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40 CFR 265, Subpart D – The RCRA Contingency Plan and Emergency Procedures FAQs
A Large Quantity Generator of hazardous waste (LQG) and a Treatment Storage and Disposal Facility for hazardous waste (TSDF) are both subject to the USEPA regulations at 40 CFR 265, Subpart D and are required to have a contingency plan
The Requirements of 40 CFR 265.52 Content of Contingency Plan (Paragraphs a, & c – f) for Large Quantity Generators of Hazardous Waste
This article is the third in a series to address the requirements of 40 CFR 265, Subpart D – Contingency Plan and Emergency Procedures as it applies to a large quantity generator of hazardous waste (LQG). Each article will explain the requirements
USEPA’s Incident Waste Assessment and Tonnage Estimator (I-WASTE)
An update to this web-based tool provides increased functionality The I-WASTE Tool was developed by USEPA's Homeland Security Research Program to assist responsible parties with clean-up in the aftermath of a terrorist attack, natural disaster, or chemical, biological, or radiological
Radant Technologies of Stow Penalized $6,400 for Violating Hazardous Waste Requirements
BOSTON - The Massachusetts Department of Environmental Protection (MassDEP) has assessed a $6,440 penalty against Radant Technologies, Inc. of Stow for violations of state Hazardous Waste regulations. The company manufactures composite radomes and reflectors at its 255 Hudson Road facility.
Company to Pay More Than $93,000 Over Claims of Illegal Dumping of Construction Waste at Methuen Site
BOSTON — A waste hauling firm based in Essex will pay more than $93,000 to settle claims that it illegally dumped multiple loads of construction and demolition waste at an unpermitted site in Methuen, Attorney General Martha Coakley announced today. According
Heritage-Crystal Clean Pays Civil Penalty of $4,680 for Violations of the Hazardous Material Regulations
By this Order I find Heritage-Crystal Clean, LLC committed two (2) violations of the Hazardous Materials Regulations (HMR), 49 C.F.R. Parts 171-180. Accordingly, I assess Respondent a $4,680 civil penalty for the violations. I. Summary Respondent: Heritage-Crystal Clean, LLC 950
D & M Propane Assessed Civil Penalty of $6,000 for two Violations of the Hazardous Material Regulations
By this Order, I find that D & M Propane (Respondent) committed two (2) violations of the Hazardous Materials Regulations (HMR), 49 CFR Parts 171-180, and I assess Respondent a $6,000 civil penalty. On July 29, 2013, the Office of
Hennepin County Medical Center pays $8,795 Civil Penalty for Four Violations of the HMR
By this Order, I find that Hennepin County Medical Center (Respondent) committed four (4) violations of the Hazardous Materials Regulations (HMR), 49 CFR Parts 171-180, and I assess Respondent a $8,795 civil penalty. On September 10,2013, the Office of Chief
$7,775 Civil Penalty Paid by Flow Chem Technologies for Violations of the HMR
By this Order, I find that Flow Chem Technologies, LLC (Respondent) committed five (5) violations of the Hazardous Materials Regulations (HMR), 49 CFR Parts 171-180, and I assess Respondent a $7,775 civil penalty. On July 16, 2013, the Office of
Interstate Chemical Company, Inc. Assessed $2,531 Civil Penalty for Violation of the Hazardous Materials Regulations
By this Order, I find that Interstate Chemical Company, Inc. (Respondent) committed one (1) violation of the Hazardous Materials Regulations (HMR), 49 CFR Parts 171-180, and I assess Respondent a $2,531 civil penalty. On September 3, 2013, the Office of Chief Counsel
