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• <br />Donna Heran, Director <br />June 12, 2009 <br />Page 2 <br />the appliances have not been processed in a manner that could release, <br />or prevent the removal of MRSH and the receiving scrap metal facility <br />has been certified by DTSC to remove the remaining MRSH; or <br />2. the appliances have been processed in a manner that could release, or <br />prevent the removal of MRSH, and the person provides written evidence <br />(DTSC Form 1430) to the scrap metal facility that all MRSH were <br />removed from the appliances by a CAR prior to processing; or <br />3. the appliances were found to already have MRSH removed (orphaned <br />waste) and the person transporting the orphaned waste presents the <br />accepting scrap facility with valid photo identification and provides written <br />certification (DTSC Form 1459) that they did not process or knowingly <br />have someone else process the appliance. The accepting facility must <br />provide monthly reports to the local CUPA and DTSC detailing who and <br />what has been recovered through this specific provision. <br />If you would like more information, I encourage you to visit the DTSC's CAR webpage <br />at http://www.dtsc.ca.gov/HazardousWaste/Mercury/Certified Appliance Recycler.cfm. <br />If you have additional questions, please feel free to contact me (916) 324-3114 or via <br />email at aalgazi ,dtsc.ca.gov. <br />Sincerely, <br />Andre Algazi, Supervisor <br />Consumer Products Section <br />Toxic in Products Branch <br />Office of Pollution Prevention and Green Technology <br />Department of Toxic Substances Control <br />Enclosures: 2 <br />9 Printed on Reoyded Paper <br />