Title: Hazardous and Solid Waste Issues
1Hazardous and Solid Waste Issues
- Kathy Hotovec
- Compliance Assistance Coordinator
- Hazardous Materials Waste Management Division
- Colorado Department of Public Health
Environment - kathy.hotovec_at_state.co.us
- 303-692-3343
2Hazardous Waste
- Two ways to be hazardous waste
- Characteristic
- - Ignitable - Corrosive
- - Reactive - Toxic
- Listed
- F wastes common to many sectors K wastes
from specific sectorsP unused chemical
products (acute) U unused chemical products
( Need not be sole active ingredient)
3Three Generator Categories
- Based on amount of hazardous waste generated per
month AND/OR amount stored onsite at one time - More waste more requirements
CESQG
SQG
LQG
4Conditionally Exempt Small Quantity Generator
(CESQG)
- Less than 100 kilograms generated in any calendar
month ( ½ of a 55-gallon drum) - No more than 1,000 kilograms onsite at one time
( 5 55-gallon drums) - Less than 1 kilogram acutely hazardous waste
generated in a month or accumulated onsite at one
time (lt 2.2 pounds or 1 quart)
5CESQG Requirements
- Make hazardous waste determination on all wastes
- Obtain EPA I.D. number if generate more than 3
gallons per year of certain solvents (F001, F002,
F004, F005) - Annual generator fee
- Must complete and submit a self-certification
checklist if notified to do so
6CESQG Requirements
- Must maintain and operate facility in a manner to
minimize possibility of release - Can treat hazardous waste onsite or must ensure
delivery to a permitted treatment, storage or
disposal facility - Solid waste landfills in Colorado are not
permitted to accept hazardous waste (residential
waste excepted) - No onsite disposal
7Small Quantity Generator (SQG)
- Generates between 100 and 1,000 kilograms of
waste in any calendar month ( ½ of a 55-gallon
drum up to 5 55-gallon drums) - Never accumulates more than 6,000 kilograms of
waste onsite ( 30 55-gallon drums) - Less than 1 kilogram acutely hazardous waste
generated in a month or accumulated onsite at one
time (lt 2.2 pounds or 1 quart)
8SQG Requirements
- Make hazardous waste determination on all wastes
- Obtain an EPA I.D. number
- Annual generator and commission fees,
notification fee - Waste accumulation time limit
- 180 days (270 days if destination facility is
over 200 miles away)
9SQG Requirements
- Container and tank management
- Not leaking, good condition, labeled and dated,
kept closed, compatibility, stored in manner to
prevent release, fix problems, inspections - Preparedness and prevention
- Emergency coordinator, telephone posting,
response plans and equipment, aisle space,
arrangements with local responders
10SQG Requirements
- Training and documentation
- Waste management and emergency response relative
to job, performance based, documentation of
training - Shipping, manifests and Land Disposal Restriction
(LDR) requirements - Keep records for 3 years
- Must complete and submit a self-certification
checklist when notified to do so
11Large Quantity Generator (LQG)
- Generates more than 1,000 kilograms of hazardous
waste in any calendar month (gt5 55-gallon
drums) - Accumulates more than 6,000 kilograms of
hazardous waste onsite (gt30 55-gallon drums) - More than 1 kilogram acutely hazardous waste
generated in a month or accumulated onsite at one
time (gt2.2 pounds or 1 quart)
12LQG Requirements
- Hazardous waste determination on all wastes
- Obtain an EPA I.D. number
- Annual generator and commission fees,
notification fee - Waste accumulation time limit - 90 days
13LQG Requirements
- Container management
- Not leaking, good condition, labeled and dated,
kept closed, compatibility, stored in manner to
prevent release, fix problems, inspections - Tank management
- Not leaking, good condition, labeled and dated
(or keep log), no open top tanks, compatibility,
stored in manner to prevent release, fix
problems, inspections
14LQG Requirements
- Preparedness and prevention
- Response plans and equipment, aisle space,
arrangements with local responders - Written contingency plan
- Emergency response coordinator info, list of
equipment, evacuation plan, list of all hazardous
waste accumulation areas, specify fire protection
district, specify LEPC, provide copies, must be
current
15LQG Requirements
- Training and documentation
- Classroom and on-the-job
- Job descriptions, required training,
documentation of training
16LQG Requirements
- Shipping, manifests and Land Disposal Restriction
(LDR) requirements - Record keeping requirements and reporting
- Keep records for 3 years
- Biennial report
- Due during even-numbered year reporting on
previous odd-numbered year
17Common CESQG/SQG/LQG ViolationLack of Waste
Determination
- Results in improper waste disposal
- Inadequate waste analysis, inappropriate use of
the MSDS or inadequately documented process
knowledge - May result in unsafe site conditions
- Possible enforcement action
18Are You Keeping an Eye on Your Trash?
19Ignoring It Wont Make It Go Away
20Common CESQG/SQG Violation Too Much Waste
- Too much generated per calendar month
- AND/OR
- Too much onsite at one time or for too long (SQG)
21If the Generation Limit is Exceeded
- You are now the next level up of hazardous waste
generator and must meet all those requirements
including increased - Notification and fees
- Time limits, management requirements
- Training
- Documentation and reporting
- Possible enforcement action
22If the Accumulation Limit is Exceeded
- You are subject to the requirements of the next
level up of hazardous waste generator (CESQG) - You are an un-permitted storage facility (i.e.,
likely enforcement action) (SQG)
23SQG Violation - No Phone Postings
- Post emergency response information by the
telephone - Name/phone number of the emergency coordinator
- Location of fire extinguishers and alarms
- Location of spill response equipment
- Phone number for the Fire Department
24Common Violation - Inadequate or No Training
- Personnel must be trained on waste handling and
emergency procedures - Need hazardous waste specific training
- OSHA hazard communication training usually is NOT
adequate
25Open Container Violation
26Container Options
Liquids
Solids
27Labeling Violation
Adequate
10/1/08
Inadequate
28Containers in Poor Condition
29Aisle Space
Adequate
Inadequate
30Failure to Conduct Inspections
31Inadequate Record Keeping
Manifests properly completed, signed and
returned
32Universal Waste Management
Mercury-containinglamps
Batteries
Aerosolcans
Pesticides
Computers and otherelectronic devices
Mercury-containing devices
33Universal Waste Regulations
- Provides less stringent management standards for
six widely generated wastes - Discourage illegal disposal
- Encourage recycling
- Universal Wastes are still hazardous wastes
- Can choose to manage as universal waste or under
the full hazardous waste regulations
34Batteries
- Batteries that contain mercury and other metals
may also be reactive - Ni-cad, silver-oxide, mercury-oxide, lithium,
zinc-air, and some alkaline and zinc-carbon - Local battery recyclers
- Mail-back programs
35Vehicle Batteries
- Can be managed under Part 267 Subpart G
- Picked up when new batteries delivered
36Pesticides
- Recalled and banned pesticides
- Collected as part of a waste pesticide collection
program (e.g. CHEMSWEEP at (888) 242-4362 )
37Mercury-containing Devices
- Products that contain elemental mercury that acts
as a conductor of temperature, pressure or
electricity - Thermometers, thermostats, pressure gauges,
electrical switches, etc. - Local hazardous waste companies
- Mail-back programs for small devices
- Out-of-state mercury recyclers
38Aerosol Cans
- Cans that still contain product and contents
are hazardous waste - Puncture and drain cans
- Dispose of contents as hazardous waste
- Recycle or dispose of cans
39Mercury-containing Lamps
- Lighting devices that contain mercury
- Fluorescent, compact fluorescent, high intensity
discharge (HID), neon, mercury vapor, high
pressure sodium, metal halide lamps, etc. - Toxicity test-compliant lamps are clearly marked
and can be recycled (preferred) or disposed of as
solid waste (acceptable) - Local lighting contractors
- Mail-back programs
- Out-of-state lamp recyclers
40Drum Top Bulb Crushers
- Allowed as long as you have and follow a written
procedure - Completely enclosed system with filters
- Operation and maintenance of equipment
- Precautions to protect workers
- Personal protective equipment, air monitoring,
changes to ventilation system - Worker training
- Waste management and disposal
- Filters are not universal waste
41Electronic Devices and Components
- Electronic devices that contain
circuit boards or circuitry that exhibit
toxicity characteristics for heavy metals like
lead, chromium, mercury, cadmium or silver - CPUs, monitors, laptops, computer peripherals,
cell phones, TVs
42Electronics are Different
- Generally a waste when original generator can no
longer use it - Computers and some electronics may not be useful
to original generator, but can still be used by
someone else for intended purpose - May not be a waste yet
43If They are Disposed
- If original generator sends their computers and
electronic equipment for disposal, it is a waste
and the hazardous waste regulations apply to the
generator
Hazardous Waste
44If They are Recycled
- If original generator sends their electronic
equipment to a legitimate recycler, the recycler
is the one that determines if it will be reused
or recycled for materials recovery - If reused, is not a waste and regulations dont
apply yet - If recycled for materials recovery, is a waste
and regulations apply to recycler
45Is it a Waste?
- Must manage in a manner consistent with a product
having value if they want to claim that it is not
a waste
Product
46Universal Waste Handlers
- Those that manage Universal Wastes are called
handlers - Handler status is unrelated to generator status
- Generators, consolidation facilities,
transporters - Small quantity handler if lt5,000 kg of universal
wastes onsite at one time
47Requirements for Small Quantity Handlers
- Accumulation time - one year
- Staff training
- Contain and cleanup releases
- Label item or accumulation container
- Ship to another universal waste handler or to a
recycling, treatment, or disposal facility
48(Non) Requirements forSmall Quantity Handlers
- Not required to notify
- Not required to keep records
- Not required to use hazardous waste manifest
- Not required to use hazardous waste transporter
49 Prohibitions
- Universal wastes are still hazardous wastes
- No onsite disposal
- No disposal in a solid waste landfill
50 Recyclers
- www.cdphe.state.co.us/hm/mercury/hgrecyclers.pdf
- www.cdphe.state.co.us/hm/electronics/erecyclers.pd
f - Variety of mailback options
- www.grainger.com
- www.veoliaes-ts.com/RecyclePak
- www.recyclekit.com
- www.aircycle.com/store/products.aspx?categoryid23
6 - www.wmlamptracker.com
- www.cleanharbors.com
51Solid Waste
- Recycling (newspapers, cans, bottles)
- Asbestos in soil
- Beneficial use of recycled inert materials
- Composting of food wastes
52Asbestos in Soil
- Contaminants remaining from building removal
- Old contaminated fill
- Potential health risks when disturbed
- Proper management necessary to prevent exposure
if it will be disturbed
53Beneficial Use
- Reclaimed asphalt paving used as aggregate in hot
mixasphalt paving - Crushed concrete used to replace virgin
aggregate in concrete paving, crushed
aggregate surfacing, road base, structural fill - Recycled concrete used in structural elements
and paving
54Beneficial Use Examples
- Stapleton International Airport
- 6.5 million tons of concrete and asphalt from
runways, taxiways, aprons, hangers, towers - Reused about 1/3 of aggregates in redevelopment
of new Stapleton community - Also used at DIA, Buckley, E-470 and Rocky
Mountain Arsenal National Wildlife Refuge - Central Wisconsin Airport
- Coal combustion products from Wausau-Mosinee
Paper and Wisconsin Public Service power plant as
fill for runway overrun area
55Composting of Food Waste
- Portland, OR airport
- January 2003 initiated food waste collection in
kitchen and prep stations - November 2007 added food waste collection bins in
food court - Diverted 165 tons of food waste in 2007 and 98
tons as of June 2008 - www.findacomposter.com
56Customer Technical Assistance
- Phone 303-692-3320 or 888-569-1832 ext 3320
- Email comments.hmwmd_at_state.co.us
- Web www.cdphe.state.co.us/hm/
- Guidance documents
- Compliance aids
- Generator Assistance Program (GAP)