Laserfiche WebLink
40 CFR 268.48TABLE UTS—UNIVERSAL TREATMENT STANDARDS (Continued) <br /> 'CAS means Chemical Abstract Services.When the waste code and/or regulated constituents are described as a combination of a chemical with its salts and/or esters,the CAS <br /> number is given for the parent compound only. <br /> 'Concentration standards for wastewaters are expressed in mg/I are based on analysis of composite samples, <br /> 'Except for Cyanides(Total and Amenable)the non-wastewater treatment standards expressed as a concentration were established,in pan,based upon incineration in units <br /> operated in accordance with the technical requirements of 40 CFR part 264,subpart 0 or 40 CFR part 265,subpart 0,or based upon combustion in fuel substitutlon units operating in <br /> accordance with applicable technical requirements.A facility may comply with these treatments standards according to provisions in 40 CFR 268.40(d).All concentration standards <br /> for nonwastewaters are based on analysis of grab samples. <br /> "Both Cyanides(Total)and Cyanides(Amenable)for non-wastewaters are to be analyzed using Method 9010 or 9012,found in"Test Methods for Evaluating Solid Waste, <br /> Physical/Chemical Methods',EPA Publication SW-846,as incorporated by reference in 40 CFR 260.11,with a sample size of 10 grams and a distillation time of one hour and 15 <br /> minutes. <br /> `These constituents are not"underlying hazardous constituents"in characteristic wastes,according to the definition at§268.2(i). <br /> 'Between August 26,1996,and August 26,1987,these constituents are not"underlying hazardous constituents'as defined at§268.2(i)of this Part. <br /> Note:NA means not applicable. <br /> PLEASE COMPLETE AS APPLICABLE: <br /> Wastes with organic constituents having treatment standards expressed as concentration levels based in whole or in part on the analytical <br /> detection limit alternative specified in§268.40(d). <br /> ❑ I certify under penally of law that I have personally examined and am familiar with the treatment technology and operation of the treatment process <br /> used to support this certification.Based on my inquiry of those individuals immediately responsible for obtaining this information, I believe that the <br /> non-wastewater organic constituents have been treated by combustion units as specified in 268.42.Table 1.1 have been unable to detect the <br /> non-wastewater organic constituents,despite having used best good-faith efforts to analyze for such constituents.I am aware there are significant <br /> penalties for submitting a false certification,including the possibility of fine and imprisonment. <br /> Wastes with treatment standards expressed as concentrations in the waste extract Toxicity Characteristic Leaching Procedure(TCLP). <br /> ❑ I certify under penalty of law that I have personally examined and am familiar with the treatment technology and operation of the treatment process <br /> used to support this certification.Based on my inquiry of those individuals immediately responsible for obtaining this information, I believe that the <br /> treatment process has been operated and maintained properly so as to comply with the treatment standards specified in 40 CFR 268.40 without <br /> impermissible dilution of the prohibited waste.I am aware there are significant penalties for submitting a false certification,including the possibility <br /> of fine and imprisonment. <br /> ❑ Alternative Treatment Standard Lab Pack <br /> Manifest Line No. <br /> ❑ 1 certify under penalty of law that I personally have examined and am familiar with the waste and that the lab pack contains only wastes that have not <br /> been excluded under Appendix IV to 40 CFR Part 268 and that this lab pack will be sent to a combustion facility in compliance with the alternative <br /> treatment standards for lab packs at 40 CFR 268.42(c).1 am aware that there are significant penalties for submitting a false certification,including <br /> the possibility of fine or imprisonment. <br /> ❑ I hereby certify under penalty of law that there are no PCBs(polychlorinated biphenyls)contained in the oil waste being manifested to Pacific <br /> Resource Recovery. I also understand that a sample of the load will be retained and that the generator will be responsible for the clean-up of <br /> contaminated equipment,tanks,etc.if PCBs are present in the waste. <br /> Benzene NESHAP Control Requirement: <br /> For Chemical Manufacturers,Petroleum Refineries,Coke By-Product Facilities and RCRA TSOFs handling wastes subject to 40 CFR 61 subpart FF ONLY: <br /> ❑ This waste is a"Controlled Benzene Waste"which is subject to the notification requirements of 40 CFR 61 Subpart FF. <br /> Manifest Line No. <br /> California List Wastes: <br /> ❑ Liquid hazardous wastes having a pH less than or equal to 2.0 <br /> ❑ Liquid hazardous wastes containing PCBs at a concentration greater than or equal to 50 ppm <br /> ❑ Liquid hazardous wastes that contain HOCs in total concentration greater than or equal to 1000 mg11 <br /> ❑ Nonliquid hazardous wastes containing HOGS in total concentration greater than or equal to 1000 mg/kg <br /> ❑ Free(amenable to chlorination)cyanides greater than or equal to 1000 mgll <br /> ❑ One or more of the following metals greater than or equal to the following: <br /> Arsenic and/or compounds:500 mg/I <br /> Cadmium and/or compounds:100 mgll <br /> Chromium and/or compounds:500 mgll <br /> Lead and/or compounds:500 mg/I <br /> Mercury and/or compounds:20 ro ll <br /> Nickel and/or compounds:134 mg/I <br /> Selenium and/or compounds:100 mgll <br /> Thallium and/or compounds:130 mg/I <br /> vnxra,m�nax-mio <br /> Page 3 0/4 <br />