Disposal faciltiies licensing epa
However, aboveground piping is not subject to secondary containment requirements if it is visually inspected on a daily basis for leaks Section Most states are authorized to implement the Federal regulations. We recommend that you also contact your state's implementing agency to acquire additional information on hazardous waste tank secondary containment. See EPA Regional offices and state environmental agencies to help locate the appropriate agency.
Upon discovery, a TSDF must attempt to reconcile any manifest discrepancy with the waste generator or the transporter e. If the discrepancy is not resolved within 15 days after receiving the hazardous waste, the facility owner or operator must immediately submit a copy of the manifest or shipping paper, as well as a letter describing the discrepancy and any attempts to reconcile it, to its implementing agency 40 CFR When the owner or operator of a TSDF discovers a significant manifest discrepancy, they must attempt to reconcile the discrepancy with the waste generator or transporter.
The owner or operator of a TSDF must immediately submit a letter to the Regional Administrator describing significant discrepancies that are not resolved within fifteen days of receiving the waste Sections Manifest discrepancies are defined as differences between the quantity or type of hazardous waste designated on the manifest and the quantity or type of hazardous waste a facility actually receives Sections Significant discrepancies consist of variations in piece count for a batch shipment of waste and variations of greater than 10 percent by weight for a bulk shipment of waste Memo, Petruska to Berry; September 14, RCRA Online An owner or operator of an TSDF may satisfy the requirements for financial assurance for both closure and post-closure care by using a trust fund, surety bond, letter of credit, insurance, financial test or corporate guarantee that meets the specifications for the mechanism in Sections The amount of funds available through the mechanism must be no less than the sum of funds that would be available if a separate mechanism had been established and maintained for financial assurance of closure and post-closure care Section An owner or operator may combine certain financial assurance mechanisms to cover the cost of closure and post-closure care for a facility.
For example, an owner or operator can combine trust funds, payment surety bonds, insurance policies, and letters of credit to meet financial assurance requirements. See Part The mechanisms used must be as specified in paragraphs a , b , d , and e , respectively, of In addition, the wording of each mechanism or instrument, must be identical to the examples in 40 CFR The financial obligations for post-closure care apply only to owners and operators of disposal facilities, waste piles, surface impoundments, tank systems, and containment buildings that close with waste in place i.
New owners or operators of TSDFs have six months from the date of the change in ownership or operational control to demonstrate compliance with the financial assurance requirements, regardless of whether the facility is permitted or interim status.
The old owner or operator shall continue to comply with the financial assurance requirements until the new owner or operator has demonstrated compliance with those requirements. When the new owner or operator has demonstrated compliance, the old owner or operator will be notified that he or she no longer needs to comply with the financial assurance regulations Sections Within 60 days after receiving the final closure certifications from the owner or operator and an independent professional engineer, the implementing agency will notify the owner or operator in writing that he is no longer required to maintain financial assurance at the facility 40 CFR Sections The closure cost estimate must be updated for inflation within 30 days of the close of the facility's fiscal year and it must be placed in the updated financial records that are kept at the facility 40 CFR Section Owners or operators who use the financial test or corporate guarantee have 90 days after the close of the fiscal year to submit all updated information, including the updated cost estimate, to the implementing agency Section Owners or operators of hazardous waste TSDFs must demonstrate financial responsibility for bodily injury and property damage to third parties caused by sudden accidental occurrences arising from the operation of the facility Section A sudden accidental occurrence is an event that is not continuous or repeated, such as a fire or explosion Section The requirement to demonstrate financial responsibility for nonsudden accidental occurrences is limited to owners or operators of surface impoundments, landfills, land treatment facilities, or land disposal miscellaneous units Section A nonsudden accidental occurrence is an event that takes place over time and involves continuous or repeated exposure to hazardous waste, such as a leaking surface impoundment that contaminates a drinking water source over time Section Permitted facilities are required to submit a closure plan with the Part B permit application; the approved closure plan then becomes an enforceable component of the facility permit Section Interim status facilities must have a written closure plan on the premises six months after the facility becomes subject to Section Additional guidance on the closure plan requirements is available in the following documents:.
Facility owners and operators are required to include wastes that are treated or accumulated in ninety-day generator units in estimations of the maximum inventory of hazardous wastes ever on site over the active life of the facility for purposes of the closure plan. EPA promulgated requirements for more detailed closure plans in response to concerns that poorly detailed plans were accompanied by inadequate cost estimates.
EPA then provides reports on hazardous waste generation and management activity that accompany the data files. You can use a variety of data retrieval options in the Biennial Report Search to search for facilities that interest you. Skip to main content. Related Topics: Hazardous Waste Permitting. Contact Us. Contact Us to ask a question, provide feedback, or report a problem.
Please click here to see any active alerts. Under this program, EPA establishes requirements regarding the treatment, storage and disposal of hazardous wastes. The permitting program is important to the cradle-to-grave management system for hazardous wastes, which prevents dangerous releases and avoids costly Superfund cleanups. Permits are issued by authorized states or EPA regional offices. Skip to main content. Contact Us.
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