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TRI National Analysis 2018

www, epa. aov/trinationa lana lysis/
February 2020

Introduction to the 2018 TRI National Analysis

Industries and businesses in the United States (U.S.) use chemicals to make the products we
depend on, such as pharmaceuticals, computers, paints, clothing, and automobiles. While the
majority of chemicals included on the Toxics Release Inventory (TRI) chemical list are managed
by industrial facilities in ways that minimize releases into the environment, releases still occur as
part of their normal business operations. It is your right to know what TRI chemicals are being

used in your community, and how they are managed
including how much is released into the environment, and
whether such quantities are increasing or decreasing over
time.

TRI Reporting

Under the Emergency Planning
and Community Right-to-Know
Act (EPCRA) and the Pollution
Prevention Act (PPA). facilities
must report details about their
pollution prevention and waste
management activities,
including releases, of TRI-listed
chemicals for the prior calendar
year to EPA by July 1 of each
year.

The TRI tracks the annual management of certain chemicals
based on the information reported to EPA by facilities in U.S.
industry sectors such as manufacturing, metal mining,
electric utilities, and hazardous waste management. The data
reported to TRI are compiled in a publicly available database
maintained by EPA. For calendar year 2018, more than
21,000 facilities submitted TRI data to EPA.

Each year, EPA prepares and publishes the TRI National
Analysis. In support of EPA's mission to protect human
health and the environment, the TRI National Analysis
summarizes recently submitted TRI data, explores data
trends, and interprets the findings.

Watch a short video about the TRI Program and your right to know.

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TRI National Analysis 2018
www, epa. aov/trinationa lana lysis/
February 2020

Overview of the 2018 TRI data

The pie charts below summarize the most recent TRI data on: 1) how production-related
chemical wastes were managed in 2018; and 2) how the portion of wastes that were disposed
of or otherwise released to the environment were handled.

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On-site Land
Disposal:
68%

Treatment:
26%

Disposal or

Other
Releases:
12%

Recycling:

53%

On-site Air

Releases:

Off-site Disposal or
Other Releases: 11%

On-site Surface
Water
Discharges:
5%

Production-Related Waste Managed, 2018	Disposal or Other Releases

32.1 billion pounds	3.8 billion pounds

Energy Recovery:
9%

Note: To avoid double counting, the Disposal or Other Releases pie on the right excludes quantities of TRI chemicals that are

transferred off site from a TRI-reporting facility and subsequently released on site by a receiving facility that also reports to TRI.

•	Facilities reported managing 32.12 billion pounds of TRI-listed chemicals as production-
related waste. This is the quantity of TRI chemicals in waste that is recycled, combusted for
energy recovery, treated, disposed of, or otherwise released into the environment. In other
words, it encompasses the TRI chemicals in waste generated from the routine production
processes and operations at the facilities.

o Of this total, 88% was recycled, combusted for energy recovery, or treated. Only
12% was disposed of or otherwise released into the environment.

•	For chemical wastes that were disposed of or otherwise released, facilities also reported
where the wastes were released—into the air, water, or land (on site or off site). As shown
in the pie chart on the right, most waste was disposed of to land, which includes landfills
and underground injection, and other land disposal.

•	To view these data in a table and for more information on why the "disposal or other
releases" values differ between these two pie charts, see Quick Facts under TRI Data
Considerations.

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TRI National Analysis 2018

www, epa. aov/trinationa lana lysis/
February 2020

Where are TRI Facilities Located?

Click on any of the locations on the map to see facility information.

View Larger Map

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TRI National Analysis 2018
www, epa. aov/trinationa lana lysis/
February 2020

TRI Data Considerations

As with any dataset, there are several factors to consider when reviewing results or using
Toxics Release Inventory (TRI) data. Key factors associated with the data presented in the TRI
National Analysis are summarized below; for more information see Factors to Consider When
Using Toxics Release Inventory Data.

•	Covered sectors and chemicals. TRI includes information reported by many industry
sectors on the quantities of many chemicals that are released or otherwise managed as
waste, but it does not contain such information on all chemicals manufactured,
processed or otherwise used in the U.S., nor does it cover facilities in all industry sectors
within the U.S. A list of the sectors covered bv the TRI Program is available on the TRI
webpage, as well as a current list of the chemicals reportable to the TRI Program.
Facilities in covered sectors that manufacture, process, or use TRI-listed chemicals
above threshold quantities must also employ at least ten full-time equivalent employees
to be required to report to the TRI Program.

•	TRI trends. The list of TRI chemicals has changed over the years; as a result, trend
graphs in the TRI National Analysis include only those chemicals that were reportable for
the entire time period presented so that the year-to-year data are comparable. Results
which focus only on the year 2018 include all chemicals reportable for 2018. Thus, the
results for 2018 analyses may differ slightly from results presented in trend analyses,
which include 2018 and previous years.

•	Data quality. Facilities determine the quantities of chemicals they report to TRI using
best readily available data. Each year. EPA conducts an extensive data Quality review
that includes contacting facilities to review potential errors in reported information. This
data quality review helps ensure that the National Analysis is based on accurate and
useful information.

•	Risk. The quantity of TRI chemicals released is not an indicator of health risks posed by
the chemicals. Although TRI data generally cannot indicate the extent to which
individuals may have been exposed to chemicals, TRI data can be used as a starting
point to evaluate the potential for exposure and whether TRI chemical releases might
pose risks to human health and the environment. In particular, note that:

o The level of toxicity varies among the TRI-listed chemicals; data on quantities of
the chemicals alone are inadequate to reach conclusions on health-related risks,
and

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TRI National Analysis 2018
www, epa. aov/trinationa lana lysis/
February 2020

o The presence of a chemical in the environment must be evaluated along with the
potential and actual exposures and the route of exposures, the chemical's fate in
the environment and other factors before any judgements can be made about
potential risks associated with the chemical or from a release.

For more information on the use of TRI data in exposure and risk analyses, see Factors
to Consider When Using Toxics Release Inventory Data and the Hazard and Potential
Risk of TRI Chemicals in the Releases section.

•	Late submissions. TRI reporting forms submitted to EPA
after the July 1 reporting deadline may not be processed in
time to be included in the National Analysis. While facilities
can submit revisions after July 1, the TRI dataset used to
develop the National Analysis was frozen in mid-November.

Any revisions or late submissions received after this date will
not be reflected in the National Analysis but will be
incorporated into the TRI dataset during the spring data
refresh and will be reflected in next year's National Analysis
where 2018 data are referenced.

•	Double counting. The National Analysis presents
summaries of many quantitative data elements including
releases to the environment, which occur on site and off site
after wastes are transferred to other businesses for further
waste management. When aggregating releases across
facilities, such as national totals, EPA adjusts off-site releases to eliminate double
counting of releases if the receiving facility also reports to TRI.

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TRI Reporting is Required

Reporting to TRI is required by
law for facilities that meet the
reporting criteria under Section
313 of the Emergency Planning
and Community Right-to-Know Act
fEPCRAI. EPA investigates cases
of EPCRA non-compliance and
may issue civil penalties, including
monetary fines. Since the TRI
Program's inception, EPA has filed
more than 3,300 enforcement
actions involving TRI. For more
information, see the TRI
Compliance and Enforcement
webpage.

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TRI National Analysis 2018

www, epa. aov/trinationa lana lysis/
February 2020

Quick Facts for 2018

2018 TRI Quick Facts

Production-Related Waste
Managed: 32.12 billion lb

billion lb



Total Disposal
or Other
Releases



Total:

3.80 billion lb

Off-site:
0.43 billion lb

Water:
0.20 billion lb

© O.

On-site:
3.37 billion lb

Land:

2.57 billion lb

Air:

0.60 billion lb

TRI Facilities
21,557 1 s

The two metrics related to disposal or other releases are similar (3.84 and 3.80 billion
pounds), but not the same. There are several reasons that these metrics differ slightly:

1. Double counting. Total disposal or other releases removes "double counting" that
occurs when a facility that reports to the TRI Program transfers waste to another
TRI-reporting facility. For example, when TRI Facility A transfers a chemical off site

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TRI National Analysis 2018
www, epa. aov/trinationa lana lysis/
February 2020

for disposal to Facility B, Facility A reports the chemical as transferred off site for
disposal while Facility B reports the same chemical as disposed of on site. In
processing the data, the TRI Program recognizes that this is the same quantity of
the chemical and includes it only once in the total disposal or other releases metric.
The production-related waste managed metric in TRI, however, considers all
instances where the waste is managed (first as a quantity sent off site for disposal
and next as a quantity disposed of on site), and reflects both the off-site transfer
and the on-site disposal. Typically, double counting accounts for most of the
difference between the two metrics.

2.	Non-production related waste. Total disposal or other releases includes
quantities of non-production-related waste that are released to the environment, but
these quantities are not included in the releases metric that is part of the
production-related waste total.

3.	Range Codes. Facilities may use range codes for the quantities reported that make
up the total disposal or other releases (e.g., fugitive air emissions, water discharges,
and releases to a landfill) if the quantity released to the medium is less than 1,000
pounds and the chemical is not designated as a persistent, bioaccumulative toxic
(PBT) chemical in TRI. The three reporting range codes are: A =1 to 10 pounds; B =
11 to 499 pounds; and C = 500 to 999 pounds. EPA calculations assume the
approximate midpoint for each range (i.e., A = 5 pounds; B = 250 pounds; and C =
750 pounds). For the releases metric that is part of the production-related waste
total, range codes cannot be used; a numerical estimate must be provided.

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