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Q&A: The Display of “HOT” or the Identification Number Marking on Packages of Elevated Temperature Materials
This question came through my website May 2, 2016 from someone I've never done business with prior to - or since - this contact: To Whom It May Concern, I saw a recent post you made on your web site
Will you give me a Positive Review on Google?
First... Go to Google.com on your phone or PC and say or enter: Daniels Training Services You'll see my Google My Business page which will look something like this: Second... Click the "Write a review" button: On a mobile device you
The Difference Between a Salvage Drum and an Overpack for the Transportation of a Hazardous Material
The requirements for use of a salvage drum are explained in the USDOT/PHMSA Hazardous Material Regulations at 49 CFR 173.3(c). Those for the overpack are explained at §173.25(a). Both salvage drum and overpack are defined at §171.8. These are two
Q&A: Determination of Hazardous Waste Generation for the Characteristic of Toxicity
Contact me with any questions you may have about the generation, identification, management, and disposal of hazardous waste Daniels Training Services 815.821.1550 Info@DanielsTraining.com https://danielstraining.com/ A question to my website on April 29, 2016: My question is: If your waste is
International Air Transportation Association (IATA), International Transportation of Dangerous Goods
Training Requirements for Persons Involved in the Transportation of Lithium Batteries

In case you haven't heard, the transportation in commerce of lithium batteries of all types - and of almost all sizes - is subject to the regulations of several regulatory agencies depending on how it is to be transported. Transportation
The Use of the Uniform Hazardous Waste Manifest for Shipments of PCB Waste
The use, storage, and disposal of equipment containing PCBs (Polychlorinated biphenyls) is subject to USEPA regulations in Part 761 of Title 40 of the Code of Federal Regulations (40 CFR 761); regulations promulgated under the Toxic Substance Control Act (TSCA). Despite
Q&A: Using the Uniform Hazardous Waste Manifest for Shipments of Special Waste in Illinois
A question from a past Onsite Training attendee on April 26, 2016: Does the generator need to provide a manifest for non hazardous industrial waste? What elements are required in the manifest? Can a bill of lading be sufficient? A
Additional Specification Packaging Markings on Intermediate Bulk Containers of Hazardous Materials
In an earlier article I identified and explained the requirements of 49 CFR 178.703(a) that mandate the manufacturer of an Intermediate Bulk Container (IBC) mark it with certain letters, numerals, and symbols to indicate that it is specification packaging designed, manufactured
Specification Packaging Markings on Intermediate Bulk Containers of Hazardous Materials

Like all packagings used for the transportation in commerce of a hazardous material an Intermediate Bulk Container (IBC) must be authorized for the HazMat it is intended to contain. It must also, unless an exception is used, be designed, manufactured, and tested
Q&A: Markings on a Bulk Packaging (Roll-off)
Another question through the Contact Me page of my website on April 3, 2016: Dear Daniel, A bulk container (rolloff box) requires to display the UN number in the sides? Best Regards My reply the next day (4.4.16): Yes. Pursuant
