Posts Tagged USEPA

Announcements of Proposed Rules, Changes to the Rules, and Final Rules of the US DOT & US EPA – March 2013

On its website the US Government Printing Office makes a wealth of Federal publications available for review and download; one of these is the Federal Register.

Published by the Office of the Federal Register, National Archives and Records Administration (NARA), the Federal Register is the official daily publication for rules, proposed rules, and notices of Federal agencies and organizations, as well as executive orders and other presidential documents.

See below for a brief summary of announcements in the Federal Register by the US EPA on the subject of Hazardous Waste and the Pipeline & Hazardous Materials Safety Administration (PHMSA) of the US DOT on the subject of Transportation of Hazardous Materials. Read the rest of this entry »

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US EPA Compliance and Enforcement Annual Report for 2011

You are no doubt aware that the US Environmental Protection Agency is serious about enforcing its regulations in order to live up to its mandate to protect the environment.  The Office of Enforcement and Compliance Assurance (OECA) within the US EPA is tasked with carrying out this enforcement through a variety of measures.  From its website, the OECA…  “aggressively goes after pollution problems that make a difference in communities through vigorous civil and criminal enforcement that targets the most serious water, air and chemical hazards. OECA also advances environmental justice by protecting vulnerable communities.”

How do they do this?  Again, from its website:  “Through improved transparency and community participation, we are enlisting the public’s assistance to ensure compliance nationwide, and that no entity enjoys an unfair economic advantage from noncompliance with the nation’s environmental laws.” It’s the reference to “…improved transparency and community participation…” that should be of concern to the regulated community.  I am in favor of transparency.  I think our businesses, government, and communities function better when we have equal access to public information.  As a business, however, you should be aware that to a greater degree than ever before, information about your company – especially the results of inspections, investigations, and enforcement actions – are made available to the public.

One example of this is the US EPA Compliance and Enforcement Annual Results for 2011 Fiscal Year.  This website contains a wealth of information about US EPA’s enforcement and compliance activities for the year just past.  It includes a lot of bare statistics of interest that you may wish to peruse, but of more interest to the regulated community is the Enforcement Cases Map.  Once opened, you may select or unselect the type of enforcement activities you are interested in, in my case “Waste”.  The map will then reveal the location of all US EPA investigations that resulted in enforcement for violations of the Resource Conservation and Recovery Act (RCRA).  Click on a location and you may read information about the site.  Select “More Information” and you are taken to the US EPA’s website:  Enforcement and Compliance History Online (ECHO).  Here you find a “Detailed Facility Report” which contains a snapshot of the facility’s compliance history with the US EPA, not just waste, but air, water, emergency reporting, and more.

It has been – and will continue to be – a priority of the Obama administration to make public information easily available to the public.  As a business, you need to be aware of this reality and be prepared to take the following steps:

  1. Review any information about your company that is made public to ensure it is accurate.  Make corrections if it is not.
  2. Communicate proactively with your neighbors, community, state, region, etc. to inform them of what you are doing to maintain your business within the limits of the regulations.  Also inform them of any efforts beyond the regulations to reduce, reuse, and recycle.
  3. Avoid violations in the first place by ensuring compliance with the regulations.

For this last point, I suggest you attend one of my EPA & PHMSA/DOT open enrollment training events.  There, in one day, you will get a good understanding of the US EPA regulations for the management of hazardous waste and the PHMSA/DOT regulations for the transportation of hazardous materials.

If you have many employees to train, contact me for on-site training where for one flat fee of $1,749 for one day I can train as many as you need.

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The Biennial Hazardous Waste Report for 2011

March 1st is the due date for submittal of the 2011 Biennial Hazardous Waste Report (EPA Form 8700-12 A/B).  Its purpose:  reporting to the EPA about the generation, management and final disposition of hazardous waste regulated by the Resource Conservation and Recovery Act (RCRA).  Though the US EPA requires the report be submitted every even-numbered year for the previous calendar year, some states have chosen to make it an annual requirement.

Each of the following regulated entities has a responsibility to submit the annual report:

  • Treatment Storage and Disposal Facility’s (TSDF’s) that treat, store, or dispose of hazardous waste on-site during the reporting year must submit the entire report.
  • Large Quantity Generators (LQG) of hazardous waste.  You are required to submit the entire report if you were an LQG for any calendar month in the reporting year.  If you wish, you need only report the waste you generated for the month you exceeded the LQG status threshold.
  • Small Quantity Generator (SQG) of hazardous waste.  An SQG may receive a notice to complete the report.  In this case you need only indicate on the form that you were an SQG for the reporting year, sign, and submit the report.

If you are unaware of your hazardous waste generator status, this survey will assist you.

The US EPA allows states to manage the RCRA Hazardous Waste Program themselves as long as their program is authorized by the Federal Agency.  To be authorized, state regulations must be at least as strict and as broad as the Federal regulations, they are allowed to be more strict and more broad.  A perfect example of this is that while the US EPA requires a Biennial Hazardous Waste Report, many states have made it an annual requirement, due each and every March 1st for the previous calendar year.  Another difference between the state and Federal level for this report is the requirement of some states, but not the US EPA, to submit the Off-Site Identification Form (Form OI).  In addition some states require separate annual reports – sometimes with fees – from companies within their borders, some examples:

  • Illinois has an annual Non-Hazardous Waste Report due February 1st.
  • Iowa (a state without an authorized RCRA Hazardous Waste Program) has an annual Hazardous Waste Activities Form due April 15th for LQG’s and SQG’s.
  • North Carolina has a Small Quantity Generator Waste Minimization Questionnaire due July 31st.

Check with your state environmental agency to determine what, if any, reporting requirements or fees they might have in addition to the US EPA.

There have been some changes to the report for 2011 in regards to definitions, source codes, form codes, and the instructions.  Minor changes were also made to the Site ID Form and the Form GM.  Read carefully the 2011 Hazardous Waste Report Instructions and Form for changes that may apply to you.

If you find yourself sitting at a desk with the report form and instructions and a stack of the previous year’s Uniform Hazardous Waste Manifests on February 29th, I urge you to consider a system to track your waste generation and off-site disposal.  Maintaining records throughout the year pays off big dividends when the Biennial (Annual in some states) Hazardous Waste Report is due.

To learn more about other regulatory requirements for hazardous waste generators including the training requirements of 40 CFR 265.16, attend one of my open enrollment training events.  This one day of training also meets the requirements of the PHMSA/US DOT for HazMat Employees involved in the transportation of hazardous materials.

Contact me to schedule on-site training!

Review my open enrollment training schedule and register now!

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