modi f icati on o_f  habitat  erf
          such species   which  is  determined  by  the
          Secretary,  after consultation  as  appro-
          priate with the  affected States,  to  be
          critical."  (Emphasis added)
     The  Secretaries  of  Interior  and  Commmerce  requested  the
cooperation  of  other Federal  agencies  in implementing this  act

(December 3,  1974);  a  mechanism has been  established  for  deter-

mining  the   "critical   habitat"  for  endangered  and  threatened

species pursuant  to  Section 7 of  the  Endangered Species Act  of

1973 (see Federal  Register,  April  22,  1975, 40 CFR  17764-17765).


     Proposed  regulations  have been issued which define "critical

habitats" as:
                               II-9

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          any  air,  land or water  area  (exclusive
          of those existing man-made structures or
          settlements  which  are not  necessary to
          the  survival  and  recovery  of  a  listed
          species) or any constituent thereof, the
          loss of which would appreciably decrease
          the  likelihood   of   the  survival   and
          recovery  of   a   listed   species   or  a
          distinct segment of its population.   The
          constituent elements of critical habitat
          include,   but   are   not   limited   to,
          physical   structures   and   topography,
          biota,   climate,  human  activity, and the
          quality  and  chemical  content  of  land,
          water  and   air.    Critical  habitat  may
          represent  any  portion   of  the  present
          habitat  of  a  listed  species  and  may
          include additional  areas for  reasonable
          population expansion.
     In addition, the term "modification" cited above was  changed

to mean "adverse modification" which has been defined as:

          a  direct   or   indirect   alteration   of
          critical   habitat   which   appreciably
          diminishes the value of that habitat for
          survival   and   recovery   of   a   listed
          species.   Such  alterations  include,  but
          are  not  limited  to,  those  diminishing
          the   requirements   for   survival   and
          recovery  listed  in  Section  17.94(b).
          There are many types of activities which
          could  be  carried  out  in  a  critical
          habitat without causing such diminution.
     The Department of Interior has currently designated  critical
habitats  of  the  snail   darter,   the  American  crocodile,   the
California  condor,  the   Indiana  bat,  and  the  Florida  manatee
(50 CFR, Part 17, Subpart F).   These habitats may not be  used  for
the disposal  of  solid waste  unless  it is  demonstrated  that  the

facility  design,  construction, operation,  and  maintenance will
not jeopardize the continued existence of  the endangered  species,
and unless approved or concurrence is obtained from the  Office of
                              11-10

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Endangered  Species,   Fish  and  Wildlife  Service,  Department  of
Interior.

     d.    Sole-Source Aquifers

          Section 1424(e) of  the  Safe  Drinking  Water Act of 1974
(Pub.  L.  93-523)  makes  it  possible for  EPA to  designate  areas
which  are  solely or  principally dependent on an  aquifer  for  its
drinking water supply.  If EPA determines upon its own initiative
or by petition that  an area  has an aquifer  which  is  the sole or
principal  drinking water source for the  area and  which,  if con-
taminated, will  cause  a  significant health hazard, EPA may delay
or stop  commitment  of any  Federal  funds  for  projects  which  may
result in contamination  of  the sole-source aquifer.   The Federal
projects which are covered  are not limited to underground injec-
tion but can include ground-water development or other activities
in  recharge  zones or  any  other  activity which  may contaminate
ground water.

 2.  Surface Water

          The  Federal   Water  Pollution   Control   Act  (FWPCA),
amended  in  1972  (Pub. L. 92-500),  requires  the  development of a
comprehensive coordinated national  program to control all sources
of water  pollution  to meet the goals of  swimmable, fishable, and
navigable  waters.    The  objective  of  the Act is  to  restore  and
maintain the natural chemical,  physical,  and biological  integrity
of  the  nation's  waters  with  the  intent  that  the  discharge of
pollutants  into  navigable  waters  be  eliminated   by  1985.    This
policy,  supplemented by other  provisions  of the  Act relative to
the control  of toxic pollutants,  construction of  waste  treatment
facilities,   research   and   demonstration,  and   regional  waste
management,  provides an overall  identification  of program goals
and methods  of program implementation.
                               II-ll

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     FWPCA  is  related  to  the  proposed Criteria  in four  major
aspects.   First,  in a  physical  mode, certain  sections  of  FWPCA
and  their  corresponding  regulations  result   in  the  increased
generation of waste which  will  have to be  disposed of,  according
to   the   Criteria,   through   one   of  the   following   methods:
(1) impounding,   (2) subsurface  methods,   (3) 1andspreading,   or
(4) resource recovery.   Specific portions  of FWPCA related  to  the
Criteria  include  sections  208,  301,  302,  304,  306,  307, 402  and
404.

     Of special  importance  to  the  generation of wastes  are  regu-
lations issued under Section  402  of the Act, the National  Pollu-
tant  Discharge  Elimination  System  (NPDES),  which  is   a  permit
system  "for  the   discharge  of  any  pollutant,  or  combination  of
pollutants."

     Each  point   source  under  FWPCA  must  comply with  specific
effluent   characteristics    attainable   by   "Best   practicable
Technology" and "Best  Available Technology".   Furthermore,  these
regulations  also  detail performance  and  pretreatment  standards
for new sources (40 CFR, Parts 405-460).

     Municipal   sludges  will  increase  as   a  result  of  mandates
under  40 CFR  Part 133,   "Secondary   Treatment",   issued   under
Sections  304  (a)   (1)  and  301(b)  and  (c)  of  the  Act.    Speci-
fically,  these  regulations require that by  July  1977,  municipal
wastewater  treatment   plants    three  years  or  older must  show
secondary  treatment capacity.   New  plants  must  have  secondary
treatment capacity as  of July 1983.

     Second, as  a  result  of  a  recent ruling  by the U.S.  Army
Corps of  Engineers, all landfills with the  potential  to pollute
surface waters must have  a  NPDES  permit.*    The Corp's  authority
is  pursuant  to  Section 404 of FWPCA.   Although the  implications
*Federal  Register. Vol. 42, No. 138, July 19, 1977, p.37130.
                              11-12

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of this measure  have not  been  fully explored at  this  time,  the
potential  impact is important.

     Third,  in an institutional/pianning mode,  section  208(b)  (2)
(J) and  (K)   (Area-wide  Waste Treatment  Management)  places  the
disposal  of  residual wastes  in a  management  planning  context.
Specifically,  this  section calls for  "a  process  to control  the
disposition  of  all  residual waste generated in  such areas  which
could  affect  water  quality,"   and  "a  process   to  control  the
disposal   of   pollutants   on land  or  in  subsurface excavations
within such  area to protect ground and surface  water quality."

     With  the  promulgation of  the  RCRA Criteria  and  subsequent
guidelines for  delineating acceptable  practices,  the  efforts of
FWPCA  to   promote  higher  water quality  will  be  considerably
strengthened.    To  avoid  duplication,  the  Criteria require  NPDES
permits for  (1)  disposal  in  wetlands  and (2) point  source dis-
charge of  pollutants into  off-site surface waters.

3.   Ground  Water

          The  Safe  Drinking  Water  Act   (SDWA)   of  1974  (Pub.
L. 93-523) authorizes EPA  to establish Federal  standards for pro-
tection of  all   harmful  contaminants  (applicable  to  all  public
water systems),  and to establish an on-going Federal-State system
for  assuring  compliance  with   these   standards   for  protecting
underground   sources  of   drinking  water.    The   drinking  water
standards   promulgated  under  the  SDWA  establish -ground-water
quality  goals  pertinent   to  the   ground-water   portion  of  the
Criteria.

     EPA  recognizes  the  importance  of  avoiding overlaps  and
inconsistencies  between   the  SDWA  and  the Criteria; in general,
the  SDWA  protects  ground  water  from  the  practice of underground
wastewater injection  and  the  Criteria protect  ground water  from
solid  waste  disposal  facilities.    Section  1421   (a)(l)  of  SDWA
                              11-13

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addresses  the  protection  of  current  and  future  ground-water
drinking  supplies  through  the  development of  State  Underground
Injection  Control  Programs  (UICP).   The  criterion  for  ground
water  in  the  proposed  Criteria   uses  a  conceptual  framework
analogous  to  that  of  the  UICP.    The  important  concept  of
"endangerment" of the ground-water resource upon which the ground
water criterion  is  based,  comes  from the usage  of  this  term in
EPA's "Proposed Regulations:  State Underground Injection  Control
Programs" (40 CFR Part 14) developed'under the SDWA.

     According to the definitions of "solid waste" and "disposal"
in  RCRA,  well  injection  of wastes  constitutes  a   solid  waste
disposal   practice.   To  avoid duplication,  the proposed  Criteria
exempt well  injections controlled under the SDWA's UICP.

     The  Solid  Waste   Disposal  Act,  as   amended,  requires  the
Administrator of EPA  to  integrate  the provisions and enforcement
of the Solid Waste Disposal Act  with other Acts under the  Admini-
strator's  authority,  including   the  Safe  Drinking Water  Act,  to
the  maximum  extent  practicable.    There  is a  potential  overlap
between the  Solid  Waste Disposal  Act and the SDWA with regard to
surface impoundments such as pits, ponds,  and lagoons.

     The  Criteria  proposed  by EPA  apply  to  all   solid  waste
disposal   facilities,  including  surface impoundments.   Thus, the
inventory of  open  dumps  would include those surface  impoundments
which, through  application  of  the Criteria,  are determined  to
pose a reasonable probability of adverse effects on health or the
environment.  EPA intends to develop the inventory through grants
to State agencies.

     To this  end,  the studies  and  assessments  planned under the
SDWA  will  be  used  as  the  basis for  identifying those  surface
impoundments that have the greatest potential  for adverse  effects
and  thereby  will  help  the  States in  developing the inventory
required under the Solid  Waste  Disposal  Act.   Those  impoundments
                              11-14

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which are identified as having the greatest potential  for serious
impact on ground-water  quality  would be considered high priority
for development of  the  Solid Waste Disposal Act Inventory.  Such
impoundments which  are  found to violate the Criteria  proposed by
this  action  would be placed on the  inventory  and  be  liable for
closure  or  upgrading in  accordance  with the State planning and
plan  implementation  provisions  of  the Solid Waste Disposal  Act
and the Federal prohibition  of open dumping.

     However,  the  Agency has  not  yet determined the  best regu-
latory approach  to the  control  of surface  impoundments.   While
this  initial  action  will  begin  to  bring  such  facilities under
State  control   under  the Solid Waste  Disposal  Act,   EPA  will
continue  to explore  and  reevaluate  its  authorities  under the
Solid  Waste  Disposal  Act, the  SDWA,  the Federal Water Pollution
Control  Act,  and  the  Toxic  Substances  Control  Act in  order to
determine the best regulatory approach under any or a combination
of these various authorities.

4.   Air

          The  intent  of the Clean Air  Act  (as  amended June  1974
(Pub.  L. 93-319)),  is  "to protect and enhance the quality of the
nation's  air  resources  so  as  to  promote  the  public  health and
welfare  and the   productive capacity  of   its  population,"   An
important  consideration  in  the standard  is  reflected  by  this
Act's  mandate  on  particulate  emissions.   In particular,  Section
111,  (Standards  of  Performance for  New  Stationary  Sources) and
Section  112  (National Emission  Standards for Hazardous Air Pollu-
tants)  and   their  corresponding regulations have  a  great impact
upon  open burning  of wastes.

      During  open  burning, emissions  of particulates into  the air
are  relatively  high.  The  particulate  problem has become acute in
major  metropolitan  areas  and within  critical air basins.   The air
quality  criterion of these  regulations, in  effect, constitutes  a
                               11-15

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prohibition of open burning for residential,  commercial,  institu-
tional,  and industrial  wastes in major metropolitan areas.   Thus,
the Criteria  in  effect strengthen  the  Clean Air  Act  by  closing
open  burning  dumps,  thereby  eliminating  one  source   of  air
pollution.

5.   Application  to Land Used for Food Chain  Crops

     The Criteria  require  that  any  food crops  grown on  soils
amended  with solid wastes  meet all  applicable food quality stan-
dards.  For food  chain crops, the Federal Food, Drug and  Cosmetic
Act (Pub.  L.  94-460)  and  its  regulations (40 CFR  Part  180)  are
applicable  to the control  of pesticide use.

     Also,  the Federal  Insecticide,  Fungicide and Rodenticide  Act
of  1947  (FIFRA)  (Pub.  L.  94-140)  provides a  conceptual basis  for
regulating   the  supply  and use of. pesticides.   Control of  supply
is  directed  toward  marketing  pesticides  which  are  safe  and
effective   when  used   as   directed  and  includes  the   initial
registration  of   products   in  accordance  with  the  statutory
standard,  re-registration  and  renewal,  removal  of products which
do  not  meet  the  standard  and compliance with  the  registration
decision.   Control  or  regulation of access  to the more hazardous
pesticide   products  promotes   good  application  techniques   by
establishing standards of  "good use practices".

     Section  19  of  FIFRA  requires  that the  EPA  Administrator
"establish  procedures and regulations for the disposal or storage
of  packages and  containers  of  pesticides  and  for  disposal  or
storage  of  excess  amounts  of  such  pesticides,  and accept  at
convenient    locations   for  safe   disposal   a  pesticide   whose
registration is cancelled."
                               11-16

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6.    Safety  and Health

     a.    FAA Order 5200.5, "FAA Guidance Concerning Sanitary
          Landfills"

          This  Federal  Aviation  Administration order  addresses
the problems of bird  hazards  to aircraft.  The order states  that
disposal   sites  have   been  found by  study and  observation to  be
artificial attractants to birds and are, therefore, "incompatible
with safe flight  operations"  when located  in  the  vicinity of  an
airport.   The  bird hazard  criterion  uses the separation distance
restrictions contained in the FAA order.

     b.    EPA's "Noise Emission Standards for (new) Trans-
          portation Equipment:  Medium and Heavy Trucks"
          (40 CFR  Part 205)

          This  regulation  applies   to   solid  waste  transport
vehicles  and  should minimize  truck noise due to acceleration and
load discharge.
                               11-17

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               III.  TYPES  OF  DISPOSAL FACILITIES
A.   LANDFILLS

1.   General  Description of Practice

     The term landfill  is  used in  this EIS  to  denote  open  dumps
and solid  waste  disposal sites where  soil  cover  is periodically
applied over  the wastes.    Operations  range  from  uncontrolled,
polluting,  unaesthetic,  open-burning  dumps  to landfills  which,
when  properly  designed   and   operated,   are  nonpolluting  and
nuisance-free.   Landfilling  is  a  popular  solid  waste  disposal
method because of the following advantages:

          The general availability  of  land  suitable for disposal
          facilities.
          Ability to use otherwise marginal  or nonproductive land
          such as borrow  pits  and quarries  and, through filling,
          to increase the utility of such land.
          Relatively low capital and operating costs.
          Traditional  acceptance  by  the  public  and  regulatory
          authori ti es.
          The  adaptability   and  flexibility  of   operation  to
          accommodate fluctuating quantity,  quality,  and  type of
          waste.
          Pretreatment of waste is  not required.

     Various  landfill  construction  and operating  procedures are
used,  depending  on  the physical  configuration  of  the  site.   The
operation may be  referred to as cut and cover, area fill, trench
and cover, and  similar  terminology.  Common  to all operations is
the  sequence  of dumping  and compacting  the  waste  in  layers and
covering the  waste  with  compacted  earth.    Each  day's operation
when  covered  with  earth  is  referred  to as  a cell.   Refuse is
                              III-l

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placed  and  compacted in layers  until  the desired  height  of  the
cell  is  reached  (normally  6  to  14  feet);   this cell  height
dimension  is  commonly referred to  as  a  lift.   Succeeding lifts
may  be  placed  until  the  final  grade  of the  disposal  area  is
achieved.

     In  recent  years, concern  for  conservation  of  resources  has
generated  considerable  interest  in resource recovery and waste
reduction  measures.    Even  if  widely   applied,   however,  such
practices   cannot   eliminate   solid   waste  altogether;   thus,
communities   and   industries   will   continue   to  require   an
environmentally acceptable means  of final disposal.  The largest
component  of   municipal  waste  is  paper,  but   substantial  food
wastes, yard wastes,  glass,  metals, plastics,  rubber,  and  liquid
wastes  are  also  included.   Many  municipal  sites  also  receive
industrial  process  residues  and  pollution control   system sludges
in addition to septic tank  pumpings, sewage sludge,  bulky wastes,
street sweepings, and construction/demolition wastes.

     The basic large-scale  environmental  problems associated with
landfilling of  solid wastes are  water  pollution,  air  pollution,
public health  effects, ecosystem degradation, and effects on land
quality.   On   a  national  basis,  land  disposal   is  a significant
contributor to ground-water  and  surface-water  contamination from
landfill leachate  (with large  potential  public health impacts),
to  fires  and  explosions (resulting from  improper  waste  disposal
and  landfill   gas   production),  and to  disease  vectors  such  as
flies  and  rats.   Of  these effects, the  primary  problem  that  has
been recognized to  date is ground-water contamination.

     Additional environmental impacts are either localized  and/or
infrequent  or  they are  geographically  specific (such  as  use  of
wetlands for waste  disposal).  However, some of these impacts are
potentially of great  concern; therefore,  they are being regulated
now.
                               III-2

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     ihe general  thrust  of this EIS and  the  Criteria  themselves
is  to  'identify  and  address  adverse effects  of  improper  solid
waste disposal  practices.  Proper solid  waste disposal  practices,
such as true sanitary  landfills,  do not have these problems.   It
is beyond  the scope of this report, however, to list the positive
aspects of proper solid waste disposal  practices.

2.   Number of  Sites, Distribution

     A  national  inventory  of  landfills  has  not  been  conducted
since 1967-69;  however,  State  solid waste management programs do
maintain various  forms of  information  on  landfills within  their
respective States.    During the  latter part  of  1976,  Waste  Age
magazine conducted  a  National  Survey of Waste Control  Practices.
The  survey was  published  in  January,  1977 and  was  conducted by
the  Waste  Age  staff  with  the  cooperation  of  each State's  solid
waste control agency  as  a source of information.  This survey is
the  most  up-to-date  compilation  of landfill  data  and  has  been
used  in this report  as  the national data base.   Information on
disposal sites  is presented by  States  and includes total  number
in  each  State;   number   permitted,  or  otherwise  recognized  as
sanitary landfills  in compliance  with  State regulations;  number
of  authorized   landfills;  ownership;   operation;   and  operating
capacity.     The  survey  presents  additional  information on  the
sites  and  the   State  regulatory  program  and is  included  in  its
entirety  in  Appendix VI.    A  summary  of  the   information  on
landfills  by State used  for the data base  in this  report is shown
in Table 2.

     The  survey  recorded  information  on  15,821  disposal  sites
within the 50 States.  Approximately 40 percent of  these disposal
sites  were  recognized  as sanitary  landfills  in  compliance  with
existing State regulations.
                               III-3

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    TABLE   2





LANDFILL CAT* BASE
Scat*
AllbatM
Alaska
Arizona
Arkansas
California
Colorado
Connecticut
Delaware
Florida
doif.la
Hawaii
Idaho
Illinois
Indiana
loui
Kansas
Kentucky
Louisiana
Maine
Maryland
Massachusetts
Mlchts«
Minnesota
Misslsst??!.
Missouri

Montana
Nebraska
Nevada
Net/ Hj-r.pshlre
Sev/ Jersey
Sci/ Xexico
Xev York
North Carolina
North Dakota
Ohio
Oklaho-ij
Oregon
Pcnnsylv.irua
Rhode Island
South Carolin.i
South Dakota
Tennessee
Texas
Ctah
Vermont
Virginia
Vjihln^con
U'cst Virginia
Wisconsin
Vyonln;
Total
Permitted
1J7
34
73
74
430
67
H
30
233
123
21
40
238
126
94
103
141
SO
13
'. i8
101
295
134
78
117

1 ^4
62
31
52
210
30
420
170
23
212
io5
167
111
35
2.7
"
109
293
9
40
:->•>
:-o
51
24-?
10
6. 160
Authorized
3
WO
-
$7
-
- 126
115
•-
67
123
t>
47
42
-
109
95
167
60
132
-
199
255
136
78
117

121
2 CO
39
56
63
319
-
-
oO
-
163
-
202
-
~
*
12
752
i)
JO
-
323
61
I. Oil
«5
6.150
. Illegal
5
16
06
239
-
38
-
-
50
379
-
33
m
23
97
-
33
145
-
31
60
ISO
135
118
19

"
133
-
47
t>0 i
171
242
-
117
3
177
-
102
-
5
243
5
52
i;s
s
'fc
-0
15
-
.'3
).5U
10 TPO
do
3V8
127
335
275
173
120
10
24?
ill
17
50
213
91
255
150
322
255
441
43
300
316
371
206
T9

239
397
US
157
273
537
363
69
196
26
227
137
323
JO
113
jo*
31
1 .003
1JO
V
1)1
3,9
1S2
1.220 .
"1
12.342
100 TPO
51
1
H
14
30
47
48
14
71
75
9
90
112
il
;o
43
13
-
*
19
43
2-J5
34
32


6
1
1
7
23
3
260
95
4
135
i;j
4
71
->
40
»
d3
-3
J3
1
12
-,0
i-
>!
:
:. :et
300 TTO
4.
L
i
L
35
2.

T.
22
25
2
10
47
14
L
2
5
10
-
5
10
69
-
25
&

-
2
-
t
12
-
7
6
-
'5
52
4
4
3
47
-
4
15
5
-
24
5
j
15
-
591
700 TPD
5
-
3
-
40
4
-
3
15
14
2
-
88
3
1
3
2
-
-
12
7
, '0
-
11
j

-
j *
1 1
-
I 20
i
32
1 -
I -
14
( 50
1 -!
1 1-
i -
i "
-
! A
25
1 7
I
|
' 6
i -
1 12
1
j 499
Total
Tonnage /Day
10.600
4.J50
4,770
5.550
i9.250
8,230
6.600
'.,500
26,6'0
29.910
3.070
9.500
53,530
11,310
3.^50
8.500
15,620
5.550
4,310
5,730
20.460
97,340
7,110
2C.^fcO
o • 90

2,990
4.670
1.930
2,3;0
23.i50
5,570
5., 130
11.390
2.360
46,060
70.670
4,570
19.930
l.iCO
34, -,30
3.130
27.410
37,530
ID. 200
i.oro
15.7)0
IS.Orj
4.020
JO., 00
1.1. 10
85l.2'iO
Tons/Year
2.756.000
1.133. =00
1.240.200
1.443.000
12,305.000
2,152,300
i.: 16. coo
1,170.000
6,934,200
7,776,600
798.200
2,470.000
14,003,600
2,9-0.503
2,197,000
2,: 10, SCO
1,321,200
L, 443. 000
1,2 53, 600
:.269,.vjO
5,319,600
23.:!3,<--OC
1.648,600
>.J19.-iC'3
"• 3i».4v3

! "•>.;;:>
1, 214,200
5 14. SCO
660. 2CC
6,026,5"jO
1.174,:-;.:
J 14,073,c:-0
i i. 117. -GO
| 613,600
] 11. 575, 600
; 13.374,;:-'3
1.15S.2CO
5,194,.--,0
36i,JC.O
| 9,C03,^Lj
52i,;0-J
7 , 1 2o , 3^0
i 9.770.J7U
<. . 2 1 2 . ;oo
2T3..00
4,ic5,.;j
3,923.^::
t.j-5.:7i
T.I-'.- .;••.-)
' 2'/n . i -•"'
^:7.ji:.3-'->
  III-4

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     Only partial  information (34% response) is available on site
ownership and  operation,  but in  the  information  obtained  in  the
survey,  publicly  owned  and  operated  sites  outnumber  privately
owned and operated sites on a 3:1 basis.

     The number  of landfills  in each State  varies  considerably
but  generally  reflects  the  population  and  area  of the  State;
thus,  the larger  and more  populated  States  have  more  landfills.
The approximate total  waste tonnage received by sites included in
the  data base  is  860,000  tons  per day,  at  227 million  tons  per
year.

3.   Site Conditions

     a.   General
          Improperly controlled disposal of municipal solid waste
in landfills results  in  damage to public health and the environ-
ment in  several  forms.   Solid waste  constituents  may  leach into
surface  streams  and  ground-water  aquifers  and  significantly
impair  their  quality.    The  migration  of  explosive   gases  may
result in injuries  and  fatalities,  destruction of buildings,  and
damage  to  vegetation.     Open   burning  of  solid  wastes  may
contribute  to  local  air  pollution  problems,  interfere  with
aircraft  operations, and  reduce  highway  visibility,  sometimes
causing automobile accidents.  Facilities at which solid waste is
improperly  disposed  may  provide  harborage  and  breeding  grounds
for  vectors,  vermin  and  parasites   resulting  in  public  health
hazards.    Dust,   odor,  litter,  noise,  and  traffic  conditions
associated  with  solid waste disposal  at landfills  also have  had
adverse impacts on the aesthetic quality of the environment.

     Landfills  have  frequently   been  located  on  land that  is
considered  to  have  little  or   no  value  for  other   uses,  for
example:  marshlands, abandoned  sand  and  gravel  pits,  old strip
mines,  floodplains,   or  limestone  sinkholes,   all  of  which  are
                              III-5

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susceptible  to  ground-water  contamination   problems.    In  one
eastern  State,   85  percent   of  the   existing   landfills   were
originally designed  as  "reclamation"  projects to  fill  marshlands
and abandoned sand and gravel pits.

     b.   Specific Environmental Impacts

          Wetlands  have been  used  extensively  for solid  waste
disposal  because  the land was  cheap,  the  resistance  to  disposal
site location was  small,  the location was close to major coastal
and  riverine  cities,  and  filled-in  wetlands could be  used  for
other  more  direct  economic  activities.    The  effect  of  this
practice  has  been to eliminate some wetlands  and reduce the  value
or productivity of adjacent wetlands.  Disposal sites  in  wetlands
often degrade adjacent surface-water quality.   The alteration and
destruction of wetlands through  draining,  dredging,  landfilling,
and other means has had a  cumulative adverse  impact on  hydrologic
stability and the ecosystems  involved.  Recent estimates  indicate
that about 40  percent  of  the 120 million acres of this country's
wetlands    that   existed   20,0  years   ago  have   been   destroyed
(Ref. 109).

     Disposal  of solid wastes in  floodplains  (especially  along
rivers) may have several significant adverse  impacts:   (1)  if not
adequately protected from flooding, wastes in a disposal  site may
be  inundated  by  water and  flow  from the site,  impacting  water
quality  and  aquatic  life  in downstream  waters,  and  also causing
erosion,  siltation,  and flooding;  (2)  filling  in  the  floodplain
may restrict the  flow  of  flood waters and/or reduce the  size and
effectiveness  of  the   floodplain  in  assimilating flood  waters
which  may  result  in  higher  flood  levels   and  greater  flood
damages;   downstream  or  upstream;  and,  (3) since  floodplains
generally have a hydraulic connection to wetlands, surface  water,
and  ground water,  locating   disposal   sites  in  floodplains  may
result in leachate contamination.
                              III-6

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     Solid waste disposal  in  landfills  has  often led to surface-
water contamination  from runoff of  leachate,  accidental  spills,
and drift  of  spray.   One  study  cited  162 cases  of surface-water
contamination   from  industrial waste  disposal  of which  49  (30%)
occurred at landfills or dumps.

     The  principal   source  of  surface-water  contamination  from
landfills  is  leachate,  caused  by  water percolating  through  the
refuse.   Leachate,  a highly mineralized fluid, typically contains
such  constituents   as  chloride,  iron,  lead,  copper,  sodium,
nitrate, and a variety of organic chemicals.  Where manufacturing
wastes are included,  hazardous  constituents are  often present in
the  leachate   (e.g.,  cyanide,  cadmium,  chromium,  chlorinated
hydrocarbons,  and PCB).  The particular makeup of the leachate is
dependent  upon  the  city and/or  industries using  the  landfill.
The types  and concentrations of contaminants  in leachate  are of
great importance   in  determining  its  potential  effects  on  the
quality  of surface  water.

     Leachate   production  is common  in  the  United States because
most  sites   are   subjected  to  substantial   precipitation  and
although many  have  run-off/run-on  controls, very few have liners
to prevent percolation to the wastes.   It is impractical to cover
the working face,  and uneven settlement, erosion, etc. result in
ponding  and percolation.   Furthermore,  wastes at many sites have
been  placed  directly  in contact  with  surface  or  ground  waters
(e.g.,  in  streams,  marshes,  and  sand  and  gravel  pits).    Once
produced,  leachate  usually  migrates  from   the disposal  area  and
enters surface or ground waters.

     It   may  take  decades   or  even  centuries  for  a ground-water
resource  to  purge  itself  even  after a  contamination  source  has
been  removed.     The  mechanisms   of  soil  attenuation  (e.g.,
adsorption, ion  exchange,  precipitation,  or  dispersion)  have  a
limited   capacity,  are  not always  available,  and  are reversible
since   attenuation   is   a   function   of   soil   and   leachate
                              III-7

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characteristics, thickness of unsaturated zone, soil  homogeneity,
flow  rate,  concentration,  and  pH.    Because  of   this,  soil
attenuation  alone  is not  always  sufficient  to assure prevention
of ground-water contamination from a waste disposal  source.

B.   LANDSPREADING

1.   General Description of the Practice

     Spreading  of  wastewater on  the  land has  been  practiced  in
European  and  American agriculture  for  over  100 years—a natural
outgrowth  of  the  age-old  practice  of  returning human and animal
manures to the land.

     The  use  of manures  is  a  time-tested  enhancement  practice,
representing an ancient  key  technical  development in the history
of man.   It allowed  certain  civilizations  to develop geographic
stability, since fertilization with manures permitted a  sustained
yield on lands that would have otherwise been rapidly depleted of
plant nutrients.  Thus, in our own time, 1andspreading represents
the continuation  of  a well  established practice and,  some  will
argue, is vital for our continued well being.

     In recent  years, increasing  generation  of municipal  sewage
sludge  and  industrial wastewater residuals  has  led to  renewed
interest in  land  disposal  of sludges.   For example,  Metropolitan
Sanitary  District  of  Greater  Chicago  has  been  applying  sewage
sludge from the equivalent of 2.5 million people to 6070 hectares
(15,000 acres)  of  land in west  central  Illinois at  rates up  to
27.5 dry  tonnes/hectare   (25 dry/tons/acre)  annually since  1971
(Ref. 21,  pp. 53-60).

     In the  United  States,  the  use  of  human  and  animal  waste
products  of  waste  water  treatment  is  encouraged under  both  the
FWPCA  and RCRA.    A  wide  variety  of  industries generate  many
sludges which   are  similar  in  composition  to  human and  animal
                              III-8

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wastes.    Thus,  they contain nutrients as well  as  organic  matter
of  natural  origins,  and  appear  to  have the  same potential  to
enhance  the productivity of soils.

     Some  types  of  industrial   and  municipal  wastewater sludges,
while containing  nutrients and  organics  of  natural  origin,  also
contain  trace quantities of chemicals which are persistent and/or
biologically  active.    Two  examples  are  the  heavy  metals  and
refractory  organic  chemicals  (that  is,  PCB's, DDT,  PBB,  etc.).
The known detrimental^ impacts of  these contaminants on biological
systems  can effectively  counter the otherwise beneficial  aspects
of  nutrient and  origin  organics.  These impacts include:   direct
toxicity to plants;  second order  toxicity to animals;  third order
toxicity  to  people;  and  effects  on all food  chain  components.
Obviously, the  productivity of  soils  having  such  impacts  on the
biota is highly compromised.  The degradation of soil  quality can
be  short  term (salt contamination)  or long  term  (PCB's).   Thus,
just as  in  the  case of air and  water media, pollution can render
soils unsuitable as a habitat or  as  a growth medium.

     Table 3  illustrates  management practices for land intensive
residuals,  identifying  representative types  of  sludge  which may
be  1 andspreadabl e  for  each  category of  land  use.    Municipal
wastewater  sludges,  depending   on   their  level   or  industrial
character, may  be stored,  treated  and disposed of by the entire
range of  methods described.   Other  industrial sludges  have for
the most part a more  narrow range of  options.

     Table  3  emphasizes  two   key   factors:    (1) land  use  and
(2) contaminant  level  of  the  .residual.  The  land  use designation
shown  is  clearly  related  to   contaminant   level.   Under  good
management  practices, the  productivity  of the land  is enhanced
and  maximum  protection of  the  land and  environment is achieved.
This implies  spreading sludges  with  lowest toxicant levels, while
restricting  the  spreading  of  contaminated  materials  which would
have an adverse  effect on  the food  chain.
                               III-9

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                                                                       TABLE  3

                                                                LAND INTENSIVE RESIDUALS
                                                                 WWBBBff PRACTICES  (Ref.  128)
DRY STORAGE C J           LANDFILL

IMPOUNDMENTS  I  HAZARDOU9    |   SANITARY
                             \
                                                                                                                     AGRICULTURE
I                                                                   LAND     I      MULCH
                                                               RECLAMATION  I  APPLICATIONS  J  SILVICULTURE J  FIBER CROPS |  ANIMAL FEED  j  HUMAN FOO
                                                                      MUNICIPAL WASTE WATER SLUDGES
                                               OIL REFINERY
                                                 SLUDGES
                           •ORGANIC CHEMICAL SLUOGES-
 i
*_J
o
                                  -PLASTICS-
                                            ECTRIC UTILITY SLUDGES-
               •INORGANIC CMEMICAb-
                       IRON AND STEElf
                       •CLECTROPLATINS'
                                                                                                                         -ANIMAL MANURES-
                                                                                                                       -FOOD PROCESSIN3-
    •MINING-
                                                                           -PULP AND PAPER-
                                              5YNTHETHIC FIBER
                                              1	TEXTILE—I
                                                                                                                          NATURAL FIBER
                                                                                                                            TEXTILE    "
                                                              DECREASING CONTAMINENT LEVEL"*

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     Only  a  few  industries  have  well  established  practices  of
spreading  sludge  on  land.    The  canned   fruit  and  vegetable
industry generates  simple,  easily  biodegradable  wastes.   Nearly
40% of  these  plants  use land disposal  of wastes.   The petroleum
industry spreads  sludges  containing oils,   chemicals  and  sewage
solids.   The  pulp  and  paper  industry utilizes  extensive  land-
spreading of organic residuals.

     A  discussion of  industries  that are  known  to  landspread
their sludges is presented in the  following  section.

     A larger population, industrial growth, and higher degree of
waste-water  treatment  in  the  future  will   cause  an  increase  in
sludge  production.    For  example,  EPA projects  an  increase  of
about  50  percent  in  annual  dry   weight production  of municipal
sludge in the United States in 1985.  (Ref.   7).

2.   Number of Sites, Distribution

     Landspreading  of   solid, wastes is  practiced  by  municipal
waste  treatment  plants  and by  at  least seven  industrial  groups
(not all on  food chain  crops)--food processing,  textiles,  pulps
and papers, Pharmaceuticals,  tanneries,  feed lots, and petroleum
products.    When  this  report  was  prepared,  information  was
unavailable  concerning  waste  composition  and  quantities  of  the
residuals  that  are  landspread;   hence,   the  analysis  of  the
economic impact  of  the  land  considered only  sludges  from  waste
treatment plants.

     a .   Waste Treatment Sludges

          Over the past  few years, EPA has   sponsored a survey of
municipal waste treatment plants to  obtain information concerning
liquid sludge  1andspreading  operations.  Of the  987 respondents
to a  survey,  225 are currently 1andspreading  liquid  sludge  on  a
routine basis.
                              III-ll

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     Over 68 percent of the plants responding indicated they have
been 1andspreading  liquid  sludge for less than  10 years.   It  is
estimated   that   20  percent  of   the   total   municipal   sludge
production is utilized in application to land used for food chain
crops (Ref. 7).

     For this  report,  the  municipal  waste-water sludge data base
was  derived  from  an  unpublished  EPA  report on  sludge  disposal
practices of 141 cities  (Appendix  7).   This  report provided data
on  (1)  the  amount  of  sludge  currently  spread  on  agricultural
land,  and   (2) the  amount  that  could  not  be  spread  at  10  and
20 mt/ha (based on  the  proposed  reduction in the annual  quantity
of  cadmium  which  can  be applied to  land  used  for the production
of. food chain crops.

     Table  4  presents  the  1 andspreading   data base  used  for
evaluating the economic impact of the proposed criterion for land
application  for   food  chain   crops.    A   discussion   of  the
methodology for the economic analysis is presented in Appendix V.

     Some treatment plants are  "joint  municipal-industrial"  and
are  specifically   designed  to   accept  otherwise  incompatible
wastes;  the  usual   criteria  for  joint operation is treatabi1ity.
From a  biochemical  point of view, treatability  is related to two
types of  substances;  suspended  and  dissolved organic pollutants
that exert  a  biochemical  oxygen  demand (BOD) and by those (i.e.,
phosphorus  wastes)  that aid  biomass consumption of  organics  at
the secondary treatment stage.

     The sludge  from  municipal  plants  can  range from  being  the
product of treatment of only domestic sewage all the way to being
more nearly like  the  sludge of a specific industry.  In general,
though,  the jointly included industrial sewage will  be treated by
the  same  biological  secondary  unit processes  used  for  domestic
sewage.
                              111-12

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                                     TABLE  4
                             LANDSPREAOING  DATA BASE*
            (Quantity of Sludge  Affected by  "Operation  Controls"
                           on Application of  Cadmium)
Regulatory Alternative
(Based on Maximum Annual
Cadmium Addition)
Number of Sewage
Treatment Plants
That Can Meet The
    Criteria
 Quantity of
   Sludge
Landspreadable
Quantity
of Sludge
Eliminated
                                                            (drymetric  tons/year)
Proposed
2.0 Kg/ha cadmium limitation
-Applied at rate of 20 mt/ha
-Applied at rate of 10 mt/ha
1.25 Kg/ha limitation
-Applied at rate of 20 mt/ha
-Applied at rate of 10 mt/ha
0.5 Kg/ha limitation
-Applied at rate of 20 mt/ha
-Applied at rate of 10 mt/ha
More Restrictive"1"
-Applied at rate of 20 mt/ha
-Applied at rate of 10 mt/ha
Most Restrictive"*"


50
54

47
50

41
45

41
45
None

159,140
172,645

151,110
159,140

125,378
153,851

90,155
144,905
None

19,170
6,205

27,740
19,710

44,348
16,973

88,695
33,945
All
*  For  58  cities,  sources  of information include consultation with major cities  and
   EPA  regional  offices, construction grant design and planning reports, research
   reports  and published articles.   Metric units in this table may be converted  to
   English  units,  as  follows:  1  Kg/ha = .89 Ib/acres, and 1 mt/ha = .45 ton/acre.

+  More restrictive would  immediately restrict maximum annual cadmium addition to
   0.5  Kg/ha  (rather  than  waiting until 1986 to implement); most restrictive is  a ban
   on application  to  food  chain crops.
                                         111-13

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     Sludges have greatly  increased  as  a result of the FWPCA,  as
stricter effluent  levels  have caused a  shift  to  processes  that
produce greater  sludge  amounts.   Another factor in the increased
rates  is  the  decline from  favor  of anaerobic  sludge  digestion.
This often  troublesome  unit  process  significantly  reduces sludge
amounts while  producing methane gas; however,  very  few recently
constructed plants make provisions for this process.   (Ref.  128).

     b.   Industrial Sector Sludges

          An   unpublished    EPA    report   provides   preliminary
estimates  on  industrial   sector   sludges  that  are  principally
organic  in  nature,  and thus  are  likely to  be  landspread  for
beneficial  purposes.  (Ref. 128).

     Table  5  summarizes the  estimated  yearly  sludge  quantities
resulting from  pollution  control  activities.   The numbers  are
considered   "soft"   estimates   due  to:      (1)  the   imprecise
distinction in definition between sludges and other solid wastes;
(2) the fact  that  nonlinear reality has  been  adjusted to linear
based  models;   (3)  the  reliance   on   projections  rather  than
measurements, in most cases;  and  (4)  the lack of data  in sectors
such as the sugar industry.

     A   brief   description   of    the    estimated   volume   and
characteristics  of   the sludge/residuals  produced  by  selected
industries follows.   (Ref.  128).
                              111-14

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                             TABLE 5
           ESTIMATED  SLUDGE  QUANTITIES RESULTING FROM
                FROM POLLUTION CONTROL ACTIVITIES
                      (Late 70s) (Ref. 128)
     Sector                                 Yearly Quantities
                                       (millions of(millions of
                                        metric tons)    tons)
Municipal  Sewage                           4.5          5.0
Water Treatment                            0.02         0.02
Food Products
     Meat                                   0.45         0.5
     Dairy                                 0.09         0.1
     Canned or Frozen                      0.05         0.05
Textiles                                   0.27         0.3
Pulp                                       1.8          2.0
Paper                                      0.18         0.2
Organic Chemicals (not propylene oxide)    0.09         0.1
Plastics                                   0.45         0.5
Fibers (not rayon)                         0.05         0.05
Pharmaceutical                             0.18         0.2
Propylene  Oxide                            0.27         0.3
Petroleum                                   0.77         0.85
Rayon                                      0.05         0.05
Leather                                    0.09         0.1
Cement                                     0.45         0.5
Electric Power  (lime: sulfur  removal)     54.5         60.0
Asphalt                                    5.9          6.5
Steel                                      6'3          6-9
Inorganic  Chemicals  (not  phosphoric  acid)  3.6          4.0
Phosphoric Acid                           12.7         14.0
                              111-15

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    (1)   Food Industry

     The food industry generates an estimated 0.59 million metric
tons  per  year  (0.65  million  tons/year)  of  sludge.    Of  this
amount,  meat  products  account  for  0.45  million metric  tons  per
year (0.5 million tons/year); dairy products, 0.09 million metric
tons  per year  (0.1 million tons/year);  and  canned  and  frozen
foods,   0.05   million  metric   tons   per   year   (0.05   million
tons/year).

     The  waste  products from  these industries are  otherwise  in
the  food chain.    Since the raw materials  are from  plants  and
animals,  they  are mainly  organic.   Landspreading  or  irrigating
are the  preferred methods  of disposal  of these wastes  where land
is  available.    In  a  recent survey,   it  was  determined  that  41
percent  of the vegetable processing plants and 37 percent of the
fruit processing  plants used land  disposal.   An application rate
of  22  to 45  metric  tons/ha/yr  (10  to  20  tons/acre/yr)  for solid
waste was reported.

     (2)  Textile Industry

          The  textile  industry  generates   an   estimated  0.27
million  metric  tons/year  (0.3  million  tons/year)  of  sludge;  a
significant portion of this  solid waste is organic.  Although the
dyes  are complex  organics,  they   should  not  occur in  concen-
trations that  are harmful.   Sludges will result from detergents,
sizing  and  other  chemicals,  but  these  ingredients  are  not
considered dangerous  per  se,  as they  are  common  components  in
municipal sewage.

     The  textile  sludges  can  be   divided  into  those  that  are
derived  from  natural  products  such  as  cotton and  those  derived
from synthetic fibers such  as polyester.   The fate and  effects  of
                              111-16

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the degradation  products  of  cotton are  likely  to be  known;  of
synthetic fibers; however, they are largely unknown.

     Waste production  in  the  textile  industry  includes  organic
and inorganic  wet  chemicals and purely dry  products.   There  are
four types of  textile  products — animal s,  vegetable,  regenerated,
and synthetic.

     Waste  treatment  usually  terminates  with  lagoons.    The
sludges  have  been   used   for  soil  conditioning, but  costs  of
transport  and  application  exceed  the  benefits  derived.    Since
spreading  solid  waste  on land  is  of  economic  advantage  to  the
industry, this practice will probably increase in popularity.

     (3)  Pulp Industry

          The  pulp  industry  generates  an  estimated  1.8  million
metric tons  per  year  (2 million tons per year) of sludge.  These
wastes   are   highly   carbonaceous,  resulting   from   undegraded
cellulose  fibers  and biomass  grown  from  the liquors  of chemical
solvents  and dissolved  liquor.    Though  technically not  a  food
chain  product,   the  raw  material   is   derived  from   plant  life.
Landspreadi ng  has  been practiced  in  this  industry for  at least
20 years.  (Ref.  128).

     Land  disposal   of  the  sludge  is  almost  universal.    The
materials  in the  sludge   are  generally beneficial to  soils  and
crops, and the aerobic  soil environment minimizes odors.

     (4)  Paper  Industry

          An   estimated 0.18  million  metric  tons of sludge  per
year  (0.2 million  tons)  are generated  by the  paper  industry;
cellulose  is  the  major  organic  constituent  of  these  sludges.
Also resulting from  paper making are inorganic  fillers, dyes and
sizing.  Municipal sewage  traditionally carries  paper in
                              111-17

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considerable  quantities,  and the cellulose,  etc.  would  find  its
way to municipal sludge.

     The most  common  types  of  paper produced are kraft,  sulfite,
neutral  sulfite,  semichemical ,  and  groundwood.   Some  textile
fibers are grown for use in specialty papers; these include flax,
cotton, and jute.

     Paper  wastes  exert  a  high biochemical  oxygen  demand  load
because they  contain  compounds  such  as  sugars,  resins,  tannins,
and lignins.   Inorganic compounds  which are  in  a  reduced state,
such as sulfite, also  utilize  oxygen as they oxidize after being
discharged.

     ( 5)  Pharmaceutical Industry

          An  estimated  0.18 million  metric  tons  per year  (0.2
million tons  per year) of  pharmaceutical  sludges  are generated.
Solvents  and   hazardous   biologicals   and  mineral   wastes  are
incincerated or otherwise handled separately.  The remaining 0.18
million tons per year are organic and considered nonhazardous.

     (6)  Leather Industry (Tanneries)

          The  leather  industry  generates  about  0.09   million
metric  tons  per  year  (0.1  million  tons  per  year)  of  sludge.
Sodium chloride  salt  is washed out of the  cured  hides,  and lime
and  other   alkalies  are  used   to  dehair  and prepare hides  for
tanning and  dying.   Although  tanning  is  organic,  chrome tanning
agents are  commonly used.   In  some cases, chrome recovery may  be
practiced;  when it is not, as much as 1% of the dry weight of the
sludge  may be  chromium,  thereby posing  potential  environmental
problems.
                              111-18

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     (7)   Feed Lots

          Feed  lots  generate  an  estimated  45.5 million  metric
tons per  year  (50 million  tons per  year)  of manure.   Although
collected directly rather than as a  sludge  from  a  unit  process,
manures can be  likened  to domestic primary sewaqe sludge.   It  is
considered  a   traditional  residue,   not  the  result  of  another
pollution control effect.   Landspreading  has been the preferred,
time-honored disposal method, since manure is used extensively  as
a soil conditioner  and has a  recognized  fertilizer value.   When
supplies  exceed demand, this useful commodity acquires a  negative
worth at  the  point of  generation,  and can generate a  nuisance  or
health hazard  if improperly managed.

     (8)   Petroleum Industry

          An  estimated  0.77 million  metric  tons per year  (0.85
million  tons   per  year)  of  petroleum  residuals are  produced.
Solid  wastes  resulting  from  petroleum production  include  spent
lime from  boiler feed water tanks, plus various organic  sludges.
About 10% of  the  residue is presently treated, while the rest  is
landfilled and lagooned.  One treatment involves land application
for  aerobic biological  oxidation  of  organic or  oily wastes  and
for photochemical oxidation of tetraethyl  lead wastes.

3.   Site Conditions

     a.   General
          Landspreading of most solid wastes on agricultural  land
usually  requires  a  minimum  of  land preparation.   For example,
berms  may  be required to  contain  runoff,  but  leveling  is seldom
required.  Landspreading on strip-mine spoils frequently requires
leveling, terracing, or even bulldozing of large amounts of over-
burden to fill gullies and trenches.  Costs for site preparations
of  this  scale  can  amount  to  several  thousands  of  dollars  per

                              111-19

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acre.   If  leveling is a  requirement,  regardless  of revegetation
method, solid waste irrigation may be economically advantageous.

     Siting  is  a  major  technological  consideration  because  the
impact  of  solid  waste  on  the  environment  can  be maximized  or
minimized by  the  choice  of  spreading site.  The physical  aspects
of siting include  some political  considerations as well  as those
more  tangible.    The  proximity  to the  waste source  to a  degree
determines the  transportation cost;  transportation,  as might  be
expected, accounts for  most  of  the cost  associated  with land-
spreading of sludge.

     Zoning   of  the site   and  adjacent  properties  may  enhance  or
greatly complicate  its  utilization.    For  example, problems such
as the  transmission of  odors and disease  may  be  slight with  the
utilization   of  properly   stabilized  sludge;  on  the  other hand,
public  antipathy  to sludge spreading  can  make  real  problems  for
the  administrators  of  the program.   Locating a  sludge  farm in  a
residential   neighborhood can  be  done  (Hanover  Park, Illinois),
but  it  requires a  good  public-relations  program  ahead of time.
(Ref. 7).

     Related to the zoning considerations  is the recognition that
expansion  will   likely   take   place,   so   land  should either  be
acquired or  be  available for future growth.   Space for storage,
roads,  and buildings should also be  provided.

     b.   Public  Health  Impacts

          Although  1 andspreading of  solid  wastes provides  the
benefits  of   resource  use and  fertilizer   and  soil   conditioning
ability,  there  exists  the  potential  for  significant   adverse
health  and  environmental impacts  from this practice  due  to  the
presence  in  the  waste of heavy  metals,  particularly  cadmium,  as
well as pathogens,  and persistent organics.
                              111-20

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     (1)   Cad ml inn

          Excessive amounts of cadmium added to the soil  may have
serious adverse  impacts  because  of the uptake of cadmium by food
chain crops.

     Cadmium overloading on food chain lands or lands that may at
some future  time  be  used to raise these crops can have long-term
human health impacts.  Contamination of the soil may require that
this land not be used for the growth of food chain crops for many
years to  come,  depending on the degree of overload.

     The  uncontrolled disposal  of  municipal wastewater treatment
sludge on  agricultural   land  has  been identified  as  a potential
source  of  increased  cadmium  in  the  human  diet  through  the
contamination of food crops.  This same potential would hold true
for  the   addition  of   any  cadmium-laden  waste  to  agricultural
soils.

     Cadmium is  of concern in  the 1 andspreadi.ng  of., solid wastes
because the metal  (1) can be readily taken  up by crops unless the
proper precautions  are  taken,  (2)  has   the  potential  for bio-
accumulation is tissue,   and (3) is toxic to humans.

     (2)   Pathogens

          Pathogenic  organisms,   including  a  wide  variety  of
bacteria,  viruses,  and  intestinal  parasites,  can  be  found  in
certain  wastes  (e.g.,   hospital  wastes,  municipal  wastewater
treatment sludge).   The  fact  that these organisms are present in
solid waste and are capable of persisting in various environments
is a  fundamental  concern whenever  sludge is applied to the land.
Routes of  infection to   humans and animals  can. be through direct
contact with contaminated  environments  or  through the ingestion
of contaminated food and water.
                              111-21

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     (3)  Pesticides and Persistent Orgam'cs

          The  principal  chemical   substances   of   concern   are
chlorinated   hydrocarbons,   such   as   polychlorinated   biphenyls
(PCB's),  and  insecticides  such  as  DDT,  Aldrin,  Dieldrin,  and
Chlordane;  several  of  these are  suspected  of  being  carcinogens.
What  happens to  people  or  animals  when  they  consume  such  new
chemical  substances  and  what happens to  these  substances  in  the
environment are very complex and primarily unanswered questions.

     PCB's  are  a  member   of  a  class  of  chlorinated  aromatic
organic  compounds which have  given  rise to concern  because  of
their wide dispersal and persistence in the environment and their
tendency  to  accumulate  in  food   chains,  with  possible  adverse
effects on higher animals and people.

     c.   Ground Water

          Very  few  municipal   sludge  disposal  facilities   are
monitored  for  their  effects  on  water  quality,  and  even  fewer
industrial sludge disposal   sites have been studied.   Ground-water
quality  has  usually not been  degraded  by 1andspreading  of solid
waste except at sites with  poor management practices.

     Municipal sludge disposal  to land can cause chemical contam-
ination of  ground water,  especially  through the leaching of  such
elements as nitrates (which can spoil ground water for drinking);
in  addition,  public  health  is   endangered  by  the  presence  in
sludge  of heavy  metals  such  as  cadmium,  chromium,  lead,  zinc,
copper,  and mercury — all  of which  are  toxic  to humans  in  very
small quantities.

     Chemical  contamination  of  ground   water  can,   to  a  great
extent,  be  controlled  by proper  siting.    Thus,  the distance to
surface  water and  depth to  ground  water  should  be reasonable.
Runoff directly entering a  stream or lake, and percolate entering
                              111-22

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ground water without passing through an aerobic, unsaturated zone
can degrade the quality of the receiving waters.

     Physical   aspects  of  siting can be used  to help  protect  the
ground-water supply.  The deeper the water table, the greater  the
chance for  renovation  of percolate  before  it enters  the  ground-
water system.   A water  table several   tens  of feet below ground
surface allows  chemical  and  biological  reactions  to  occur which
remove some of the components in percolate.   (Ref. 7)

     The   U.S.  Department of  Agriculture  estimated in  1969 that
1.5 billion metric  tons  (1.7 billion  tons)  of cattle wastes  are
generated  annually.   This total  probably exceeds waste production
from any   other  segment  of  the national agricultural,  commercial,
and  domestic  complex.    Of  this  total,  only about 5  percent  is
deposited  in feedlots, but  the  potential  environmental threat of
waste  concentrated  on   feedlots   is   disproportionately  large
relative   to  the  total  cattle  wastes   (Ref.  7,  p.  396).    Up  to
100 million metric tons (113 tons) per year of  feedlot wastes  may
be landspread.   The  potential, for ground-water  contamination from
all  types  of  animal  wastes is  substantial  even when  compared to
potential   problems   from   human   wastes,  because  the  volume  of
animal wastes  is  equal  to  about 10  times the amount generated by
the human  population.

     There are several  potential contaminants in manure, but only
one  is frequently encountered in ground water--nitrate.  Nitrate
is the oxidation product of organically  bound  nitrogen, ammonium
and nitrate.  Ground water is vulnerable to nitrate contamination
because nitrate  is   soluble  in  water, and  its concentration  is
essentially unchanged  by  contact with  the soil matrix.  Bacteria
and  phosphate,  other  manure-borne  contaminants   are  generally
highly attenuated by soils and  thus do not  constitute a  serious
threat to  ground water (Ref. 7,  p 396).
                              111-23

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C.   SURFACE IMPOUNDMENTS

1.   General Description of Practice

     Surface  impoundments,  which  include  a  wide  variety  of
facilities  referred  to  as  pits,  ponds,  lagoons,  basins,  and
pools,  are  another  major  solid  waste  disposal method  that can
introduce contaminants into ground water.

     Surface impoundments  are  used in  essentially  all  processes
relating to treatment  of  community,  industrial, and agricultural
water  and   wastewater,  and  as well  as  in  processing  by  major
industries  engaged  in  such  activities  as  manufacturing,  food
production,  mining,  oil  and  gas  production, and  animal  feedlot
operations.   Because  most impoundments  are unlined and leak part
of   their   contents   downward   into   the   soil,   ground-water
contamination from  these  sources  is  believed to occur throughout
the  nation; indeed,  instances  are known of contamination  from
surface  impoundments  in nearly every State.  Many  of the bodies
of  contaminated  ground  water  are localized;  some  are so  far
removed  from  populated  areas  that they  constitute  no immediate
threat  to  the  water  supply  of any community.   Others,  however,
have  developed  into extensive  plumes of contamination that have
already degraded  or may degrade the quality of  local ground-water
supplies.   (Ref.  107).

     Most  plumes  of   contaminated  ground water  associated  with
surface  impoundments  have been  found   to  be  small   and  widely
scattered   throughout   the  country.     A  major  difficulty  in
identifying the  source of contamination is that the existence of
a  plume may not  be known  until  the  contaminated  water reaches  a
nearby  well  or  stream  and  is detected either by the taste, color,
or odor of  the water or by routine water  sampling and analysis.
                              111-24

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     In  the  most definitive  study on  this subject  to  date,  a
surface   impoundment   is   defined  as   a   "natural   topographic
depression,  artificial  excavation,  or dike  arrangement with  the
following  characteristics:   (1)  it is  used  primarily  for  storage,
treatment,  or  disposal  of  wastes  in  the form  of  liquids,  semi-
solids,   or   solids;   (2)   it is   constructed  above,  below,   or
partially  in   the  ground,   and  (3)  it  may or  may   not  have  a
permeable  bottom and  sides  allowing  infiltration of  its  contents
into ground  water".   (Ref.  107).

     Omitted from this  study, were fresh-water impoundments such
as  natural  lakes,  reservoirs, farm ponds used  for water  supply,
storm,  water  basins,  and  flood-control  and  irrigation  impound-
ments,  not designed  to treat, store,  or dispose of wastes.   These
impoundments  number   several  million  and  mainly  contain  fresh
water;  hence,  many  States  do  not recognize  them  as  potential
sources  of contamination.

     Concrete-lined   basins   and  prefabricated  tanks, and  steel
vessels   that   are   used   in   waste   treatment  and  industrial
processing were not  included in the definition of  impoundments in
the   recent   preliminary    national    inventory    of   surface
impoundments.   (Ref.  107).

2.   Number  of Sites, Distribution

     Few  States  have  actually  counted  impoundments  or  compiled
detailed  records  of  their  construction   and   operation.    The
preliminary   national   inventory   (Ref.  107)   indicates   that  a
minimum   of   about   13,700   domestic   waste  impoundment  sites
(municipal,   institutional,  and   commercial)  77,000  industrial
impoundment sites, and 19,500 agricultural  impoundment sites have
been identified  and  recorded, making  a  minimum overall  total of
about 110,000  sites.   .Each site has one or more impoundments and
the best estimate is that there may be 2 to 3 per  site on the
                              111-25

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average.   Table 6  shows  the  estimated  numbers of  impoundment
sites by State from all waste sources.

     The majority of  the  impoundments are at facilities relating
to  oil  and  gas  extractions, coal  and  other mining,  and  animal
feedlots.  The  analysis  in this  report excludes municipal  waste-
water and  agricultural  impoundments  since domestic  sewage  is not
a  solid waste  under  the  RCRA definition,  and  it was  felt  that
Federal   and  State  water  quality  control  regulations effectively
control  surface-water pollution from these types of impoundments.
Moreover,  feedlots   are   considered   to   be  point  sources  of
discharge  that  can  be  regulated under  the National  Pollution
Discharge  Elimination  System   (NPDES)   of  the  Federal   Water
Pollution Control  Act, 1972 Amendments.

     For purposes of  analysis  in  the EIS, impoundment sites  were
divided  into  two groups  based  on industrial classification and
size; site  size  was the  major distinguishing factor between the
two groups.  A total of 73,235 surface impoundments fell into the
categories shown in Table 7.

     Further  assumptions  used  for  analyzing   impacts  of   the
Criteria on surface impoundments are presented in Appendix  V.

3.   Site Conditions

     The  national   survey  of  impoundments (Ref.  107)  found  that
most  impoundments  are  unlined   and built  on  permeable   earth
materials, with  a   high potential  for leakage.   In  regions  where
rainfall   exceeds   potential   evapotranspiration,   the  dominant
mechanism  for wastewater loss  is  through  seepage  into  ground
water.
                              111-26

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                             TABLE 6
  ESTIMATE OF NUMBERS OF IMPOUNDMENT SITES, FOR ALL CATEGORIES,
                            BY STATES
State
  No.
State
    No.
Alabama
Alaska
Arizona
Arkansas
Cal i form"a
Colorado
Connecticut
Delaware
Florida
Georgia
Hawai i
Idaho
Illinois
Indiana
Iowa
Kansas
Kentucky
Loui siana
Maine
Mary! and
Massachusetts
Michigan
Mi nnesota
Mississippi
Missouri
Montana
Nebraska
Nevada
1,590
  130
  339
  834
3,727
  717
   96
   50
1,948
1,440
   78
  584
3,591
2,470
1,466
6,057
1,279
9,751
  235
  534
   73
3,224
1,540
1,715
2,776
2,189
2,192
  276
New Hampshire
New Jersey
New Mexico
New York
North Carolina
North Dakota
Ohio
Oklahoma
Oregon
Pennsylvania
Rhode Island
South Carolina
South Dakota
Tennessee
Texas
Utah
Vermont
Vi rginia
Washington
West Virginia
Wisconsin
Wyomi ng

Grand Total
    105
    247
    595
    848
  1,026
  2,775
 13,196
  2,015
    757
 15,341
     31
    912
    650
    775
  8,439
    364
    179
  1,818
  1,031
  6,612
    986
    538

110.150
                              111-27

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                             TABLE 7
            MAJOR CATEGORIES OF SURFACE IMPOUNDMENTS
                        BY SIZE AND TYPE
Group I  (20 hectares (50 acres)/site)*
     Coal  and Other Mining
     Paper Products               ^    9,082 sites
     Utility and Other Services
Group II (3 hectares (7.5 acres)/site)**
     Oil and Gas
     Food  Products and Textiles    ^  64,153 sites
     Chemicals and Refining       '
     Miscellaneous Mining
 *0ne 20-hectare (50 acre)  impoundment per site.
**Three 1-hectare (2.5 acre)  impoundments per site
     It is likely that at least some leakage into ground water is
taking  place  from  most  unlined  impoundments.   In  many  places,
impoundments could not function at all if leakage were prevented.
In  those  instances,  the  owners  would  have  to  turn  to  costly
alternatives such as treatment, liners, or recycling of wastes in
order to  remain  in  operation.   Moreover, the cost  for correcting
an individual leaky  impoundment might range from several  tens of
thousands to  several hundreds  of  thousands  of dollars  and,  in
some  places,  the  remedial  action  would cost  in   the  millions.
Many States  require permits or have  some  other type of  regula-
tions concerning impoundment construction and operation, but many
of these regulations are not very  specific in regard to contamin-
ation prevention or  are  not enforced  because financial resources
are limited.
                              111-28

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     In addition, impoundments were  found  to  contain fluids  with
almost  every  known  chemical   substances,  and  many  of  these
substances were  also  identified in  ground  water  contaminated  by
leaky  impoundments.    Nearly  all   States  have  reported cases  of
significant ground-water contamination from impoundments.

     Thus far,  it  is   primarily water in  shallow  aquifers  which
has been adversely  affected by  leakage from impoundments,  but the
potential for contamination  of  deeper waters  could exist  in  some
ground-water recharge  areas.

     Numerous  case   studies  attest  to  air,  ground-water   and
surface-water  pollution   as  a   result   of   land  disposal   of
industrial wastes.   EPA's Office of Solid Waste has documented  30
case studies of  industrial  land  disposal  sites that have  created
public health and environmental  hazards.   Also, through contract
efforts,  fifty   randomly  chosen  industrial  land  disposal  sites
were investigated and  ground-water contamination  was observed  at
47 of these sites.

     Case  studies   on   the  different  industrial   waste  disposal
methods  have  shown different  mechanisms  for causing  environ-
mental,  economic  or health  damage,  as  shown  in  Table 8.   This
information suggests that the waste stream has  often been  shifted
between  impoundments,   landfills,   and  other   disposal  methods,
making  it  more  productive to focus  on  protecting  the particular
resource  from   all  disposal   methods   than    focusing  only  on
particular industrial  waste disposal methods.
                              111-29

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                             TABLE 8
  MECHANISMS INVOLVED IN INCIDENTS OF DAMAGE BY DISPOSAL METHOD
                      FOR  INDUSTRIAL  WASTES*
                     Disposal Method (No. of Cases)
Surface Landfills
Impoundments Dumps
Damage Mechanisms
(no. of cases) 89 99
Ground water (248) 57
Surface Water (162) 42
Air (17) 3
Fires, Explosions
(14)
Direct Contact 1
Poisoning (52)
64
49
5
11
6
Other Land
Disposal **
203
117
71
9
3
40
Storage
of Waste
15
10
.
-
-
5
Wells Affected (138)
                          32
28
74
 *The tabulation refers to 406 cases studied thus far.  The numbers ii
the matrix add up to more than 406 because several damage incidents
involved more than one damage mechanism.
**Hazphazard disposal on vacant properties, on farmland,  spray
irrigation, etc.
"j"Not included as a damage mechanism.
Note:  The data presented in this table have been derived solely from
       case studies associated with land disposal of industrial  wastes
Source:   House Committee Print No. 20
     As  previously   stated,  most  impoundments  are unlined  and,
therefore, may  leak  part  of  their  contents  down into  the  soil
(leachate).   In  many  areas,  any  contamination  of ground  water
also  threatens   the   quality   of   surface  water.    The  basic
                              111-30

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mechanisms  and  effects  of  leachate   damage  are  described  in
Appendix IVC.   It has  been  estimated that over 380 million cubic
meters  (100 billion  gallons)  per  year of  industrial  effluents
enter  the  ground  water   system,   based  on  standard  leakage
coefficients   and  on   the  estimated  6.4 billion  cubic  meters
(1,700 billion gallons) of  industrial  wastewater  pumped annually
to oxidation ponds or  lagoons for treatment (or as a step in the
treatment process).   Contaminants  documented  as  having degraded
ground-water   quality   include  phenols,  acids,  heavy metals  and
cyanide.    The  potential   ground-water  contaminants  for  each
industry are  shown in  Table 9.  (Ref. 7).
                              111-31

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TABLE 9  INDUSTRIAL WASTE-WATER PARAMETERS HAVING OR INDICATING
          SIGNIFICANT GROUND-WATER CONTAMINATION POTENTIAL. (Ref. 7
PAPER AND ALLIED PRODUCTS
COD
TOC
Ammonia
 Pulp and Paper Industry

     Phenols
     Sulfite
     Color
     Heavy metals
Nutrients (nitrogen
  and phosphorus)
Total Dissolved
 PETROLEUM AND COAL PRODUCTS
Ammonia
Chromium
COD
pH
Phenols
Sulfide
Total Dissolved Solids
Petroleum Refining Industry

     Chloride
     Color
     Copper
     Cyanide
     Iron
     Lead
     Mercaptans
Nitrogen
Odor
Total Phosphorus
Sulfate
TOC
Turbidity
Zinc
 PRIMARY METALS
 PH
 Chloride
 Sulfate
 Ammonia
     Steel Industries

     Cyanide
     Phenols
     Iron
Tin
Chromium
Zinc
 CHEMICALS AND ALLIED PRODUCTS
 COD
 pH
 Total Dissolved Solids
Organic Che mica is Industry

     TOC
     Total Phosphorus
     Heavy metals
Phenols
Cyanide
Total  Nitrogen
                             111-32

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Table 9(Continued).  INDUSTRIAL WASTE-WATER PARAMETERS HAVING OR
                    INDICATING SIGNIFICANT GROUND-WATER CON-
                            TAMINATION OR POTENTIAL.
CHEMICALS AND ALLIED PRODUCTS.(Continued)

             Inorgonic Chemicals, Alkalies and Chlorine Industry
Acidity/Alkalinity
Total Dissolved Solids
Chloride
Sulfate
COD
TOC
  Chlorinated Benzenoids and     Chromium
     Pol/nuclear Aromatics        Lead
  Phenols                       Titanium
  Fluoride                      Iron
  Total Phosphorus               Aluminum
  Cyanide                      Boron
  Mercury                      Arsenic
                   Plastic Materials and Synthetics Industry
COD
pH
Phenols
Total Dissolved Solids
Sulfate
Ammonia
Chloride
Chromium
Total Dissolved Solids
Nitrate
 Calcium
 Dissolved Solids
 Fluoride
 PH
 Phosphorus
  Phosphorus                    Ammonia
  Nitrate                       Cyanide
  Organic Nitrogen              Zinc .
  Chlorinated Benzenoids and     Mercaptans
     Polynuclear Aromatics

Nitrogen Fertilizer Industry

  Sulfate                       COD
  Organic Nitrogen              Iron, Total
     Compounds                  pH
  Zinc                          Phosphate
  Calciun.                      Sodium

Phosphate Fertilizer Industry

  Acidity                       Mercury
  Aluminum                     Nitrogen
  Arsenic                       Sulfate
  Iron                          Uranium
                                          111-33

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          IV.   ADVERSE EFFECTS AND CONTROL TECHNOLOGIES
     Chapters  III  and IV of Volume I summarized the environmental
and economic  consequences  of  the  proposed  Criteria, as  well  as
the effects  of more and less restrictive alternatives.

     This  section  presents  a  more detailed  discussion of  the
adverse effects from improper  disposal  in terms of (1)  the magni-
tude of each adverse effect, (2) the alternative technologies  and
unit costs to  control these effects, and (3) the range  of regula-
tory approaches for each adverse effect.

A.    ENVIRONMENTALLY SENSITIVE AREAS

1.    Importance;  Adverse Effects from Improper Disposal

     Environmentally sensitive areas are natural assets which  are
especially ecologically productive or important, are particularly
vulnerable or  sensitive to solid waste  disposal,  and  may not be
adequately  protected  by  the  other criteria.   These   are  areas
where current  Federal  policy  has  already  established  a national
interest  in   protecting   the   resource  (Ref. 40,41,115).     In
general, these areas  should  be avoided for solid waste disposal;
if  no  feasible alternative exists,  however,  disposal  facilities
in  these  areas require special  design,  construction,  operation,
and maintenance considerations.

     a.   Wet!ands

          The   nation's  coastal   and  inland  wetlands   are  vital
natural resources  of great hydrological,  ecological,  and social
importance.    Wetlands  provide natural  flood  and  storm control,
sediment and  erosion  control,  recharge of aquifers, natural  pur-
ification   of  waters,  and  flow  stabilization of  streams  and
rivers.   Wetlands  produce  large  quantities  of  nutrients  which
                               IV-1

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support complex ecosystems extending  into  estuaries  and streams,
well   beyond  the  marshes  and  wetland  areas.   Wetland  habitats
support fish,  shellfish,  mammals, waterfowl,  and  other wildlife
fauna and  flora.   Moreover,  wetlands are  used  in  the  production
of many  agricultural   products  (food and  fiber)  and  timber,  as
well  as for recreational, scientific, and cultural  pursuits.

     b.    Floodplai ns

          Disposal  of  solid  wastes  in floodplains  (especially
along  rivers)   may have  several   significant  adverse  impacts:
(1) if not  adequately protected  from flooding, wastes  in  a  dis-
posal  site  may  be inundated  by  water  and  flow  from  the  site,
impacting  water  quality  and  aquatic life in  downstream waters,
and also causing  erosion,  siltation, and flooding; (2) filling in
the  floodplain  may   restrict  the  flow of  flood waters  and/or
reduce   the    size  and  effectiveness   of   the   floodplain   in
assimilating flood waters  which may  result in higher flood levels
and  great  flood  damages  downstream  or upstream;  and  (3) since
floodplains  generally  have  a  hydraulic  connection  in  wetlands,
surface water  and  ground water, locating disposal  sites  in flood-
plains may result  in  leachate contamination.

     c.   Permafrost  Areas

          Permafrost  areas, characteristic of arctic Alaska,  are
very  fragile  ecosystems  with  significant potential  erosion  and
ground-water contamination problems.   Permafrost  is permanently
frozen  ground, occurring  where   the  freezing depth  each  winter
exceeds the  summer thaw depth.    In  portions of arctic Alaska the
depth of thaw  or  active  zone is less than  18 inches.

     Disposal  of  solid  waste  in  permafrost  areas presents three
environmental  problems.    First,  any disturbance  of the delicate
Insulating  plant  and  moss cover  increases  the  depth  of annual
thaw.   Since  permafrost is commonly composed  of supersaturated
                               IV-2

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soils and  ice,  an  increased depth of thaw  can  alter  the  surface
contour, create lakes,  and  cause significant erosion.  Moreover,
an activity  to  correct erosion  by  surface  and  subsurface  waters
tends to increase the thaw and erosion problem.

     Second,  disposal   in  the  active zone  may  cause  difficult
water pollution problems.   All  seasonal  water movement occurs in
this  active  zone   and  leachate  contamination  is very  likely.
Since the  active  zone  of  permafrost areas  is  commonly the only
source  of  drinking water,  prevention of contamination is  essen-
tial in order to preserve this vital  resource.

     Third,  waste  deposited  in permafrost  areas is  generally
deposited  on  the surface  and  undergoes very  little  change over
time and  therefore  accumulates  and  remains  as  a  hazard to future
generations.

     According  to   Section  3 of  RCRA,  steps are  to  be taken to
remove  existing solid waste  on Federal lands  in Alaska.

     d.    Critical  Habitats

           Many  species  of animals and plants have become  rare or
endangered in the  past through   the  cumulative  effects of human
activity   in   habitat   destruction,  excessive   killing,   and,
recently,  release  of toxic  substances into  the  environment.   Con-
struction  and operation of  waste  disposal  facilities  may restrict
the  movement of or otherwise temporarily  or permanently  disturb
natural habitats of rare  and endangered  wildlife  in certain areas
of  the  country.  Habitats  critical  to  the  continued  existence of
endangered  species should  be   protected  from  any   disturbance
caused  by  waste  disposal  practices.
                               IV-3

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     The Department of Interior has currently designated  critical
habitats  of  the  snail   darter,   the  American  crocodile,   the
California condor,  the  Indiana bat,  and the  Florida  manatee  (50
CFR, Part 17, Subpart F).

     e.   Recharge Zones  of Sole-Source Aquifers

          Aquifers  are  water-bearing, geologic  formations  which
often yield  significant quantities  of water to wells  or  springs;
a large  percentage  of  the  population in this country  obtains  its
drinking water  supply  from these  sources.   Aquifers  are replen-
ished through recharge zones  which are permeable to rainfall  and
surface  runoff  and through which  the aquifer  is  susceptible  to
contamination.   Removal of  areas  from recharge zones  reduces  the
recharge and  therefore reduces the amount of water available  for
use.

     The contamination process begins with sources of contamina-
tion such as waste disposal facilities.  The  type of contaminant,
of  course,  depends  on  the source  and can  range  from hazardous
chemicals  in landfill leachates  or  waste lagoons to  high  con-
centrations  of   salt  in  oil-field  brines.   Either deliberately
(septic   tanks)   or   unintentionally   (industrial  waste-water
impoundments),  contaminants can  leak,  percolate,  be discharged
to, or be injected  into water-supply  aquifers.

     As  the  contaminant  travels  through  the  soil and  into  the
ground-water  system,  it can  be modified  by  various  attenuation
processes such as adsorption,   cation  exchange,  and  precipitation.
These  processes  are  very  complex,  are  finite  in  capacity,  are
dependent on  soil  factors  as  pH  and  soil  type,  and  are revers-
ible.  However,  once in an aquifer, certain substances are highly
mobile.   Since  ground  water frequently is very slow novino,  con-
taminants within  the  ground-water  system  do  not mix readily with
native water (i.e., they  usually do not become  diluted or
                               IV-4

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dispersed,  but   rather   move   slowly   as  slugs  or  plumes   of
contamination).

     Although ground water  travels  through  an aquifer slowly,  it
is  in  constant  motion   and  must  eventually  discharge  to  the
surface because  all  aquifer systems are  being  recharged  to  some
degree.   In  humid areas,  discharge of contaminants is relatively
quick for shallow water-table aquifers and slow for deep-artesian
aquifers.    In  some  arid  regions, recharge  and  discharge are  so
slow  that some  aquifers  can actually be  considered sinks similar
to the ocean.  Points of  discharge include wells and springs used
for  water  supply and  surface-water bodies  such  as  rivers  and
1akes.

2.   Control Technologies and Unit Cost

     1.   Wet!ands

          In addition  to  the application of standard technology
for  landfills  in wetlands, one  must also consider the preserva-
tion  of an  ecosystem which provides habitat  for flora and fauna.
Also,  wetlands  are  almost always  associated with  a  floodplain
area  and  should  receive,  therefore,  all   considerations necessary
for  sites  located in floodplains.   Although  there appears  to  be
no  satisfactory  way  to site  a   facility  in  the wetlands  without
significant adverse  impact,  there are  methods for mitigating  the
impact  on  the   environment.   The primary adverse impact on  the
disposal site  in  the wetlands  is the destruction of a portion  of
an  ecosystem which  provides habitat,  food  material,  breeding,
and/or  activity   areas   for  plant  and  animal   life.     When
considering  a   site   in   a  wetlands  area,  the  local  areal  and
regional  system  should   be  studied  to   determine  locations  for
candidate  sites  out of  the wetlands  as  well  as  inside  them.
Candidate sites  could then be ranked and a  chosen site  selected
to have the  least significant  impact on  the  ecosystem.  Further,
local  sites similar in  size  and   nature  could  be  restored  or
                               IV-5

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returned  to  the  ecosystem  to  keep  the  same  total  area  in
wetlands.

     Every effort  should be made to contain  the  wastes within the
site  and prevent  seepage  of  contaminants.    As  a  minimum,  the
entire  site   should  be confined  within a  dike or  10-foot  high
levee.   In addition,  restoration or preservation activities else-
where  in  the  wetlands  may  provide   tradeoffs  to  mitigate  the
adverse  impacts  of disposal activities  within  such a  fragile eco-
logical  environment.

     Where  feasible,  the  final  end  use  of  the site  could  be
blended  with  the  ecosystem  so  as  to provide  additional habitat,
nutrients, or food supply  for  the  plant and animal  system in the
vicinity of the  disposal facility.

     The  sites  located  within wetlands  could  be utilized  in  a
more  efficient  manner by  using higher density disposal methods
and  higher  final  contours,  to minimize the amount  of  land used
while  getting  the  maximum .capacity  from  the  landfill itself.
High  density  can  be  achieved  by  preprocessing of  the  waste
through  baling  or shredding,  and/or by  use  of  high compaction
equipment  on-site  to  increase  refuse  density.     The benefit
achieved  is  increased site  life,  with  fewer  landfills  and less
total wetlands are required.

     b.   Fl oodplains

          Floodplains  require  certain  special   considerations.
The  primary   contamination  potential  from   landfills   sited  in
floodplain areas  is  the  degradation  of  the  ground and surface
waters caused  by  the  adverse impact of flooding, which removes
the waste  from the site by erosion or adds  significant leachate
to  the  ecosystem.    In addition to  the standard counter-measures
of preventing seepage  and controlling leachate  required  for all
                               IV-6

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landfills,  perimeter  protection  is  most frequently  utilized  to
preclude the effects of flooding on water quality.

     Perimeter berms or  dikes  are usually constructed around the
waste  disposal  area.   Such  berms rise  above  the 100-year flood
level  and  are  protected  from  flood  erosion by  adequate  erosion
mechanisms  including  rip-rap,  vegetation,  and erosion-resistant
materials.   The  perimeter  system,  while it isolates  sites  from
the  impact of  flood  waters,  itself  create some  impacts  on  the
flood  regime.    By  the mere  process  of  isolating  the  site  from
flooding,  perimeter protection  reduces  the storage  capacity  of
the  flood  basin.   This  results in back-water  impacts, affecting
the  direction  and  magnitude  of  the   flow  of  water  through  the
floodplain, and  occasionally causing flooding  of  new lands.  This
impact  of  perimeter protection  can be precluded or minimized  by
siting  the solid  waste   facility  at   a  location which will  not
impact  on   the  water   flow  basin storage capacity  or  the "back-
water  curve."  For  example,  the  disposal  facility might be shaped
in a more  streamlined  configuration to  minimize  its impact on the
water  velocity  or  flow   directions.    Creating  an  equal  storage
volume  for  flood   waters  is  often  a  suitable  alternative  for
retaining  the  storage  capacity of the  floodplain.  By approriate
siting of  the  replacement volume,  the  back-water  effects might be
totally   eliminated.      Drainage  ways,   channel   improvement,
deflector  systems, and   berms  are all   techniques  available  to
assist  in  the  control  of the  flood-water flow velocity and back-
water  consequences.

     c.    Permafrost Areas  and  Recharge  Zones  of
           Sole-Source Aquifers

           The  standard  control  methods  for  operating in  these
areas  are  described   in  detail  later  in   this  section   in  the
discussion  of  recommended technology for  surface  water and ground
water  (Sections  IIIB and  IIIC,  respectively).
                               IV-7

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     Control  methods include encapsulating  wastes  in  these  areas
with top and/or bottom  liners  or barriers to prevent  or minimize
leachate generation;  contouring cover  materials  and  vegetating
the  site  surface  to encourage  runoff and  prevent or  minimize
erosion; and  constructing dikes, berms, and/or ditches,  culverts,
basins,  sump  pumps,  or  similar collection  systems  to  control
leachate seeps and discharges.

     Before   locating a   disposal  site  in  permafrost  areas  or
recharge zones  of sole-source   aquifers,  it must be demonstrated
that alternative locations are  not feasible.

     d.   Critical Habitats

          If  other feasible  alternatives  exist,  critical  habitat
areas  should  not   be  used  for   solid  waste disposal.    Disposal
facilities  that are  located  in  such areas must be designed, con-
structed,  operated,  and maintained  so  as not to  jeopardize  the
continued existence of the endangered species.  The final end use
of the  site could be blended with the ecosystem so as to provide
additional  habitat  or  food  supply for  the  animal  species in the
vicinity of  the disposal  facility.

     Table 10 shows control  techologies and unit costs as a func-
tion of  site  size for the  proposed  criterion;  costs  are identi-
fied for each disposal  method impacted by this criterion.

3.   Regulatory Alternatives

     Areas  considered  for special consideration  in the Criteria
were wetlands,  floodplains,  permafrost zones,  critical  habitats
for  rare/endangered  species,   recharge   zones   of  sole-source
aquifers,  active   fault  zones,  karst  terrain,   and  areas  with
shallow depths  to  the water table.   The first five were selected
for  inclusion  in  this  criterion and the approach  chosen was  to
have restrictive criteria with State/local controls.  All three
                               IV-8

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                              TABLE 10
ENVIRONMENTALLY  SENSITIVE AREAS:  CONTROL TECHNOLOGIES AND UNIT  COSTS
Disposal
Method
Landfill
Wetlands
& Flood -
plains



Permafrost
Sole-
Source
Aquifers
Critical
Habitats
Technology

Containment Levee




Study of Alternatives
Study of Alternatives


N/A

Site Size

TPD (TPD)
9.1 10
91 100
272 300
635 700
N/A
N/A


N/A

Capital Costs
Unit
($)



> 196/m3 (1.50/cuyd)


10,000 LS
10,000 LS




Quantity

m cu yd
32,130 42,000
70,686 92,400
115/668 151,200
167.076 218,400
10,000 1
1


N/A N/A

Total
($)


63,000
139,000
227,000
328,000
10,000
10,000


0

Operation and
Maintenance Costs
Unit
($)


0
0
0
0
N/A
N/A


N/A

Quantity


0
0
0
0
N/A
N/A


N/A

Total
($)


0
0
0
0
0
0


0

Annual Cost
(10-Yr Life)
($)


10,200
22,500
36,800
56,100
1,600
1,600


0


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areas  occur  nationwide  and  all   are  considered  of  critical
environmental and  social  importance,  having  been  the  subject  of
Executive Orders (Refs. 40,41).

     a.   Regulatory Alternatives for Areas Included
          in ESA Criterion

          In  Volume   I,  Chapter   III  of  this  report,  three
regulatory alternatives were described for each of the five areas
considered  in  the  ESA criterion.   These  alternatives  as well  as
additional  regulatory  options  for  these  areas,  are sumsmarized
below.

          (1)  Wetlands

               Alternatives  include requiring  a  .402  permit  and
404  permit,  if   applicable;   banning  disposal   of  wastes  in
wetlands, and not addressing the issue of waste disposal in these
areas.

          (2)  Floodplains

               A  wide  range  of  alternatives  is  available  for
floodplains,  including  (1)  determining that  a  disposal  facility
will  not  restrict  the  flow  of   the  100-year   floodplain  and
protecting  against  inundation by the  100-year  flood by means  of
proper   design,  construction,   and  maintenance   of  the  site;
(2) same  approach   as  alternative   (1)  above,  for  the  50-year
floodplain;  (3) protecting  against  inundation  and damming  of
rivers  in  floodplains;  (4)  protecting against  inundation  only;
(5) banning  disposal  of all  wastes in these  areas; and (6) not
addressing the problem of waste disposal in these  areas, with the
assumption  that  the  ground-  and   surface-water  criteria  will
adequately protect floodplains.
                              IV-10

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          (3)  Permafrost Areas

               Regulatory  alternatives  include  using   environ-
mentally acceptable alternative  sites,  banning  disposal  in  these
areas, and not  addressing  the  problem of waste disposal  in  these
areas.

          (4)  Critical Habitats

               Alternatives  include  (!) locating sites  in  areas
identified  in  50 CFR,  Part  17,  Subpart F,  only   i_f   disposal
practices  pose  no  threat  to  endangered  species and the  siting
receives approval  by the Department of the Interior; (2)  locating
sites  in  areas identified in  Section  4  or  7  of the  Endangered
Species Act  only  j_f_  they  pose  no  threat  to endangered  species;
(3) banning  disposal  in  areas  identified in  alternative 1 above;
(4) banning  disposal  in  areas  identified in  alternative 2 above;
and  (5)  not  addressing  the  problem  of waste  disposal  in  these
areas.

          (5)  Sole-Source Aquifers

               Alternatives  include  (1) sitinq  only  if  no  other
feasible alternative  is available  and  in such cases employing the
best  available  technology  and  monitoring disposal  practices to
ensure that  the aquifer is not endangered; (2}  following the pro-
cedures  outlined  in  alternative  1  above,  but  only  for  the
recharge zone  (i.e.,  not over  the aquifer);  C3)  banning disposal
in  the  recharge  zone  and  above  the aquifer;  C4)  banning disposal
in  the  recharge  zone  only;  and  (5)  not  addressing the issue of
disposal in  these zones.
                               IV-11

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     b.    Regulatory Alternatives for Areas Not Included
          in ESA Criterion

          For the environmentally sensitive areas not included  in
this criterion, EPA felt that they were generally of such limited
geographical  extent  and   required   such  particular  engineering
measures and  local  agency control  procedures  that  they  did  not
belong in a  national  standard.   Also, EPA felt that the surface-
and ground-water criteria  and  other Federal  regulations provided
sufficient  protection  for  important  health  and  environmental
features.

          (1)  Active Fault Zones

               Reasons for not  considering  certain areas varied.
For example,  surficial  distrubances  by  active  faults  may result
in  shifts in  waste  disposal  sites which may damage any liners if
used  and/or expose  wastes.   Certainly, hazardous wastes and some
less  inert  types  of solid waste  should  not  be  disposed in sites
located  over  truly  active fault zones.  Separate regulations are
being  developed  for  hazardous  wastes under Subtitle  C  of RCRA.
Active  fault  zones  with  a history  of surficial  disturbances are
very  few in  the  United  States and well  known.   It was felt that
those  few  States  with  such  unique areas already  have adequate
controls  so  that  the  Criteria  did  not  need  to  include  these
areas.

     In  addition  to  not  addressing  the  issue  of disposal  in
active  fault  zones,  regulatory  options  for these  zones  include
locating sites in  these  areas only i_f no feasible alternative is
available and in  such cases  ensuring  that the  best available
technology   is  applied  in designing,  operating,  and maintaining
the facility; alternatively, waste disposal  in active fault zones
could  be prohibited,  thereby   protecting   such  areas from  the
adverse  effects   of   disposal   in   the    event   of   surficial
di sturbance.
                               IV-12

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          (2)  Karst Terrain

               Karst  terrain  is  terrain which  has  been  formed
over limestone, dolomite,  or  gypsum  as  a result of solution  pro-
cesses; it is  characterized  by  closed depressions or sink  holes,
caves,   and  solution  channels,  and  commonly  has   underground
drainage.     Disposal  of  solid  wastes  on  such  a terrain  faces
problems distinctive to this unique geological  setting:   leachate
produced at a site may be channeled without attenuation  via solu-
tion cavities  beneath  the  site  into ground water and transported
rapidly over substantial distances to unpredictable locations via
turbulent ground-water flow through solution channels in the  bed-
rock;  and  a  cavern  of  sink  hole beneath a  site  can,  in  effect,
ingest  large  quantities of waste  into  the  ground-water channels
within the bedrock.

     Because  the  characteristics  and potential  impacts of karst
terrain are  so  variable and complex and because the ground-water
criterion  addresses  the  major  concerns  of  disposal  in  karst
terrain,  EPA  decided  not  to  include  karst  terrain  in  the
criterion  for  environmentally  sensitive  areas.    However,  care
should  be taken  in  evaluating  risks  on  a  site-by-site  basis
before solid wastes are disposed of on karst terrain.

     Another  regulatory  option  for  karst  terrain includes loca-
ting disposal  facilities in such terrain only  i f no other feas-
ible alternatives  exist and  in such cases  only  after  extensive
hydrogeologic  study  indicates  that  endangerment  of  ground water
is  highly  unlikely;  in  addition,  the  best  available  technology
should  be  implemented  in  designing, operating,  and maintaining
the  disposal  facility  in  karst  terrain.    A  third  regulatory
alternative--one that provides  maximum protection of these sensi-
tive areas--involves banning disposal in these areas.
                              IV-13

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          (3)  Historical  Presevation and Archaeological  Areas

               Historical   preservation  and  archaeological  areas
represent valuable cultural,  scientific,  and aesthetic  resources
that merit environmental  protection.   Regulatory alternatives  for
these areas  include  (1)  consulting  the  State  Historic  Preserva-
tion Officer,  in  compliance  with  the Archaeological  and Historic
Preservation  Act   (P.L.  93-291)  in  cases  where waste  disposal
poses a  threat  of irreparable damage to these areas; (2) banning
disposal; and  (3) not  addressing the issue  of  disposal  in  these
areas.

B.   SURFACE WATER

1.   Importance; Adverse  Effects from Improper Disposal

     The quality  of  this  country's  rivers, lakes, and streams  is
of  vital  concern  from  both an  aesthetic  and ecological  point  of
view.   These resources serve  as  recreational  places  for people
and  living  environments  for  a  wide  variety of  fish and aquatic
organisms  that depend  on  an  oxygen-sufficient,  uncontaminated
living  environment.   Contamination  of  these valuable resources,
including the widespread  pollution  of  several  of the Great Lakes
and  large stretches  of lakes  and rivers, dramatizes the need  for
regulatory measures  to  control these environmental  impacts;  the
surface-water  criterion   has  been developed to  control  adverse
impacts caused by improper disposal  of solid wastes.

     Solid waste  disposal  has  often led  to  surface-water  con-
tamination from runoff of  leachate,  accidental  spills,  and drift
of  spray occurring  at dumps,  landfills,  surface  impoundments,
farmlands, and 1andspreading operations.
                              IV-14

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     One  study  cited  162  cases  of  surface-water  contamination
from industrial  waste  disposal  alone,  of which 42 (26%)  occurred
at  surface  impoundments,  49 (30$) at  landfills or  dumps,  and  71
(44%) at  landspreading operations or  from  haphazard  disposal  on
farmland (Ref. 79).

     In most  areas  of the country,  except the  arid  zones,  any
contamination of  ground water  usually threatens  the  quality  of
surface water.    The  actual  extent  of  degradation   depends  on
numerous factors,  including:

          the travel   distance  (and  time of travel)  between  the
          source of  ground-water contamination and  the  surface-
          water  body;
          the degree of  hydraulic  connection  between  the aquifer
          and the  surface-water body;
          the nature  and quantity of  contaminants  that  actually
          enter  the aquifer;
          the physical  nature  of  the  aquifer,  i.e.,  granular  or
          fractured,  and  the  nature  of the  aquifer  materials,
          which  together  determine  the treatment  that will occur
          in  the aquifer  and  the ultimate  quality of the ground-
          water  discharge;
          the ratio  of baseflow  discharge  from upstream sources
          to  the contaminated  discharge  (i.e.,  how  much  dilution
          occurs);
          the quality  of baseflow from upstream sources;  and
          pumping  wells between the area of contamination and the
          line of  discharge.

     The  principal  source  of   surface  water  contamination  is
leachate,   caused   by   water   percolating   through   the   refuse.
Leachate,   a   highly  mineralized  fluid,  typically  contains  such
constituents  as  chloride,  iron,  lead,  copper, sodium,  nitrate,
and  a  variety of  organic  chemicals.   Where manufacturing wastes
are  included,  hazardous  constituents  can be  present  in  the
leachate  (e.g.,  cyanide,  cadmum,  chromium,  chlorinated  hydro-
carbons,  and  PCBs).   The  particular  makeup  of  the  leachate  is

                              IV-15

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dependent upon  the  city and/or industries using  the  landfill  or
dump.   The  types and concentrations of  contaminants  in  leachate
are  of  great  importance in determining  its  potential  effects  on
the quality of surface water.

     The amount  of  infiltration from  precipitation  that  falls  on
a  disposal  site  is  the major  factor  affecting  the  quantity  of
leachate  that  can  be  generated.    Therefore,  the extent  of  the
potential problem  of surface-water contamination  resulting  from
leachate is greatest  in  areas  where average annual  precipitation
exceeds  the potential water  losses by  evaporation and transpira-
tion.    Such  areas  are  generally  found  east of  the  Mississippi
River and in  the coastal region of the Pacific Northwest.  About
71  percent  of the  municipal  refuse disposal sites  found in  the
United States are located in these water surplus areas.

     While  the  most   common   economic   damage  resulting  from
leachate is the contamination of domestic, industrial, and public
supply  wells,  there  are  numerous  cases  where  leachate  has
directly contaminated surface  waters.   In confined, slow-moving,
or  relatively  low-volume  surface  waters,  leachate   has  killed
vegetation and  fish, wiped  out spawning areas, and ruled out the
use  of  existing  and  planned  recreational areas (Ref.  7,  p. 152).
Fishkills by leachate have  been  reported at 47 disposal  sites  in
20  States, involving over  65  miles of steams,  42 acres of lakes,
and at least 215,000 dead fish.  Up to 8 miles  of a stream and  12
acres  of a  lake  were   contaminated  in  an  individual  instance
(Ref. 10).

     Industrial  wastewater  impoundments  clso  pose  a   serious
threat  to  surface  water because of their  large  number and their
potential for  leaking  hazardous substances  which are relatively
mobile  in  the  surface-water  environment.    Faulty  design,  acci-
dent, or failure  of  surface  impoundments  containing  industrial
effluent can cause surface-water contamination  because of leakage
of  wastewaters  into  streams,  lakes,  or  rivers.    Potential
                              IV-16

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contaminants  cover  the  full  range  of  inorganic chemicals  and
organic chemicals  normally  contained in  industrial  wastewaters.
Those documented as having degraded surface-water quality include
phenols, acids, heavy metals, and cyanide.

     In Maryland,   discharge  of  phenolic  wastewater to  several
clay-lined  lagoons  had  been  going on for 10 years before  it  was
discovered  that  the  lagoons  were leaking.    Contaminated  ground
water  had  migrated downslope  to  a fresh-water  pond  and  a small
stream.  Geophysical  surveys and monitoring wells installed under
the  direction  of  the   State's  Water  Resources  Administration
indicated  that an  extensive zone of  ground-water  contamination
existed in the water-table aquifer.  Phenolic concentrations were
at a highly toxic level  of 14.4 ppm.   Discharge of this contamin-
ated ground water  had adversely affected the entire stream, from
the  industrial  plant  site  to  a marshy  area  two  miles  away.
Because of  the  slow rate of movement of the contaminated ground-
water  body, it  has  been estimated that a century or more will be
required  before  the  stream  can  fully  recover,  even  though  the
leaky lagoons are presently being  removed (Ref. 7, p. 108).

     In  another  investigation  conducted  in   the  Northeast,  a
stream  adjacent  to a chemical  company  was  found to  have arsenic
concentrations  of  40 ppm  (highly toxic).    The source  of con-
tamination was an unlined surface  impoundment containing arsenate
compounds.   Although the lagoon  was  subsequently abandoned,  the
stream still shows evidence of  arsenic concentration (Ref. 7).

     Although  the  effect on  surface  water  of  diffuse  land dis-
posal of industrial sludge is not documented, one would expect to
find some  contamination caused  by  runoff in  the  heavily  indus-
trialized  regions  of the  country.   Indeed,  surface-water con-
tamination  from  1andspreading  of industrial  residuals  is  con-
sidered a regional problem (Ref. 7).
                              IV-17

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     Industrial  residuals  create  the  greatest  potential   for
surface-water contamination in areas where net recharge to ground
water from precipitation  is  greatest.   The soluble substances in
the  waste  solids  are  transported  to  ground water  percolating
through  soil,  and, depending  on  the geological  conditions,  may
ultimately be  carried to  streams,  lakes,  or rivers.   The  Great
Lakes  and  mid-Atlantic  industrial   regions  receive  enough  pre-
cipitation to virtually assure that soluble waste components  will
be  carried  to  ground  water,  barring geochemical  attenuation or
geological barriers.    Along  the Gulf  Coast,  evapotransporation
rates are higher  and  reduce  the net recharge rate.  However, the
shallow  ground-water  table  in  the  region increases  the vulner-
ability  of the  ground-water  system  to contamination, and poses a
threat  to  surface  water  as  well.    In  southern  California  and
other  southwestern States,  recharge  from precipitation  is  only
associated with unusally  intense  storms,  or storms of long dura-
tion (Ref. 7).

2.   Control  Techniques and Unit Costs

     a.   Control   Techniques

          Proper site selection, as well as the proper design and
maintenance of a facility, are the principal techniques available
for  minimizing  surface-water  contamination problems.   Such tech-
nology  as  advanced  waste  treatment  and physical  containment,
drainage  control,   and  management,  play  major  preventive  roles
where  economic  considerations dictate  that  the  sites be located
in  areas  of  critical  surface-water  use or  high-contamination
potential.   In  areas  where land disposal  is neither economically
nor   environmentally   feasible,   such   alternatives   as  waste
transport,  resource  recovery,  ground-water  injection,   and  air
discharge should  be  investigated  and may  be environmentally more
acceptable.
                               IV-18

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     This section presents a  general  discussion  of control  tech-
nologies for surface-water protection; a more detailed  evaluation
of  technology   for   surface-water  and  ground-water  protection,
including recommended  leachate  control  methods,  is  presented  in
the discussion  of ground-water technology (Section IIIC).

          (1)  Impoundments

               The    primary    contamination    potential    from
impoundments is the degradation of the  surface water from seepage
or  spillage  of liquids.   One countermeasure  is  to prevent such
seepage or spillage by  installing an  impermeable barrier to fully
contain  the liquid.    Another  approach  is to  provide  adequate
freeboard so as  to minimize  spray or wave  overtopping.   A third
approach  is  to chose  an  alternative treatment  method  which  can
perform  the function  of  the  impoundment  to  be replaced,  i.e.,
additional treatment,  storage, or disposal.

          (2)  Landfills

               The primary contamination  potential  from some sub-
surface  disposal   sites  is  the  discharge   of  leachate  effluent
either  as a  point source or  nonpoint source.  The  way to prevent
such, effects is  through proper design,  operation,  and management
of  the  landfill  with  particular  attention  to  the  control  of
leachate  generation   and  discharge.   Methods  available  to limit
le.ach.ate. .generation,   include  surface  capping  with  relatively
impervious  soil,  thickened  soil  cover,  compacted sci!4  capping
with synthetic  materials, adequate  surface  gradients, vegetation
to  facilitate  transpiration  and  minimize erosion,  and subsurface
interceptor drains to  control ground-water  infiltration.  Methods
available to dispose  of leachate include  discharge  to a sewer and
on-site  treatment.
                               IV-19

-------
     The same technology for control or mitigation of the seepage
to  the  ground water  is  equally applicable  to  the protection of
surface  waters.   A detailed discussion  of  technology  to control
percolation  from  impoundments,  1 andspreading   sites,  and  sub-
surface disposal sites is presented in Section IIIC.

     A wide  range  of  design  tools is available  for the control
and management  of  surface waters  which  flow toward the disposal
area  or  come  from   a  disposal  area.    Ditches,  berms,  dikes,
levees,  pipes,  retention   and  storage  ponds,  surface  grade
control, surface  vegetation,  flow  deflectors,  and energy dissi-
pators are among the  techniques useful in the control and manage-
ment  of  surface water flows to,  through, and  from disposal  site
areas.   A  wide  range  of products  is utilized in constructing and
maintaining  these   systems,   including   asphalt,   natural  soils,
concrete,  synthetic membranes,  pipe material of all types, wood,
and metal  products.   The selection  of  such  materials  is subject
to  local  availability,  economics,  judgment,  and  experience.
Selection  and use  of these systems  is  not a  guarantee against
eventual infiltration of surface waters to produce percolate, nor
protection from erosion which might expose the refuse to off-site
movement of  contaminants through  surface water  contact with the
refuse.   Proper selection of  such systems  and their maintenance
are important in the  successful performance of the system in the
protection of the environment.

     The primary preventive method for adverse impacts on surface
water from adjacent areas  is  to direct all   surface waters around
the disposal  facility.   If they  must  go   through  the  disposal
facility,  then  a conveyance  system should be used which is sound
and protects the water from adverse impacts.  Another approach is
to encapsulate  the  disposal  areas so that any surface water will
not  have  the  opportunity  of  entering  the  waste  materials.
Surface  caps,  barriers, linings,  steep  slopes,  and  thick  cover
materials,  are all  design mechanisms which have been successfully
used to accomplish  this objective.
                              IV-20

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    Erosion  of  cover  soil  and wastes  can  be minimized  by  reducing
water velocity,  revegetating bare soils, and lining water convey-
ance facilities.   Where  erosion is a problem, its impacts may be
reduced  by  constructing  settling  ponds, check  dams,  brush  and
straw dikes and  filter cloth fences.

          (3)  Landspreadi ng

               Proper  site  selection,  design,   operation,   and
maintenance  of  a  controlled rate  of waste applications  are  the
principal  techniques  avaiable  for minimizing the  surface-water
contamination problems from sludge disposal.

     The primary surface-water contamination potential  from land-
spreading is degradation caused by runoff of contaminated liquids
emanating  from  the 1andspreading  area.   The  main countermeasure
is  to  use  good  agricultural   management practices  that  control
surface-water runoff  and  incorporate  the  solid  waste  into  the
soil .

     Table  11  shows  control   technologies  and unit  costs as  a
function  of site  size  for the  proposed  criterion;  costs  are
identified for each disposal method impacted by this criterion.

          (4)  Regulatory Alternatives

               The Federal Water Pollution Control Act Amendments
of  1972  (P.L.   92-500)  established  the  policy of  restoring  and
maintaining  the   integrity  of  the surface water of  the  United
States.    Any   point-source discharge   of  pollutants  including
surface  leachate  or leachate  treatment effluent  must comply  with
a NPDES  permit  for the  facility  issued  according to Section  402
of  P.L.  92-500.   No other  options  exist  for  a criterion related
to point-source  discharges because of this regulatory procedure.
                              IV-21

-------
                                                                     TABLE 11


                                                    SURFACE WATER! CONTROL TECHNOLOGIES AND UNIT COSTS
Disposal
Method
Landfill















Technology
Major channel along one
side; ditches on three
sides; and tterma



Kevegetatlon:
$/ha ($/Ac)
Grade 494 200
Topsoil 2.965 1,200
Seed 2.471 1.000
5.930* 2,400
Totals




Site Size
TPD (TPD)
9.1 10
91 100
272 300
635 700


9.1 10
91 100
272 300
635 700

9.1 10
91 100
272 300
635 700
Capital Costa
Unit
(«)

7.38/tn* (2.25/ft)*


^Average unit costs


5,930/ha (240Mc)








Quantity
(ft)
762 2,500
1,737 5,700
2,713 8,900
3,779 12,400

ha (Ac)
2.43 6
11.33 28
30.35 75
62.73 155





Total
(?)

5,600
12,800
20,000
28,000


14,400
67,200
180,000
372,000

20,000
80,000
200,000
400,000
Operation and
Maintenance Costs
Unit
($)

0





0




0



Quantity

0





0




0



Total
($>

0





0




0



Annual Cost
(10-Yr Life)
($)












3,200
13,000
32,000
65,000
r«o
ro

-------
     The  major  control  options  for  nonpoi nt-source  discharges
(i.e.,  those  not  coming out  of a pipe, such as  levee  seeps  and
surface runoff)  to surface waters are (1) no criterion,  (2)  mini-
mizing  discharges,  (3) discharging  only  in  conformance   with
adopted  "208"  implementation  plans,  and  (4) prohibiting  all
nonpoint-source discharges.

     Since  the   unregulated  discharge   of  nonpoint-source  dis-
charges can have adverse effects  on surface water and since tech-
nology  exists  for control  of and management of  such  sources,  a
criterion is definitely warranted.  The  total prohibition of non-
point  discharges  does  not  seem logical, since  point-source dis-
charges are permitted  under regulated conditions and should have
similar environmental  consequences.   Therefore,  options  1  and  4
are not considered reasonable  alternatives.

     The  "208"   standards   are  being  developed  in  consort with
other  surface-water  quality  policies and  will  provide  a  useful
criterion  for control  of  nonpoint-source  discharges.    However,
the  "208"  control standards  are  not well  established,  are still
being  developed,  are   not  uniform,  and will  be  implemented on
varying  schedules.   Due to  the varied nature and limited  avail-
ability  of  such  standards,  they  are  not  useful   as   national
criteria  at  this   time;   however,  they  are  useful   in  policy
guidance and development.

     Technology  exists  to  economically minimize the  chance of
direct  discharge from  nonpoint sources through  facility design,
operation,  and  maintenance.    If  such  wastewaters  are collected
for  treatment,  they  then  become  a  point  source which require a
NPDES   permit   if   discharged  to   off-site   surface  waters.
Therefore,  nonpoint  sources  should   be   controlled   so  as  to
minimize  or prevent  the discharge of  pollutants  into any  off-site
surface water.   This will  protect  surface  waters just  as well as
current and future regulations and implementation plans allow.
                               IV-23

-------
C.   GROUND WATER

1.   Importance; Adverse Effects from Improper Disposal

     a.   General

          The  importance  of  protecting ground  water from  con-
tamination is evidenced by the following facts (Ref.  43):
          Ground  water  accounts for  about  half of  all  domestic
          water   use.     (Ground-water   withdrawals   for   public
          supplies and  rural  domestic water  in 1970  are  shown  in
          Fi gure  1. )
          The  U.S.  population   is  heavily   dependent on  ground
          water  as  a source  of  drinking water in 32 States,  as
          shown  in Figure 2.
          Once  an aquifer is contaminated,   it may remain  so for
          many decades.
          Contamination in ground water  tends not to  be dispersed
          or  diluted  but  rather  moves  slowly  in   "plumes"  or
          "slugs."
          The dynamics  of ground-water  flow  make  it  difficult  to
          predict  movement   of   contaminants  as  they depend  on
          unknown future pumping patterns.

     Severe  impacts   have  been  identified  as  50,000  industrial
impoundments yielding over  380  million  cubic meters  (100 billion
gallons)  of  contaminants  per year  to  ground water;   moderate  to
severe impacts are occurring at 16,000 municipal solid waste land
disposal  sites  yielding  about  340 million  cubic  meters  (90
billion gallons)  of  contaminants per year  to ground  water;  and
23,000 municipal  waste  water  treatment  plants are causing  low  to
moderate  impacts  of  an  unknown  amounts  through a  variety of dis-
posal practices  (Ref. 7).

     Figure  3  shows  schematically  and  graphically   the  various
routes by which contaminants reach ground water from  a variety  of
waste generators  and disposal methods.
                              IV-24

-------
        SURFACE WATER-
        PUBLIC SUPPLIES
        64 %
                                                          GROUND WATER-
                                                          PUBLIC SUPPLIES
                                                               33%
                                                       / GROUND WATER
                                                         RURAL DOMESTIC
                                                         SUPPLIES   12 %
                                          SURFACE WATER
                                          RURAL  DOMESTIC
                                          SUPPLIES   0.5%
Figure 1    Water withdrawn for drinking water by source and supply, 1970.

   *Source:  Ref.  7,  P.  21
                                                                  Environmental
                                                                 Protection Agency
                                                                    Region 9
                                                                 SEP 2 7 H
                                        IV-25

-------
ro
        • ROUND WATER
                                                                               0   200  400  600   BOO
                                                                                     KILOMETERS
                                                 Figure 2   Wafer withdrawn by public water systems, mgd.
                                                           ^Source:  Ref. 7,  P.  26

-------
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-------
     b.    Leachate Contamination

          Leachate is  contaminated  water which  is  produced  when
water  (precipitation,  ground  water,   or  suface  water)  passes
through wastes  in  a  land disposal  site.  Contamination can occur
through  direct  contact  with  ground  water,  disposal  of  wet
residues  such  as  sludges,  and through  rainfall.     The  latter
effect  gives  rise  to  contamination  most  freouently  in  humid
regions,  where  the   available  moisture gain  from  precipitation
exceeds  the  potential moisture  loss  through evaporation, trans-
piration,  and surface runoff.   Leachate  production  is common in
the United States  because most  sites are subjected to  substantial
precipitation  and  very  few  have  liners to  prevent infiltration.
Furthermore,  wastes  at many  sites  are  placed directly  in surface
or  ground  waters (e.g.,  in streams, marshes, and sand  and gravel
pits).   Once  produced,  uncontrolled leachate  migrates from the
site and frequently enters surface or ground waters.

     Ground  water  contaminated by  leachate  has been  measured up
to  2 miles  from two  disposal  sites  in  the  United  States, and up
to  five  miles from a site in  Germany.  Frequently, the extent of
migration  in ground  water is  cut  off  by  ground-water discharge
into surface  waters.

     The characteristics  of  leachate are primarily a  function of
the types  of wastes,  amount  of infiltrating water, and pH.  High
concentrations  of  heavy metals, other  inorganics,  organics, and
biological  contaminants,  generally  higher  than waste  water, are
common in raw  leachate.

     At  least 25  percent  of the disposal  sites  in  the U.S. are
thought  to   be  contaminating  ground-water  resources,  with esti-
mates  ranging up  to  90  percent.    In  the U.S., there are about
16,000  recognized municipal   waste  disposal  sites currently  in
operation,  at least   13,000  additional  sites  have  been closed in
the  past 10 years, and  as many as  100,000  unauthorized  roadside
                               IV-28

-------
or  promiscuous  dumps currently  exist  (Ref.  7).     The  number of
industrial waste  sites  is unknown.   The impacts of both existing
and closed  sites  are cumulative and long term since it generally
takes  several  years for  disposal  sites to  reach  field  capacity
and produce  leachate.   Leachate is  produced  for  many  years,  and
leachate  migration  in  ground  water is  very  slow  since  ground
water  frequently  moves  only a few feet each year  and  only  a  few
hundred feet each year even through  very permeable substrata.

     Due   to   increased  utilization   of   water   resources  and
increased  land disposal  activities,  the  long-term duration  of
leachate  production and  persistence  in   ground  water,  and  the
generally  high  cost of corrective  actions,  the  economic  impacts
of  improperly  located,   designated,  operated,  controlled,  and
monitored  disposal  sites  is sure  to be  severe  on  local  and
regional  levels,  if not  nationally.   Such is already the case in
several areas of the country  such as New Castle County, Delaware,
where  the demand  for  water  is  approaching  the  existing  uncon-
taminated surface and ground  water supplies (Ref. 7).

     The  potential   effects  of  leachate   on  ground and  surface
waters  depend  on  its characteristics  and volume.   Latest  esti-
mates  indicate that 122  million  tonnes  (135  million tons)  of
residential  and  postconsumer  commercial  wastes  are disposed  of
annually  in  the  U.S. (not  including sludges,  industrial  wastes,
demolition/construction residue, discarded automobiles  and  parts,
street  sweepings,   and  trees),  with  an  additional 218  million
tonnes  (240  million  tons)  of  industrial  wastes  disposed  of
annually  to  the  land (Ref. 7,  pp.  149,151).   Characteristics of
leachate from municipal  waste are shown in Table 12.

     Because  of  the lack of  ground-water  monitoring around dis-
posal   sites,  water  supply wells  located near disposal  sites have
often  become  d_e_  facto  indicator wells.    Fortunately,  however,
most disposal sites  have  been located far from water supply  wells
in remote areas, in  ground-water discharge zones (e.g.,  in
                              IV-29

-------
                             TABLE 12

     SUMMARY OF LEACHATE CHARACTERISTICS BASED ON 20 SAMPLES
                   FROM MUNICIPAL SOLID WASTES
                          (Ref. 7, P.148)
Components
Median Value
  (ppm)a)
Ranges of all  Values
      (ppm)a)
Alkalinity (CaC03)
Biochemical Oxygen Demand (5 days)
Calcium (Ca)
Chemical Oxygen Demand (COD)
Copper (Cu)
Chloride (Cl)
Hardness (CaCO,)
O
Iron, Total (Fe)
Lead (Pb)
Magnesium (Mg)
Manganese (Mn)
Nitrogen (NH4)
Potassium (K)
Sodium (Na)
Sulfate (S04)
Total Dissolved Solid (TDS)
Total Suspended Solids (TSS)
Total Phosphate (P04)
Zinc (Zn)
PH
3,050
5,700
438
8,100
0.5
700
2,750

94
0.75
230
0.22
218
371
767
47
8,955
220
10.1
3.5
5.8
0
81
60
40
0
4.7
0

0
<0.1
17
0.06
0
28
0
1
584
10
0
0
3.7
-20,850
-33,360
- 7,200
-89,520
- 9.9
- 2,500
-22,800

- 2,820
- 2.0
-15,600
- 125
- 1,106
- 3,770
- 7,700
- 1,558
-44,900
-26,500
- 130
- 370
- 8.5
a)  Where applicable
                                IV-30

-------
lowlands  and  marshes,  or  near  streams),  in  industrially  zoned
areas or  next  to  sewage treatment facilities where contamination
already exists  or  there are no wells.  Nevertheless,  at least 36
disposal  sites in  21  States  have  contaminated  drinking  water
supply wel1s (Ref. 7 ).

     The  social, psychological, and economic impacts of well con-
tamination are  quite  severe.   Typically, the well owner noes for
a year  or more without a  permanent  water  supply, using bottled
water  and any  other   sources  available.    In  one  case involving
domestic  wells, the cost for  permanent  supply, excluding the cost
of  inconvenience,   was over  $20,000  per  affected  home.    With
public  supply   well  fields, the  costs  are  even higher.   In one
case,  over  $2 million has  been  spent  already  and  another $8
million  is  very possible.   In  another  case, $4  to $18 million is
anticipated to  correct the  problem  (Ref.  7).

     c.    Landspreading Impacts

           Very  few municipal  sludge  disposal facilities  are  moni-
tored  for their effects on water quality,  and  even fewer  indus-
trial  sludge  disposal  sites  have  been studied.   Ground-water
quality  has  usually  not  been degraded by  1andspreading of  solid
waste except at sites with  poor  management  practices.

     d.    Impoundment Impacts

           The  basic  effects  of  leachate  damage  have  been  des-
cribed  above.   It has  been  estimated that  over  380 million  cubic
meters  (100 billion   gallons)  per  year  of industrial  effluents
enter  the ground-'water system, based  on  standard  leakage coeffi-
cients  and the estimated  6.4 billion cubic meters (1700 billion
gallons)  of industrial wastewater  pumped  annually to  oxidation
ponds  or  lagoons  for  treatment or  as  a  step  in the  treatment
process.   Contaminants documented as  having degraded ground-water
                               IV-31

-------
quality  include   phenols,   acids,   heavy   metals,   and  cyanide
(Ref. 7).

2.   Control Techniques and Unit Cost

     a.    Overview

          Ground water  is  protected by  minimizing  or preventing
(1) leachate generation  and  (2) the flow  of  leachate and wastes
from the site;  these  are achieved through proper site selection,
design,   and  maintenance.    Such  technology  as  advanced  waste
treatment  and  physical  containment  play  a  major  preventive role
where economic  considerations  dictate  that sites  be  located  in
areas of  critical  ground-water use.   If  land  disposal  of wastes
is not  environmentally  feasible in  some areas, such alternatives
as waste  transport,  resource  recovery,  and  surface-water or air
discharge  should  be  investigated  as  they  may be  more environ-
mentally acceptable.

     b.    Leachate Control  Technology

          The  primary  contamination  potential   from subsurface
disposal is  from  seepage  of  leachate.   Methods  for preventing,
reducing,  or  managing  leachate  are  (1) natural   attenuation,
(2) prevention  of   formation,   (3) collection   and  treatment,
(4) pretreatment capable of  reducing the  volume or solubility of
the  waste,  and (5) detoxification  of  hazardous  wastes  prior  to
disposal.

     Descriptions of the first  three of these processes are given
below,  including   the  effectiveness  of protecting ground-water
resources.    Pretreatment options are  generally  not available to
the  disposal   site  operator,  while  detoxification  of  hazardous
wastes  will  be an option  covered  by forthcoming  EPA regulations
for hazardous wastes.
                               IY-32

-------
          (1)  .Natural Attenuation

               As  leachate  migrates  through  soil,  it  undergoes
natural attenuation by various chemical, physical,  and biological
processes.   The  ability of a  proposed  sanitary  landfill  site  to
attenuate the  leachate generated should be estimated  on  a  site-
by-site basis; if  natural  attenuation appears inadequate,  it may
be desirable to line the site and collect and treat the leachate.

          (2)  Prevention

               The  second  control  method  involves   preventing
leachate  generation.   If water  is restricted from entering  the
site,  then   the  amount  of   leachate  generated  will  be  greatly
reduced.  Water  cannot be  completely  prevented  from  entering  in
some  locations,   but   through  proper  design  and  operation,  the
quantity can be minimized.

     Control measures  available  to  the design engineer and oper-
ator  include  diversion  of  upland  drainage;  use  of  relatively
impermeable   soils  for  cover material;  compacting, grading,  and
sloping of the daily and final cover to allow runoff;  planting of
high-transpiring  vegetation;  use of  impermeable  membranes, over-
lying the final life of solid waste; maintenance of final  grades;
and use of subsurface  drains and ditches to control ground water.
The use of impermeable membranes and soil cover requires vents to
control  landfill  gases  and  drains  to  manage  the  intercepted
leachate.

          (3)  Collection and Treatment

               The  third  control method is  to  collect  and treat
the  leachate.    A relatively  new  technique  involves  use  of  an
impermeable   liner  to  prevent  the  movement of leachate  into  the
ground.  The long-term durability of impermeable liners has not
                              IV-33

-------
been  proven;   nevertheless,  their  potential  is  very  promising.
Figure 4 shows a schematic for a leachate treatment system.

     Impermeable  liners  can  be  made  from  different  types  of
materials, including:  natural clay, soil additives, conventional
paving asphalt, hot sprayed asphalt, polyethylene (PE),  polyvinyl
chloride  (PVC),  butyl  rubber,  Hypalon,  polyolefin,  chlorinated
polyethylene (CPE), and ethylene propylene rubber (EPDM).

     Where  landfills  use collection  for  control  of  leachate,
provisions must  be made for treatment  prior  to  discharge  to the
surrounding environment.  Biological treatment methods are effec-
tive when  treating fresh, high-strength  leachate  generated  in  a
new  site.    Physical-chemical  treatment  methods  show  better
results than biological methods  when treating leachate of inter-
mediate to  low strength.    Industrial  leachate may  require  more
specific   treatment   techniques,   depending   upon   the   wastes
involved.

     c.   Control  Technology for Landspreading

          Ground water may be protected from contamination due to
1andspreading  of  solid waste  by  proper  site  selection,  design,
and  operational  management  controls.    Site  selection  criteria
must consider  the  hydrologic  regime and geologic  setting.   The
selection  criteria  for  soils and land  surface  features  focus on
protection of surface water and ground  water by promoting  maximum
on-site retention  of wastes.

     Climate  and   geology  are  two   important  components   of  the
hydrologic  cycle  that   strongly   influence   the  distribution,
circulation,   and  chemical   properties   of  water.    The  site
selection   process  should  document  watershed  or  drainage  basin
characteristics,  water   resources   and   management,   and   water
quality.   Key   factors  in evaluating  the  hydrologic  regime  are
quantity and  timing of water fluxes, and resulting water quality.
                              IV-34

-------
            Clarification
Biological
Treatment
                         Solids Recycle
Raw  Leachate
                                                             Solids
                 Carbon
                 Adsorption
                                                   Recovery or
                                                 y»Final Disposal
                                    Cation
                                    Exchange
                     Regenerant /'
                     5%H2S04'
                               Recovery or
                            XFinal Disposal
                 Anion
                 Exchange

    Regenerant
    10% NaOH
Figure  4   Possible Scheme for  On-Site Treatment of
            Non-Recycled Leachate
                Source:   Ref. 46
                         IV-35

-------
Sludge  applications  do  not  usually  involve high-liquid loading
rates;  thus,  the  water regime  can  be viewed as  a  natural  flow
system.   The water budget  for  a potential  site  is important for
maximum  crop  production  and adequate  retention  time  to prevent
contaminant  movement  to   ground water.   Hydrologic  limitations
will  influence  the  design   and  operation   management  of  sludge
application  sites.

      d.    Control  Technology for Impoundments

           The  primary  contamination  potential  from  impoundments
is  degradation  of ground  waters  from seepage of liquids.   One
countermeasure is  to  prevent seepage  by installing an impermeable
barrier.   Another approach  is  to  choose  an  alternative treatment
method  which  can  perform  the  function of  the  impoundment  to be
replaced   (i.e.,   additional  treatment,  storage,  or  disposal).
Seepage  can  also be  stopped by chemical  or  physical  soil sealant
applications.
                       «
      A  wide  range  of materials are  useful  as  barrier membranes
for  impounding liquids and  sludges.   Many  are  being  used  in the
lining  of ponds, reservoirs,  lagoons,  and  canals  for reducing or
eliminating  the seepage of  liquids  into  ground  water.   Today an
increasing number  of industries  are installing  synthetic  liner
materials,  especially  Hypalon  and  polyvinyl  chloride, to  meet
environmental  quality standards.

     Soil  sealants  take   the  form  of chemical  additives  which
either  form  a  seal   coating  at  the  soil-liquid interface  or
restrict  the  flow  space  of  the  soil-void  system.   Lagoons  used
primarily  for  storage  can  be  replaced  by  leakproof  facilities,
such  as   above-ground  tanks  or  concrete  basins.    The  major
criteria for storage  tank  selection involve  quantity of the waste
and the expected length of  storage, and the  physical  and chemical
properties of  the waste;  thus, a  waste containing volatile  con-
taminants  should  be  stored  in  properly  vented  closed  tanks.   In
                               IV-36

-------
the cases  in  which volatility  or  odors pose  no  problem,  wastes
can be stored in open facilities.

     A waste which  is  not corrosive can be  stored  in  a  concrete
or  steel   tank;   storage  of  wastes  which  are  corrosive  would
require tanks made of other materials.  Reinforced-wal 1  design  is
required  for  concrete  basins,  and  the  concrete  must be  water-
proofed with a  suitable  paint  or plastic coating.   Short-term  or
temporary  storage  basins  would  have  less  stringent construction
criteria than long-term or permanent storage.

     More  effective  and  environmentally  sound  techniques  are
available   to   replace   wastewater  treatment  operations   now
performed  in ponds  and  lagoons or to reduce the volume of waste-
water  now  discharged  to  impoundments.   Solids  separation  can  be
more  effectively  performed  in  clarifiers,  by  infiltration  or
centrifugation.    Another example   is  biological  stabilization
through  use of  activated  sludge or  trickling  filtration  rather
than  lagoons.   Digestion (anaerobic, aerobic) can  be  used  as  an
alternative  treatment  for  sludges  or  wastes with  high-organic
content.    Chemical   treatment  is  occasionally  carried  out  in
lagoons.   The  same reactions can be  carried  out  in other facil-
ities less prone to causing contamination.

     In general,  an alternative  to  on-site  treatment  is  connec-
tion  to  a  municipal  treatment  plant,  assuming  that it  has  the
capacity and capability of treating the particular waste.

     Table  13   shows  control  technologies  and unit  costs as  a
function  of site  size  for  the  proposed   criterion;  costs  are
identified for each disposal  method impacted by this criterion.
                              IV-37

-------
                                                        GROUND WATER:
                                                                            TABLE  13
                                                                       CONTROL TECHNOLOGIES  AND  UNIT COSTS
Disposal
Method
Landfill




















Technology
Clay Lining




Leachate Collection
Facilities



Leachate Monitoring
Removal & Treatment*



Ground Water Monitoring
Wells



Totals



Site Size
TPD (TPD)
9.1 10
91 100
272 300
635 700

9.1 10
91 100
272 300
635 700
9.1 10
91 100
272 300
635 700
9.1 10
91 100

272 300
635 700
9.1 10
91 100
272 300
635 700
Capital Costs
Unit
($)


•20,015/ha 8,100/ha



1
'22.97/m 7.00/ft
1
1
f 0
>
)

1,000 ea.






Quantity
ha Ac
2.43 6
11.33 28
30.35 75
62.73 155
m ft
610 2,000
1,342 4,400
2,196 7,200
3,172 10,400

0


3
4

7
10




Total
($)

49,000
227,000
608,000
1,256,000

14,000
31,000
50,000
73,000

0


3,000
4,000

7,000
10,000
66,000
262,000
665,000
1,339,000
Operation and
Maintenance Coats
Unit
($)

0
0
0
0

0
0
0
0




400/
Well







Quantity

0
0
0
0

0
0
0
0




3
4

7
10




Total
($)

0
0
0
0

0
0
0
0
2,000
9,000
24,100
49,800
1,200
1,600

2,800
4,000
32,000
10,600
26,900
53,800
Annual Cost
(10-Yr Life)
($)

















12,200
45,500
114,700
( }
 I
u>
oo
            *Tvo-inch per year infiltration assumed  to be quantity of leachate to be handled annually after
             site closure.                                       10 TPD - $ 3,258/yr
             Cost to handle assumed:  IC/gal.,  $543/acre/year     100 TPD -  15,204/yr
                                                                300 TPD -  40,725/yr
                                                                700 TPD - $84,165/yr.
*Disburseraent  to a trust  fund  at  6Z
 to be able to pay for  other costs
 at end of landfill life.

-------
                                                          TABLE 13 (Continued)



                                          GROUNDWATER:  CONTROL TECHNOLOGIES AND UNIT COSTS
DISPOSAL METHOD
Surface Impoundments
TECH-
NOLOGY
Clay lining
$.36 sq.ft.
SITE
Group I
Group I
SIZE
50 acres
7.5 acres
CAPITAL COSTS
UNIT
$.36/sq.ft.
$.36/sq.ft.
QUANTITY
2,178,000 sq. ft.
327,000 sq. ft.
TOTAL
$ 784,000
$ 117,000
0+M
0
0
ANNUAL COST
(10 YEARS)
$127,000
$ 19,000
I
CO
10

-------
3.   Regulatory Alternatives

     The major regulatory issues for ground water are:

          definition of ground water to be protected
          place of compliance
          criterion alternatives

     Ground  water can literally include  all  the  water  under  the
earth's  surface.   Classification  or  definition  of this  water  is
necessary to  identify  under what conditions this water  is a  valu-
able resource  requiring protection.  Generally, the occurrence  of
this  water  may  be divided into  zone  of saturation  and  zone  of
aeration.   The water  occurring within  the  zone  of  saturation  is
commonly referred  to as ground water and  it is this water that  is
considered  for  coverage  by  the  Criteria.    Identifying  ground
water  for protection should also consider the following factors:

          quantity  (yield-transmissivity,  e.g.,  usable  quanti-
          ties)
          usage (existing or planned)
          quality  (e.g., 10,000 mg/1 TDS  or less)

     Providing protection  for  ground water must also address  the
place  of compliance such as:

          all usable ground water
          specific distance from waste disposal
          property boundary
          nearest usable well

     The last  major  issue is what  impact,  if any,  is  allowable.
The criterion  may  specify  allowable  impact, or  it may specify
technology  level   which  is  based on probable  impact.  Examples  of
such criteria alternatives are:
                              IV-40

-------
          zero discharge
          zero degradation beyond background  quality
          zero degradation beyond a specific  limit
          zero impact on treatment required
          specific technology--best management practice

     The basic regulatory alternatives would  limit  the  acceptable
degradation  of   ground   water  to  either  no  degradation  beyond
specified limits  (at  the property boundary)  or to  no  degradation
of background  water  quality  (under  the  site).    The  effect  of
these criteria would  be  to  require lining and leachate  treatment
for all  new  existing  sites.   The  effect  on  existing  sites  would
probably be to close many of them.

     It  must  be  recognized that  most solid  wastes in  landfills
located in areas with rainfall  of any significance  will  leach;  to
some extent  there  are   exceptions,  such  as   landfills which  use
liners  (in  most  instances,  coupled  with a   leachate  collection
system).  The use  of  a   collection system requires  the removal  of
leachate  on  a periodic   basis.   The  leachate  then does  not dis-
appear,  but just  changes its  location and must be  made available
for  subsequent  management,  treatment, and introduction  into  the
environment at  some other location  and  condition.  Such systems
are extremely  expensive, and to  be  truly effective,  the collec-
tion system has  to  be maintained for many years after the facil-
ity ceases to receive wastes.

     Most known instances of ground-water contamination have been
discovered only  after a  drinking water source has  been affected.
Effective  monitoring  of  potential  sources  of  ground-water con-
tamination is almost nonexistent.

     There  are  many  variants   of  performance  and  operational
criteria  available  for  ground-water protection,  as  shown  in
Table 14.
                               IV-41

-------
                             Table 14

                  POSSIBLE GROUND-WATER  CRITERIA
 Performance  Criteria

      1.    Effects  (control  of ground-water characteristics)
           a.    Zero degradation
           b.    Degradation  allowed up to level of treatability,
                based  on  ambient conditions

      2.    Emissions (control of leachate characteristics)
           a.    Zero discharge
           b.    Effluent  discharge limits, based on ambient
                conditions

 Operation  Criteria

      1.    Best  management practice

      2.    Best  practical/feasible technology, i.e., that which is
           readily  available and economical"to achieve adequate
           treatment.

      3.    Best  available technology, i.e., state-of-the-art tech-
           nology,  independent of cost or availability, which can
           meet  criteria  of  zero degradation or zero discharge.

      4.    Land-use planning to classify important ground-water
           areas  and keep uses with potential  of degradation
           away  from them.
     Since  removing the  source  of contamination still  does not

clean up  the aquifer once  contaminated,  the  contamination  of an

aquifer can  rule out usefulness  as a drinking  water  source for

decades and  possibly centuries.   Thus,  the most effective  means

for protecting  ground water is to control and monitor the poten-

tial  source of contamination.
                               IV-42

-------
     Proper  site  location,  ground-water/land  use planning,  and
proper design, construction, operation, and maintenance of facil-
ities  are  the  principal   techniques  available  for  minimizing
ground-water contamination problems.

     The ground-water criterion  should  establish  a  comprehensive
ground-water  protection  standard  for all  solid waste  disposal
practices.    The  goal  is  to  protect  all  current  users of  the
ground  water  and  to  protect  other  designated ground  water  for
future  usage.   Of  primary  concern is protection of  current  and
future ground water used for drinking water supply.

     The  possible  options  EPA  considered for the  protection  of
ground water were (1) zero discharge, (2) zero degradation beyond
background  ground-water  quality,  (3) zero  degradation  beyond
specific  limits   (above  background  quality),  (4) alteration  of
quality up  to the point of  endangering  current  and  future  bene-
ficial uses, and (5) no criterion.

     Classifications  of  ground water may  be  based  on  current  or
future  designated  use  (quality  level)  and yield (quantity).  The
standard  may  be  applied  under  the  site (in  the unsaturated  or
saturated zone)  or  at a given distance  away  from the  waste dis-
posal  area,  either at the  property boundary  or  at  the point  of
use.

     Earlier  sections  of  this  document  have  clearly  identified
the  potential  adverse  effects  solid  wastes  may have  on ground
water  and  the  legal  mandate  to  include  protection  on  this
national  resource.   The "no criterion"  option  is  not  responsive
to this need, and was eliminated from further consideration.

     The  zero  discharge  option  appears  overly restrictive  since
there  are  many desirable  exceptions;  for example,  certain  solid
wastes  (concrete,  bricks,  ceramics, etc.)  are essentially  inert
and  do not  need  to  be  segregated  and  disposed  of  in  special
                              IV-43

-------
facilities, since they can have no adverse  effect  on  ground-water
quality.   This  objection  could  be  overcome  by  selecting  the
second  option  of not having  degradation beyond background  water
quality  (at  the -site).    In  essence,  this option would  require
every facility  containing  potentially  Teachable wastes  (in  areas
with  accessible  ground   water  to  be totally  contained  (fully
lined).   In  addition, leachate would  accumulate within  the con-
tainment  features  and ultimately  would  need  to  be removed  and
disposed  of,  probably with  treatment.   As  a  liquid,  the  only
other  alternative  would  be  discharge  to  surface waters,  either
directly  with  an NPDES permit or indirectly through a  community
sewage  system  (which  itself would  be   regulated   by  an  NPDES
permit).   In the latter  case, pretreatment of leachate  might be
necessary  prior to discharge to the sewage system.  In  summary,
if  no  contamination  of  ground water is'allowed,  another  receptor
of  the  potential contaminants must be found,  and  the  cost of pro-
viding  the containment  and collection  system  as  well as  any sub-
sequent treatment must be  paid for.

     Alternative options  3 and 4 (zero degradation and  alteration
of  quality)  would allow  for  some discharge of  contaminants into
the  ground  water,  providing  for  some  trade-offs  of  leachate
between ground-water  and  surface-water discharges.

     Zero   degradation    would   establish   specific   limits   of
contaminants  and or  concentrations in ground water.   The  highly
variable quality of ground water would make this  a very  difficult
task.   Acceptable  contaminant levels could  be  highly  variable
throughout the  nation and  would depend on  present  or  future  water
use.
                               IV-44

-------
D.    AIR

1.    Importance; Adverse Effects From Improper Disposal

     The Clean  Air  Act  of  1970 was enacted with the  primary  goal
of  safeguarding human health and the secondary goal  of  protecting
crops and plants from the adverse effects of air pollution.

     Although automobile emissions  constitute  the  major  cause  of
air pollution,  particulates  (smoke  and  ash) from open  burning  of
wastes  to  achieve  volume  reduction   have  contributed  to  the
degradation  of  air  quality in rural areas  of  the  country.   Open
burning  is   defined   as   uncontrolled   or  unconfined  burning.
Uncontrolled  means  (1)  the  air  or  oxygen to  fuel  ratio  (which
determines  the  temperature and  efficiency  of combustion)  is not
governed,  (2)   the  combustion  residence  time and mixing  is not
governed,  or (3)  the  emissions  of  pollutants into the  air are
unchecked. Emissions of pollutants into the air from open burning
are  high  compared  to  controlled  burning  such  as   municipal
incinerators  with   air  pollution  control   equipment  (Ref.  109).
Tests  indicate  that  smoke   from  most  open  burning  can  cause
definite  eye  irritation up  to 400 feet  from  the  fire (Ref. 79,
p.  37).    In  addition,  smoke  from  open  burning  of  wastes can
reduce  air  and auto  traffic  visibility,  and  has  resulted  in
incidents  of multiple  car  accidents and  deaths  on  expressways.
Unconfined  fires  at  dumps  may  spread  and  result  in  damage  to
property (Ref.  109).

     Both  open  burning of wastes  and  the  gaseous  emissions  from
wastes  disposed of in surface  impoundments may  be  the source  of
such  potentially  harmful  pollutants  as  sulfur  dioxide,  nitric
oxides,  oxidants,   hydrocarbons.    Evaporation,  sublimation  and
oxidation  of  impounded  wastes  from  the  chemical,   mining  and
petroleum  industries can pose  a  serious threat to public  health.
                              IV-45

-------
     Vegetation may  also be adversely impacted by  air  pollution
caused  by  improper  disposal   of  wastes.     EPA   is   currently
conducting research on the effects of air pollutants on  land life
other  than  humans.   The primary  purpose of  the research  program
is  to  strengthen  the scientific  basis for  air  pollution  control
strategies directed toward effects on welfare,  as mandated by the
Clean  Air Act.   Among  the  first  results  of  this  work   is  the
finding that  air  pollutants  impede  natural  nitrogen fixation—an
effect previously unrecognized.

     Atmospheric  nitrogen  is   converted into  organic  form  by
legumes,  such as  Alfalfa  and  soybeans.   This conversion  is  an
essential  natural  process  by  which  nitrogen fertilizer  is added
to  the  environment.    In   laboratory  studies   to  determine  the
influence  of  polluted  air  on  nitrogen  fixation,   alfalfa  plants
were exposed  to low levels of  ozone and sulfur  dioxide  throughout
the growing  season.  The  nitrogen content of the  plants was used
as  a  measure  of  the  nitrogen  fixation   process.    Ozone  at
concentrations  below   the   primary  standard   reduced   nitrogen
fixation  by   40  percent.     Sulfur  dioxide  also   significantly
reduced nitrogen  fixation  when the  median concentration exceeded
0.06  parts  per million  (ppm), which is approximately  twice the
annual primary standard.

     Other  preliminary  results  show  that sulfur  dioxide  and
photochemical  oxidants  substantially inhibit  growth of  selected
crops.   Crops in the field  were  subjected  to  varying  concentra-
tions  of  the  pollutants,  simulating real  air  quality  conditions
as measured  at selected sites.   Results of  the  research, which
began  in   1975,   are   being   used  to   improve   economic  loss
assessment.    (Ref. 92).
                              IV-46

-------
2.   Control Techniques and Unit Costs

     The primary air  contamination  potential  from solid waste is
participate matter created  by  open  burning.   The principal  means
of  controlling  this   problem   is  the  elimination  of  all  open
burning.     Deliberate   open   burning   can  be   controlled   by
regulations   and   enforcement;   however,  naturally   occurring
spontaneous  combustion can  develop  if  organic  matter  is  left
exposed to  free oxygen.   Soil  cover on a daily, or more frequent
basis,  is   a   very  effective  method  of  limiting  free  oxygen,
thereby precluding spontaneous combustion.

     Other  sources   of air  contamination  potential  from  solid
waste  occur  as   liquid   evaporates  or  sublimates  from  surface
impoundments.  A detailed discussion of alternative technological
controls for  surface  impoundments  was  presented  in  the  ground-
water  section  of  the  Appendix  (Section  III-C).    Technical
solutions  to  air pollution  problems caused by  impounded wastes
include  covering  the  impoundment  surface with  membrane,  covers
and  evaporation  suppressants  or   storing  liquid  materials  in
closed  containers.     The  gases  from  the  impoundments  can  be
collected  with  the  aid of  induced   exhaust and  taken to  an area
where they are either  incinerated or properly cleaned before they
are released  to the  environment.   If these alternative  technolo-
gies are neither practical nor economical, another solution is to
completely  shut  down  the impoundment  and  substitute  the  other
waste-disposal methods.

     Table  15 shows   control  technologies  and  unit  costs as  a
function  of  site  size  for the  proposed  criterion;  costs  are
identified for each  disposal .method  impacted by this criterion.
                              IV-47

-------
                                                                           TABLE 15


                                                           AIR:  CONTROL TECHNOLOGIES  AND UNIT COSTS
Disposal
Method
Landfill



Technology
Additional land
required for unbumed
wastes (55Z of site
area).


Site Size
TPD (TPD)
9.1 10
91 100
272 300
635 700
Capital Costs
Unit
($)
4,942/ha 2,000/ave



Quantity
ha (Ac)
1.34 3.3
6.23 15.4
16.70 41.3
34.50 85.3
Total
(S)
6,600
30,800
82,500
170,500
Operation and
Maintenance Costs
Unit
(?)
N/A
N/A
N/A
N/A
Quantity
N/A
N/A
N/A
N/A
Total
($)
0
0
0
0
Annual Cost
(10-Yr Life)
(?)
1,000
5,000
13,300
27,600
 t
-p.
00

-------
3.    Regulatory Alternatives

     Regulatory  alternatives  to  control  participate  emissions
from  open  burning  include  (1)  ban  on emissions  (ban of  open
burning),  (2)   prohibition   of   open  burning  with   variance
(exception)  provisions,  or  (3)   levels established  by the  air
quality/State  implementation  plans.   Such bans or  levels  may  be
established for specific wastes or all wastes.   Due  to variations
in atmospheric, climatic and other conditions,  it  is difficult to
control or predict air emissions from open burning.   Therefore, a
ban on open burning (option 1) provides the best means of control
of municipal  and  industrial  wastes.   However,  EPA decided to let
local  conditions  and  authorities dictate  the  control  of burning
of  agricultural  wastes  (option 2).    In  addition,  other  air
emissions must meet applicable air quality standards.

     As previously noted,  surface  impoundments may  contribute to
degradation of air quality in  regions of the county  where mining,
petroleum  or  chemical  wastes  are  impounded.   The  proposed air
criterion does not address this concern.  An alternative approach
would  involve   identifying   permissible  levels   for   specific
pollutants, and requiring pretreatment  of the offending waste, or
collection of  the harmful  gases in cases where emissions  from
impoundments   exceeded  these   levels.   An  outright  ban  on  the
impoundment  of  certain wastes  that   emit  harmful   gases  would
ensure that  the public health and the  environment  in general  is
protected.
                               IV-49

-------
 E.  APPLICATION TO LAND USED  FOR  THE  PRODUCTION  OF
     FOOD CHAIN CROPS

1.    Importance; Adverse Effects From  Improper  Disposal

     The landspreading  of  solid wastes provides the benefits  of
resource  use  and  fertilizer and  soil   conditioning   ability.
However,  there  exists   the   potential  for  adverse  health  and
environmental  impacts from  this practice  due to the presence  in
the  waste  of  heavy metals,  particularly  cadmium,  as  well  as
pathogens,  pesticides and persistent organics.

     a.   Cadmium

          Excessive amounts  of cadmium  added to  the  soil  may have
serious adverse impacts  because of the  uptake  of cadmium by food
chain crops.

     Cadmium  overloading on  food chain  lands or lands  that may at
some future time be  used  to raise  these crops  can  have  long-term
human  health  impacts.   Contamination   of  the soil  could require
that this land  not  be used  for the growth  of  certain  food chain
crops  for   many  years   to  come,  depending  on  the  degree  of
overload.

     Cadmium  is  of  concern  in the landspreading of solid wastes
because  the  metal  (1) can  be  readily  taken up by crops, (2) has
the potential  for  bioaccumulation  in  tissue,  and (3)  is  toxic to
humans.

     The  pathological   condition   associated  with   the   chronic
ingestion of  cadmium is  renal tubular damage.   This  condition
occurs when cadmium  accumulates beyond  approximately  200 ug/g in
the renal cortex of the  kidney. The  damage becomes  apparent with
the presence of protein  accompanied by elevated levels  of cadmium
                              IV-50

-------
In  the  urine.
protei nuri a."
The  condition  is  referred  to   as   "tubular
     Table 16 below indicates the daily cadmium intake which will
result in critical concentrations in the kidney cortex at age 50,
based on daily cadmium excretion.
                        TABLE  16  (Ref.  42)
                     CRITICAL CADMIUM LEVELS
Cadmium Excretion
    Per Day
(% of body burden)
 Corresponding Biological
     Half-Time (yrs)
Cadmium Daily Intake
(q) to Reach Critical
Level  (200 ug/g)
0
0.002
0.005
0.010
0.020
i nf i ni te
95
38
19
9.5
164
196
248
352
616
     There are,  however,  still  considerable  uncertainties  rela-
tive to  the  accumulation of  cadmium in  body  organs.   Data from
certain  animal  studies  indicate that  under  some circumstances,
such  as   calcium  and  protein  deficiency,  cadmium  retention  in
humans may reach  10  percent,  while a high zinc intake may lessen
cadmium  retention.    Also,   the  critical  level  of   200  ug/q  of
cadmium  in  the  kidney represents a  level  at  which gross physio-
logical changes to the kidney occur; cellular damage may occur at
a much 1ower 1 eve! .

     Table 17  shows  the percent  of  the  population that would be
affected at age 50 given various  daily intake of cadmium in food.
Based on this information, 2.5 percent of the European population
and about 6% of the Asian population would have renal cortex
                              IV-51

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damage  at  a  daily intake of 80 ug cadmium; there  are  no  figures
available for the United States population.
                             TABLE  17
        CADMIUM INTAKE  (ug  Cd/day)  THAT MAY GIVE A CERTAIN
                RESPONSE RATE AT AGE 50 (REF.  42)
      Response Rate  (Proportional With Renal Tubular Damage)

Europeans-
body weight
(70 kg.)
0.1%

32

n

60

2.5%

80

5%

100

10%

148

50%

440

Japanese
body weight      24       44     60      76     100     325
(53 kg.)
     A  recent   study  investigating  the  effects  of  utilizing
municipal  sludge for agricultural purposes at nine study sites in
the United States found that one of the sites had a potential for
adverse environmental impact.  This site used a sludge containing
an  extremely  high concentration of  cadmium  (Ref. 104).   Two of
the  sites studied  had  no  useful  remaining  life for  receipt of
sludge,  based  on  a  comparison  of  the  actual  cumulative  metal
loadings  at   each  site  with guidelines  proposed .by   the  North
Central Regional Committee, NC 118 (1976) (Ref. 104).

     Data obtained from this study illustrates the high levels of
cadmium in crops that may be reached at specific sites, depending
on  such factors as  pH,  soil type,  and  background  levels.   Thus,
one of the nine sites in this study had an annual cadmium loading
rate of  45 kg/ha  (41 Ib/acre); the  loading rates at  the  other
eight sites ranged from 0.08 to  1.0 kg/ha (Ref. 104).
                              IV-52

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     Based  on  1975  actual   application   rates,  and  an  annual
maximum  Cd  loading  of  2.0 kg/ha  (1.8  Ibs/acre)  as proposed  by
this regulation and  the  EPA  Municipal  Sludge Management Bulletin
(Ref. 115),   utilization  practices  at  one  of  the  nine  sites
resulted in  cadmium quantities in excess of this maximum.

     b.   Pathogens

          Pathogenic  organisms  occurring  in  solid waste  (e.g.,
hospital wastes and municipal wastewater treatment sludges) cover
a wide  variety of  bacteria,  viruses,  and  intestinal  parasites.
Among the bacteria  that  are  commonly found in wastewater sludge,
is the  group  referred to as  the "enteric bacilli" that naturally
inhabit  the  gastrointestinal  tract  of  humans.   The second group
of pathogenic  organisms  found  in wastewater treatment sludge are
the enteric  viruses.  Biologically,  the most important difference
between  viruses  and  bacteria is  that viruses  invade  the  living
tissue  cells  and  multiply within  them, whereas  the  bacteria  do
not  invade  the cells of  the host  which  they  parasitize.   These
viruses  include polio and hepatitis viruses.  The third group of
pathogenic  organisms  found  in  wastewater  treatment  sludges  are
the intestinal parasites, including  protozoa and helminths.

     All  of  these  pathogens  can  be controlled  through  various
stabilization  processes.    In  a  study  conducted for the  EPA  of
nine    sites    using   1andspreading   of    municipal    sludge,
Salmonella sp.  organism   (enteric  bacilli)  were  not  isolated  in
any  of  the   stabilized  sludges.    This finding  confirms  similar
research  that  indicates  that   Salmonella  sp.-   and  Shi pel la sp.
organisms do not normally survive sludge stabilization processes.
(Ref. 104,  p.  11-10).   However,  stabilization  processes  do  not
always   render  the  sludge  totally   free  of  all   pathogenic
organisms; indeed, those  organisms  that survive the stabilization
process, or  are  present  in raw  sludge, are capable of persisting
in the  environment  for  periods  of  days to months.  The viability
of most pathogenic organisms in soil is from a few hours to a few
                              IV-53

-------
weeks.    However,  the  ova  of   the  Ascari s  lumbriocoides,   an
intestinal  nematode,  are able to  remain  viable in  the  soil  for
numerous months under favorable conditions.

      In  summary,  since crops  grown  on  land treated  with  sludge
can   contain  viable  pathogenic   organisms,  they  pose  a  public
health  hazard to  consumers,  particularly when  the  contaminated
crops are eaten raw.

      c.   Pesticides  and Persistent Organics

          The  principal   chemical   substances   of  concern  are
chlorinated   hydrocarbons   such   as   polychlorinated  biphenyls
(PCB's),  and  insecticides such  as  DDT,  Aldrin,  Dieldrin,  and
Chlordane.   What happens  to  people  or  animals  when  they  consume
such  new chemical substances  and what happens to these substances
in  the  environment  are  very  complex  and  primarily unanswered
questions.

      PCB's  are  a  member   of  a   class  of  chlorinated  aromatic
organic  compounds  which  have given  rise to concern because of
their wide  dispersal  and  persistence  in  the environment  and
tendency  to  accumulate in   food  chains, with  possible  adverse
effects on  higher animals  and people.

      One  study of  1 andspreading  of  municipal  sewage sludge  did
find  low-level  quantities  of DDT, Dieldrin and/or PCB's at eight
of  nine  sites   studied   (Ref. 104,  pp.  II-9-10).    The  study
provided the following  findings:

          DDT  was  found in   sludge  in  measureable quantities in
          five  communities  (of   nine  studied).   Concentrations
          ranged  from  0.9  to 160.4 ppb.*   The highest residual
          found in  soil was 0.29  ppb.
*ppb = parts per billion (by weight)

                              IV-54

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          Dieldrin was found in  the  sludge  and/or  in  the  treated
          soil  at all  (nine) study  sites  except one.   Detectable
          concentration levels  found  in five  study site  sludqes
          ranged fom 0.4 to  114  ppb.   The  maximum  level  found  in
          soil  at six of the sites was 0.84 ppb.
          In the  respective  sludges,  polychlorinated  biphenyls
          (PCB's)  were  detected  in measurable  quantities  at all
          study  sites  except  one.    The  maximum  concentration
          measured was 5,872 ppb  {5.9  ppm)  with five  other sites
          reporting values above 3,300 ppb  (3.3 ppm).
          Increased levels  of  PCBs  (over  background levels)  were
          detected  in  the  solid  waste-amended  soils  at  four
          sites.  However,  there were no significant increases  in
          the  PCB  concentration  of the crops  grown on  the solid
          waste-amended soils.

     (4)  Direct Ingestion

          Grazing animals  are  known  to ingest  soil  (and probably
wastes) in  amounts  ranging,from  2 to  14 percent  of  their diet.
When  solid  waste  is  spread on  grazing land,  the animals  will
ingest  the  solid  waste along with the  soil.   This  direct inges-
tion of waste  contaminants, which  are present at  higher levels
than  in crops,  could  result   in, increased  ingestion  of  heavy
metals.

     Studies  reporting  animal   infections  caused  by  the  land-
spreading   of  waste-water   sludge  on  pasture  land include  one
conducted  at  a dairy  farm in  the  Netherlands  where  waste-water
sludge  is  applied  to  the  land  on  a   regular   basis.    Here
4.7 percent  of the  cows  were  infected with  salmonella,  whereas
the average  of infected cows  found to be  in  the  entire  country
was only 0.3-0.5 percent (Ref.  42).
                              IV-55

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     An  epidemiologial  relationship  between agricultural  sludge
spreading  infections  in  dairy  farms  was  suggested  by  studies
conducted by the Institute for Veterinary  Bacteriology  in Zurich,
Switzerland.   The  analysis of the 13,877 samples  indicated  that
cattle infections occurred  during  the  green  fodder period.    The
high incidence of cases in August and September  (7  to  8  times the
numbers  reported in early  spring)  were  attributed  to  the massive
spreading  of sludge  after  haymaking.    (This  reference  did  not
indicate whether or not the sludge was  stabilized.)  (Ref. 42).

2.   Control Technologies and Unit Costs

     Land  used  production of  food chain  crops  is  protected  from
the  adverse effects  of  toxic metals,   pathogens,  and  persistent
organics in  solid wastes by one  or more of the  following methods:
(1) pretreatment  of  wastes,   (2) control  of  application  rates,
(3) sterilization of  wastes by heat, or radioactive exposure (to
control  pathogens),  (4)  good  site management  practices  that con-
trol the solid waste, and  (5)  banning application of solid wastes
to  land  used  for   food  chain crops  and  finding  an  alternative
disposal method  such  as  landfilling.

     Since  the  major concern  of this  criterion  is the  amount of
cadmium  applied  to  land  used  for  food chain crops,   the  main
thrust  of   the  control  technology is  directed  toward  protecting
public health from  the harmful effects  of cadmium  in solid waste.

     The chemistry  of cadmium  in the soil environment is  not well
known.   However,  solubility of  the  metal (and,  therefore, avail-
ability  for  plants)  appears  to  be  influenced by  soil  organic
matter,  clay  content  and  type,  hydrous  oxide  content,  redox
potential,   and  soil   pH.    For  the most  part,  the  scientific
community believes  that  the total amount of cadmium added to the
soil would ultimately control  the  amount  of soluble cadmium  in an
available form.  Soil has a saturation  limit for cadmium  at which
                              IV-56

-------
the  addition   of  more  cadmium  results  in  a  nearly  equivalent
increase in soluble cadmium in the soil.

     However,   recent  research  with  the  land  application  of
municipal waste-water treatment  sludge indicates that the current
or most  recent loading  rate  has a  greater  effect  upon  the  crop
uptake  of  cadmium  than  does  the  total  cumulative  amount  of
cadmium.    The  relationship   between  annual  amounts  with  crop
uptake  and  total  cumulative amounts with  crop  uptake  is not yet
completely  understood,  and the  number  of  years  for plant uptake
to resume background  levels of  cadmium (after sludge application
has ceased) has not been established.   (Ref. 42).

     The  best  available  research  and  recommendations  indicate
that  one  effective  control   technique  for  minimizing  cadmium
uptake  is  the setting  of  a maximum  annual  cadmium loading  rate
and a maximum  cumulative cadmium addition  limit.

     Maintaining  a near  neutral soil  pH and  preventing  the pH
from  falling  below 6.5  can limit  the  translocation of metals to
crops  as  well as  the movement  of  those  metals  to  ground water,
because  of   the   formation  of  insoluble  compounds  and  other
effects.

     All  of  the   research  data  on  cadmium  indicate  that  leafy
vegetables, root crops and  tobacco should  not be grown on cadmium
enriched soils since  they  tend to accumulate cadmium to  a greater
degree  than grains do.   Research data  is  incomplete at  this time
and  the basic  reaction mechanism  of  Cd  in soil  is  not known.
Although  research  data  indicate that  the annual cadmium loading
rates  are  more important  than  the  cumulative  loading  rate,  the
site  data  show   that  the  total   application   rates  cannot  be
ignored.   Exactly where  the   curves of  annual  versus  cumulative
rates meet  is  not  known, but preliminary data indicate that there
is a relationship.  (Ref.  42).   •
                               IV-57

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     Pretreatment  can  be an  effective  way to  reduce  concentra-
tions   of  toxic   metals,    particularly   cadmium,    in   highly
contaminated sludges.  Whether pretreatment will  provide economi-
cal means to achieve the designated permissible levels  remains to
be seen.   Pretreatment regulations will be delineated  by  EPA in
the future; these regulations are system-specific,  making uniform
criteria difficult to implement.

     Control options for cadmium include:
          control pH of soil/solid waste mixture;
          reduce application  rate of cadmium;
          pretreatment   to    reduce  cadmium   concentrations   to
          permissible levels;
          dewatering   and   disposal   by   landfilling,   or   by
          incineration; and
          application only to nonfood chain crops.

     Table 18 below  shows control technologies and  unit costs for
the  proposed  criterion.   The first  row gives  the  unit costs and
technology  for  sites  where  1andspreading   is  terminated;  the
bottom  row of  the  table  shows the control  technology  and unit
costs for sites  that landspread and  use "operational  controls."
                              IV-58

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                             TABLE  18
           LAND  APPLICATION  FOR  BENEFICIAL  UTILIZATION:
               CONTROL TECHNOLOGIES AND UNIT COSTS
Type of                          Capital and
 Impact          Technology       0+M Costs         Annual  Cost
                                ($/metric ton)    ($/metric ton)

Elimination    Dewatering and       $78          2.0 Kg/ha    $73.80
 of Practice   landfilling                       1.25 Kg/ha  $71.20
                                                 0.5 Kg/ha    $67.24
Operation      Liming and     $11.53 (plus       $11.53 (plus $320
               Monitoring     $320 per  sewage    per sewage treat-
                              treatment plant)   ment plant)
3.   Regulatory Alternatives

     Limiting  the 1 andspreading  criterion  to  land  intended  for
food chain crops  will  not affect the current practice of applying
solid waste to land in  environmentally safe ways for the enhance-
ment of  parks  and forests,  as well as for reclamation of poor or
damaged  terrai n.

     A problem could  arise  if previously unproductive terrain is
converted  to  farmland; if  such  land  has  been  spread with sludge
having unrestricted  heavy  metal, pathogen,  and pesticide levels,
public health  could be  threatened.  These and other discrepancies
in  the  criterion governing  the application  of  sludge  to  pro-
ductive  land may  create the need for supplementary regulations.
                               IY-59

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     a.   Cadmium

          Chapter   III  of  Volume  I   discussed  four  regulatory
alternatives  for  the control  of cadmium in food chain crops — the
proposed  criterion,  a less restrictive alternative, and two more
restrictive  alternatives.  Two  additional regulatory alternatives
for  cadmium  are discussed  below:

          (1)  Control  the Addition of Cadmium to the
               Food  Chain  by  Using a Maximum Cadmium
               Concentration  in  the Solid Waste.

               This   regulatory  alternative  does  not allow  for
variabilities  in  crop  uptake  of cadmium  or  the widely differing
natural   background   levels  of  cadmium  throughout  the  country.
Thus,  some  areas  of  the  country  have  significant levels  of
naturally-occurring  cadmium  in  the soil, while others have almost
none.   Consequently,  regulating the  maximum  cadmium addition to
food chain crops may  be  too  stringent  an approach for some areas,
but  too lenient for  others.

          (2)  Regulate  Cadmium  Addition to the Food Chain
               by Setting  a Maximum Concentration for
               Cadmium  in  Various Soil Types.

               As  indicated  above,  the  natural  background level
of  cadmium   varies  considerably throughout  the  country.    As  a
result, this regulatory approach would significantly impact land-
spreading practices  in areas  where  natural  background levels of
cadmium are  high.   Furthermore, such  an approach probably would
allow too great an increase of  cadmium in the food chain.
                              IV-60

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     b.   Pathogens

          In  addition   to   the   three  regulatory  alternatives
discussed in Chapter  III,  Volume  I,  another regulatory  option is
increasing  the  delay  period  to  three years  before  growing  food
crops  (that are to be eaten raw) on sludge-amended soil.

     Although this would lessen the risk of disease transmission,
it may be unnecessarily  strict, since  research indicates  that the
probability of  encountering  numerous  viable pathogenic  organisms
after a one-year time period  is remote.

     Thus,  research has  shown that in soils receiving wastewater
treatment sludge, most pathogens will  perish or be reduced to low
numbers  in  two  to  three  months.   Although  some  pathogens  have
long  survival  time  in   soil  most  do  not   survive long  on  plant
surfaces.   When long survival  times  have  been reported,  initial
inoculation levels were  high, most pathogens were detected in low
numbers, and no indication was given of the actual disease poten-
tial (Ref. 42).

     c.   Persistent Organics

          An alternative to  the regulatory approaches  discussed
in  Volume I would  involve  setting  maximum   permissible levels for
chlorinated hydrocarbons suspected  of beinn carcinogens--DDT and
its   metabolites,   Aldrin,   Dieldrin,  Chlordane,   and   PCB's.
Currently,  there  is  only  limited  data available  on  plant uptake
of  persistent   organics  from  solid  waste  application   to  land;
additional  study  is  needed  in  order  to set  maximum  permissible
limits  for  these  potentially  toxic  organic compounds in  sludge.
Therefore,  until  further   research   is   available,   persistent
organics  will   have  to  be controlled  by   limiting  residuals  on
crops; this approach is  the proposed criterion.
                              IV-61

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     d.   Other Regulatory Concerns

          At this time the landspreading criterion  addresses only
cadmium, pathogens,  pesticides,  persistent  organics, and  direct
ingestion of  waste.   The Criteria will  be revised in the  future
to address  other metals, organics,  and  toxic  compounds as  more
information becomes available on the human health  implications of
their  application  to  land   (e.g.,  PCB's and  other persistent
organics).   Future  revisions of  the  Criteria  may  also  address
substances which could adversely affect the  productivity of agri-
cultural  land.    Potentially phytotoxic  metals   such  as  zinc,
copper,  and  nickel  will  be  considered  for  inclusion.     In  the
interim,  additional   guidance on  maximum  application   rates  and
application  of  solid  wastes  to  nonfood  chain  lands  can  be
obtained from State and Federal agricultural  departments,  as well
as  from  EPA's  Technical   Bulletin  entitled  "Municipal   Sludge
Management:  Environmental Factors" (EPA 430/9-77-004).
                              IV-62

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F.   DISEASE VECTORS

1.   Importance; Adverse Effects From Improper Disposal

     One of the major health problems of open dumps has  been that
they provide  food  and harborage for  common  disease  vectors such
as  rats,  other rodents, flies  and  birds.   In  addition,  surface
impoundments  can  often  breed  mosquitos, with  attendant  disease
problems.

     Rats,  in  particular,  pose  a  serious threat to human  health,
being  responsible   for  more human  illness  and  deaths  than  any
other group of mammals.  Rats are responsible for the spread of a
number  of  diseases,  either by  contaminating food directly, or by
attracting  flies  and  mites.    The  more  common  diseases  include
rat-bite   fever,  1 eptospirosis  (a   mild  to  severe  infection);
trichinosis  (an  infection  of  the  intestine  and  muscles)  and
murine  typhus  fever.  (Ref 72).

     Flies  and birds pose  less of a  threat  to  human health than
do  rats; nevertheless, they do act as mechanical carriers  of such
diseases  as  salmonel1osis,  or  food poisoning.   Mosquitos  may
transmit   such  diseases  as  encephalitis,  malaria,  and  yellow
fever.

2.   Control Technologies and Unit Costs

     The most  effective  method  of  controlling disease vectors is
to  minimize harborage  and readily  available  foodstock,  thereby
creating an inhospitable habitat.

     Proper and adequate control  of  rodents and insects requires
a well  operated and maintained  landfil-1.  Rat and fly control  can
be  achieved by  maximum  compaction  of the refuse and  daily place-
ment of an adequately compacted soil  cover.
                              IV-63

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      Studies  have  shown  that  a  daily  cover  consisting of 152 mm
 (6  inches)  of compacted  low-clay-content soil will discourage rat
 propagation as well  as  fly emergence.  However,  even under the
 best  of conditions,  a  landfill  should have  a regular inspection
 and a  rat  and  fly control program.   Local officials  can  best
 dictate the specific  controls  used in  any such program.  Shredded
 or  milled  waste  and  baled  waste  may  also  discourage  rat attrac-
 tion  depending in  part on  how well these operations are done and
 how available other food  sources  are.

      Mosquito control  at  landfills is  best obtained by preventing
 development  of  stagnant  water  bodies anywhere on  the  site.
 Certain fish  thrive  on  mosquito  larvae  and  are effective  in
 aerobic impoundments.

      Landspread wastes which  could  provide  surface  harborage or
 food  stock  can  be  ground  or  chipped  and  then  spread,  disked or
 otherwise   turned  into  the  ground  as  part  of  the routine  site
 operation procedures.

     Other  rodent controls  include rodenticides and repellants.

      In summary,   the  principal   method  for  vector,  bird,  and
 animal  control  is  to  minimize  harborage  and  readily  available
 food and to create  an  inhospitable habitat.

     Table  19  shows  control  technologies  and  unit  costs  as  a
 function  of  site  size   for  the   proposed  criterion;  costs  are
 identified  for  each disposal method  impacted  by this criterion.

 3.   Regulatory Alternatives

     Several  options  for  the  control  of  disease vectors  were
 studied, including  (1) quantifiable performance standards (e.g.,
maximum  number  of  rats  per   acre),   (2) operational  standards
 (e.g.,  use  of cover material at specified frequencies or use of
                               IV-64

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                                                                        TABLE 19



                                                  DISEASE VECTORS:   CONTROL TECHNOLOGIES AND UNIT COSTS
Disposal
Method
Landfill





Technology
Placement of soil
covtir (unit O&M
cost includes
equipment, man-
power, quantity
based upon refuse
to soil ratio of
1,2,3 to 4:1
respectively)
Site Size
TPD (TPD)
9.1 10
91 100
272 300
635 700


Capital Costs
Unit

0
0
0
0


Quantity

0
0
0
0


Total

0
0
0
0


Operation & Maintenance Costs
Unit


.0.65/m3 0.50/cy



Quantity

2,831 ra3 ( 7,400 cy)
2,800 m3 ( 36,600 cy)
55.845 ra3 ( 73,000 cy)
•5
97,920 mJ (128,000 cy)


Total
($)

3,700
18.300
36,500
64,000


Annual Cost
(10-Yr Life)
($)

3,700
18,300
36,500
64,000


en

-------
rodenticides),   or  (3) general   (e.g.,  operated  so  as  not  to
provide food or harborage for vectors.)   The  latter  criterion was
chosen, although  it will probably require use of cover  material
at landfills.  However, surface  impoundments  will  use  other means
to control  disease  vectors,  such  as  covers.   EPA chose  to  use a
general performance criterion to  allow  for  local  choice  of cost-
effective   measures   for   landfills   and  to  allow  impoundment
operators to make the  necessary  site-specific determinations.

G.   SAFETY

1.   Importance; Adverse Effects From Improper Disposal

     Safety  hazards   posed   by   solid   waste  disposal   include
explosions  and asphyxiation  caused by  landfill  gas,  fires,  bird
hazards to  aircraft,  and injuries associated  with improper access
to landfills or impoundments.  The degree of  hazard  is related to
waste  characteristics,  disposal  site  environment,   population
activity, and  physical proximity to disposal  activities.

     Documented  accounts of explosions,  fires,  and accidents at
or  near  disposal  sites  serve  to warn  of  the  safety  hazards
associated  with improper disposal of wastes  (Ref 79, p.  37):

          An explosion occurred in an armory in 1969,  in Winston-
          Salem,  N.C.   The  explosion  was the result of methane
          gas  migration  from an  adjacent dump.   Three  men  were
          killed and  five  others were seriously injured.

          Gas  migration  from  dumps  in  Richmond,  VA.,   in  1975,
          required  the closing of two public schools and resulted
          in an  explosion in a  multi-family  apartment  unit.   No
          one  was   seriously  injured.   The   City  anticipated the
          expenditure  of over $1 million to  control  the  gas.
                              IV-66

-------
In  1968,  a seven-year  old  boy died  in  a fire  at  the
(now closed) Kenilworth Dump, in Washington,  D.C.

An  older  man  died while  fighting  his own trash fire,
and  one  child was  severly   burned  in a   trash  fire  in
1972, in St. Joseph,  Missouri.

A  study  of solid waste management  practices  at Indian
reservations,  in 1970,  found open  dumping common.  U.S.
Public  Health  Service  physicians  reported  treating
large numbers of  cuts  and punctures received by Indian
children playing in the dumps.

Tests  indicate   that   the   smoke  from most  open  dump
burning contains  sufficient  aldehydes to cause painful
eye irritation up to 400 feet away from the fire.

In  the   summer  of  1972,  a  major  fire   at  a  dump  in
Easton,  PA.,  required  the expenditure of large sums of
public funds to extinguish.
                                                     /
Smoke from  dump  fires  has reduced visibility on nearby
traffic arteries and caused  multiple-vehicle  accidents,
i.e., on  the Oakland  (Calif.)  Nimitz Freeway;  on  the
New  Jersey Turnpike,   on  the  night of  October 23-24,
1973  when  there  were   9   separate  multiple-vehicle
accidents,  involving   66  vehicles  and  resulting in  9
fatalities and 34 p/ersons being injured.

A  crash  of  a  private  jet  aircraft  near  Atlanta,
Georgia,  on  February  27,   1973,  resulted   in  seven
fatalities.    The crash  has  been  attributed  to  jet
ingestion  of  starlings which,   allegedly,  were- congre-
gated near  an uncovered,  shredded refuse disposal site
near  the  end  of  one  runway of   the   DeKalb  County
(Georgia) Airport.

                    IV-67

-------
2.   Control Technologies and Unit Costs

     Control technologies are  available for  the  safety criteria:
explosive  and  toxic gases,  fires, bird hazards  to  aircraft,  and
injuries   due   to   improper   access.     These  technologies  are
discussed  below.

     (a)  Explosive and Toxic Gases

           Gases  generated within  landfills  will migrate  through
the  cover  soil,   base,  and  side  walls.     Many   above-ground
landfills  and those below-ground landfills in an impermeable soil
or  rock  environment will require  no  special  lateral  gas  control
features.   On  the other hand, a gas control  system  such as 'vents
or  barriers must be provided where refuse extends below ground in
landfills  with   permeable side walls  or  base.  Lateral  control
features  must  also be  provided  where utility or other man-made
features  of a  permeable nature penetrate the  refuse  perimeter.
Such  facilities could  otherwise  serve as gas  conveyors and thus
foster a  hazard  condition.

     Certain climatic  effects may reduce  the permeability of the
soil,  thus  restricting the  passage  of  gas  through   the  cover
resulting  in lateral gas migration and potential gas hazard.  For
example,  sufficient rain or  frost will  render  any  type  of soil
less permeable,  encouraging the lateral migration of the gas.  In
addition  to decreasing  the  permeability  of  surface  soils, rain
water  or  snow   melt  may infiltrate  the  refuse;   the  resulting
increase   in   moisture  may   stimulate   the   rate   of   waste
decomposition and  gas  production.  This combination of decreased
permeability of  the cover  and increased gas production may cause
a significant increase  in lateral  migration of the gas during the
rainy season.   On  the  other  hand, the low  temperature snow-melt
water may  reduce gas generation by slowing microbial metabolism.
                              IY-68

-------
     Since gas migration may ultimately result in  such  hazards  as
fire or explosion,  special  control  systems have been developed  to
alleviate this problem.

     Methods of controlling landfill  gas migration include one  or
more of the following:

     1.   Placement  of impervious liner  materials to  block  the
          subsurface   flow  of  gas  to adjacent   lands  or  into
          buildings.
     2.   Selective  placement  of  granular  materials  for  gas
          venting and/or collection.
     3.   Atmospheric  or pumped wells  for evacuation  and venting
          of gas from  the landfill  itself.

     Figure 5 shows schematics of several  gas control  systems.

     Impervious liner  materials used  to control gas flow include
plastic,  rubber,  similar  synthetic  films,  natural   clay  and
asphalt.  Plastic film is the most widely used synthetic material
since  it  not  only  has the ability to contain gases, but also has
a  high  resistance  to  deterioration.    On  the   other  hand,  a
disadvantage  of   plastic   liners   is   their  susceptibility  to
puncture  during  placement and their  somewhat limited  life-span.
Polyolefin  or  rubber  products have  potentially  longer life than
other  synthetics.

     Natural  soil  barriers  such as  saturated  clay may furnish a
highly  efficient  barrier to gas migration,  provided the soil  is
kept nearly saturated; dry soils,  however, are ineffective, since
cracks  may  develop across  the  surface or  perimeter boundary  of
the  fill.   Barriers  typically  are best installed  during landfill
construction, as subsequent  installations are often costly, less
extensive   than   required,   and   occasionally   impossible   to
accomplish.  During construction,  barriers can be  placed to cover
the  base  and lateral surfaces of the fill  space.   Installation
                              IV-69

-------
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-------
after  fill  completion  might be limited to  trenching  in  the  area
requiring  protection  and  inserting  a  membrane into  the  trench,
followed by backfilling.

     Gravel trenches, perimeter rubble vent stacks, gravel-fi 1 led
vent  wells and  combinations  thereof  are  examples of  perimeter
vent  systems.    (See  Figure 5).   Venting  systems may  be  either
passive  (relying on  naturally  occurring  pressure or  diffusion
gradients) or active (inducing exhaust by using pumps  to create a
pressure   gradient),  with  selection  beina  dependent  on  site
conditions.    Passive  systems  can  be  effective  in  controlling
convective  gas  flow,  but  not  diffusive  flow.  Since  there  are
numerous   instances   where  passive   flow   controls   have  been
ineffective,  the user  should  question  the  value of  a  passive
perimeter   control    system;    nevertheless,   many   have   been
constructed.  (Ref.  117).

     Induced flow systems,  particularly  those employing suitably
designed vertical wells,  have  proven very  effective in migration
control.   From  a  practical,  standpoint,  systems  combining  both
migration  control and  gas  recovery  are  finding  increased  favor.
These  systems  usually   incorporate  perforated  pipe  in  grouped
vertical   gravel-fi11ed  wells  similar  to  those  used  in   gas
recovery  for  fuel   systems.   The  wells  are  spaced at  intervals
along  the margin of  the landfill, located either inside the limit
of fill  or outside  it  in the surrounding nature soils,  depending
on system  requirements.   The  wells are connectedly manifolds to
a central  exhaust pump  which  draws gas from the well  field.   The
gas  flow influenced  by each well,  therefore,  is  directed  toward
the- well,  effectively controlling  migration.   Alternatively,  the
collection pipe  can  also  be placed in a gravel-fi11ed trench  and
then connected  to a  vacuum exhaust system  to enhance  the control
ability of the trench system.
                               IV-71

-------
     Gases collected by exhaust systems  are  generally  disposed  of
by direct  stacking,  incineration,  or by passage  through  various
absorption media.   Gases from  passive  vent systems  usually  are
combusted  in  torches.   In  all  instances,  uncombusted  gas  must  be
exhausted  at  a  location  where it  is  not  subject  to  careless
ignition,  i.e.,  generally   in  a  protected enclosure  or  above
normal  reach.    Malodors   associated  with   uncombusted  gas  may
dictate  some form of  odor  control; ignition is the simplest  and
most effective malodor control.

     A  combination  of gravel-fi1 led trench  and barrier  membrane
can  be a  very effective  passive  system if  the  control  trench
depth  is  within  the  backhoe  depth  limit and  an  impermeable
barrier  exist within  this   depth  limit.   In this  instance,  the
trench  is  dug and a membrane is placed across the  bottom  and  up
the wall away  from the  landfill.   Gravel is then  used  to  backfill
the  trench;  a vent pipe may or may not be included.  This fairly
common  passive  vent  system  is  well   suited  to   a  landfill  of
shallow  depth  located  in an area with a high water table.

      (b)   Fi res

           Fires  in  landfills can  result from the  dumping of a hot
load,  sparks from  vehicles, or  deliberate ignition; the latter is
inhibited  at a well-run landfill.  Hot Toads can be  minimized by
proper   policing   of   incoming  trucks;  these  loads  should  be
deposited  away  from  the  working face and immediately  extinguished
by  water  or covering with  soil.   Adequate daily  soil  cover  is
essential  to smother any potential fire and to provide a natural
barrier  to a fire  and  prevent  it  from spreading.

     Fires  at landfills are infrequent;  those  that break out in
the  fill  close to  the surface should  be  dug  out and smothered.
Deep  tires  should  be smothered  by  placing  moist  soil  on  the
surface and  by constructing soil  barriers around  the  fire.  Where
this  smothering  technique  fails,  the  material  must  be excavated
                               IV-72

-------
and smothered  or  quenched with  water  once it is  brought  to  the
surface.  Water is usually not effective unless it can be applied
directly  to  the  burning  material.    As a  precaution,   the  fire
department should  always be  called  to the site  when a  fire  is
being extinguished.

     (c)  Bird Hazards to Aircraft

          The  principal  method  for  controlling  bird hazards  to
aircraft  is  to minimize harborage and  readily available food  at
sanitary  landfills   and  to  locate   sites  so  as  to  reduce  the
potential  for  collisions  of  aircraft  and   birds.     Periodic
application of cover  is  the  principal  method  of  discouraging the
attraction to birds  to  disposal  sites.    To determine  whether
birds constitute a hazard to low-flying aircraft, a site-specific
study is needed for  each disposal site.

     (d)  Access

          Fencing is  used  to  control  or  limit  access to  the
disposal  site.   Permanent or portable, or both,  woven  and  chain
link fencing   is commonly  used for these purposes.  A  gate should
be provided at the  site  entrance and should  be closed and locked
when the site is unattended or otherwise closed to users.

     A  prominently   located   sign  should   identify the  disposal
site, the hours of operation, fees,  and any restrictions on  users
or materials  acceptable  for  delivery.   It may  be beneficial  to
provide  drop-box  containers  at  the  landfill  entrance  gate.   This
will  allow for  wastes  delivered  by  individual  citizens  to  be
deposited properly and  for  keeping  traffic away  from  the working
face of  the landfill.
                               IV-73

-------
     Uncontrolled scavenging by the public should not be allowed;
where  regulations  do  allow  controlled  salvage,  strict  safety
practices  must be  followed.    All  salvagable materials  must  be
placed  in  containers and not allowed to  accumulate  on  the site.
The persons doing the salvaging should be under the control of or
employed  by the  landfill  operator  to  ensure strict  compliance
with rules  governing  the practice.

     (e)  Other Safety  Concerns

          Safety management and control  techniques include worker
safety  training  programs,  equipment  selection  and  maintenance
programs,  good site  maintenance  programs,  environmentally  safe
disposal  practices,  adequate posting,  and  well  organized public
relations programs.

     Each   disposal  site  should  be  properly investigated,  and
adequate  design  safeguards  should be incorporated to provide for
future public  and environmental safety  or protection.

     All  employees  at  a disposal  site  must be provided with and
instructed  in  the  use  of  safety equipment  as  required  by  the
Occupational Safety  and Health  Act and  by other regulations.  All
landfill  equipment  should  be  fitted  with  roll-over  protective
cabs that  are  completely  enclosed  to  protect the  employee from
accidents,  inclement  weather,  and flying debris.  The windows of
the equipment  should be of safety glass  or  nonbreakable scratch-
resistant plastic.   Normal  safety precautions should be observed
while around and operating the  heavy  equipment.  The Construction
Industry Manufacturers'  Association  has safety manuals  available
for instructing workers  in proper procedures.

     Table  20  shows  control  technologies  and  unit costs  as  a
function  of site  size  for  the  proposed  criterion;   costs  are
identified for  each disposal method  impacted  by this criterion.
                              IV-74

-------
                  TABLE 20
SAFETY:   CONTROL TECHNOLOGIES ANT) UNIT COSTS
Disposal
Method
Landfill
Gas
Control



Fire

Recess



Bird
Hazard
Surface
Impound-
ment


Technology

Gas vencor extraction
system a/mg site
perimeter



Fire/water truck and
slochpile of soil cover
(O&M unit cost for
4-man crew)

Low-cost perimeter
fence and gate to
restrict access


Assess bird hazard
Low-cost perimeter
fence and gate to
restrict access


Site Size

TPD (TPD)
9.1 10
91 100
272 300
635 700
9.1 10
91 100
272 300
635 700
9.1 10
91 100
272 300
635 700
N/A
Group 59
I acres

Group 7.5
II acres
Capital Costs
Unit
(5)
«

65.62/ra (20/ft)
65.62/ra (20/ft)
49.22/m (15/ft)
49.22/m (15/ft)
1,000 ea.
2,000 ea.
10,000 ea.
20,000 ea.

'4.92/m 1.50/ft


10,000 LS
1.50 ft



Quantity


610m ( 2,000 ft)
1342m ( 4,400 ft)
2196m ( 7,200 ft)
3172m (10,400 ft)
1
1
1
1
610m ( 2,000 ft)
1342m ( 4,400 ft)
2196m ( 7,200 ft)
3172m (10,400 ft)
1
5 ,900 ft

2,300 ft

Total
($)


40,000
88,000
108,000
156,000
1,000
2,000
10,000
20,000
3,000
6,600
10,800
15,600
10,000
8,800

3,400

Operation and
Maintenance Costs
Unit
($)



10% of
> Capital
Cost

>20/hr

0
0
0
0
N/A
0

0

Quail-
city


N/A
N/A
N/A
N/A
5 hr
25 hr
50 hr
100 hr
0
0
0
0
N/A
0

0

Total
(S)


4,000
8,800
10,800
15.600
1QO
500
1,000
2,000
0
0
0
0
0
0

0

Annual Cost
(10-Yr Life)
<$)


10,500
23,000
28,000
40,800
2fiQ
800
2,600
5,200 X
500
1,100
1,700
2,500
1.600
1.400

500


-------
3.    Regulatory Alternatives

     For  the  many  safety  problems  associated  with landfill  and
impoundment  operations,  EPA  considered   it   desirable   to   set
                                            •
standards for explosive and toxic gases,  fires,  bird  hazards,  and
public access.

     Bird  hazard  options  are  (1)  general  (e.g.,  operated so  as
not  to  cause  a bird hazard to aircraft),  (2)  FAA  limits,  or  (3)
combination (e.g.,  if within 10,000 or 5,000 feet  of  an  airstrip,
then a  site operator must do a bird hazard appraisal  and  then  get
FAA  approval).     Since  the  latter  appeared  to  be  the most
realistic approach, it was chosen.

     Explosive  and  toxic  gases  are best  controlled  by  use  of
various  venting  or extraction  technologies to  prevent  migration
off-site  or  accumulation  in  facility   structures.     Explosive
limits  are  well  established,  but toxic limits  are harder to  set.
Options  include   (1)  listing  of  explosive  and toxic aases,  (2)
setting   of   limit  concentrations,  or   (3)  general   prevention
criteria  with  or  without  references  to  hazards  at  off-site
locations  whether  or  not  they represent  preexisting  or  possible
hazards  (given  local  land-use planning).    EPA  chose  to  limit  all
off-site   hazardous  gas  migration  because of   some  toxic  and
explosive limits  and  the feeling  that  no  landfill  operator should
be allowed  to  create  a  potential  for future safety impacts.

     Improper  access  and  fires are  potential  safety  hazards  that
are  readily  controllable,   lending  themselves  to  the performance
criterion chosen.
                              IV-76

-------
H.   AESTHETIC AND OTHER ENVIRONMENTAL EFFECTS

1.   Importance;  Adverse Effects From Improper Disposal

     Dust,  dirt,  litter,  noise  and  odors associated with  solid
waste disposal facilities  have long  caused  aesthetic  discomfort
to  the  public.     These   environmental   problems  are   dynamic,
frequently  requiring  daily  operational  responses,  most  of  which
are readily implemented.

     Dust has caused  excessive  wear  of  equipment, health hazards
to  people  operating  disposal  sites,  and  damage  and  nuisance  to
property  and  people  at   nearby  residences.    The  travel   of
collection  trucks  on  untreated dirt  roads and  operation of site
equipment for  earth  excavation are  responsible for most of  the
dust and dirt problems associated with land disposal operations.

     Litter problems are a function of type of waste (e.g.,  paper
and plastics), site location (e.g., topography), operation (e.g.,
use  of  cover material, fence  controls),   and  weather  conditions
(e..g, winds).

     Noise   occurs  at  landfill  sites  due   to  the  passage  of
collection   trucks  and   the  operation   of   landfill   equipment
(bulldozers,   scrapers,  compactors).   The  major collection  truck
noise  occurs  when  vehicles  accelerate   (e.g.,  after  crossing
scales) and when  they discharge their load on the working face of
a  fill.  The  community  impact  of noise  at disposal  facilities is
directly  related  to   the   surrounding   land-use  patterns;   as
expected, the impact  is most severe  where residential  and sensi-
tive institutional areas  adjoin  the  facility.  Noise at disposal
sites  is generally intermittent rather than  continuous, and  the
distance  from  the  working  face   (area   of  operation)  to  the
property line is  constantly changing.
                              IV-77

-------
      Odors  caused  by  the decomposition of  putrescible  waste at
disposal   sites   may   have  a  decidedly  adverse   affect   on  the
immediate  environment.   The occurrence of odors is a function of
the  daily  and  seasonal  conditions at the site.

2.    Control Technologies and Unit Costs

      The   control  methods  to  minimize  the  adverse   impacts  of
noise,  dust, odor and  litter  at disposal sites are site-specific;
therefore,  EPA  feels   State  and  local  governments  should make
site-by-site determinations of  the impact of there parameters and
the  corrective actions  necessary.

      a.    Noise

           EPA  has promulgated "Noise Emission Standards for [New]
Transportation  Equipment:    Medium   and  Heavy  Trucks"   (40 CFR
Part 205,  Federal  Register.  April  13,  1976, p. 15538-58).   The
daily operation  of landfill  equipment (dozers,   scrapers,  com-
pactors,  etc.)  is another source  of  noise.   EPA has  proposed
noise regulations  for  new  wheel  and  crawler  tractors   and  is
developing noise  regulations  for other heavy equipment.

      The  impact of noise at  disposal facilities should be deter-
mined at  the  property  boundary,  and is  directly  related  to the
surrounding  land  use  patterns.    More  stringent  requirements
should be  set  when residential  and institutional areas adjoin the
facility  than  when the  site  is  remotely  situated  or  situated in
industrial  areas.   Noise  at  disposal  sites  is   also  generally
intermittent  rather than  continuous,  and the  distance  from the
working face   (area  of  operation) to  the property line  is con-
stantly c-hanging.
                               IV-78

-------
     By properly maintaining  equipment and  establishing  accept-
able buffer zones between  the  area  of operation and the property
line, effects due to  noise can be minimized to  avoid  a nuisance
problem.   Buffer zones  may include  wooded or  treed   areas  and
stockpiled dirt  of  embankments.

     b.   Dust and  Dirt

          Dust problems  caused by collection  and  site  equipment
can  be  controlled  by  the  application  of water  or  waste  oils  to
unpaved roads,  and. by proper  construction  and  upkeep  of  access
roads.

     c.   Odor

          In  general,  the application  of  cover   material  will
minimize odors caused  by decomposition of putrescible waste.

     Odors  resulting   from leachate   can  be  controlled  by  the
installation  of  a  leachate collection  system  and  the  controlled
aeration and enclosure of any  treatment impoundments.

     d.   Li tter

          Blowing litter can be  kept  to a minimum by maintaining
a  small working  area  and  covering  portions of  the  site  as  they
are  constructed.   Portable fences  can be  positioned  around  the
working area  to catch  blowing  paper  and  plastic;  in  addition,
buffer  zones, site  contours,  and peripheral fencing help control
wind and  litter.  At  the end  of each  working day,  site personnel
should clean up  all  litter and should  cover trucks to prevent the
blowing of  litter.    Litter resulting  from  improper, after-hours
disposal  can  be  reduced  by   providing  a  fenced  off   area  with
public access to temporary storage containers.
                              IV-79

-------
    Table 21 shows  control  technologies  and  unit  costs  as  a  function
of site size for the proposed criterion.

3.   Regulatory Alternatives

     Since these environmental effects are so  dynamic,  dependent
on   adjacent   land  use  and  numerous   site-specific   factors,
generally temporary, of relatively minor  degrees  of environmental
concern,  and  readily  correctable,  EPA  proposes  not to  address
these problems in  the Criteria.

     EPA's  position  is  that  State  and local  governments  are
better  qualified  to  make   site-by-site  determinations  of  the
impact  of these parameters and to recommend  the necessary correc-
tive  actions.   Also,  there  are  several  Federal   noise  standards
being  developed  applicable  to mobile  solid  waste  collection and
heavy disposal equipment.

     A  more  restrictive  alternative  would  be  to  specify  that
disposal  facilities must prevent  or  minimize  noise,  dust,  dirt,
odor, and litter migration off-site so as to  avoid causing damage
or  inconvenience.   Another  more  restrictive  alternative would be
to specify operational  criteria for control  of aesthetic impacts,
by  requiring  specific  on-site controls  of   dust,  litter,  noise,
and  odors.   Such  .an  alternative,  while  preserving the  integrity
of  local  environments, might  reduce the  number  of  available,
otherwise   feasible  sites,   by   overly  restrictive   and  thus
unnecessarily  increased  operating  costs,  and  not reflect  the
myriad  of  local   conditions  and  individual  values.   Moreover,
alternative  sites  might  pose  more   serious  health and  safety
problems.
                               IV-80

-------
                                                                          TABLE  21

                                                        AESTHETICS:  CONTROL TECHNOLOGIES AND UNIT COSTS
Disposal
Muthod
Landfill
Noise
Odor

Litter



Dust



Technology

Not addressed
Not addressed

Portable litter fencing
and litter cleanup
labor


Water truck O&M unit
cost for operational
units


Site Size

N/A
N/A
TPD (TPD)
9.1 10
91 100
272 300
635 700

9.1 10
91 100
272 300
635 700
Capital Costs
Unit
<$)

N/A
N/A

\
• 32.80/ra 10/ft


1,000 ea.
2,000 ea.
10,000 ea.
20,000 ea.
X
Quantity

N/A
N/A

39.6 m (130 ft)
85. A m (280 ft)
137 m (450 ft)
183 m (600 ft)





Total
(S)

N/A
N/A

1.300
2,800
4,500
6,000

1,000
2,000
10,000
20,000
Operation and
Maintenance Costs
Unit
(S)

N/A
N/A


5.00/
Man-
Hour




5.00/
Hour

Quantity

N/A
N/A
M;m-Hrs.
100
500
1,000
2,000
Hrs.
20
100
200
400
Total
($)

N/A
N/A

500
2,500
5,000
10,000

100
500
1,000
2,000
Annual Cost
(10-Yr Life)
($)

N/A
N/A

700
2,950
5,700
11,000

200
600
900
6,400
 I
00

-------
                  V.  ECONOMIC  IMPACT ANALYSIS
     Chapter  III,  Volume I,  summarized  the economic  impacts  of
three  regulatory  approaches — the proposed,  a  more  restrictive,
and  a  less  restrict!'ve--i dentifyi ng  these  as  Criteria-induced
costs and combined (State-standard-induced plus Criteria-induced)
costs  for   landfills,  surface  impoundments,  and  landspreading.
Chapter IV,  Volume I, briefly discussed  the  approach  and method-
ology  used  in analyzing  the economic  impacts of  the  Criteria,
outlining the major assumptions  for  each  disposal  method.

     In  this  chapter  the  methodology  underlying  the  economic
impact analysis  is  discussed  in greater  detail;  included  are:
(1) an  explanation  of   the  methodology  used  to  differentiate
between State-standard-induced  and  Criteria-induced costs;  (2) a
summary  of   the  analysis used  to  evaluate  the  proposed,  more-
restrictive,  and  less-restrictive   alternatives,   including  the
assumptions   underlying this  analysis;  (3)  information  concerning
the  data base;  and  (4)  calculations used in developing  the  data
base and  costs.

A.   ANALYSIS OF  STATE  STANDARDS VS. FEDERAL CRITERIA

     The  cost  figures developed  for the  Economic  Impact  Analysis
(EIA)  represent  the  increments   or  additional  cost  above current
disposal  costs to  bring  existing facilities  into  compliance  with
the  Criteria.     By  comparing  the   Criteria  to  existing  State
standards,  it  is  possible to  divide these incremental  costs  into
two  categories:   State-standard-induced  cost  (cost  to come  into
compliance   with  existing State  standards)  and  Criteria-induced
cost (cost  beyond those  needed  to  achieve  compliance  with  State
standards).    This breakdown  was necessary  because a number  of
disposal  sites do not  yet  comply with existing  State  standards
(corrective   or compliance  technologies  and methods  often  take
                               V-l

-------
years to  implement).   Without  the Federal  Criteria,  sites  can be
expected to eventually come into compliance with  State  standards.
The combined  costs  demonstrate  the  total  additional  expenditures
necessary  to  bring  existing  sites  into  compliance with  State
standards and  the Criteria.

     In  order to determine  State-standard-induced and  Criteria-
induced  costs,  State  standards  and  regulations  were  reviewed and
evaluated; State regulations were then compared  with  the proposed
Criteria  to  establish their degree of conformance with  the pro-
posed Criteria.

     This  legislative   analysis  is   summarized   below  and  in
Table 22;  the latter identifies  the  specific criteria  addressed
in the regulations of each State.

     Environmentally Sensitive Areas.   The ESA criterion has five
components:      wetlands,   floodplains,   permafrost,    critical
habitats,  and  sole-source  aquifers.    A  review  of  State  solid
waste legislation showed  that only 11  States (22%)  had  provisions
for protection  of wetlands,  while 23 States (46%) had regulations
that  are intended to  avoid  adverse impacts associated  with  the
occupancy  and modification  of  floodplains.   The  remaining three
components  of  the  ESA  criterion address  themselves to specific
problems  that are  applicable to only  a limited number  of States.
Table 22  shows  those  States  whose   regulations  address  these
concerns.

     Surface  Water.  The  surface water criterion was addressed in
existing  regulations  of   all  but  three   States.    Only  Kansas,
Louisiana,  and  Mississippi, fail  to  address   the  problems  of
surface-water contamination  from  landfills in their environmental
laws and regulations.
                                V-2

-------
                                                         TABLE  22
                                     ANALYSIS OF STATE REGULATIONS  VS. THE PROPOSED FEDERAL CRITERIA

State
Alabaaa
Alaska
Arizona
Arkansas
California
Colorado
Connecticut
Delaware
Florida
Georgia
Hawaii
Idaho
Illinois
Indiana
lova
Kansas
Kentucky
Louisiana
Maine
Maryland
Massachusetts
Michigan
Minnesota
Mississippi
Missouri
Montana
Nebraska
Nevada
New Hampshire
New Jersey
New Mexico
New York
North Carolina
North Dakota
Ohio
Oklahoma
Oregon
Pennsylvania
Rhode Island
South Carolina
South Dakota
Tennessee
Texas
Ut»h
Vermont
Virginia
War.hinKtnn
Went Vlri'.lnl'i
UlaconHln
Wyoming
Tjtnl
* t.l Total
Environmentally Sensitive Arua«
Vetlanda




X


X

X








X
X
X

X





X
Flood
Plains



X
X
X
X

X

X



X

X


X
X

X
X
X
X
X

X
x i
















X

X

11/50
221


X



X
X


X
X
X



X



23/y.'
46X
Perma-
frost

X
















































l/M)
H
Critical
Habitats




X













































1/i'J
2Z
Sole-Source
Aquifers








X




X
X






X




























4/">0
HI
Surface
Water
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X

X

X
X
X
Ground
Water
X
X
X
X
X


X
X
X

X
X



X
X

X

x i x
X

X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
W/jO
t- :z
X

X
X
X
X
X
X
X
X
X

X

X
X
X
X
X
X
X


X
x
X
X
X
37/511
74Z
Air
X
X
X
X
X
X


X
X

X
X
X
X
X
X


X
X
X
X
X
X
X
X
X
X
X

X
X


X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
''. 1. 1 SCJ
8'.»

Vectors
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
X
SO/ fill
I>.(,S
Safety
Explosive
Cases




X

X
X
X




X





X


X

X



X
X








X



X



X

X

l-'./W
IK
Fires
X

X
X
X
X
X

X
X
X
X
X
X
X
X
X

X
X
X
X
X
X
X

X
X
X
X
X

X

X
X
X
X
X

X
X
X
X

X
X

X
X
41 I'M
81~.
Toxic
Cases




X

X

X




X





X


X

X



X
X








X



X



X

X

n/.riO
21,;
Bird
Hazards




X



X













X






X












X







•>/5
HM^
I of
Total*
507.
60
50
70
100
60
70
60
100
70
40
60
60
80
60
40
70
20
50
90
60
70
100
50
90
60
70
60
90
30
50
50
?f
30
50
50
70
70
60
50
70
70
100
40
40
50
90
40
90
Ml
\7

*ESA counted a« one criirrl"n fur  row totnlv.
                                                           V-3

-------
     Ground Mater.   The ground-water criterion  was  determined  to
be met in 37 of the 50 States (74%).

     Ai_r.  The air criterion was  addressed  in  42  states  (84%).

     Disease Vectors.   Control  of disease vectors  was  provided  in
all 50  states.   This  criterion  was  met  largely  because  of  provi-
sions in each State for periodic  cover of waste  material.

     Safety.   The  five components  of the  safety criterion  were
met  in  varying degrees by  the  States;  41  states  (82%)  required
provisions  for  prevention  and control  of fires,  while  42  states
(84%) included provisions for the control of  site  access in their
solid  waste  regulations.   Safety  provisions which address  the
problems  of explosive and toxic gases were less  common  in State
rules  and  regulations.  Fourteen States (28%)  required controls
for  explosive  gases,  of  which  13  (26%)  mandated  controls  for
toxic  and  asphyxiating  gases.   The criterion which  addressed
potential  bird  hazards   to  airports was  met  in  the  rule  and
regulations of only 5  States.

     On  the  average,  State  solid  waste  rules  and  regulations
addressed  between  6 and  7  of the  10 proposed  criteria.   (The 5
components  of the ESA criteria  were considered together.)   The
number  of criteria met by individual States ranged from a minimum
of  2  to a  maximum of all  10.   Louisiana  and  North  Dakota  con-
formed  to   2  and  3  criteria,  respectively,   while  4 States  had
provisions  which would meet all  10 of the  proposed criteria; the
latter  included  California, Florida, Minnesota,  and  Texas.   The
modal value for  all  50 States was  7 criteria out of the proposed
10.
                               V-4

-------
B.   METHODOLOGY FOR EACH DISPOSAL METHOD

     The  methodology  for  the   economic   impact   analysis   was
developed with  the  aid  of fairly complete data on  the  number  of
landfills and on State solid waste disposal  regulations,  but  with
very limited  data  on the number  of  1andspreading  operations  and
surface impoundments and overall  conditions  or current impacts  of
all   three  types  of  land  disposal  facilities.   Although  some
industrial  landfills and surface  impoundments may  be regulated  by
the   hazardous  waste  regulations  of  RCRA  and   not  by   these
Criteria, no  attempt  was  made  to estimate how  many  sites  may  be
so affected;   therefore,  Criteria  costs  may  include estimates  for
some facilities that are regulated by the hazardous waste regula-
tions of RCRA.

     Unfortunately for the  EIS,  the  inventory of  disposal  facil-
ities to be developed under RCRA  is to occur after the regulation
                                          4
is finalized.   Consequently,  a  number  of assumptions  had to  be
made because  the  following information  is  sketchy  or  not  well
known:
     (1)  number and size of on-site industrial landfills;
     (2)  number and  size  of  surface impoundments  (an estimate--
          considered   to   be   incomplete   or  , conservative--is
          available   on   the   number   of   surface  impoundments
          (Ref. 107));
     (3)  number  and  size  of 1 andspreadi ng  operations on  food
          Chain  cropland--specifically,  industrial   sludges  and
          sludges from the  smaller municipal wastewater treatment
          works; and
     (4)  the specific locations  and conditions of all categories
          of  solid waste disposal facilities.

     In  analyzing  the  economic impacts  of the proposed Criteria,
the basic method used on a  state-by-state basis was fourfold:
     (1)  estimate  the  number  of  disposal   sites  (by  size  and
          location);
                               V-5

-------
     (2)  estimate   the   condition  (environmental   impact)   of
          existing sites (by size and location);
     (3)  identify  control  technologies  (by  adverse  effect  and
          regulatory alternative) and estimate unit costs  (based
          on site size) to meet each criterion;  and
     (4)  derive total control costs of  closure  or upgrading  for
          the major  regulatory  alternatives  by  summing  costs  of
          each criterion  for  the  three types  of  disposal "for  the
          total  number of affected sites.
     All  costs  in  this  report are  in  terms  of annualized  1977
dollars.   The  methodology  for cost  calculations  is  based  upon
three assumptions:
     o    facilities or sites have a life of  10  years;
     o    interest (including inflation)  is  10%;  and
     o    compliance will  begin at the third year after promulga-
          tion of the criteria.

     Thus,  costs  were  developed  by  calculating annual  payment
spread over 10 years, with initial costs  occurring  3  years hence.

     For capital expenditures (Al), the following calculation was
used:

     Al = (K) (0.163) = cost spread over 10  years
                        where K = capital =  present worth
                        0.163 = annuity factor to 10  years at 10%
     For operation  and maintenance  (0+M)  calculations  (A2),  the
following calculation was used:

     A2 = (0+M)  (6.144)
                               V-6

-------
     Overall, the economic calculation to develop unit costs was:

     (Al + A2) (0.751) = annualized unit costs
                         where 0.751 = annuity factor for 3 years
                                       at 10%
1.    Methqdol og_y_ and Assumpti ons for Landfills

     a.   Data Source

          The Waste Age survey provided most of the data base for
the  economic  impact  assessment.    Information  regarding  State
regulations is from the BNA's Environmental  Reporter "State Solid
Waste — Land  Use."    Other  information  came  from phone  calls  to
various State solid waste offices.

     b.   Assumptions and Other Data Considerations

          (1)  Impact Receptors

               All   known  landfill   sites,  whether  "permitted,"
"authorized,"  or  "illegal,"*  as   documented  by  the  Waste Age
survey, were  considered to  be  affected  by  the  Criteria.   The
degree of  impact  varied according  to four factors:   numbers  of
authorized  sites;  numbers  of illegal  sites;  the  degree to which
State  regulations  met  the  requirements of  the Criteria;  and the
location   of  sites   based  upon  the  percentage of  land  within  a
given  State   that  could   be  classified   as   environmentally
sensitive.
 These are assumed to be open dumps and thus require closing under
RCRA within five years.

                                V-7

-------
          (2)   Applicable Criteria


               All  criteria were considered to have the potential
to generate economic impacts except the  point-source requirements

of  surface  water,   land  application,  and  disease vectors.   The
following assumptions were made:

     o    Land ^application  was  not   considered  for  landfills
          because  traditional   landfill   wastes  are  usually  not
          spread on land for beneficial  utilization.

     o    Disease vectors  were  not considered because  costs  are
          reflected  in   closure.    (An  analysis  of State  solid
          waste  rules  and  regulations  reveals  that  all  States
          require periodic application  of  cover material  at land-
          fill sites to control  disease  vectors.   Since permitted
          and authorized  landfills  already  apply  cover material,
          these costs are  assigned  only  to those sites requiring
          closure and are, therefore,  counted in  closure costs to
          avoid double counting  of costs.)


          (3)   R e g u 1 a t o ry A It ej* n ajbi _v_e_s


               Table 23 shows,  on a criterion-by-criterion basis,
which  regulatory  alternatives   were  considered in  analyzing  the

economic impacts of the Criteria on landfills.


     The following assumptions  were made in regard to the regula-
tory alternatives:

     o    For  ground water,  the  regulatory  alternatives are  a
          function  of  numbers  of  sites  and  State  regulations.
          The  proposed alternative addressed all  authorized sites
          and   permitted   sites   in  States   whose  ground-water
          regulations were less  stringent  than the Criteria.   The
          more-restrictive  alternative  impacted   all  authorized
          and  permitted  sites   in  those  states in  which  regula-
          tions  were  less stringent than  a  zero  discharge.   The
          less-restrictive alternative  addressed  only  authorized
          sites.

     o    For   safety,  more-  and   less-restrictive  alternatives
          were not  considered feasible for gas, fire, and access.
                               V-8

-------
                                          TABLE 23

                                  REGULATORY ALTERNATIVES
CRITERIA -
• Environmentally Sensitive Areas
- Wetlands
- Floodplains
- Permafrost
- Critical Habitats
- Sole Source Aquifers
• Surface Waters
- Point Source
- Nonpoint Source
• Groundwater
• Air
• Safety
- Explosive and Asphyxiating Gas
- Fires
- Bird Hazards
- Access
• Disease Vectors
• Aesthetics
PROPOSED

X
X
X
X
X

N/A+
X
X
X

X
X
X
X
X
Status quo
MORE
RESTRICTIVE

X
X
X
X
X

N/A
X
X
X

Not practical
Not practical
X
Not practical
Not practical
X
LESS
RESTRICTIVE

Status quo*
Status quo
Status quo
Status quo
Status quo

N/A
Status quo
X
X

Not practical
Not practical
Status quo
Not practical
Not practical
Not practical
* Status quo refers to regulatory alternative which will not change current practices
t This is not applicable because point source regulation is the function of water programs

-------
     o    Only a more-restrictive alternative was  considered  for
          aesthetics.

          (4)  Technologies and Cost Considerations

               Applicable  technologies  and  unit  costs   on   a
criterion-by-criterion basis are  discussed  in Chapter  IV.   Costs
were based upon  three  factors:   numbers of sites,  site size,  and
quantity  of   control   needed;  and  site size was  based  upon  a
scenario of  average conditions.   Table 24  summarizes  the  assump-
tions regarding site size.

     The ground-water  criterion  had the most detailed  cost  con-
siderations.   Clay lining, monitoring wells, and leachate  collec-
tion  and treatment  facilities  were  considered to  be the  best
available technology for purposes of upgrading.   Leachate  removal
and  treatment  was considered  an  operation  and  maintenance  (O&M)
cost;  the  assumptions  to  calculate costs  for  leachate were  as
follows:
     o    Funds  in  the  form  of  a  surcharge would be  collected
          annually and put in a trust fund  at 6% interest.   Funds
          accrued during  the  life of  the  landfill would  be  used
          for leachate removal  and treatment.
     o    Leachate  infiltration  is   2  inches/year  and  treatment
          costs are  l£/gallon or $543/acre.
     o    At   the  end   of  the  site's life,  money  from  the  trust
          fund would be used.

     For closure costs the following assumptions were  made:
     o    10  ton per day (TPD)  illegal  sites would  be  replaced  on
          a   6:1  basis, with  half of  the   replacements becoming
          100 TPD sites   (e.g.,  60  illegal  10 TPD  sites  would
          become 50  new 10 TPD  and 5 new 100 TPD sites).
     o    100 TPD illegal  sites would be replaced  on  a  3:1  basis.
     o    300 TPD and  700  TPD  sites would  be replaced on a  1:1
          basis.
                              Y-10

-------
                          TABLE 24

                    LANDFILL SITE SIZE DATA*
Site Category,
  tons/day
y,
i ty , m 3
(yd3)
m
(ft)
Hectare
(acre )
9.1
(10)
55,800
(73,000)
152
(500)
2.4
(6)
= =^ ===;:== ^= =?==
91
(100)
558,400
(730,000)
336
(1,100)
11.3
(28)
272
(300)
1,675,000
(2,190,000) (
549
(1,800)
30.4
(75)
635
(700)
3,909,000
5,110,000)
793
(2,600)
62.8
(155)
Edge**


Area


Refuse-to-Soi1  Cover
Ratio (Daily and           1:1         2:1          3:1            4:1
Intermediate Cover)
 *Assumptions are as follows:
     (1) Refuse is placed in 3 successive 2.43-meter (81)  high  lifts
     f2) 365 days per year
     (3) Soil cover excavated on site
     (4) In-place refuse density of 593 kg/m3 (1000 lb/cy)
     (5) Perimeter fill slopes are 3 horizontal  to 1 vertical

**Edge distance is based on a square site,  with  a 30.5 m (1001)  set-
back from top of fill to property line.
     c.   Data Base


          (1)   Site Co n d it ion s


               Evaluation of site conditions was based upon cate-

gories of disposal sites, as provided by the Waste Age survey and
an  assessment  of  the  stringency  of  State regulations,  as  dis-
cussed in Chapter IIIA.


     Landfill   sites  were  divided  into  three  categories:   per-
mitted, authorized, and  illegal.   The following assumptions were
made:
                               V-ll

-------
          Permitted Sites.  The site conditions are a function of
          the  degree  to which  their  States'  solid waste  regula-
          tions comply with the new Criteria.  (This assumes that
          the permitted sites comply with the State regulations.)
          Thus,  for  any given  State,  if the condition of  their
          landfills can be said to be XI and the Federal  Criteria
          mandate a  condition  of  X2,  then the difference  between
          these  two  conditions  is  the amount of upgrading needed
          on a cri terion-by-cri terion basis.

               State permitted  site     Federal  criteria
                     condition              mandates
                        XI - - *  X2
          Authorized Sites.  An authorized site,  according to the
          Waste Age survey, is one which is not quite ready to be
          permi tted.   However, there is  no  available definition
          of   "quite  ready;"  therefore,   in  order  to  maintain
          consistency,  it  is  necessary  to  define  this condition
          with  respect  to the State  regulations  and the Federal
          Criteria.   For  example,  if  authorized  sites  are  at
          condition  XO,  then  they have to  reach  both conditions
          XI  (State regulations) and X2  (Federal  Criteria).

               Authorized      State regulations     Federal
               condition          condition         Criteria

                                    XI                 X2
                  XO 	»X1 	*X2
          In  addition  to  being upgraded from State permit condi-
          tion  to new  Federal Criteria  (X2-X1),  all  authorized
          sites need to be upgraded to the level of current State
          regulations  (Xl-XO)  for ground-water  and surface-water
          criteria.   With  respect  all  other  disposal  criteria,
          these  authorized  sites were  assumed to already  meet
          current  State  regulations.   The basis for this assump-
          tion  is  that it is  relatively  easy  and  inexpensive to
          comply  with   other  criteria;  hence  an  assumption  was
          made that authorized  sites are probably in compliance.


     The Haste Age survey  provides  the numbers of disposal sites
according to  the  above  two categories, and by inference, a third

category--!'llegal   sites.   For  example,  in a given State,  there
may be  300  known  disposal  sites, of  which  94  are permitted and

108  are  authorized,  leaving  98  sites  which  were  considered
illegal.  The formula for this  computation is:
                               V-12

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Illegal  sites = (known sites) - (permitted sites)  -  (authorized  sites)
     Thus, the following assumption was made for illegal  sites:

     o    Illegal  Sites.  The  remaining,  or  illegal  sites  within
          a State  will   be  assumed to  be  open dumps, which  are
          mandated by RCRA  to be  closed  within five years.   In
          other words,  illegal  dumps  meet  none of  the  criteria,
          and consequently,  costs  for  these  sites  will  be  deter-
          mined  by  both costs  for  closing  and   by  costs  for
          obtaining and  developing a new site.


     In regard to closure,  EPA is currently developing policy  and

procedural  guidance  on   what  constitutes  closure  of  solid  waste
disposal  sites.  The following assumptions were made:

     o    A closed  site by  definition  does  not receive  any more
          sol id wastes.

     o    All  closed  sites  shall  be  "window dressed"  or "topped
          off"  (to  minimize  infiltration, disease  vectors, bird
          attractions,  and waste exposure).   In regard  to  land-
          fills and dumps, a  minimum  of 2 feet of  cover  material
          suitable to support vegetation,  and vegetation  adequate
          to prevent soil erosion is necessary.

     o    No open burning.

     o    Gas  vents  provided where  explosive  or  asphyxiating
          gases may be a problem.

     o    One  year after  closure  site  shall   be   inspected  for
          settlement,  vegetation,  cover material,  and effective-
          ness of vents.

     o    No other corrective actions.
     These  assumptions  are  based  on  a   large  extent  on  the
following information:   (1) corrective  actions  for  ground-water

contamination are very expensive and generally don't  clean up the
aquifer,  but  merely   inhibit   additional   leachate   migration,
(2) revenue sources at  closed  sites  have ceased and  the property
may have  changed hands  so  that the desired  outcome  of  any suit
for  corrective   action  is  doubtful,  and  (3)  in  general,  it  is


                              V-13

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better  to  concentrate   on  protecting clean  ground  water  from
damage than to dwell  on corrective  actions.

     It is  further assumed  that closure requirements are  the  same
for abandoned sites as for  active  sites.

     Whether  closure  costs are  classified  as  State  or  Federal
costs depends on the  requirements  of  existing  State  regulations.

          (2)  Site Location

               In  order  to  assess  the  impact  of  the  environ-
mentally sensitive  areas criterion,  assumptions  had  to  be  made
regarding  the  number  of  sites  located  in  an  ESA.   The  basic
assumption  is that:
     o    The number  of sites  located in  an  ESA  is related to the
          amount of land within a  State that can be  classified as
          environmentally sensitive.

     Thus,   if  10%  of  the  land within  a   given  State  could  be
classified  as environmentally  sensitive, then  the assumption was
made  that  10% of  the  landfills  were located in  ESA's.   The  per-
centage of  land classified  as  ESA in  each  State  was  calculated as
follows:

% of    sq. miles of  [wetlands + floodplains (0.5) + critical
ESA  =       habitats + sole-source aquifers + permafrost]
             total number of sq. miles  of  land in State
     The  number  of  square  miles of  floodplains was  divided  in
half to avoid  double  counting,  since  many wetlands  are in flood-
plains.

     Site  location  was  also  important  in  determining  the impact
of the bird hazard criterion.  The assumption was made  that:
                               V-14

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     o    1% of  all  authorized and permitted sites  in  any  given
          State are located near an airport facility.


     Thus,  if a State had a total  of 300 authorized and-permi tted

sites, 3 were considered to be located near an airport.


          (3)  Site Size


               The Waste Age  survey  breaks  site sizes into  six

categories.    For  ease  of computation,  these   site sizes  were

grouped into  four categories  and  a  modal  value  chosen for  each

category,  as follows:


             Waste Age         Mew                      Modal
             Categories     Categories                  Value
No. Si'tes    (tons/day)     (tons/day     No.  Sites     in TPD

 12,342        0-50	»>  0-50         12,342          10
  1,401       50-100V	»50-200   -      2,389         100
    987      100-200/
    591      200-500	*200-500           591         300
    351   ,   500-1000X	^500             499         700
    148      >1000   /
          (4)  Data Base Calculations


               Data  base  calculations were  designed to  provide
information  on  a  state-by-state  basis  for  a number  of  sites  by

category  (permitted,  authorized,  illegal);  by  size   (10 TPD,

100 TPD, 300 TPD,  or 700  TPD);  and by location  (in  or out  of  an

ESA).   Once these  calculations  were  made,   they  were  used  for

determinations   of  cost.   The following  steps  detail  the  method-

ological approach:

     o    Number  of  sites located in or outside  of  EASs.   Based
          on the  assumption that  the number  of  sites located  in
          an ESA is  related to the amount of land in a State than
          can  be   classified  as  environmentally sensitive,  the
          percentage  of  ESA land  is known.   Assuming the  number
          of sites   to  be a  function  of percentage  of  land  in
          ESAs, we find,  for example, that a State with  300 sites

                              V-15

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          and 5% ESA land will have 15 sites located in ESAs.

     o    Sites by Size by Location

          Next,  the  number  of  si'tes  both  in  and  out  of  ESA\,
          according  to  size, must  be  determined.   This  can be
          done  by assuming  that  the  number  of  sites  within  a
          given size category by  their location is a function of
          the percentage  of  land  classified as an ESA.  The com-
          putational  formula becomes:


          Number of sites
          in size category = (% ESA land) x (sites in a TPD category)
          by location


          The number of  sites  in  a size category  can be found in
          the  Waste  Age  survey.   Thus,  for  a given  State,  the
          following data are given:

Distribution   0-50   50-100   100-200   200-500   500-1000   >10QQ

No. of sites   225      25       15         4         1         0


          Using the  new  site size  categories,  the following data
          are generated:
Distribution
Modal Value
No. of sites
0-50
10
225
50-200
100
40
200-500
300
4
>500
700
1
          The  number  of landfills in  and  the number  outside  of
          the State's ESAs can now be developed:

Site Size        10 TPD     100 TPD     300 TPD     700 TPD

Raw Data          255         40          4           1

Sites in ESA
(size x 0.05)      13          2      negligible    negligible

Sites out of
ESA (raw no. )     242         38          4           1
                               V-16

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          Number of Sites by Size and by  Category
          The third  step  is  to determine the number of  sites  by
          size which are  permitted,  authorized,  and  illegal.   We
          know,  for example, in  a  given  State,  there  are 94  per-
          mitted  sites,   108  authorized  sites,   and  98  illegal
          sites.  What we  do  not know is how many of  these  types
          of sites are in each size category.  This can  be deter-
          mined by assuming that  the  type  of landfill  by  size  is
          a function  of  the percentage  of  landfill types  divided
          by the  total  number of  landfills,  times  the  number  of
          sites by size.   The  computational  formula for  this is:
     Percentage of
     sanitary
(1)   landfills or =
     authorized
     or illegal
                number of types of landfills

                 total number of landfills
(2)
Number of
landfills by
category and
     si ze
no.  of type of landfills  x no.  of  sites  by  size

         total number of  landfills
          This must  be  done  for  landfills  both in  and out  of
          ESAs.     Thus,   for  a  given  State,   the  following  is
          generated:

          Sanitary landfills   = 94/300  = 31.3%
          Authorized  landfills = 108/300 = 36.0%
          Illegal  sites= 98/300  = 32.7%
          In turn,  this  information is used  in  conjunction  with
          our knowledge  of  the number of sites  by  size  capacity
          to obtain:
(1)   Non-ESA Areas
Sanitary (31.3%)
Authorized (36%)
Illegal  (32.7%)

     Total
                   10 TPD

                     76
                     87
                     79

                    242
             100 TPD

                12
                14
                12

                38
300 TPD

   1
   2
   1
700 TPD


   1


   1
                               V-17

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(2)  ESA Areas

                        10  TPD      100  TPD      300  TPD      700  TPD

Sanitary (31.3%)            4
Authorized (36%)            51----
Illegal (32.7%)             4           1

     Total                 13           2


     o    Cost Calculations

          Cost calculations  were  based  upon  a  state-by-state
          assessment  of  upgrading  needs.    For each  criterion,
          unit costs   for  the  best  available  technology  were
          developed  according  to  site  size.    Cost  calculations
          were based upon  the  following formula:

Costs  = (quantity) x (price)  x  (applicable  numbers  of sites by  size)
          In  this formula, quantity  refers  to  the  amount  of  con-
          trol  technology  needed  (i.e.,  the square feet, cubic
          yards,  lineal  feet,  etc.)

          State  costs  were developed  by  summing costs for  each
          criterion;  national  costs  were developed  by  summing all
          State  costs on a criterion-by-criterion basis.

          Combined Cost

          Costs  were  assessed  on the following  basis:
                              V-18

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     AB1 = Federal  costs (difference  between  State
           standards and Federal  Criteria)

     AB2 = Costs to upgrade or comply with  State  stand-
           ards (for surface water and ground water)

     AB3 = Cost to  obtain and develop a new site

     AB4 = Cost to  close an illegal  site

      Nl = Number of permitted sites

      N2 = Number of authorized sites

      N3 = Number of illegal sites

      N4 = Number of replacement sites


o    Permitted Sites

     costs = Nl (AB1)

o    Authorized Sites

     costs = N2 (AB2) + N2 (AB1)  = N2 (AB2  +AB1)

o    Illegal Sites

     costs = N3 
-------
          Total Combined

          costs = N3 (AB4) + N4 (AB3) + N2 (A.B2 + AB1)
                           + Nl (AB1)

          Federal Criteria-Induced Costs vs.
          State Standard-Induced Costs

          Federal-criteria-induced costs:

          Cost = AB1 (Nl + N2) + (X) (N4)  (AB3)
                  h    Y - Criteria-induced costs
                 wnere *       total costs
          Cost = N2 (AB2) + N3 (AB4) + Y(N4) (AB4)
                 u,h0   v   State-standard-induced costs
                 wnere Y          total costs
2.   Methodology and Assumptions for Surface Impoundments

     a.   Data Source

     This methodology  is predicated on  data  from an unpublished
EPA  report,  USEPA  Contract  No.  68-10-4342:   Surface Impundments
and  Thei r  Effect m^ Groundwater  i_n  the  United States—A Prel im-
i nary Survey  (Ref.  107).  In  addition to  the  above,  The Ground-
water Report  ;to  Congress  (Ref.  7)  and telephone interviews pro-
vided necessary information.
                               V-20

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    b.     Assumptions and Other Data Considerations

          (1)   Impact Receptors

               For  purposes  of  this  analysis,   the   following
industrial  groups were considered:

     SIC  10,  11, 12, 14, 144 - Mining
     SIC  26,  261, 266 - Paper Products
     SIC  49 - Utility Services
     SIC  13 - Oil and Gas
     SIC  15,  16 - Construct!' on
     SIC  20,  201, 202,  203, 204,  206, 208,  209 -  Food  Products
     SIC  24,  243 - Lumber
     SIC  28,  281, 282,  283, 284,  285, 286,
          289  - Chemical Products
     SIC  29 - Petroleum Refining
     SIC  30 - Rubber Products
     SIC  33 - Metal  Products
     SIC  31,  311, 32, 34, 35, 36,  37, 38,  39 - Misc.  - Other

     Information as  to  number  of  sites by  industry  by  State  came
from the Surface Impoundments report referenced above  (Ref.  107).

          (2)   Applicable Criteria

               Only  the  criteria   for  ground  water,  environ-
mentally sensitive  areas,  and  the  access  consideration of  the
safety   criterion  were considered  to  have economic  impacts.   The
following assumptions were made:
     o     Costs  incurred for  the   surface-water  criterion  were
          more appropriately a function of  the NPDES program.
     o     No  open  burning  at  surface  impoundments  occurs   on  a
          regular basis  as a means  for volume reduction of waste.
                               V-21

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     o    The  disease  vectors  under   consideration   in   these
          criteria are not problems at surface impoundments.
     o    No enough information exists on the land application of
          surface  impoundment  wastes.    It was  assumed  that  this
          was not a viable practice.
     o    The  gas  control,  fire,  and bird  hazards  to  aircraft
          components  of  the  safety criterion were considered to
          have a minimal economic impact on surface impoundments.

     The  following   assumption  was  made   concerning   the   ESA
criterion:
     o    All  sites  located  in   an  ESA  would  be  closed,   but
          replaced on  a  1:1  basis.   Therefore,  the ESA  criterion
          was used to attribute costs for closure.

          (3)  Regulatory Alternatives

               Due to  the  nature  of  the  applicable criteria,  and
lack of adequate data regarding site conditions, only two regula-
tory alternatives  were  considered--the  proposed and  one which is
more restrictive.

          (4)  Technologies and Cost Considerations

               To upgrade existing sites to meet the  ground-water
criterion, site  lining  with  clay was deemed to  be the most cost-
effective  method.    Access  considerations  were  considered to be
met through use of a minimal perimeter fence and gate.

     With respect  to the  ESA  criterion,  closure  constituted  two
aspects—physically  closing  the  site  through use  of  a fence,  and
replacing  the  old  site   with   a  new  site   (necessitating  land
purchase, excavation, and lining).

     For purposes  of  assessing costs, assumptions had to be  made
as to  site  sizes and  configurations.   The following assumptions
were made:
                               V-22

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     o     All  sites  are  square

     o     Site   are   grouped  in  two  categories  based  upon  the
          nature of  the  industries  and the size of the  impound-
          ment   site.    Site  size  was  the  major  distinguishing
          factor  between  the  two  groups.    Consequently,   some
          industries (coal  and other  mining,  paper  products, and
          utility  services)  having both small  and  large  impound-
          ments  were  listed  in  both  categories.    Group I  and
          Grouptll  sites  were  defined  as  follows:

          Group  I.    Industries  having  one  20-hectare  (50-acre)
          surface  impoundment  per  site;  included  are:

               0  SIC  10,11,12,14,144 -  Mining
               o  SIC  26,261,266  -  Paper  Products
               o  SIC  49  -  Utility  Services

          Group  II.   Industries  having three  1-hectare  (2.5-acre)
          impoundments  per site,  totaling 3  hectares  (7.5 acres)
          per  site;  included  are:
0
0
0
0
0
0
0
0
0
0
SIC
SIC
SIC
SIC
SIC
SIC
SIC
SIC
SIC
SIC
13 - Oil and Gas
15,16 - Construction
20,201,202,203,204,205,206,
209 - Food Products
22,221,222,223,226 - Textiles
24,243 - Lumber
28,281,282,283,284,285,286,
287,289 - Chemical Products
29 - Petroleum Refining
30 - Rubber Products
33 - Metal Products
31,311,32,34,35,36,37,38,
39 - Misc. - Other
          An  assumption was  made  that:

               o  Half of the sites in  Group  I  had  one  20-hectare
                 (50-acre)   surface  impoundment  per  site, while
                 the other  half  had  three  1-hectare  (2.5-acre)
                 impoundments  per site, totaling 3 hectares  (7.5
                 acres) per  site.


     Furthermore,  because no  data  exist on the  condition of  the
sites,  the following assumptions  were  made:

     o     To  meet  the  proposed  alternative,  50% of  all sites
          within  a  given  State need upgrading  to  meet both  the
          ground-water  criterion  and the access  component of  the
          safety  criterion.
                              V-23

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     o    To meet  the more  restrictive  alternative,  7B% of  all
          sites within a  given State need upgrading to  meet  the
          above criteria.
     o    All  sites  located  in an ESA  would  have to  be  closed;
          neither  a   less-  or  more-restrictive  alternative  was
          considered.

     Thus,  if  in a  given  State there were a total of  32  Group I
sites  and  100 Group II   sites  for  the  proposed  alternative,  8
Group I sites  would be considered [(32)x(0.5)/2],  and  58  Group II
sites would  be considered [(32)x(0.5)/5  +  100/2].   For the  more-
restrictive  alternative,   12  Group I sites  would be  considered
C(32)x0.75/2],   and   50   Group II   sites  would  be   considered
[(32)x(0.75)/2 + (100)x(0.75)/2].

     c.   Data Base

          (1)  Site Sizes and Conditions

               Supplementing  the  above  assumptions   concerning
site  sizes  by  group,  and  the   percentages  of  sites  needing
upgrading,  was information relating  to  the  numbers  of  sites  by
group, by State, and  their location.

     Other  than  dividing  the  numbers of  sites  in Group  I  indus-
tries  in  half (according  to  an earlier assumption),  information
regarding  the  number  of  sites by group,  by  State, was  derived
from  the  Surface Impoundments  report.   Finally,  the  location of
the  sites  was  determined,  facilitating  the determination  of  the
data base.

     As was done for  landfills, the  number of sites  located in an
ESA was assumed to be a function of  the percentage of  land within
the  State  classified as  environmentally  sensitive.   Thus,  if 5%
of the land in a given State was considered to be  environmentally
sensitive, then  5%  of all applicable Group I  sites  and 5% of all
Group II    sites   were    considered   to   require  closure   and
                               V-24

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replacement.
     d.
Combined Cost
          The combined cost was  derived  by  summing the  costs  for
upgrading  and   closure   on   a   state-by-state   basis.      The
computational formula is:
Combined Costs =
                 50
                 1=1
            Group II applicable sites x (closure  costs  (ESA))
            + lining costs (ground water)  + fencing costs
            (access, safety)                                _
                 50
                 £
                 1 = 1
            Group I  applicable sites x (closure costs  (ESA))
            +• lining costs (ground water) + fencing costs
            (access, safety)
          (1)   Federal Criteria-Induced Cost vs.
               State Standard-Induced Cost

               In order to assess cost distributions,  State solid
waste  regulations  were   analyzed;   if  the  State's  ESA,  ground
water, and  access regulations were  as  stringent as  the  Federal
Criteria,  then  costs  were  considered  to  be  State-standard-
induced.   On the other hand, if the State's standards  were not as
stringent as the  Federal  Criteria,  then costs were  considered to
be Criteria-induced.

3.   Methodology and Assumptions for Landspreading
     a.
Data Source
          The data sources for calculating the economic impact of
 the criteria upon 1andspreading practices were:
                               V-25

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     (1)  Unpublished EPA report on  sludge  disposal  practices  of
          141 cities (Appendix 7).
     (2)  Ground Water Report to Congress  (Ref.  7).
     (3)  Telephone  conversations   with   major   cities   and  EPA
          regional offices.
     (4)  Construction grant design and planning report.
     (5)  Other research reports and published articles.

     b.   Assumptions and Other Data Considerations

          (1)  Impact Receptors

               Initially, information regarding  industrial  groups
plus  municipal  waste  treatment plants  were examined.   Of  all
industrial  groups examined,  seven  were   thought  to  have  wastes
which  could  feasibly be landspread:   pulp  and  paper,  pharmaceu-
ticals,  tanneries,  feedlots,  food  processing,   textiles,  and
petroleum  products.    However,  due  to  a  lack  of data  regarding
their  landspreading  practices,  these industrial  are  not  included
in  the data base  for  1andspreading.   Consequently,  only  sludges
from municipal waste treatment  plants  comprise  the  landspreading
data base.

          (2)  Applicable Criteria

               All  criteria  were   analyzed   to  determine  their
economic  impact  upon  this  disposal  practice.   The  following
assumptions were made:

     o    Surface-water controls are currently in effect  at agri-
          cultural  sites through  use  of erosion control  tech-
          niques such as contour plowing.
     o    The agricultural   utilization of solid waste,  in partic-
          ular municipal wastewater  treatment sludge, should have
          little  impact  on  ground  water  because of  its generally
          low  application   rate,   and  agricultural  management
          controls.
                               V-?6

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     o    Sludges are not burned on agricultural  land and,  there-
          fore,   wi 11   not  be  affected  by   ther  air  criterion.
          Sludges which are incinerated are  subject  to air  pollu-
          tion control  measures.

     o    Safety control measures  will have  a  negligible  effect
          on landspreading  practices.

     o    The aesthetic  criterion  will have  a  negligible  effect
          on landspreading  practices.


     Thus, only  the  land application criterion  was  considered to
have   the   potential   to    economically   impact   landspreading
practices.


     Although  this  criterion  has  four  subsections,  only  the
cadmium  controls  were  considered  in developing  the  economic
impact on current 1andspreading practices.  The  following assump-
tion was made:


     o    Economic considerations  of impacts resulting  from  the
          pathogen,   pesticides  persistent   organic,  and  direct
          ingestion  elements  of  the  proposed  land  application
          criterion were not addressed because  their impact  was
          considered to be  minimal  and indeterminate.  Since only
          municipal  waste treatment plant sludges were considered
          in  the  economic  assessment, each  of  the  above subsec-
          tions  will  require that treatment  plant operators moni-
          tor  the  chemical   and   biological  characteristics  of
          their   sludge;  furthermore,  operators  must  insure  that
          sludge  not   meeting  Federal  specifications be  banned
          from application  to land used for  food chain crops.


          (3)  Regulatory Alternatives


               Four regulatory  alternatives  were examined:   the
proposed, two more  restrictive,  and  one  less restrictive.   The

less  restrictive  alternative was  not  addressed  from an  economic
perspective because it would not affect current  practices.
                               V-27

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          (4)   Technologies  and Cost  Considerations

               There  are  numerous   technologies   to   deal   with
sludge   containing   cadmium   levels   exceeding   the   proposed
criterion.  Among the options considered  were:

          control pH of soil/solid wate mixture;

          reduce application rate  of  cadmium;

          pretreatment   to   reduce   cadmium  concentrations   to
          permissible levels;

          dewatering and  disposal  by landfilling,  or by  incin-
          eration; and

          application only to nonfood  chain  crops.

     Cost  considerations  were divided into  two  concerns:   cost
for  upgrading  or  compliance  and  cost   due  to  the  quantity  of
sludge  which   would not  be  able  to be landspread  because  of
cadmium  level  restrictions.   In regard   to upgrading  and  compli-
ance costs, the following assumptions  were made:

     o    It was assumed that 10 mt/ha/yr would  be  near the  lower
          end   of the  economically  viable  ranqe  of  application
          rates.
     o    At  sites  where 1andspreading  will  be terminated,  the
          sludge was assumed to be  landfilled.
     o    Land  costs  were  assumed  to  be negligible  for  cities
          selecting   the  "operational  controls"  approach  since
          they  generally  do  not  purchase  or lease  agricultural
          1 and.
     o    Land  costs  for communities selecting  the  "crop  moni-
          toring" approach  were  not  included because  the  amount
          of  land   necessary   is   dependent  on   site-specific
          variables.
                              V-28

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     o     The   amount  of  sludge  eliminated  at   the   proposed
          0.5  kg/ha  of cadmium restriction was halved because it
          was  assumed  communities  would  have  pretreatment pro-
          grams  reducing cadmium levels to acceptable concentra-
          tions  in  1986.

     o     No  cost increase was  included  for reduced  application
          rates  because small  communities  were  assumed to  be able
          to  find additional  land at  no additional  capital costs
          and  large  communities  that  purchase  land were  assumed
          to  use the monitoring approach  which would  not  control
          application rates.

     o     All  soils  receiving  solid  waste would have an  average
          cation exchange  capacity  of  10 and an  average pH of
          6.0.   These soil  characteristics were used to  calculate
          the  costs  for  necessary  limestone  additions  to  comply
          with   the  pH  requirement  of 6.5 or  greater.    It  was
          estimated  that 2.5  tons  of  lime  per acre  at  $35  per ton
          ($87.50/acre) would  be  needed.

     o     Costs   for  monitoring   soil  pH and   cation   exchange
          capacity   are  similar  to   analytical  costs  at State
          laboratories  ($3/sample).    It   was  further  estimated
          that  at least  2  samples per  acre  would  be necessary.
          Cost  for   cadmium  analysis  would  be  $80 per  sample.
          Each solid waste disposal facility would  need an aver-
          age  of 4  different  sampling times  per year,  at  a cost
          of  $320 per facility.


     Therefore,  only costs  for those  sludge quantites  which could
not  be  landspread  due  to  cadmium  restrictions and compliance

costs (options  1 and 2) were developed.   Furthermore,  since the
best   available    information    on    1andspreading    practices
(Appendix  7)  accounts  for only 2Q%  of all sludge estimated to be
landspread,  an assumption was  made  that:


     o     A  national   projection  of   costs  could  be  derived by
          multiplying the known quantities of  sludge  which could
          not  be landspread  (developed  from the  141-city  study)
          by  a factor of five.
                              Y-29

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     c.   Data Base

          The  data  base  for  landspreading  is expressed in metric
tons  for  the  whole  country  because  of  the  lack  of   data  on
specific numbers and sizes of sites in each State.

          (1)  Site

               The   141-city   study  provides   information   on:
(1) the  cities  1andspreading  sludge,  (2) present  sludge  disposi-
tion,  (3) sludge  quantity  in   dry  mt/day,  (4) sludge  cadmium
content  in mg/kg,  (5)  total  sludge landspread in dry mt/day, and
(6) sludge quantity  which  cannot be  landspread  in dry/mt/day for
a   given   maximum   annual   cadmium   addition   (2.0 kg/ha/yr,
1.25 kg/ha/yr, 0.5 kg/ha/yr) and a given maximum application  rate
in mt/ha.  Concerning  the latter, an assumption  was made  that:

     o    The  maximum  annual   cadmium  additional   restrictions
          would  take effect at  an  application  rate  or 10 mt/ha;
          that  is,  when  the  application rate was reduced to  less
          than  10  mt/ha  in order  to  meet  the annual  application
          rate,  the   practice   was  assumed  to  be  eliminated,
          because  of economic constraints.

     Consequently,  the study  provided  information  on  a  city-by-
city  basis  on  the quantity of  sludge  which could not  be  land-
spread  at  an  application  rate  of  10 mt/day  given   a  specific
cadmium restriction.

     To  calculate   annual  tonnage  of  sludge that  could not  be
applied from  the 58 cities, the  following formula was used:

    /metric  tons per  day^X                   annual  dry
   /  eliminated for each \   (365 day/yr)  = metric tons/yr
   I  of  the  58 cities     I                  eliminated
    \ known  to landspread /
                              V-30

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     Because different  cadmium  restrictions had  different  rami-
fications on total  tonnage restrictions,  the  following  calcula-
tions were made  to  calculate  tonnages eliminated for the 58-city

survey (Appendix 7):


[1]   for the 2.0 kg/ha/yr restriction:
annual  dry
tons elimin-
ated at 2.0
restriction
= (
  metric tons
elimi nated/day
)   (365  days/yr)
  at the
2.0 kg/ha
restriction
annual  dry
tons land-
spreadable
at 2.0  kg/ha
restriction
  (current annual
   metric tons
   1andspread)
                  (annual dry tons
                  eliminated at
                  2.0 kg/ha
                  restriction)
[2]  for the 1.25 kg/ha/yr restriction:
annual dry tons
eliminated at _ /
metric tons \ /3fi
l.2bkg/ha
restriction
    eliminated/day
                                   (365 days/yr)
                                  at the
                                 1.25 kg/ha
                                 restriction
annual  dry
tons 1 a n d-
spreadable
at 1.25 kg/ha
restriction
  (current annual
   metric tons
   1andspread)
                 (annual dry tons
                  eliminated at 1.25
                  kg/ha restriction)
     For the  0.5  kg/ha/yr  restriction,  the following assumption
was made:
          By the time the 0.5 kg/ha restriction goes into effect,
          half of the municipalities would have pretreatment pro-
          grams  reducing cadmium  levels  to   acceptable  concen-
          trations.
                               V-31

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     Based on the above, the following calculation was made
     annual dry tons
[3]  el inn nated at
     0.5 kg/ha/yr
     annual dry
     tons land-
     spreadable
     at 0.5 kg/ha
     restriction
                      (current annual
                       metric ton
                       1andspread)
                                   (annual  dry  tons
                                    eliminated  at  0.5
                                    kg/ha  restriction)
     The more-restrictive alternative is an immediate restriction
of  cadmium to  the 0.5 kg/ha/yr  level;  to calculate  annual  dry
tons  eliminated by  this  alternative,  the  following  calculation
was made:

[4]  annual dry tons elimi nated at 0.5 kg/ha/yr =
(
      eli'^nlted/day
                       {365
at the 0.5 kg/ha restrict!'
     annual dry
     tons land-
     spreadable
     at 0.5 kg/ha
     per year
                    (current annual
                     metric tons
                     1andspread)
                                   (annual  dry  tons
                                    elimi nated  at
                                    0.5  kg/ha)
     The  most  restrictive  alternative calls  for a  ban  on  all
sludges spread  on  agricultural  land.   Therefore,  quantities were

based on the information in the 141-city study, using the follow-
ing calculation:
                       (metric tons/yr
[5]  annual  dry tons =  spread on agri'
                        cultural land)
                                          (365 days/yr)
                               V-32

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     d.    Cost Calculations

          Cost calculations were based  upon  costs/ton,  the  time-
phased nature  of  the criterion, tonnages, and  the  present  worth
of money.   The following assumptions were made:
     o    Costs forCurrent Practice:       $30/dry    metric    ton
          (Ref. 127)
     o    Costs for Dewatering:   $75/dry metric  ton
     o    Costs for landfilling:  $33/dry metric ton
     o    Costs for Meeting "Operational Controls":     $11.53/dry
          metric  ton   for  meeting   pH  controls,   pH   and  CEC
          monitoring, plus S320/sewage treatment plant for sludge
          cadmium analysis.

     Because  costs  for  current 1andspreading  practices  are,  in
fact,  a  cost saving,  they must be subtracted from the total  costs
to landfill  sludges.    Thus,  the elimination  cost/dry metric  ton
becomes  $78.00 to dewater and landfill.

     In   order  to  express  costs   in   annualized  1977  dollars,
adjustments must  be  made to account for  the  time  value  of  money
due to the  time-phased nature of the  criterion.  Thus,  both  the
capitol  recovery factor and present worth must be calculated:

                        Years                  Annualized
        Restricti on     Hence    Cost/Ton    Cost/Metric Ton
        (kg/ha/yr)
           2.0            3        $78           $73.80
           1.25           5        $78           $71.20
           0.5            8        $78           $67.24
     For  both  the more  and most  restrictive  cost  cal-cul ati ons,
$73.80/ton was used.
                               V-33

-------
    e.    Total Cost
          To  arrive  at  total  costs for  each regulatory  alter-
native, the following calculations were made:
o  Proposed:
              no. of tons       # of metric  tons
Total Cost* =    £        (eliminated  at 0.5  kg/ha)   ($67>24)
                i = 1.0               2
             + {# of tons landspread at 0.5  kg/ha)  ($11.53)
             + {# of STP** landspreading at  0.5 kg/ha)  ($320.00)

o  More Restrictive:
Total Cost* = '(# of tons eliminated at  0.5 kg/ha)  ($3.80)
              + (# of tons landspread at 0.5 kg/ha)  ($11.53)
              + (# of STP** landspreading at 0.5  kg/ha)  ($320.00)
o  Most Restrictive:
Total Cost* =  (# tons spread on agricultural land)  ($73.80)
     f.   Criteria-Induced Costs vs. State-Standard
          Induced Cost
          Unlike   surface  impoundments  and   landfills,   land-
spreading  is  not  yet   subject  to  formal   regulations  in  most
States.   Therefore, in  order  to  distribute  costs,  the  following
assumption was made:
 *National Projection = (Total Cost) (5)
**Sewage Treatment Plant
                               V-34

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0    Cost distributions for  1 andspreading  are  a  function  of
     the percentage of State costs  for  upgrading landfills.
     State-standard-induced  costs  were  assumed  to  be  25%,
     and Criteria-induced costs, 75%, which  is  the  national
     average.
                         V-35

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         APPENDIX VI
WASTE AGE SURVEY OF LANDFILLS

-------
An  Overview of the land  Disposal  Problem
          Exclusive  WASTE  AGE  Survey

         Of the   Nation's  Disposal  Sites
  The editors of WASTE AGE take great pleasure in
presenting to our readers the 1976 edition of The
National  Survey  of  Waste Control  Practices.  The
survey was accomplished by the WASTE AGE  staff
and utilized  the offices of each state's solid waste
control agency assuring our readers of the very latest
comprehensive  review  of trends,  attitudes  and
accomplishments in solid waste control.
  The preparation of a  National  Survey  of  this
magnitude is quite a challenge. Regardless of the
care exercised in question construction, the reader
may misinterpret the intent. To reduce the incidence
of such problems Waste Age used a combination of
written  questionnaires,  followed  by first  person
telephone contact for clarification of  important data.
Richard W. Eldredge P.E. our Technical Editor again
personally directed the effort  and  reviewed  each
response in  detail. Where conflicting data occurred,
Mr.  Eldredge was the  sole  arbitrator,  and thus
variation of interpretation,  though not  eliminated, has
been minimized.
  As the survey entails some  50 questions,  ranging
from the number of state employees, to the number of
sites receiving less than 50 tons per day, we have
elected to present it in sections of related data. Thus
this  month's issue  contains   basic state  agency
information, as well as the descriptive data for each
state, such as population,  degree of urbanization and
area, etc. This issue also includes  those answers
related to landfill,  including ownership, capacities and
quality.
  To the best of our knowledge, the data reflects the
answers as provided by the state agencies queried. In
some instances, numbers were editor-supplied based
on typical responses from similar  programs  and
 JANUARY, 1977
VI-1
     practical experience.  Where new and better knowl-
     edge conflicts with  the  editor-supplied data,  we
     apologize and hope to perfect the data collection and
     analysis to reduce such conflicts to a minimum in the
     future.
      The reader should  refer to footnotes as provided,
     and consider that each of the reporting agencies is a
     separate unit of government and even the definition of
     "regulation," "legislation,"  "authorized" and "permit-
     ted," is not consistent throughout the nation. The staff
     at WASTE  AGE has,  through personal contact and
     discussion,  attempted to make the answers reflect as
     closely as possible the definitions as translated in the
     survey. Therefore,  in order to provide a clear report,
     one  may find instances where the words "permit",
     "license", "approve",  "authorize" and "recognize,"
     have  received  a  common  definition  somewhat
     different from local  usage.
      As a convenience to the reader we have grouped
     responses by regions, selecting the Federal Environ-
     mental Protection  Regions for that purpose. Those
     states with similar climate, geography and history are
     thus  grouped for  easy reference and comparison.
     Some regional trends are obvious, while other factors,
     such  as urbanization, major trade cities and income-
     producing activities, can be  shown as  major influ-
     ences.
      The 1974 "WASTE  AGE Survey of United States
     Disposal Practices" included data on control practices
     for liquids and sludges, hazardous waste, resource
     recovery and incineration. These items have not been
     omitted from our 1976 survey. The new and expanded
     1976 data  will be featured  in the  next issues of
     WASTE AGE.
                 (Continued on Page 22)

                                              21

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WASTE AGE  SURVEY ...
(Continued from Page 21)
   Each data column is accompanied by a description
of its contents. Where difficulty was encountered  in
obtaining  the  data, or  where  the  answers  were
estimated with little hard data at hand, that estimate is
noted.

                Overview of Part I
    National Survey of Waste Control Practices
   The reporting of  sites, services, attitudes, regula-
tions and practices,  more often than not, is colored by
such factors as population density, urban population
percentages,  climate,  geology,   and  even  local
prejudices and  preferences. The direct comparison  of
state  programs  should  be  avoided unless these
factors are known  and their impacts  understood.
WASTE AGE has provided current data for some  of
these considerations in column Nos. 1 through 8.
   Column  No. 8 attempts  to define the areas  of
personnel  utilization within  each state  agency and
may yield  a  clue  as to the state's emphasis  in
developing improved solid waste control  practices.  In
most states the actual individuals reported have more
than one field of expertise and, thus, a state reporting
12 man-years of total effort might well be reporting the
collective  efforts  of  more  than twelve  persons.
WASTE AGE has shown man-years of  effort to the
nearest  tenth;  where less  than one  tenth  of  a
man-year was devoted to an area or responsibility we
have reported zero  effort.
   A comparison of 1974/1976 data indicates during
that two year  period  of  time state agencies have
received a 50%  increase in funding, and a similar
increase in personnel.  More than 30% of the states'
personnel  is occupied in the enforcement  of solid
waste control rules and regulations. There is less than
7/10 of a person per state involved in training, and a
like number in  programs considered  to be research.
Certainly the average of  7/10 of a man-year to train
personnel etc.,  contrasts  significantly with the almost
51/2  man-years  devoted  for enforcement of  those
procedures not taught.
  The  1974 Survey reported the "extent of  State
Authority,"  dividing the  extent into "planning", "Public
Health" and "Environment".  The 1976 WASTE AGE
Survey asked this same question and discovered:
   1) That  little, if any, change was reported.
   2) Most states have all three responsibilities to
   some degree.
   3) Where two or  more state agencies exist, it is
   almost impossible to limit extent based on the
   1974 classification of authority.
  WASTE AGE therefore has removed this data from
the reported list in  the interests of streamlining the
                report, providing only that data which varies from the
                norm sufficiently to be of interest. Based on other
                responses received, the question  might better have
                been,  "what is  the extent of your state's authority
                concerning solid waste control?"

                  a. All solid waste disposal
                  b. Sludges and semi solids
                  c. Hazardous wastes
                  d. Resource recovery processes and wastes
                  e. Industrial wastes and processes
                  f. Municipal waste
                  g. Thermal energy processes and methods
                  h. Collection  methods and systems, public and
                    private.

                  The WASTE AGE survey of future years will include
                this, or a similar evaluation of authority, and include
                herein a preliminary comment that  not all states have
                the above divisions included as part of their authority.
                  An interesting  comparison is  the states' attitudes
                with respect to regionalization and interstate transfer
                of waste. Although no state discourages regionaliza-
                tion, 16 states  discourage interstate  transfer;  thus
                regionalization is thought to have limits—probably to
                units of local government. Many of  our enquiries were
                met with comments such as, "We haven't had  that
                problem", "With equal standards there is no problem,"
                or, "We encourage interstate transfer out of our state
                and discourage the inflow of waste."

                  One of the  questions which should  have  been
                asked in conjunction with those involving regionaliza-
                tion and interstate transport was,  "When  does solid
                waste, as recovered as part of a  resource recovery
                operation, become something other than solid waste
                whose transport across  state lines is discouraged?"
                WASTE AGE editors think the success or failure of
                some  resource recovery practices  may depend upon
                the answer received. Experience to date is so limited,
                there would be no answers to such a  question in our
                '76 survey.  But  the question remains an important
                one,   and  will  be asked  when, in our  opinion,
                experience factors  will permit knowledgeable an-
                swers.

                Permitted Sites
                  As  in the WASTE AGE survey of 1974 the  total
                number of approved, permitted or otherwise identified
                sanitary landfills,  represents the most current listing
                provided by the states. Insofar as the identification
                also relates ownership and/or operation by public or
                private entities,  WASTE AGE  cautions that this is an
                approximation, devised by the state agency, and is
                not precise, nor can the number of sites as given be
                used  to represent the proportion of  the  population
                served. WASTE AGE has published herein  both the
22
WASTE AGE is printed on paper containing recycled secondary fibers
           VI-2

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1974 and 1976 data to assist those who watch trends
and  care to  draw  conclusions  from  the  state's
responses.
  The  1976 survey shows a  decrease in the total
number of known land  disposal sites by some 13%.
The sanitary landfill category shows a modest 144 site
(3%) gain. This figure may be  misleading in that the
1974 survey included  1300 sites in  Wisconsin  as
sanitary landfills. It was discovered during  the 1976
survey   that the  1300  sites  are  "authorized"  by
Wisconsin law. However, all but 289 fall short of the
usually accepted standards for sanitary landfills and,
therefore, were excluded in the 1976 data. With this
correction in mind, it becomes obvious that the actual
increase in sanitary landfill numbers for the country
was 1155, or a whopping 25% of  those which were
actually sanitary landfills in 1974! A 25% increase in
two years appears to the WASTE AGE editors to be
excellent progress towards a most desirable goal.
  A review of both the surveys of 1974 and 1976
indicates little change in the proportion of those sites
which are publicly or privately operated. While it is
estimated ^ that licensed or permitted sites are the
larger-capacity sites, little  correlation between size
and ownership can be drawn. An analysis of the data
shows regional preferences for ownership, which may
be the result of the ability, or lack of ability, for a state
to enforce or control that  portion of the solid  waste
control  sector.
  A new feature of the 1976 survey is the breakdown
of sites by size.  Granted this data is  probably more
accurate for the larger and better known sites, but
WASTE AGE feels the survey is the  most accurate
assessment  of  landfill  volume or  capacity to date.
Consider the fact that approximately two-thirds of the
known  sites receive less than  50 tons per day,  and
that those sites in the unknown volume category most
probably would be appropriately placed in that same 0
to 50  T.P.D. category. Consider  that  those sites,
recognized by the state agencies as being the number
required to geographically serve their states (col. 13)
is 10,000, and would eliminate  5000 of the known
sites, or approximately half of the sites in the 0-50
T.P.D. range.
  The  fact  that  regionalization   increases  landfill
operating size,  and  increases the  significance of
transportation of wastes, makes the survey of landfill
capacity  an important  trend  indicator.  Equipment
needs on site will reflect site consolidation and new
markets and methods of transportation  will become
more apparent  to both public and  private system
operators.
  The  1974 survey showed that 17 states allowed
landfilling  of shredded  waste  without  the  daily
application of cover material; 11 states reported they
would consider such a  project on a  case by case
basis. The current study reports 7 states which do not
require  cover of milled  or  shredded waste and  24
     .which would consider topless milled waste on a case
     by case basis. Although the number of states which
     would  allow topless operation without question has
     decreased, the number considering the site, situation
     and  technology has increased. WASTE AGE editors
     interpret this to mean that an increasing  number of
     state agencies are  accepting research and develop-
     ment to guide their  interpretation of "acceptable," but
     are  reserving their  prerogative to determine  where
     and  when the technology is applicable.
       The  1976  survey shows  a modest number  of
     impermeable  liners  and  leachate  treatments  being
     employed.  Interestingly,  more  leachate  treatment
     facilities than liners  have  been installed.  Editors of
     WASTE AGE attribute this to the same  cause as
     indicated in 1974, either the facilities were installed to
     correct existing conditions, or the fact that  select soil
     linings  were excluded  from  those  reported  and,
     therefore, the reported number of "liners" is less than
     those actually installed.
     Requirements for Sanitary Landfill permits
       WASTE  AGE  again  confirmed that  most states
     adhere  rather closely  to  the  federal guidelines for
     landfill design.  The  data, although reported, is not
     provided as it was felt that due to the uniformity of
     response it might be  concluded that:
       Most States routinely require:
        1)  Topographic site surveys.
        2)  Legal description or survey of site.
        3)  Description of equipment for operation.
        4)  Some  degree  of  zoning,  land   use,   or
           planning concurrence.
        5)  Fencing or access control.
       Most  states   consider  separately  the  specific
     requirements for:
        6)  Observation wells or sampling points.
        7)  Impermeable barriers or site linings.
       Few states require as a routine:
        8)  Scales for weighing incoming refuse.
       Next month the survey  will present that portion of
     the survey  related to the collection and  transfer and
     storage  of wastes.  Succeeding  issues will  cover
     resource recovery, processing,  hazardous wastes and
     sludges.
       WASTE AGE  has  been attempting to expand this
     survey to include all of North America and United
     States Possessions.  To this end,  we have included
     reports  from those  received  to  date.  Data  from
     Manitoba, Canada was received but is not included as
     other  Canadian  Provinces did  not respond similarly.
     We appreciate the cooperation and assistance from
     those agencies which did respond, and hope that this
     section of the venture can be materially improved for
     the next survey.                                 •
 JANUARY, 1977
VI-3
23

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                       EXCLUSIVE  WASTE   AGE   SURVEY
                                 (i)
                                            (3)
                                          (4)
                                  (5)
                                       (6)
                           (See  Footnotes

                                      (7)
 REGION (*1
   Connecticut
   Massachusetts

   Rhode Island
 REGION #2
   Delaware

   New York

 REGION #3
   Maryland

   Virginia
 REGION #4
   Alabama

   Georgia

   Mississippi

   So. Carolina


 REGION #5
   Illinois
          *
   Michigan

   Minnesota
 REGION #6
   Arkansas
   New Mexico

   Oklahoma
 REGION #7
   Iowa
   Missouri
 REGION #8
   Colorado
   Utah

   No. Dakota
 REGION #9
   Arizona
•f   . •.•).:„
   Hawaii
 REGION #10
   Alaska
   '•Jane
   Oregon
   Washing! on
 TOTAL STATES

 TERRITORIES
   American Samoa
   i'uerto Rico
 GRAND TOTAL
                               State
                             Population
                           / Provisional \
                           ( 1975 Data ]
  3,095,000
  1.059.000
  5,828,000
   818.000
   927,000
   ••..'1.000
 12.198,000

   579,000
  -';'5.000
 18.120.000

 26,015,000

  4,098,000
 -> i 827.000
  4,967,000
  1.803.000

 22,695,000

  3.614.000
  8.357.000
  4.926,000
  2.396.000
  2,346,000
  •3-i-YI.OOO
  2,818,000
  -1 -68.000

 35,096,000

 11,145,000
  53H.OOO
  9,157,000
 10 759.000
  3,926,000
  •i. 607.000

 44,905,000

  2,116,000
  3.791.000
  1.147.000
 12.237.000
  2,712,000

 22,003,000

  2,870,000
  2.267.000
  4,763.000
  1.546.000

 11,446,000

  2,534,000
   748.000
  1,206.000
   374.000
   635,000
   683.000

  6,180,000

  2,224,000
 21.185.000
   865,000
   592.000

 24.866.000

   352,000
   820.000
  2,288,000
  3.S44.000

  7,004,000
212.408,000

(1970 Data)
    27,159
  2,712.033
  2,739,192
                            215,147,192
                     Metropolitan
                      Population
                    / Provisional \
                      1974 Data
  2,849,200
   322,100
  5,610,900
   399.100
   854,400


 10,035,700

   395,300
  6 799.80C
 16.057,900

 23,253,000

  3,495,400
  9.546.SOC
  3,228,300
   669.500

 16,929,000

  2,204,600
  6.778.200
  2,760,300
  1.563.700
   604,700
  2J36.400
  1.338,700
  •i 600.200

 20,286,800

  9,064,700
  3.507400
  7,442,100
  8.600.500
  2,473,200
  2.752.500

 33.840.400

   793,000
  2.370.900
   378.900
  9.418.800
  1,507.300

 14,468,900

  1,055,100
   976.300
  3,050,100
   685.100
  5,766.600

  2.030.200
   178.800
   928,500

    79,000
    98.400

  3.314,900

  1.598.000
 19,448.800
   691,200
   462.200

 22,201,000

   148.800
   131.500
  1,368,700
  2.495.500

  4,144,500
154,241,000

(1970 Data)
     2,451 x
  1.408.482XX
  1,410.933
                                                 155,651,933

                                              x Capital-Pago Pago
                                             xx Total Pop. of
                                                4 Major
                                                Metropolitan Areas
                     Number
                     of Cities
                    Over SHOO
 93
 15
 15
 12

204

  5
206
210

421

 45
271
 46
 29

391

 56
100
 62
 43
 39
 66
 41
199
 83
116
193
 77
 80
 37
 56
 23
183
.5?
351

 58
 46
 81
 24
 34
 14
 24
  8
 12
 12

104

 19
266
  9
  7

301

  5
 18
 35
 45

103
                                                                      3,294
  0
 43

 43
                                                                      3,337
                 Square
                 Miles of
                  Area
    5,009
   33.215
    8,257
    9.304
    1,214
    9.609
   66,608

    2,057
    7.836
   47,939

   57,832

   10,577
   JO 333
   39.838
   24.181

  119,929

   51,609
   58.560
   58,876
   40.395
   47,716
   52.712
   31,055
   42.244

  383,167

   55,930
   36.291
   58,216
   41.222
   84,068
   56.154

  331.881
   53,104
   45.106
  121,666
  267.338
   68.887

  556,101

   56,032
   82.264
  77.227

  285,209

  104,247
  147.138
  84,916
  97.281
  70,665
  77.047

  581,294

  113,909
  158.693
   6,424
  109.788

  388,814

  586,400
  83.557
  96.248
  68.192

  834,397

3,605.232
      76
   3.435
                                                                                           3.511
                 Revision
               State Solid
                 Waste
               Legislation
               Since 1974?
Yes
 No
 No
 No
 No
 No
 No
Yes
 No
 No
Yes
Yes
 No
 No
Yes
 No
Yes
Yes
Yes
 No
 No
Yes
Yes
Yes
 No
Yes
Yes
 No
 No
 No
 No
Yes
 No
 No
Yes
 No
Yes
 No
 No
 No
Yes
Yes
Yes
Yes
 No
 No
Yes
 No
Yes
Yes
 No
 No
                      State Solid Waste
                         Bodget—$
                   1974              1976
                                                                                       3,608.734
  372,21*
  130,690
  SSftOOO
  1*000.
  mass
 234,891
1,017,000
 1125,000
 '64,000
1,460,891

  65,000
 330,000
 704*34
.443.800
  89,000
 170,000
 307,042
 313,000
2,421,276

 900,000
 229,378
 336,100
 500.000
 350,000
 350,000
2,665,478
  88,000
 160,000
 133,000
 128,860
 579,860

 243,653
  86,960
 180,000
  64,848
 595,461
 110.000
 612,700
  40,000
                 ssos
                   96,600
 200,000
 450,000
  320,000
  130,000'
  425,000
   75.000
  349,000
   90.000
 1,389.000

  100.000
  560.000
  871,548
 1,531,548

  218,445
 1,333.000
  200,000
 ±126.000
 1,877,445

   67.180
  361.000
 2,718,627
  501.000
  120,000
  238.000
  307.042*
  314.400

 4,625,249

  801,000
  276.200
  524,000
  535.000
  420,000
  500,000
 3,056,200

  100,000
   70,000
  136,460
  713,580
  120.000
 1.140,040

  285,000
  118.000
  197.000
  132.334
  732,334

  150,000
  750,000
   81,000
   53.592
   65,000
  117.000
  1,216,592

  158,758
 2,000,000
   50,000
   96,392
  2,305.150

  312.000
  134,000
  387,953
  650,000
 1,383,953

19,257,511
                      0
                  160,000
                                                                                                                                          19,417,511
  24
                           WASTE AGE is printed on paper containing recycled secondary fibers
                                          VI-4

-------
On Page 28)
(8)
Number of
State
Solid Waste
Employees
1974 1976






























































If

M
*4
ii2>
W'
tft'*

b*W
£»
fV
'3ft
t$s
-*ft$
^IAa
$N
I * '
,17 '
"•$$
-25
;,*
1'9
27
is13
135
•*»
10
*1,5
25
23
25
133.5
S
5
13
13
5
41.
16
4
13
e
39
4
10
3
0
2
5
24
4
22
4
2
32
6.5
16
7
14
5
S
5.3
S4.3

10
35
54
99
16
66
10
g
101
5
17
33
30
10
12
29
20
158
38
13
13.5
17.6
27
24
133.1
e
3.5
10
63
9
93.5
14
6
13
7
40
6
10.5
4
2
3
6
25.5
6
73
4
2.9
. 85.9
10
7 9
IS 20
19 23
46.5 62
651.5 ' B58.3

1.5
17
18.5
651.S 876.8







v^r



U<



.3.
(9)

1976
L^l



or\



^JDl



Utilization of State

A
2
1
2
0
0
0
5

1
5
3
9
1
4
0
0
5
0
5
2
1.5
2
0
2
1
13.5
1
1
0
1
15
2
20
D
1
2
2
.9
5.9
6
1
1.5
1
9.5
1
1
.5
0
.3
0
2.8
1.5
8.5
0
.3
10.3
1
^
2
2
e
89
0
1
1
90




9
1
0
0
0
0
0
1

2
2
2
6
0
1
0
1.35
2.35
1
0
1
1
1
1
3
2
10
1
1
0
0
0
2
4
0
0
0
2
.9
2,9
0
.5
0
1
1.5
1
1
.5
0
0
0
2.5
0
1
0
.2
1.2
1
0
0
0
1
32.46
0
. 1
1
33.45
tA-Planning
B-Training
C-Research
Solid
C
0
1
1
1
0
0
3

2
3
1
8
0
.1
0
0
1
0
0
0
0
1
0
0
2
3
2
0
0
i
3
1
7
1
0
0
2
.9
3.9
0
0
0
0
0
0
i
0
0
0
o-
1
0
5
0
.2
5.2
0
0
2
G
2
32.1
0
0
0
32.1
Waste Perspnnelt
0
7
2
2
0
1
2
14

1
5
18
24
8
9
3.5
1.35
21.85
1
3
0
1.5
4
4
15
10
38.5
9
1
3
7.5
2
8
30.5
1
1.5
1
5
.9
9.4
1
.5
2
1
4.5
2
1
.5
1.5
.3
i
6.3
1.5
205
1
.3
23.3
2
3
7
10
22
194.35
0
1
1
195.35
E
5
2
&
Z
2
1.5
17.5

1
15
16
32
3
39
3.5
1.35
46.85
1.5
6
16
20
1
4
S
1
54.5
18
6
6
5.5
2
6
43.5
4
0
6
24
2.5
36.5
7
2
3.5
2
14.5
2
1.5
.5
0 -
.4
3.5
7.9
1.5
8
t
1
11.5
5
2
5
A
16
280.75
1.3
6
7.3
288.05
f
3
1
4
Z
2
1.8
13.8

3
5
11
19
4
12
3
2.70
21.70
1.5
0
6
3
1
3
4
4
22.5
4
4
4.5
2.6
5
3
23.1
2
1
1
14
2.9
20.9
0
2
3
2
7
0
4
2
.5
1
1.5
9
1.5
19
2
.9
23.4
1
1
4
4
10
170.4
.2
4
4.2
174.6
G .
0
0
0
0
0
0
0

0
0
3s
3
0
0
0
2.253
2.25
0
3'
10
3s
0
0
0
0
16
3
0
0
0
0
21
S
0
0
0
146
0
14
0
0
3s
0
3
0
1
O1
0
111
0
2
0
t1'2
0
0
11
0
0
0
3s
3
59.25
0
4s
4
63.25
"\L r
(18)
State
Attitide
Toward
Regional
Authority
Encg.
Encg.
Encg.
All.
Encg.
All.


Encg.
Encg.
Encg.

Encg.
Encg.
Encg.
Encg.

Encg.
Encg.
Encg.
Encg.
AH.
Encg.
Encg.
Encg

Encg.
Encg.
Encg.
Encg.
Encg.
All.

Encg.
Encg.
Encg.
Encg.
Encg.

All.
All,
All.
All.

Encg.
Encg.
All.
Encg.
Encg.
Ign.

All.
Encg.
All.
Encg.

Ign.
All
Encg.
Encq


Ign.
Encg.


K/A
(ID
State
attitude
Toward
Interstate
Transfer
Sup.
Disc.
Disc.
Disc.
Disc.
Disc.


Sup.
Disc.
Sup.

Ign.
Sup.
Sup.
Disc.

Sup.
Sup
Disc.
Sup.
Disc.
Disc.
Sup.
Sup.

Sup.
Sup.
Sup,
Disc
Disc.
Sup.

Sup.
Sup.
Disc.
Sup.
Sup.

Sup.
Sup.
Sup.
Sup.

Sup.
No. Nd.
Disc.
Sup.
Sup.
Sup.

Sup.
Sup.
N/A
Disc.

N/A
Disc.
Sup.
Sup.


N/A
N/A


E-Enforcement
F-Administration


G-Other




D-Technicai Assistance
                                                           PRACTICES
                                                                          112)          (13)       (14)
                                                                         Number       Number of   Number el
                                                                         of Sites        Landfill    Sites With
                                                                         With Im-      Impermeaile   Leachate
                                                                        permeable       Linings    Treatment
                                                                         Linings        Installed    Facilities
                                                                         In 1974       Since 1974    In 1974
                                                                           o           oo
                                                                           o           oo
                                                                           o           oo
                                                                           0           00
                                                                           o           oo
                                                                           1           0         0
                                                                           0           1         1
                                                                           1            2         1
                                                                           3           1         0
                                                                           0           02
                                                                           5           66
                                                                           1           0         1
                                                                           0           09
                                                                           ~7          H        18

                                                                           0           0         1
                                                                           0           26
                                                                           0           00
                                                                           0           04
                                                                           0           00
                                                                           o           oo
                                                                           0           00
                                                                           J?          _0        _2
                                                                           0           2        13

                                                                           1           0         0
                                                                           0           00
                                                                           3           53
                                                                           0           02
                                                                           2           2»        1
                                                                           _0          _6        _2
                                                                           6          13         8

                                                                           0           0         1
                                                                           1           0         0
                                                                           0           00
                                                                           2          SO1       12
                                                                           J>          _0        J>
                                                                           3          50        13

                                                                           0           1.0
                                                                           0           00
                                                                           0           03
                                                                           0           00
                                                                           0           30
                                                                           0           00
                                                                           0           00
                                                                          UK           1         0
                                                                           0           00
                                                                           0           00
                                                                           0           00
                                                                           0           00
                                                                           0           1         0
                                                                           0           00
                                                                           0           0         1
                                                                           0           00
                                                                           0           1         0
                                                                           0           03
                                                                           21          82        61
                                                                                      82        61

                                                                             See Notes for Survey Data
                                                                                 on page 28
JANUARY, 1977
                                                   VI-5
25

-------
                 EXCLUSIVE  WASTE  AGE   SURVEY
REGION #1
 Connecticut
 Maine
 Massachusetts
 New Hampshire
 Rhode Island
 Vermont

REGION #2
 Delaware
 New Jersey
 New York

REGION #3
 Maryland
 Pennsylvania
 Virginia
 West Virginia

REGION #4
 Alabama
 Florida
 Georgia
 Kentucky
 Mississippi
 No. Carolina
 So. Carolina
 Tennessee

REGION #5
 Illinois
 Indiana
 Michigan
 Ohio
 Minnesota
 Wisconsin

 REGION #6
 Arkansas
 Louisiana
 New Mexico
 Texas
 Oklahoma

REGION #7
 Iowa
 Kansas
 Missouri
 Nebraska

REGION #8
 Colorado
 Montana
 Utah
 Wyoming
 No.  Dakota
 So.  Dakota

REGION #9
 Arizona
 California
 Hawaii
 Nevada

REGION #10
 Alaska
 Idaho
 Oregon
 Washington
TOTAL STATES


TERRITORIES
  American Samoa
  Puerto Rico
GRAND TOTAL
                         (15)

                        Number of
                        Leacnate
                        Treatment
                        Facilities
                       Installed in
                        Landfills
                        Since 1974
 213,1,

 4

 0
14
 0
 0
 0
80
 1
 0
 0
 0
 0
 1

82

 0
 0
 2
 4
 0
 5
 0
 20
 0
 0

 20

 1
 1
 8
 _6
 16

154
                          154
             (16)
           Application
            of Daily
           Coyer (her
          Milled Refuse
              Is
            Req.
           Cs. Del
            Req.
           Cs. Det.
            Req.
            Req.
           Cs. Det.
           Cs. Det.
           Cs. Det.
Cs. Det.
Cs. Det.
Cs. Det.
 Req.
 Req.
 NR
 Req.
 Req.
 N/A
 Req.
 NR
 Req.
 Req.
 Req.
Cs. Det.
Cs. Det.
 Req.
  NR
             Req.
            Cs. Det.
             Req.
            Cs. Det.
             Req.
            Cs. Det.
             NR
            Cs. Det.
             Req.
            Cs. Det.
            Cs. Det.
            Cs. Det.
            Cs. Det.
             NR
             NR
Cs. Det.
Cs. Det.
Cs. Det.
 Req.
Cs. Det.
 Req.
Cs. Det.
Cs. Det.
            Cs. Det.
             Req.
                                                             (17)
Number of
Known Land
Disnosal Sites
1974 1976
144
367
324
180
38
95
1,148
150>
307
+800
1,257
91
379
188
+ 300
958
143
500
62S
147
274
162
276-
250
2,377
404
1.51
888
290
800
1,314
3,647
±450
387
1,000
1,525
607
3,869
500
300
390
400
1,590
+255
514
272
±80
412
369
1,902
160
441
42'
120
763
200
190
241
397
1,029
18,539


,
18,539
170
445
360
165
35
98
1,273
30
338
662
1,030
79
415
235
207
936
140
355
625
344
274
170
222
126
2,256
465
149
700
250
405
1,300
3,269
400
265
540
1,097
507
2,809
300
198
253
400'
1,151
231
245
200
100
200
300
1,276
144
430
30
120
724
400
120
167
410
1,097
15,821
+3
69
69
15,893
(18)
No. of Sites
Licensed Permitted
Or Otherwise
Recognized As
Sanitary Landfill
In Compliance With
State Regulations
1974 1976
SO
6
•w
42
• 7
20
225
39-
138
_M
6M
39
129
t73
42
383
111
35
150
147
64
156
178
102
931
S25
110
214
260
111
1.200
2,120
47
61
50
236
lit
805
NH
" 40
48
53
141
125
70
3
D/N/A
D/WA
16
214
70
107
0
17
194
42
30
160
30
288
5,596

,

5,598
54
15
100
61
35
60
325
30
210
421
661
49
111
210
52
422
126
238
122
144
78
170
217
112
1,207
287
126
295
242
135
289
1,374
74
60
SO
293
165
642
94
103
117
62
376
67
124
9
10
23
28
261
78
UK
21 1
32
131
84
40
167
50
341
5,740
2
36
38
5,778
                                                                              (See Footnotes

                                                                                  (19)
Number of
Authorized
Landfills
1974 1976
144
0
75
138
0
55
412
0
f38
+378
514
67
0
173
24
264
23
179
125
0
0
UK
100
10
437
• 0
110
165
10
20
UK
305
UK
0
400
110
243
753
38
120
66
70
314
255
UK
4
D/N/A
D/N/A
+ 16
m
0
195
24
103
322
0
20
133
43
196
3J92-



3,792
170
445
200
56
35
60
966
30
278
421
729
49
200
210
60
519
134
66
122
167
78
170
217
121
1,075
330
126
445
242
135
1,300
2,578
87
60
319
1,045
165
1,676
108
198
117
200
623
126
124
13
65
60
34
422
N/A
430
21
120
571
300
47
167
320
834
9.993
3
36
39
10.032
 26
                 WASTE AGE is printed on paper containing recycled secondary fibers
                            VI-6

-------
On Page 28}
OF U.S.  DISPOSAL PRACTICES
                (20)
                                            (21)
                                      •TONS PER DAY
                                      A-0-50
                                      B-50-100
                                      C-100-200
                                    D-200-500
                                    E-500-1,000
                                    F-1,000 or more
                                    G-Unknown
                                                (22)
Number of Approved Sites
Publicly Publicly Privately Number of
Owned Owned and Owned Number of Landfills Landfill
And Contractually And With Daily Operating Closures
Operated Operated Operated Capacities of" Since
1974 1976 1974 1976 1974 197E A 8 C 0 E F G 1974
65
—
90
36
4
5
m
UK
69
340
409
28
52
129
31
240
, 100
35
too
65
$2°
140
UK
67
559
SO
49
K19
130
j 23
1,050
1.421
35
14'5
90
5710.15
22
30
248
4
0
—
—
0
-~
$
5
UK
100 0
336
440
4515
49' 5
190
31
315
117
209'5
99
71
70
155
81
24
24
2
0
3
0
—
1
1
10
15
6
0
Si 16 120 33 15 2 0 0 0 -5
— 11! 441 310000 -20
6 10 300 30 13 10 5 2 0 24
6 3 157' 521000 0
3 i 12 30 113000 4
10 | 20 97' i 0 0 0 0 0 22
', "30 62 1,145 73 32 16 5 2 0 75
IflC 20 10 10 4 3 2 1 0 12
69 110 200 13 15 12 11 9 78 8
0 60 85 363' 150 110 7 25 7 0 135-140
6
1«
129 215 573 173 129 22 38 17 78 160
9 . 315 43 10 9 5 10 2 0 ±10
1 12 77 5015 328 59 12 4 2 10 0 56
35 0
1 0
39 j 13
S
Q
5
Z
0
4
UK
102 25
6
9 20 139 48 24 24 0 0 0 20
10 ' 21 192 663000 45
105 94 702 123 51 36 12 12 ~0 ±131
3 3 80 41 10 4 4 1 0 27
0 0 I 29'5 232 37 34 23 10 4 15 85
2 45 21 511 50 25 25 10 4 0 204
1 SO ' 72 322 13 2 5 1 1 0 200
0 ' 8 8 206' 14 18 25 10 1 0 160
0 12 15 0 0 69 20 75 fi d n
1
4
UK 135 113' 17 23 47 20 2 0 10
10 6 31 30 53 4 3 5 0 12
904 44 j 14 152 289 1,495 202 234 153 133 24 15 698
63 " Q 20
32
145
105
25
*M?
0
50
5
0
17S 204 218' 75 37 47 52 36 0 102
36 44 91' 22 19 1 -1 2 1 0 UK
8S 145 700 50
»30 137 26' 60 75 75 12 2 0 20
45 i 36 30 S2 60 371 34 0 0 0 0 0 2
214
604

28
49
49
224
62
412
26
' 30
17
25
88

0/N/A
50
3
0
0/N/A
14
~67
60
87
0/N/A
11
158
26
9
125
IS
m
3^89



•5Sj
52
45
46
265
110
518
68
65
36
55
224
10 3 14O 72 1.220 30 23 15 10 2 0 130
81

0
0
«
0
0
1
S
6
1
19
108 618 662 1,926 221 154 151 76 41 700 ±304
'
1 19 21 385 10 4 1 0 0 0 5
0 12 15 0 0 0 :o 0 o' 255 6
4
3
0
8
13
32
9
2
31 I 56
i
33
89
8'
5
21
8
164
64
No. Upd.
17
19
100
5
5
94"
40
144
3,661
2
36
38
3,699
O/N/A
17
0
X
D/N/A
0
17 I
1
25
1'
0
0
16
43
10 8
0 i No. Upd.
DMA
6
18
2
21
5
10
38
0
8
16
39
34
26
5
104
29$ j 383
"*""*' i


^
0
J)
0
383
0 0 537 210000 UK
12 25 1.009 30 18 '14 22 4 0 40'
49 55 507 ±100
92 116 1,931 42 23 25 22 4 762 ±151
5 13 255' 25 15 4 1 0 0 1
4 6 150 43 0 2 2 1 0 150
30 72 211' 22 2 6 4 0 8 285
9 5 397 102000 32
48 96 1,013 91 17 14 7 ~T ~8 468

BWA 33 178 24 23 2 2 2 0 25
3 10 239 240000 -60
0 0 100 70 18 5 7 0 0 41
0 5 98 2 0 r 0 0 0 7
D/N/A 2 196 400000 60
Z 4 298 2 0 C 0 0 C 0
S 54 1,109 104 45 7 9 2 0 193
9 6 127 653300 28
20 No. Upd. 230 45 35 35 20 20 45 UK
OWA 4 17' 362200 1
' O 5 l 18 '0 1 0 1 0 0 UK
20 15 492 54 47 40 26 20 45 29
t4 40 397 012000 6
'0 1 50 30 30 10 0 0 :< 30
50 47 157 224020 36
S 5 140 50 10 5 3 3 199 90
*9 93 744 82 43 21 3 5 199 162
1,268 1,696 11,130 1,165 775 485 331 128 1,807 2,371
Ols 2 100000 2
' 0 33' 29 6 0 0 1 0 0
0 35 30 6 0 0 1 0 2
IS] 1,696 11,165 1,195 781 485 331 129 1,807 2,373
  JANUARY, 1977
                                VI-7
                                                  27

-------
                      NOTES   FOR SURVEY  DATA
                  Abbreviations
   All. = Allows
Cs. Del. = Case Determination
  Disc. = Discoucages
  Enog. = Encourages
   Ign. = Ignores
                                      N/A = Not Applicable
                                    No. Nd. = No Need
                                      NR = Not Required
                                      Req- = Required
                     Sup. = Supports
                      UK = Unknown
                    D/N/A = Did Nol Apply
                  No. Upd. = Not Updated
                     Footnotes
 (1)  Editor supplied number based on typical responses
     from similar programs.
                   utilized where new  data was not
     Inspection and Permits.
     Hazardous waste.
     Clay liners  only.
     Program development.
     11 permits—3 hazardous waste.
     Financial assistance.
     Includes 5 sites privately owned and publicly operated.
     Abandoned auto program.
 (2)  1974  number
     supplied.
 (3)  Surveillance.
 (4)
 (5)
 (6)
 (7)
 (8)
 (9)
(10)
(11)
(12) Data management and demonstration studies.
(13) Spray irrigation.
(14) Recirculation method not reported.
(15) Number reported here by state was total for all sites
     which editor proportioned to equal answer in question
     #14.
The following notes are intended to provide the reader with
further information about specific questions  asked in the
WASTE AGE survey.

GENERAL
  Where ± symbol exists totals were not altered to reflect
inexact knowledge on part of respondents.
NOTE FOR COLUMN 5
  States have reported current dates and amendments as
appropriate.
NOTE FOR COLUMN 6
  Interviewees were asked to provide gross budget figures
making no differentiation between fund sources. The figures
provided are  intended to reflect working budgets including
manpower and minor contractual expenditures.
NOTE FOR COLUMN 8
  The answer to this question was generally made  in terms
of man-years of effort rather than full time employees. Most
states have other employee support not indicated in this
total, such as county, local or regional health and  environ-
mental control personnel.
  The interviewers attemped to conform all answers to the
format shown.  In general the distribution of personnel re-
flects the state's interests and activities as presently viewed.
NOTE FOR COLUMN 10
  This  question evoked great discussion especially from
states where there is current legal  action over interstate
movement and those states for whom interstate transfer is
of doubtful value such as Alaska and Hawaii.
NOTE FOR COLUMN 11
  This question referred specifically to the use of shredding
equipment  with respect to landfilling,  not waste  control
facilities in general.
NOTE FOR COLUMN 12
  The responses include artificial lining, asphalt, concrete,
rubber,  plastic, etc., as opposed to recompacted  on-site
soils.
NOTE FOR COLUMN 13
  The interviewers tried to limit "treatment facilities" to
those having actual process equipment. Some respondees
may have included lagoons and temporary basins.
NOTE FOR COLUMN 14
  This question includes all sites the state wished to report
as a total: including dumps, sanitary landfills and other land
disposal classifications. Please note where this number was
not provided by the state's representative, the WASTE AGE
editors have provided an estimate.
NOTE FOR COLUMN 15
  Where states did not report any  numbers, the sanitary
landfill permitting program had not been established by the
date of the survey.
NOTE FOR COLUMN 16
  This question was interpreted to mean those sites which,
because of the service performed, should be in compliance
with state regulations. It includes modified sanitary landfills,
a classification  which could not be reported in' col. 15. These
sites do include the permitted fills identified in col. 15.
NOTE FOR COLUMN 17
  This  question was answered to the best of the  respon-
dent's ability. In most cases, the knowledge of sites which
were publicly owned, but privately contracted for operation,
was less relible than the  knowledge of sites which were
either publicly owned and operated, or privately owned and
operated.
  It must be remembered that the above category divisions
may not be precisely correct, as they  represent the best
estimtes of those interviewed. The numbers in this column
equal the total  number of permitted landfills as recorded in
col. 15. It must also be remembered that  this percentage
breakdown between public and private operation is based
on  a count of  only those sites which have actually been
permitted to date.
  The  reader  should  know  that there  are distinct prefer-
ences for either public or private operations  that  are re-
gionally noticeable, but not necessarily predictable.
  These figures refer only to the actual number of sites and
do  not reflect volume or tonnage -handled.
NOTE FOR COLUMN 18
  The  answers to this question -are  somewhat suspect.
Each state itemized in accordance with their record keeping.
Closure is a nebulous term in most instances.
 28
                                        WASTE AGE is printed on paper containing recycled secondary fibers
                                                    VI-C

-------
      APPENDIX VII
EPA MEMO ON LANDSPREADING

-------
         Impact of Annual Cadmium Application Rates
     on Current Municipal Sludge Landspreading Practices
     The proposed Solid Waste Disposal Criteria required

under Section 4004 of RCRA include a phased reduction in the

total annual quantity of cadmium which may be added to

agricultural land.  The phasing begins at 2.0 kg/ha/yr and

decreases to 0.5 kg/ha/yr by 1986.  The following assessment

is an attempt to quantify the impact of selected cadmium

loading rates on current practices.

Data

     This assessment is based on the best available data

from 141 cities.  It is widely assumed that the total sludge

generated is approximately 5 million dry metric tons per

year and 20% of that is agriculturally landspread.  Based on

those assumptions, this assessment represents approximately

thirty percent of the total sludge generated and about one-

quarter of the total sludge currently being landspread on

agricultural land.  The 13 largest cities and 20 of 48

cities whose population exceeds 300,000 are included.

Sources of information include telephone conversations with

major cities and EPA regional offices, construction grant

design and planning reports, research reports and published

articles.

Findings

     The impact on current practices of initiating the

phased reduction in maximum annual cadmium additions at 1.0
                          VII-1

-------
rather than 2.0 kg/ha is difficult to predict.  However the
impact on the 141 cities included in this survey indicates
the following:
     °    Impact on communities currently landspreading;
          Excluding Chicago, the percentage of sludge currently
          being landspread in this assessment which could
          not be applied at a rate of 20 mt/ha/yr increases
          from 11% (at 2.0 kg/ha) to 19% (at 1.0 kg/ha).  A
          significantly higher (but unknown) percentage of
          the communities in the survey will be affected by
          this change.  This impact wi.ll be in the form of
          increased costs due to the increase in land
          required for application at lower rates.
     0    Impact on communities considering converting from ocean
          disposal to landspreading;  The total quantity of
          sludge in this survey which is disposed of in the
          oceans is 615 dry mt/day.  If 50% of this volume
          were diverted to land application the percentage
          which could not be applied at a rate of 20 mt/ha/yr
          increases from 20% (at 2.0 kg/ha) to 33% (at 1.0
          kg/ha).  If this entire volume was diverted to
          land application, the percentage which could not
          be applied at a rate of 20 mt/ha/yr increases from
          25% to 60%.
                          VII-2

-------
Impact on sludge give away/sale programs;  The



impact of initiating the annual cadmium restriction



at 1.0 kg/ha rather than 2.0 kg/ha on the 758 dry



metric tons of sludge which is given away or sold



daily is impossible to quantify.  This is due to



the fact that there is no practical way to assure



compliance by the end user.  Several State regulatory



approaches are possible  (e.g., restrictions based



on sludge quality, end use or labeling requirements).



While the annual cadmium application will have



little direct impact on  giveaway/sale programs,



the severity of the cadmium restrictions will



impact the regulatory approach selected by the



States.



Impact on future alternatives available to cities



which do not currently landspread:  While not



specifically included in this assessment, the



Criteria will affect sludge disposal decisions



which are currently being made.  Of the 77 communities



in the survey which neither landspread nor ocean



dump, 20 would be restricted from applying 20



mt/ha/yr at 2.0 kg/ha/yr while 26 would be restricted



at the 1.0 kg/ha/yr Jevel.
                 VII-3

-------
Assumptions
     This assessment examines the impact of various maximum
annual cadmium limitations on cities which desire to landspread
municipal sludge at 10 and 20 metric tons per hectare per
year.  It was assumed that these would be typical application
rates following the promulgation of these Criteria.  This
assumption is based on the following:
     -    The Technical Bulletin suggests "as a guide,
          sludge application rates should provide total
          plant available nitrogen equivalent to the nitrogen
          fertilizer requirement of the crop grown."   (The
          Bulletin does recognize that higher'rates have
          been successful.)
     -    Plant available nitrogen in sludge typically
          ranges from 0.5-4% (higher and lower percentages
          can be found).
     -    An OSW study of nine landspreading operations
          showed a median pla^it available nitrogen content
          of 1.3%.
     -    In qrder to maximize the total amount of sludge
          necessary to meet crop nitrogen needs we selected
          a common but relatively low available nitrogen
          concentration in sludge. (1%) and a high nitrogen
          demanding crop  (corn).
          Under these conditions, approximately 20 mt/ha/yr
          of sludge would be required to meet the nitrogen
          demands of corn.
                          VII-4

-------
     -    It was assumed that 10 mt/ha/yr would be near the



          lower end of the economically viable range of



          application rates.



It is important to recognize that annual application rates



in excess of 20 mt/ha are not uncommon today.  Many of the



facilities employing these higher rates will be able to



continue their current practices, particularly if their



sludge has low concentrations of nitrogen and cadmium.



Other communities will be forced to modify their -practices.



With the1 exception of major land reclamation projects, it is



unlikely that a maximum application rate of approximately 20



mt/ha would force many site closures other than for sites



applying high cadmium sludges.



     Attachment 1 shows current practices including land-



spreading, landfilling and ocean disposal.  Fifty nine of



these cities landspread all or a portion of their sludge on



agricultural (food chain) land.  The left side of the chart



entitled "Sludge Quantity Which Cannot be Landspread"



pertains only to those cities which currently landspread



sludge.  It does not include the 758 dry metric tons of



sludge per day which is given away or sold.  This volume was



excluded because there is no practical way to assure user



compliance with the cadmium loading rate Criteria.



     Attachment 2 shows the potential impact of the suggested



cadmium limitations on those cities which currently dispose



of sludge in the oceans.  It was assumed that in one case
                           VII-5

-------
50% of the sludge volume in each city would be landspread



and the remainder would be landfilled, incinerated, etc.  A



second case assuming 100% conversion to landspreading is



also included.



Analysis



     This data  includes 672 dry metric tons per day of



sludge spread on land used for the production of food chain



crops.  This represents 25% of the total 2,700 dry metric tons-



per day landspread.



     The City of Chicago will most likely select the crop



quality alternative to controlling cadmium rather than the



phased reduction in permissible annual application.  There-



fore, the following analysis does not include Chicago's



sludge.



     Table I summarizes Attachment 1.  It shows the quantity



of sludge which cannot be landspread at 10 and 20 metric



tons per hectare per year for the various maximum annual



cadmium additions being considered.  No attempt has been



made to extrapolate this data beyond the 58 cities surveyed.



The first row 'of the chart shows that the total volume of



sludge in the sample which could not be landspread at rates



in excess of 20 mt/ha/yr would increase from 54 mt/day to 93



rat/day if the maximum annual cadm'ium limitation was changed



from 2.0 kg/ha  to 1.0 kg/ha.  The bottom portion of the



chart shows that the number of cities impacted increases from



8 to 13 (out of a total of 58).
                           VII-6

-------
                                          TABLE I

                         TOTAL SLUDGE WHICH CANNOT BE LANDSPREAD
                                  IN THE CITIES SURVEYED*
                                      Sludge Quantity Which Cannot be Landspread
                             	(Dry mt/day)	

                                      Maximum Annual Cadmium Addition (Cd/ha/yr)
                             2.0 kg	1.25 kg            1.0 kg          0.5 kq
                          10
         20
        Maximum Application Rate (mt/ha)
         10       20       10       20     10
                                           20
Total Volume
   (mt/day)

% of Current
Volume being
landspread in
58 Cities

Number of
Cities
17
54
         11
54
         11
76
         16
                           11
54
         11
93
         19
                                    13
93
       19
                                  13
243
         50
                                  17
*  Based on the 58 cities surveyed which landspread sludge  (does not include Chicago)

-------
     It is important to note that a greater number of
facilities will be impacted to various degrees of severity
by these limitations.   This impact, for the most part, will
be in the form of increased land requirements resulting from
the need to reduce current application rates.  Unfortunately
data simply is not available to predict these impacts.
     It is interesting to note that the annual cadmium
limitation is not likely to eliminate current landspreading
practices in any of the cities surveyed having a population
greater than 150,000.   This is due to the following:
          Most of these cities do not*'landspread on agricultural
          land.
          Several compost, heat dry, sell or give away their
          sludge.  The Criteria has minimal control over
          these practices.  However, the levels established
          may have a secondary impact on such practices
           (e.g., the establishment of State regulations
          governing the quality of sludge which is suitable
          for give away or sale).
     -    Those that landspread (except Chicago) do not
          have exceedingly high sludge cadmium concentrations.
     Attachment 2 provides an assessment of the impact the
Criteria would have on cities currently using the ocean
for sludge disposal.  Since it may not be realistic to
assume that all of this sludge would be diverted to food
chain lands, two assessments were performed.  The- first
                           VII-8

-------
assumes that 50% of the sludge produced in each city would



be landspread.  In this case, Los Angeles, and to a lesser



degree Boston, would be restricted from spreading sludge on



agricultural land if the annual cadmium limit was changed



from 2.0 kg/ha to 1.0 kg/ha.



     These cities are served by several treatment plants



having widely varying cadmium concentrations.  It was assumed



that each city would choose to landspread its less con-



taminated sludge first.  Therefore, the impact of the



Criteria will increase as the total percentage of sludge



being diverted from the oceans to lanQ'spreading increases.



The second assessment shown in Attachment 2  (100% conversion



to landspreading) confirms this fact.



     Attachment 1 includes 758 dry metric tons of sludge



which is given away or sold each day.  The maximum annual



cadmium application rate restriction will not directly



impact much of this volume since there is no reliable way



for the sewage treatment plant operator to assure user



compliance.  However, it is likely that States may decide to



regulate these practices by the implementation of alternative



controls.  There •<•• -e three general enforcement methods which



may be selected.  These are:



     Labeling;  Particular uses of bagged products could be



     encouraged or discouraged in printing on the bag.  Bulk



     sales and giveaway programs would have to identify



     recommended uses.
                           VII-9

-------
     Controlled Distribution:  The community could be



     required to control the distribution of sludge to



     assure that certain types of users (e.g., homeowners)



     could not use the product.



     Sludge Quality Limitations:  Some States may control



     the sale or giveaway of sludge by limiting the amount



     of Cadmium which is allowed in these products.



     While the establishment of sludge quality limitations



would provide the greatest protection, this approach would



have the greatest impact on current practices.  For example,



if the maximum cadmium concentration was established at 25



rag/kg, the Cities of Chicago, Los Angeles and "Milwaukee



would be forced to select different disposal options.



     The establishment of labeling requirements would have



varying effects on sludge giveaway and sale programs since



the wording of the label could significantly affect product



sales.



     Given the fact that some States will select one or a



combination of the above approaches, the posture which the



Agency takes on the level at which we initiate the phased



reduction in annual cadmium additions will impact State



decisions on how restrictive their own regulations should



be.
                           VII-10

-------
                                                                                                                Attachment 1
                 Impact of Annual Cadmium Application Rates on Current Landspreading Practices
                                                                             Sludge Quantity Which  Cannot  be  Landspread
                                                                                              (Dry mt/day)
Present Sludge
Sludge Quantity
City Disposition (Dry mt7da
New York, NY
(and sections
of metro area)
Chicago, IL
(metro area)
Los Angeles
Co., CA
Philadelphia,
PA
Detroit, MI
Houston, TX
Ocean
Agri. Land
(Fulton County)
Heat Dried for
Brokerage Sale
Nu Earth
Othf>r Disposal
Ocean
Sale for
Compost
Ocean
Compost
Incineration
Heat Dried for
228
182
109
55
172
127
295
168
14
145
91
Maximum Annual Cadmium Addition (Cd/ha/yr)
Sludge 2.0 kq 1.25 kg 1.0 kg 0.5 kg
Cd Total
Content Landspread Maximum Application Rate (mt/ha)
y) (mg/kg) (Dry mt/day) 10 20 10 - 20 10 - 20 .10 - 20
6-189
300 182 182 182 182 182 182 182 182 182
10.-210
120
60
26- 93
290
17- 22
              Brokerage Sale
Baltimore, MD Landfill
112
           7-  9

-------
                                                     Sludqo  Quantity Which Cannot bo LnmlRprn.Tid_( Wr.y/w
                       Sludge
Present      Sludge      Cd        Total
       Maximum Annual Cadmium Addition  (Cd/hn/yr)
2.0 kg	   	 1.25 kg           1.0 ko
0.5 kg
Slucl«jQ Quantity Content Landspread Maximum Application Rate (mt/lia) " ""
City Dir.uosition (Drv mt/dav) (mq/ko) (Dry mt/day 10 - 20 - - 10 - 20 10-20 10 20
Dallas, TX
hMr.hinqton,
DC
Cleveland,
Oil
Indianapolis,
IN
Milwaukee Co.,
VII
*— 1
i San Francisco
f^ Co. CA
Boston, MA
Denver, CO
Seattle, WA
Atlanta, CA
Newark, NJ
Unknown
Miami, FL
Tampa, FL
Lngoon
Landfill
Compost
LandCill
Incineration
tlcat Dried
(Milorganite)
Retail &
Brokerage
Agric. Land
Landfill
Public Park Use
Ocean
Agric. Land
32
33Q
14
114
140
171
82
45
2
78
64
Landfill and 33
Non-Agric. Land
Landfill and 20
Non-Agric. Land
Incineration
Agric. Land
Non-Agric.
Land
Non-Agic.
Land
104
45
15
9
59
22
22
390-570
240-260
107
50 82 82
50
10
35-115
46 64 6*
48
104
173
19 45
150
10

-------
Sludge
Sludge Quantity Which Cannot be Landspread (Dry/mt/day)
      Maximum Annual Cadmium Addition (Cd/ha/yr)
City
Unknown
Little Ferry,
NJ, Regional
Unknown
Unknown
Grand Rapids,
MI
Flint, MI
Syracuse, NY
Madison, WI
Unknown
Warren, MI
Unknown
Unknown
Macon, GA
Present Sludge
Sludge Quantity
Disposition (Dry mt/dayj
Agric. Land 30
Plant
Agric.
Agric.


Solvay

Agric.

Agric.
Agric.
Agric.

Land
Land


Process

Land

Land
Land
Land
Elizabeth, NJ
Camden, NJ
Springfield
MO
Ocean
Agric.

Land
38
23
23
23
23
22
14
18
17
14
14
15
25
14
13
Cd Total
2.0 kg 1.25 kg 1.0 kg 0.5 k<
Content Landspread Maximum Application Rate (mt/ha)
) (mg/kg) (Dry mt/day 10 - 20 10 20 10 20 10 -
11 30
240
9 23
13 23
480
20
200
73
160 18
110
100 14
5 14
« 15
72
41
54 13








18 18 18 18 18 18 3

14 14 14 1




13 13 1
                                                                            Page 3

-------
  City
Saginaw, MI
Pontiac, MI
Kalamazoo, MI
Ann Arbor, MI
Unknown
Unknown
Anderson, in-
Unknown
Unknown
Kokomo, IN
Wyoming, MI
Bay City, Ml
Jackson, MI
Unknown
Danville, Va
Muskegon, MI
Linden, NJ
Battle Creek, MI
Unknown
Present Sludge
Sludge Quantity
Disposition (Dry nit/day)
11

I
I
Agric. Land
Agric. Land
Agric. Land
Agric. Land
Agric. Land
Lagoon



Agric. Land
Agric. Land


, MI
Agric. Land
9
9
9
9
9
9
8
8
7
6
6
5
5
5
5
10
5
5
Sludge
Cd Total
Content Landspread
(mg/kg) (Dry mt/day
48
12
12
4
10 9
269 9
170 9
176 8
17 8
806
14
80
520
7 5
18 5
166
65
8
683 5
Maximum Annual Cadmium Addition (Cd/ha/yr)
2.0 kg 1.25 kg 1.0 kg 0.5 kg
Maximum Application Rate (mt/ha)
10-20 ' 10 20 10 20 10 20





99999999
9999999
8 8 8 8 888








3

55555555
                                                                                                                   Page 4

-------
                                                    Sludge Quantity Which Cannot be  Landapread (Dry/mt/day)
                       Sludge
Present      Sludge      Cd        Total
       Maximum Annual Cadmium Addition (Cd/ha/yr)
2.0 kg	1.25 kg	1.0 kg	0.5 kg
Sludge Quantity
City Disposition (Dry mt/day)
Unknown Agric . Land
Unknown Agric. Land
Port Huron, MI
E. Lansing, MI
Unknown Landfill and
Agric. Land
Ithaca, NY Non-Agric . Land
Easton, PA Landfill
Midland, MI
Unknown Agric. Land
i-i Unknown Agric. Land
— ' Unknown Agric. Land
en
Columbus, IN Agric. Land
Holland, MI
Ypsilanti, MI
sayreville, NJ
(Regional Plant)
Unknown Agric. Land
Hopkinsville, Agric. Land
IN
Xenia, OH Agric. Land
"nknown Aaric. Land
5
5
4
4
4
4
4
4
4
4
4
3
3
3
61
3
3
3
3
Content Landopread
i (mg/kg) (Dry mt/day 10 - 20

95 ' 5
16 5
e
6
4 2
66
16
10
61 4
38 4
11 4
2 3
10
166
39
12 3
18 3
BO 3
7 3
Maximum Application Rate (mt/ha)
10 20 10 20 10 - 20
5 555








444
4






3 333

                                                                                                  Page 5

-------
cr>
                                            Sludge
                     Present       Sludge      Cd        Total
Sludge Quantity Which Cannot be Landspread (Drv/mt/day)

      Maximum Annual Cadmium Addition (Cd/ha/yr)
                1.25 kg           1.0 kg	0.5 kg
Sludge Quantity Content Landspread Maximum Application Rate (mt/ha)
City Disposition (Dry lat/dav) (tna/ka) (Drv mt/dav 10 20 10-20 10-20 10 - 20
Monroe, MI
Unknown Agric. Land
Marque tte, MI
Muskegon Heights,
MI
Mt. demons, MI
Trenton, MI
Sault St.
Marie, MI
Logansport, IN
Transverse City, MI
Adrian, MI
Owosso, MI
Mt. Pleasant, MI
Benton Harbor, MI
Escanaba, MI
Dixon, IL Agric. Land
Frankfort, IN Agric. Land
Las Virgenes, Agric. Land
CA
Unknown Agric. Land
Peru, IN
•— •
3
3
3
3
3
3
3
3
2
2
2
2
2
2
2
2
2
2
2
8
10 3
2
150
12
8
2
663
10
260
1,110
14
220
10
16 2
3,171 2 22222222
5 2
8 2
154
                                                                                                                         Page 6

-------
                                       Sludge
                Present      Sludge      Cd        Total
 Sludgo Quantity Which Cannot be Landsprcnd (Dry/rat/day)
       Maximum Annual Cadmium Addition (Cd/ha/yr)
2.0 kg	1.25 kg           1.0 kg           0.5 ko
  City
Crawfordsvillo,
IN
Unknown
Iron Mt., MI
Albion, MI
Unknown
Unknown
Unknown
Niles, MI
Grand Haven, MI
Menominee, MI
Cadillac, MI
Lebanon, IN
Noblesville, IN
Marshall, MO
Wilmington, I
Unknown
Unknown
Charlotte, MI
Sludge Quantity Content Landspread Maximum Applicatlbn1"Rate' (mt/ha)
Disposition (Dry mt/dav) (rug/kg) (Dry mt/day 10 - 20 10 20 10 20 10 - 20
•o,
Agric.


Agric.
Agric.
Agric.

MI


Agric .
IN
Agric .
)H Agric.
Agric.
Agric.
r

Land


Land
Land
Land




Land

Land
Land
Land
Land

2
2
2
2
2
2
2
2
2
1
1
1
1
1
1
1
1
1
15
16D
6
48
16
9
19
14
14
4
36
40
12
16
15
7
1
14
""' ' '
2 2222222


2
2
2




1 1

1
1
1
1

                                                                                                                  Page 7

-------
                       Sludge
Present      Sludge      Cd        Total
 Sludge Quantity Which Cannot bo Landanread (Dry/mt/day)	

       Maximum Annual Cadmium Addition (Cd/ha/yr)
2.0 kq           1.25 kq           1.0 ko  	0.5 kg
Sludge Quantity
City Disposition (Dry mt/day)
Ironwood, MI 1
Hancock, MI


Three Rivers, MI
Chippewa
Falls, WI
Litchfield, IL
Kendallville,
IN
Unknown
Unknown
Unknown
Unknown
~ Marshall, Ml
i
-? Gladstone, MI
Howell, MI
Manistique, MI
Tipton, IN
Unknown
Unknown
Milford. MI
Essexville, MI
Agric.
Agric.
Agric.
Agric.
Agric.
Agric.
Agrio.





Agrio.
Agric.


Land
Land
Land
Land
Land
Land
Land





Land
Land


1
1
1
1
1
1
1
1
1
X
1
1
1
1
.5
.5
.5
.5
Content Landspread Maximum Application Rate (mt/ha)
(mg/kq) (Drv mt/day 10 - 20 10 20 10-20 10 20
4
4
44
7 1
61 !
28 1
22 1
18 1
970 1 11111111
16 1
16
4
18
4
11
10 .5
9 .5
2
4
                                                                                                   Page 8

-------
                                                                                             tJj                          	
Present Sludge
Sludge Quantity
City Disposition (Dry rot/day)
Norway, MI
St. Ignacc,MI
Unknown Agric.
Unknown Agric.
Unknown Ayric.
Unknown Agric.
Constantino, MI*
Ucxtor, MI
Ldnse, MI
Unknown Ayric.
TOTALS*

.5
.5
Land . 5
Land . 5
Land . 5
Land . 5
.5
.5
15
Land . 3
3,706

S1"j9° Maximum Annual Cadmium Addition (t.'el/li.Vyr)
£ r , , T<^tal , 2*° kq • K:25 Vt> *-° kf' o.
/mn'/v^ in "?*% ,« Maximum Application Knto (mi./hnl 	 ' ~
JjgqAg) (Dry mt/day 10 - 20 10 - 20 10 - ?o 'n
2
4
7 .5
23 .5
9 .5
8 .5
16
36
e
13 .3
672 x 17 54 54 75 54 03 93
490*
                                                                                                                           20
                         3,706  « 30% of
                         sludge generated
                         in U.S.
672 « 25% of sludge
agriculturally Inndspread
490 - Landsprarfding total
excluding Chicago
Chicago will select the crop monitoring approach.   Therefore it
is not included in the "sludge quantity which cannot be landsprcnd"
totals.

-------
                                                                                                              Attachment 2
                             Impact of Annual Cadmium Application  Rates on Cities  Converting
               50% and 100% of Sludge Currently Being Disposed  in  the Ocean  to Agricultural  Landspreading

                                                                          Sludge Quantity Which  Cannot be Landspread
                                                                                           (Dry mt/day)





«s
ro
o




City
50% OF SLUDGE TO
New York, NY
Philadelphia, PA
Boston, MA
Los Angeles, CA
Camden, NJ
TOTALS
Sludge
Quantity
(Dry mt/dav)
LANDSPREADING
228
168
78
127
14
615
Sludge
Cd
Content
(mg/kg).
6-189
26- 93
35-115
120
41

100% OF SLUDGE TO LANDSPREADING
New York, NY
Philadelphia, PA
Boston, MA
Los Angeles, CA
Camden, NJ
228
168
78
127
14
6-189
26- 93
35-115
120
41
Maximum Annual
2.0 kg 1.25 kg
Cadmium Addition
1.0 kg
Maximum Application
10-20 10 20 10
10
63 63
0 63 0 73
6 6 81
84
20 20
127 127
10
63
73
6
20
127
(Cd/ha/yr)
0.
Rate (mt/ha)
20 10
39
63
102
81
84
78
127
39
63
102
81
84
78
127
5 kg
20
3
84
39
63
7
196
147
168
78
127
13
TOTALS
615
153
312
153
370
                                                                                       370
534

-------
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1.
2.
3.
4.
5.
6.
7.
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                             VIII-1

-------
10.  Shuster,   Kenneth   A.     Leachate   damage:     a   national
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                             VIII-2

-------
22.   Smith, F.A.   Quantity and Composition of post-consumer solid
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23.   Boyd, G.B.  and  M.B. Hawkins.   Methods of  predicting solid
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24.   American Chemical Society.   Solid  wastes.  An Environmental
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25.   National  Environmental  Research  Center.    Municipal  solid
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26.   Environmental Protection  Agency.   Water Programs.   National
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27.   Sommers,  L.E.    Chemical  composition of  sewage  sludges  and
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28.   Jelinck, C.F. and  G.L.  Brande.   Management of sludge use on
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29.   Municipal Sludge:  what shall we'do with  it?  Current Focus.
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30.   U.S.  Environmental  Protection  Agency.    Office  of  Solid
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31.   Jones,  R.L.,  T.D.  Jfinesly,  R.J.   Johnson.    Selenium  in
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33.   The  Water  Pollution  Control  Act  of  1972:    Enforcement
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34.   Chian,  E.S.K.,  & F.B.   Dewalle.   Compilation of methodology
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                             VIII-3

-------
35.  Office  of  Water  Supply.    U.S.  Environmental  Protection
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36.  Brunner, D.R.  and  D.J.  Keller.  Sanitary  landfill  design and
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37.  Subsurface  application  solves   community  sludge  disposal
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39.  Issue  Paper:    Proposed  regulations  for  classification  of
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40.  Protection of Wetlands, Executive Order 11990,  May 24,  1977.

41.  Floodplain   Management,   Executive   Order  11988,   Federal
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42.  Background  document,  Land criteria.   (Unpublished  Draft).
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43.  Environmental  Protection  Agency.   Environmental  impacts  of
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44.  Sanitary landfill criteria, Issue No.  3,  15p. EPA, 1977.

45.  Gray,  Donald H.,  Environmental  concerns  related to disposal
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46.  Pohland,  F.G.  and R.S.   Engelbrecht,  Impact  of  Sanitary
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47.  RCRA  land  disposal criteria:  coverage  of surface impound-
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48.  Personal  Communications.  Joseph  Hile,   Acting   Associate
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49.  Anderson, R. Kent.  Case studies of  the  cost of landspread-
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     plants (unpublished document) U.S.E.P.A.
                            VIII -4

-------
50.   Emcon  Associates,   Evaluation   of  clay   liner   materials
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51.   Shuster,  K.A.   Leachate damage  assessment:   Case  study  of
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52.   Stewart,  W.S.   State-of-the-art study  of  landfill  impound-
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53.   USEPA,   Industrial   waste   management:     seven  conference
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54.   American   Society  of  Civil  Engineers,  Sanitary  landfill
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55.   World  Health  Organization.    Evaluation   of  certain  food
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56.   The City of  Scottsdale,  Arizona.   A handbook for  initiating
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57.   Berman,  E.B.   WRAP.    A  model  for  regional  solid  waste
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58.   Environmental  Protection  Agency - Solid  waste  planning and
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59.   Environmental Protection Agency.  Materials  recovery.   Solid
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     Register,  Vol. 41,   No.  80.     Washington,  U.S.  Government
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60.   Environmental   Protection   Agency.      Resource   recovery
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61.   Environmental Protection Agency.  Polychlorinated  biphenyl  -
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     Washington,  U.S.  Government  Printing  Office,  April  1,  1976.
     3p.
                            VIII -5

-------
62.   Environmental  Protection Agency.  Resource  Conservation and
     Recovery Act  of 1976.   Federal  Register,  Vol. 42,  No. 23.
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63.   Environmental  Protection Agency.  Identification  of  regions
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64.   Environmental    Protection   Agency.       Vinyl    chloride.
     Recommended procedure for disposal  of aerosol  cans.   Federal
     .Register,  Vol.  41,  No.  112.    Washington,  U.S.  Government
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65.   Terry,  Jr.  R.C. and J.B.  Berkowitz, A.D.  Little,  Inc.  C.H.
     Porter.    Waste  clearing  houses  and  exchanges.    Chemi cal
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66.   Ghassemi,  M.,  S.C.  Quinlivon and H.R.  Day.  Landfills for
     pesticide   waste   disposal.     Environmental   Science   and
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67.   Anderson,  K.  and  M. Cowart.   Don't walk away  from  an  open
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68.   Hatte,  S.J. Anaerobic  digestion of solid  waste  and  sewage
     sludge  into methane.   Compost Science  ^  Journal  of  Waste
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69.   Environmental   Protection Agency.    Winter  sewage  treatment
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70.   Emcon  Associates  -  City and  County  of Honolulu.   Liners.
     July, 1977.  5p.

71.   Geswein, Allen J.   Liners for disposal  sites,  an assessment.
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72.   Wolcott, R.M.  and  B.W.  Vincent.  The  relationship  of  solid
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     of  rat  infestation  and fires.    Environmental  Protection
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73.   Smith,  F.A.     Comparative, estimates of  post-consumer  solid
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74.   Smith,  F.L.,   Jr.     A  solid  waste  estimation  procedure:
     material flows  approach.   Environmental  Protection  Agency
     Publication SW-147.    Washington,  U.S.   Government  Printing
     Office, May 1975.   55p.
                             VIII-6

-------
75.  Stanton,  W.S.  and  J.G.   Langerton.    Pesticide  container
     processing    in    commercial    reconditioning   facilities.
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     Washington,  U.S. Government  Printing  Office,  November 1976.
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76.  Exclusive  Waste  Age  survey of  the  nation's  disposal  sites.
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77.  Cost of  solid waste  management facilities.   Board of County
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78.  Inglehart, Cecil.  How  do  you measure the costs of landfill
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79.  U.S. House  of Representatives.  Report of  the  Committee on
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80.  FAA  "Bird   Hazards   to   Aircraft"   Advisory  Circular  AC
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81.  FAA  Advisory Circular.  Use   of  chemical  controls  to  repel
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82.  FAA  Advisory Circular,  Bird  reactions to  scaring devices.
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83.  FAA  Advisory Circular,  Announcing  the availability  of the
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84.  FAA Order 5200.5 FAA guidance concerning sanitary landfills.
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85.  EPA  Noise  emissions  standards  for  (new)   transportation
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86.  EPA Noise regulations for new wheel  and crawler tractors and
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87.  U.S. Water Resources Council.   A Unified  National  Program
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88.  James,  Stephen C.,  Metals in Municipal Landfill  Leachate and
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     1977, 429-432.
                            VIII -7

-------
89.  Environmental   Protection  Agency,  Bird/airport  hazards  at
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90.  Environmental    Protection    Agency    Technical    Bulletin:
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91.  Geraghty  &  Miller,  Inc.   Development  of a  data  base  for
     determining  the   prevalence   of  migration   of   hazardous
     chemical substances into the  ground water at  industrial land
     disposal  sites.    Project  Synopsis.    EPA    Contract  No.
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92.  Council  on Environmental  Quality.   Environmental  Quality
     1976,  Seventh   Annual  Report,  Washington,  D.C.,  September
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93.  Cogswell,  Howard  L.   Proceedings  on  the Conference  on  the
     Biological  Aspects  of  the Bird/Aircraft  Collision  Program,
     Clemson  University, South Carolina, February  1974.

94.  Hinesly, Thomas D.   Agricultural  benefits and environmental
     changes  resulting  from  the use of digested  sludge  on field
     crops.   Metropolitan Sanitary  District  of Greater  Chicago,
     prepared  for  Environmental  Protection Agency,  1974.   375p.
     (Distributed by NTIS, Springfield,  VA. as PB-236 402).

95.  Recycling   sludge  and   sewage  effluent   by  land  disposal;
     Envi ronmental   Science   and   Techno!ogy   6(10):     871-873,
     October  1972.

96.  Walker,  John,  Sewage sludges - management aspects  for land
     application, Compost Science  12-21, March-April,  1975.

97.  Bjornson,  B.F., Pratt,   H.D.  and  Littig,  K.S.   Control  of
     domestic  rats  and mice.   Public Health  Service  Publication
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98.  Ham.  Robert   K^.     Vectors.     Conference   of  Engineering
     Foundation Research.  Deerfield, Massachusetts.  1970  14p.

99.  Manson,  Robert  and Merritt,   Clifford.   Land  application of
     liquid  municipal  wastewater  sludges.   Journal  o_f  the Water
     Pollution Control  Federation  (Vol. 47, No. 1)  January 1975.
     24-24.

100.  Singh,  R.N.,  Keefer, R.F., and  Hovath,  D.J., Can  soils be
     used  for sewage  sludge  disposal?    Compost   Science  22-25,
     March-April 1975.                     	  	
                            VIII -8

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101. U.S.  Senate   Report   No. 94-988,  94th   Congress,   Second
     Session, 1976.

102. LA/OMA  Project,  Sludge  management activities  for the  Los
     Angeles/Oranoe   County  metropolitan  area,  Whittier,  CA.,
     May 1977.

103. The  Metropolitan  Sanitary  District   of  Greater  Chicago,
     Working  Draft—proposed   regulations  for  classification  of
     solid waste disposal facilities.  July 12, 1977.

104. SCS  Engineers.   Municipal  sludge  agricultural  utilization
     practices—an environmental assessment.  Volume I.  Prepared
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105. Impact  assessment  of  annual   cadmium   limitations   on  the
     agricultural utilization of municipal  sludge. (Draft)

106. Municipal    sludge   management:     EPa  construction  grants
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     Program  Operations.   April 1976.   (Distributed by National
     Technical    Information   Service,   Springfield,    VA,   as
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107. Geraghty  & Miller,  Inc.   Surface  impoundments   and their
     effects   on  ground-water  quality  in   the United  States—A
     preliminary  survey.    Prepared  for   the Office  of  Water
     Supply,  U.S.  Environmental Protection  Aaency.   September,
     1977.  267p.

108. U.S.  Environmental  Protection  Agency.    Office of Research
     and   Development.      Environmental   Protection  Technology
     Series.   Movement  of  selected metals, asbestos, and cyanide
     in  soil:    applications  to  waste  disposal  problems.   EPA
     600/2-77-020.  Cincinnati, Ohio.  April 1977.  242p.

109. U.S.  Water  Resources  Council.    A  Uniform  Technioue  for
     Determining  Flood   Flow   Frequencies,   Bulletin   No.  15.
     Washington, D.C., December, 1976.

110. The  carcinogen  assessment  group's assessment of  cadmium.
     1977 26p.   (unpublished report)

111. Dotson,  G.  Kenneth, et.  a_]_.   An  appraisal  of the relative
     health  risks associated  with   land  application of municipal
     sludge.     50th  Annual   Conference  of  the  Water  Pollution
     Control   Federation,  Philadelphia,  PA,   October  2-6,  1977.
     22p.

112. Bruade,  G.L. and Jelinck,  C.F.  Management of sludge use on
     land, FDA   considerations.    Food  and  Drug  Administration,
     Washington, D.C.
                            VIII .9

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113. Troast, Richard,  et.  al . ,  Cadmium.   {Position  Document 1).
     Office  of  Special  Pesticide  Reviews.  U.S.  Environmental
     Protection Agency.

114. Otte,  A.D.  and  K.Z.  LaConde,  Environmental assessment  of
     municipal  sludge  utilization at  nine  locations  in the U.S.,
     Ninth  Annual   Food,  Fertilizer  and  Agricultural  Residues
     Conference.   Syracuse,  New  York.   April  27, 1977.

115. U.S.  Environmental   Protection   Agency.    Office  of  Water
     Program   Operations.     Municipal  Construction   Division.
     Municipal    sludge  manaqement:     environmental  "factors.
     EPA 430/9-77-004.   Washington D.C.   October  1977.  31p.

116. Department  of  Defense,  Department  of  the  Army,  Engineer
     Corps. Regulatory program  of the  Corps  of  Engineers.   (42
     Fed. Reg.  37122-37164,  July,  19,  1977).

117. Emcon  Associates.   Methane  gas  hazard.   In-house  report.
     1977 6p.

118. Riggs, James L.   Economic  decision models for engineers and
     managers.   New York:   McGraw  Hill,  Inc.  1968.

119. U.S. Department of Commerce, Bureau of  the Census.  General
     Summary,   1972  Census  of  Manufacturers,  Washington:  U.S.
     Government Printing  Office,  1975.

120. U.S.  Environmental  Protection  Agency,  Office of  Water and
     Hazardous  Materials,  RCRA  solid  waste  disposal  criteria,
     (unpublished memorandum from Thomas C.  Jorling  to Assistant
     Administrators).  December  1977.

121. Federal  Insecticide,   Fungicide,  and  Rodenticide  Act  as
     amended.   Public Law 94-140.

122. The Bureau  of National  Affairs,  Inc.  Environment Reporter:
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123. U.S. Bureau of  the  Census.   1970  Census of  the Population:
     Number  of  Inhabitants,  Vol.  I.    United  States  Summary»
     Table II,  Area,  1970,  and  population per  square  mile,  1920
     to 1970 (Washington:   Government  Printing Office,  1972).

124. Gordian Associates,  Inc.  (draft)  An  economic  analysis  of
     municipal   waste  water   sludge   treatment   and   disposal.
     Washington:   Gordian Associates,  Inc., July 1977.

125. Clean Water  Act.  Public  Law  95-217.
                            VIII -10

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126.  Federal  Food,  Drug,  and Cosmetic Act.   Public Law 95-217.

127.  Anderson,  R.  Kent.  Case studies on the cost of 1andspreading
     and  hauling   sludge  from  municipal   wastewater  treatment
     plants (unpublished  document)  USEPA.

128.  Environmental    Protection   Agency.      Working  Paper   #1.
     Approach to guideline  development for disposal  of  municipal
     wastewater sludges  and related residuals (unpublished report
     from Docket No.'4004).  EPA WA77-B399, October, 1977.

129.  Endangered Species  Act.  Public Law  93-205.

130.  Critical habitat.  50 CFR Part 17, Subpart F.

131.  Safe Drinking Water  Act.  Public Law 93-523.

132.  Proposed  procedures   for  sole-source  aquifer designations.
     42 Fed'.  Reg.  51620.

133.  Clean Air Act.  Public Law 93-319.

134.  Shuster,  Kenneth  A.    Leachate  damage  assessment:     an
     approach.   (Unpublished Draft).  December, 1975.

135.  Shuster, Kenneth A.   Leachate damage  assessment; case  study
     of  the  Islip (Long  Island)  New  York  solid  waste  disposal
     site.   Environmental  Protection Agency.    U.S.  Government
     Printing Office, 1976.

136.  Brunner,  D.R.,  S.J.  Hubbard  D.J.  Keller,  and J.L.  Newton.
     Closing    open   dumps.      Environmental   Protection   Agency
     Publication SW-61ts.   Washinoton, U.S.  Government  Printing
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137.  Office of Solid  Waste Management Programs.  Second  Report to
     Congress;    resource    recovery   and   source   reduction.
     Environmental  Protection  Publication  SW-122.   Washington,
     U.S. Government  Printing Office, 1974.  112p.

138.  Office of  Solid  Waste  Management  Programs.  Third  Report to
     Congress;    resource    recovery   and    waste   reduction.
     Environmental     Protection    Agency    Publication    SH-161.
     Washington, U.S. Government Printing Office,  1975.

139.  Thermal   processing   and   land  disposal   of  solid  waste;
     guidelines.   40 CFR  Part  241.   39  Federal  Register 29327-
     29338, August 14, 1974.
                            VIII -11

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                               IX-2

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     Feldsman,  Jim.   Ground  water pollution  standards  chapter.
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     Geraghty &  Miller, Inc.   Development  of a  data  base  for
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     The  Metorpolitan  Sanitary   District  of  Greater  Chicago,
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     Office  of  Solid Waste  Management  Programs.   The report  to
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     Shuster,  Kenneth   A.     Leachate   damage:      a   national
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     Shuster,  Kenneth  A.   Leachate damage assessment; Case  study
     of  the  Fox  Valley  solid  waste  disposal  site  in  Aurora,
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     Shuster,   Kenneth  A.    Environmental   impact   of leachate.
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     Emcon  Associates  -  City and  County  of Honolulu.    Liners.
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                               IX-4

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AIR:   Laws, Executive Orders, Regulations

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     Environmental    Protection   Agency.     Working   Paper   #1.
     Approach to guideline development  for  disposal  of municipal
     wastewater  sludges   and  related   residuals   (Unpublished
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     SCS  Engineers.   Municipal  sludge  agricultural  utilization
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     The  Metropolitan  Sanitary  District  of  Greater  Chicago,
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     health  risks associated with land  application  of municipal
     sludge.    50th   Annual  Conference  of the  Water  Pollution
     Control  Federation,  Philadelphia,  PA.   October  2-6,  1977.
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     Hinesly, Thomas  D.   Agricultural  benefits  and environmenal
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     crops.   Metropolitan  Sanitary  District  of  Greater  Chicago,
     prepared for Environmental  Protection Agency,  1974.   375p.
     (Distributed by  NTIS,  Springfield, VA.  as  PB-236 402).

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                               IX-5

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LANDSPREADING:  Data, Technology, Costs

     Anderson, R. Kent.   Case  studies of the cost of landspread-
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     Bruade, G.L. and Jelinch,  C.F.   Management of sludge use on
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     Gordian Associates,  Inc.   (draft)   An  economic  analysis of
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     Impact  assessment  of   annual  cadmium  limitations  on  the
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     Municipal  sludge   management:    EPA  construction   grants
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                               IX-6

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     Personal   Communication.     Joseph   Hile,   Acting   Associate
     Commissioner  for Compliance,  Food  and  Drug  Administration  to
     DR.  Andrew  W.  Breadenbach,  U.S.  Environmental   Protection
     Agency,  September 22,  1976.

     Recycling   sludge  and  sewage  effluent  by  land   disposal;
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     Singh,  R.N.,   Keefer,  R.F.,  and Hovath,  D.J.,  Can  soils  be
     used for  sewage sludge  disposal?   Compost Science  22-25,
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     Soil Conservation  Society of  America,  Land application  of
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     Sommers,  I.E.   Chemical   composition  of  sewage sludges  and
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     U.S. Environmental  Protection Agency.   Office  of Solid Waste
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     U.S. Environmental  Protection Agency, Office  of Solid Waste
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     Bjornson,  B.F.,  Pratt, H.D.  and  Littig,  K.S.   Control  of
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     41p.

SAFETY:  Explosive and Asphyxiating Gases

     Emcon  Associates.   Methane  gas hazard.    In-house  report.
     1977 6p.

     Hatte, S.J.  Anaerobic digestion of solid   waste  and  sewage
     sludge into  methane.    Compost Science  ^  Journal  of_ Waste
     Recycling, 17(1):  January - February  1976.  5p.
                               IX-7

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SAFETY:  Bird Hazard to Aircraft

     Cogswell, Howard  L.   Proceedings  on  the Conference  on  the
     Biological  Aspects  of  the Bird/Aircraft  Collision  Program,
     Clemson University, South Carolina, February 1974.

     Environmental  Protection  Agency.    Bird/airport hazards  at
     airports near solid waste disposal  sites, SW-116,  1974.

     FAA Advisory  Circular.   Use  of  chemical controls  to repel
     flocks of birds at airports (AC 150/5200-8,  May 2,  1968).

     FAA Advisory  Circular,   Bird  reactions  to  scaring  devices.
     (AC 150/5200-9, June 26,  1968).

     FAA Advisory  Circular,   Announcing  the  availability  of  the
     international  civil  aviation   organization  airport  services
     manual, DOC-9137-AN/898,  Part  3,  Bird  control  and  reduction.
     (AC 150/5200-22).

     FAA   "Bird   Hazards   to   Aircraft"  Advisory   Circular   AC
     150/5200-3A,  1972.

     FAA Order 5200.5 FAA guidance  concerning sanitary  landfills.
     October 16,  1974.

AESTHETICS:  Noise

     EPA  Noise  emissions  standards   for   (new)  transportation
     equipment:   medium  and  heavy trucks.    (40  CFR  Part  205)
     Federal Register,  V. 41,  N72,  April 13, 1976.   p.15538-58.

     EPA Noise regulations for new  wheel and crawler tractors  and
     other heavy equipment.

GENERAL LANDFILL INFORMATION:        Laws,     Executive    Orders,
Regulations,Issues

     Exclusive Haste Age  survey of the nation's  dispsal  sites.
     Waste Age.  21-28.  January 1977.

     Ghassemi , M.,  S.C. Quinlivon   and  H.R.  Day.   Landfills  for
     pesticide  waste   disposal.     Envi ronmental   Science   and
     Technology.  10. 1209-1214.  December 1976.

     Gray,  Donald  H.,  Environmental concerns related to disposal
     fills.   Department of Civil  Engineering,  the  University  of
     Michigan.  January 1976.   20p.

     National  Environmental   Research  Center.   Municipal  solid
     waste    generated    gas    and   leachate.     United   States
     Environmental  Protection Agency,   Cincinnati,  Ohio.   1974.
     119p.
                               IX-8

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     Pohland,   F.G.   and  R.S.  Engelbrecht,  Impact  of  Sanitary
     Landfills:   An  Overview of Environmental  Factors  and Control
     Alternatives.     Prepared  for  American   Paper   Institute.
     February  1976.   82p.

     Stewart,  W.S.    State-of-the-art study of  landfill  impound-
     ment techniques.  Prepared by Exxon Research  and  Engineering
     Co.,  Linden,   N.J.   for  USEPA,   Office   of  Research   and
     Development, Cincinnati.   Project  R-803585.

GENERAL LANDFILL INFORMATION;   Damage,  Environmental  Issues

     American   Society  of   Civil   Engineers,   Sanitary  landfill
     manuals  and  reports   of  engineering  practice   -   No.  39.
     Revised 1976.

     Brunner,  D.R.  and D.J.  Keller.   Sanitary  landfill  design  and
     operation.     Environmental   Protection  Agency  Publication
     SW-65ts.   Washington,  U.S. Government Printing Office,  1972.
     59p.

     Brunner,  D.R.,  S.J.  Hubbard, D.J.  Keller, and J.L.  Newton.
     Closing  open   dumps.     Environmental   Protection   Agency
     Publication SW-61ts.   Washington,   U.S.  Government  Printing
     Office, 1971,  19p.

     Comparing  conventionally  landfil-led  solid waste with  pro-
     cessed landilled solid  waste.    Floyd  G.  Brown and  Asso-
     ciates, Ltd.   Prepared for  Environmental  Protection Agency
     1973.  136p.  (Distributed by National Technical  Information
     Service,  Springfield,  VA as PB-253 304).

     Cost of solid waste management  facilities.  Board of County
     Commissioners.   Johnson County,  Kansas, March 1975.

     Inglehard,  Cecil.   How do you  measure the costs  of  landfill
     design and operation?   (Unpublished Report).

     Fourth National  Congress  on  Waste  Management Technology  and
     Resource    and   Energy   Recovery.      Atlanta,   Georgia,
     November  12-14,  1975.   U.S. Environmental  Protection Agency,
     Washington, U.S. Government Printing Office,  1976.  382p.

     Subsurface  application   solves  community  sludge  disposal
     problems.  Public Horks 67-68.  December 1976.

     Thermal processing  and land  disposal  of solid waste; guide-
     lines.   40 CFR  Part 241.   39  Federal Register 29327-29338,
     August 14, 1974.
                               IX-9

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GENERAL SURFACE IMPOUNDMENT INFORMATION

     Geraghty  &  Miller,  Inc.    Surface  Impoundments and  their
     effects  on   ground-water  quality  in  the  United  States—A
     preliminary   survey.     Prepared   for   the  Office  of  Water
     Supply,  U.S.  Environmental  Protection  Agency.    September,
     1977.  267p.

GENERAL INFORMATION:   Environmental  Issues,  Decision  Models

     Anderson, K.^and  M.  Cowart.   Don't walk  away  from  an open
     dump.  The American Ci ty and County.  February 1976.   2p.

     Disposal  of  wastewater  residuals,  Environmental   Quality
     Systems, Vol. 1.   March  1976,  1031p.   (Distributed by NTIS,
     Springfield, VA as PB-251  371-01).

     Council  on  Environmental  Quality.    Environmental  Quality
     1976,  Seventh  Annual  Report,  Washington,  D.C.,  September
     1976.

     Disposal  of  wastewater  residuals,  Environmental   Quality
     Systems, Vol. 2.   March  1976.   548p.   (Distributed by NTIS,
     Springfield, VA. as PB-251 371-02).

     Effluent  limitations  guidelines  for  existing   sources  and
     standards  of  performance  for  new  sources,   National  Field
     Investigation   Center,   Environmental    Protection   AGency.
     August  1974  (Distributed  by NTIS,  Springfield,  VA as PB-257
     300).Environmental Protection  Agency.   Environmental  impacts
     of  land disposal   (Unpublished  Draft).   26pp.   Docket 4004.
     1977.

     Riggs,  James L.   Economic decision models for engineers and
     managers.  New York:   McGraw Hill, Inc. 1968.

     Strategic   environmental   assessment  system:     residuals
     forcasting.    International  Research  and  Technology  Cor-
     poration,  February  1976.   59p.    (Distributed  by  NTIS,
     Springfield, VA as PB-252041.)

     Wolcott,  R.M.  and B.W. Vincent.   The  relationship  of solid
     waste  storage  practices  in the  inner  city to the incidence
     of   rat  infestation   and  fires.     Environmental  Protection
     Agency  Publication  SW-150.    Washington,  U.S.  Government
     Printing Office, May 1975.  ,14p.

GENERAL INFORMATION:  General  Solid Waste Management

     American Chemical  Society.   Solid wastes..  An Environmental
     Science and Technology reprint book.   87p. CA.,   1971.
                              IX-10

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     Bergman,   E.B.    WRAP.    A  model   for  regional  solid  waste
     management   planning.      User's    Guide.      Environmental
     Protection Agency  Publication.    SW-574.    Washington,  D.C.
     U.S.  Government Printing Office,  1977.   124p.

     Environmental Protection Agency.   Materials recovery.   Solid
     waste management guidelines  for source  separation.   Federal
     Register,   Vol.  41,  No. 80.    Washington, U.S.  Government
     Printing  Office,  April  23,  1976.   8p.

     Environmental   Protection    Agency.      Resource   recovery
     facilities.     Guidelines.     Federal   Register,   Vol.  41,
     No.  184.   Washington, D.C.   U.S.  Government Printing Office,
     September 21, 1976.  4p.

     Office  of Solid   Waste Management  Programs.    Decision  -
     Makers  guide  in   solid waste  management.    Environmental
     Protection Publication  SW-500.  Washington,  U.S.  Government
     Printing  Office,  1976  158p.

     Office of  Solid Waste  Management  Programs. Second Report to
     Congress:      resource   recovery    and   source   reduction.
     Environmental  Protection  Publication  SW-122.    Washington,
     U.S.  Government Printing Office,  1974.   112p.

     Office of  Solid  Waste Managment Programs.  Third  Report to
     Congress;       resource   recovery-  and   waste   reduction.
     Environmental   Protection    Agency    Publication    SW-161.
     Washington, U.S.  Government Printing Office, 1975.

     The  Bureau of National  Affairs,  Inc. Environmental  Reporter:
     State Solid  Waste  -  Land   Use  (Washington:   The  Bureau  of
     National  Affairs,  Inc.  1976).

     The  City  of  Scottsdale,  Arizona.   A handbook  for  initiating
     or improving  commercial refuse  collection.   Environmental
     Protection Agency   Publication.    SW-85d,  Washington,  U.S.
     Government Printing Office,  August 1975.  68p.

GENERAL INFORMATION:   Amounts and Character  of  Solid Waste

     Boyd, G.B. and  M.B. Hawkins.   Methods of  predicting  solid
     waste characteristics.   Environmental  Protection Publication
     SW-23C Washington,  U.S. Government  Printing  Office,  1971,
     28p.

     Smith, F.A.     Quantity  and  composition  of  post-consumer
     solid waste;   material flow  estimate  for  1973  and baseline
     future projections.  Waste  Age.  2-10,  April 1976.

     Smith, F.A.   Comparative  estimates of post-consumer  solid
     waste.  Environmental  Protection  Agency  Publication SW-.148.
     Washington, U.S.  Government Printing Office, May 1975.   8p.
                              IX-11

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GENERAL INFORMATION:   Industrial  Wastes,  Mining Wastes

     Environmental  Protection  Agency.  Polychlorinated  biphenyl-
     containing  wastes.     Federal   Regi ster.  Vol.  41,   No.  64.
     Washington, US.  Government  Printing  Office, April  1,  1976.
     3p.

     Environmental    Protection   Agency.       Vinyl    chloride.
     Recommended procedure  for disposal  of aerosol  cans.   Federal
     Regi ster,  Vol.  41.  No. 112.    Washington,  U.S.  Government
     Printing Office, June  9,  1976.   2p.

     Proceedings; Kentucky  Coal  Refuse  Disposal and  Utilization
     Seminar  (1st)  Held  at  Cumberland,  Kentucky,  May 22,  1975.
     47p.

     Smith.  F.L.,   Jr.    A  solid  waste  estimation  procedure:
     material  flows  approach.    Environmental  Protection  Agency
     Publication SW-147.   Washington,  Lf.S.   Government  Pringing
     Office, May 1975.   55p.

     Stanton,  W.S.  and  J.G.   Langerton.      Pesticide  container
     processing   in   commercial    reconditioning    facilities.
     Environmental    Protection   Agency    Publication    SW-88d.
     Washington, U.S. Government Printing Office,  November 1976.
     20p.

     Terry,  Jr.  R.C.  and J.B. Berkowitz,  A.D.  Little,  Inc.  C.H.
     Porter.    Waste  clearing houses  and  exchanges.   Chemical
     Engineering Progress,  58-62.   December  1976.

     USEPA,  Industrial   waste  management:     seven   conference
     papers.  EPA/530/SW-156,  January 1975,  lllp.

GENERAL INFORMATION:   Census Data

     U.S. Department of  Commerce, Bureau  of  the Census.   General
     Summary,  1972  Census  of Manufacturers,  Washington:    U.S.
     Government Printing  Office,  1975.

     U.S. Bureau  of  the  Census.   1970 Census  of the  Population:
     Number  of  Inhabitants,   Vol.  I.    United  States  Summary,
     Table II,  Area,  1970,  and population per  square mile,  1920
     to 1970 (Washington:  Government Printing Office, 1972).
                              IX-12

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