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Revised Definition of Solid Waste Rule Jesse Boultinghouse Waste Permits Division May 6, 2015 TCEQ Environmental Trade Fair.

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Presentation on theme: "Revised Definition of Solid Waste Rule Jesse Boultinghouse Waste Permits Division May 6, 2015 TCEQ Environmental Trade Fair."— Presentation transcript:

1 Revised Definition of Solid Waste Rule Jesse Boultinghouse Waste Permits Division May 6, 2015 TCEQ Environmental Trade Fair

2 Reason for the Revised Rule 1987 decision by Federal Appeals Court regarding the definition of the term “discarded” Series of previous revisions to “definition of solid waste” 2003, 2007, 2008, and 2011 2

3 Revised Rule Current rule published in the Federal Register on January 13, 2015 Effective at the federal level on July 13, 2015 State adoption process anticipated to began sometime this summer 3

4 Changes to the Current Definition of Solid Waste  Adds 6 new definitions;  Adds 3 new exclusions;  Better defines “accumulated speculatively (a.k.a., speculative accumulation)”;  Strengthens the criteria for evaluating requests for solid waste variances 4

5 Impact on Existing Exclusions and Non-hazardous Industrial Wastes  Existing exclusions will remain as they are (i.e., no change);  Impact on the recycling of non- hazardous industrial wastes expected to be minimal 5

6 New Definitions  Hazardous secondary material (HSM)  Non-waste determination  Legitimate recycling  Remanufacturing  Contained 6

7 “Hazardous Secondary Material (HSM)” Under the new rule, HSM’s are:  Listed “by-products”;  Listed “sludges”, and  All “spent materials” 7

8 Significance Currently, listed by-products, listed sludges, and all “spent materials” are a solid waste when reclaimed. Under the new rule, and under certain conditions, that will no longer be the case. 8

9 “Non-waste Determination”  Similar to a solid waste variance;  Requested by the facility at which a HSM is being recycled; and  Is one of 3 ways that a facility can be a “verified recycler”. 9

10 “Legitimate Recycling” Formally adopts 4 factors to consider in determining whether a process is legitimate recycling The factors are: 10

11 Legitimacy Factors 1.HSM must provide a useful contribution to the recycling process or to a product or intermediate that results from the recycling process; 11

12 Legitimacy Factors 2.The recycling process must produce a valuable product or intermediate; 3.The HSM must be managed as a valuable commodity; and 12

13 Legitimacy Factors 4.The product of the recycling process must be comparable to a legitimate product or intermediate. 13

14 “Remanufacturing” The reclamation or regeneration of 18 specified “higher-value solvents” (see your handout for the names of the solvents) 14

15 “Contained” Criteria for being contained 1.Units must be in good condition; 2.Contents of units must be readily identifiable; and 3.Contents of units must not be incompatible. 15

16 Speculative Accumulation Definition of “accumulated speculatively” expanded to include specific labeling and recordkeeping requirements (e.g., labeling of containers, maintaining log books, etc.) 16

17 Impact on Solid Waste Variances Variances granted under 30 TAC Section §335.18(a)(3) most impacted: “HSM that have been partially reclaimed but that must be further reclaimed before recovery is complete” 17

18 Changes to Solid Waste Variances  Re-notification every other even numbered year;  10 years max on variances;  Notification of changes required; 18

19 Changes to Solid Waste Variances  Defines the point at which variance begins; and  Strengthens the criteria used to evaluate variance requests 19

20 The New Exclusions §261.4(a)(23) – “Generator controlled exclusion”; §261.4(a)(24)) – “Verified Recycler Exclusion”; and §261.4(a)(27) – “Remanufactured Solvents Exclusion” 20

21 Section 261.4(a)(23), “Generator Controlled Exclusion” Generator reclaims a HSM at a facility over which the generator has direct control and that is located in the U.S. 21

22 “Generator Controlled Exclusion” 1.Reclamation of HSM must occur at the generator’s site or at a site under the generator’s control; 2.HSM must not be a lead acid battery or subject to any other exclusion in 40 CFR §261.4(a); 22

23 “Generator Controlled Exclusion” 3.Generator must notify of the recycling process; 4.Generator must document that the recycling process is legitimate; 23

24 “Generator Controlled Exclusion” 5.HSM must not be accumulated speculatively; 6.HSM must be “contained”; and 7.Must comply with emergency preparedness requirements of 40 CFR Part 261 Subpart M. 24

25 Section 261.4(a)(24), “Verified Recycler Exclusion” Generator of a HSM sends the HSM to be reclaimed at a facility outside of its direct control. 25

26 “Verified Recycler Exclusion” 1.HSM must be recycled at a facility that has either: (A)A RCRA Part B permit; (B) A solid waste variance; or (C) Have received a “non-waste determination”; 26

27 “Verified Recycler Exclusion” 2.HSM cannot be a lead acid battery or be subject to another specific exclusion in 40 CFR §261.4(a); 27

28 “Verified Recycler Exclusion” 3.Generator must notify of the recycling activity; 4.Generator must demonstrate that the recycling is legitimate; 28

29 Section 261.4(a)(24) 5.HSM must be contained; 6.HSM must not be accumulated speculatively; 29

30 Section 261.4(a)(24) 7.Generator must maintain proper shipping records; and 8.Recycler must comply with the financial assurance requirements of 40 CFR §261, Subpart H 30

31 Section 261.4(a)(27), “Remanufacturing Exclusion” Reclamation of specified “higher value solvents” 31

32 “Remanufacturing Exclusion” 1.Solvent must be 1 of the 18 specified “higher value” solvents 32

33 2.Solvents must be from one of the following:  Pharmaceutical industry  Basic organic chemical industry  Plastics and resins industry; or  Paint and coatings industry; 33 “Remanufacturing Exclusion”

34 Section 261.4(a)(27) 3.Solvents must go to a remanufacturer associated with 1 of those same 4 industries; and 34

35 Section 261.4(a)(27) 4.Once remanufactured, use of the solvents is limited to:  Reacting/extracting/purifying,  Chemical blending, or  The rinsing out of process lines; In the same 4 industries. 35

36 Questions Jesse Boultinghouse Industrial & Hazardous Waste Section Waste Permits Division (512) 239-6865 Jesse.Boultinghouse@tceq.texas.gov 36


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