Laserfiche WebLink
California Environmental Protection Agency <br /> Department of Toxic Substances Control <br /> Fact Sheet <br /> Onsite Tiered Permitting: <br /> Changes in Regulation of Silver Wastes <br /> [as established by Senate Bill (SB) 21111 <br /> _ Revised-)an�ry 2000 <br /> This fact sheet summarizes upcoming changes in regulatory requirements for wastes that are hazardous wastes <br /> solely due to the presence of silver ("silver-only" hazardous wastes). As a result of changes mandated by <br /> SB 2111 (Costa),Chapter 309, Statutes of 1998,many waste treatment activities for"silver-only"hazardous waste <br /> will not be regulated after January 1, 1999. The fact sheet primarily addresses onsite generation and treatment of <br /> "silver-only"hazardous wastes. For information related to offsite facilities,please contact the Department of Toxic <br /> Substances Control (DTSC)(see page 5 for where to contact DTSC). This fact sheet supersedes the previous fad <br /> sheet dated August 1999 and is effective from January 2000 to December 2003, unless extended or rescinded. <br /> SUMMARY BACKGROUND <br /> SB 2111 mandates that, effective January 1, 1999, Most of the currently regulated"silver-only"hazardous <br /> "silver-only" hazardous wastes are to be regulated wastes are generated by the photoprocessing,printing, <br /> only to the extent they are regulated under the and dcntallmedical clinical industries. (Other <br /> federal Resource Conservation and Recovery Act industries, <br /> such <br /> electroplating <br /> c roof silver-bearing electronics, <br /> also <br /> but <br /> (1101k). This change aate large to the generation, g angcquantiti <br /> transportation, and treatment of "silver-only" these wastes are typically hazardous for other reasons, <br /> hazardous wastes.Onsite treatment of photoimaging in addition to their silver content.) "Silver-only" <br /> solutions and wastewaters will no longer be subject wastestreams are usually generated in solution form and <br /> to Tiered Permitting authorization requirements. are treated onsite, or shipped offsite for treatment, to <br /> Generators of "silver-only" wastes continue to be extract the silver. In cases where the solutions are <br /> considered hazardous waste generators, but they treated onsite, the treated effluent is commonly <br /> may be eligible for reduced management and discharged to a sewer operated by a Publicly Owned <br /> transportation requirements. The major provisions Treatment Works(POTW)and the silver-rich treatment <br /> of the bill are codified in section 25143.13 of the residue or sludge is sent offsite for reclamation. <br /> California Health and Safety Code(HSC)(attached). <br /> Applicable RCRA regulations [found in Title 40, Businesses treating their own wastes onsite aro currently <br /> Code of Federal Regulations (40 CFR), beginning regulated under DTSC's Tiered Permitting Program, <br /> with Part 2601 will apply in California for "silver- under the Permit by Rule (PBR), Conditional <br /> only"hazardous wastes until existing regulations are Authorization (CA), or Conditional Exemption (CE) <br /> amended. (Since applicable federal regulations will authorization tiers. Certified Unified Program Agencies <br /> apply until DISC can emend State regulations,only (CUPAs) are responsible for inspection and <br /> federal regulatory citations are given here.) enforcement at generator sites and PBR, CA, and CE <br /> facilities. CUPAs also process CA, CE and PBR <br /> EFFE(TrVE DATES notifications and closures, whereas DTSC processes <br /> CA, CE, and PBR notifications and closures in non- <br /> SB 2111 was signed into law on August 17, 1998 as CUPA jurisdictions. Most offsite silver recovery <br /> Chapter 309 of the Statutes of 1998- The provisions of facilities are currently regulated by DTSC under the <br /> the bill went into effect on January 1, 1999. Standardized Permit tier. <br /> N0V 27 '00 12:46 530 ee6 0669 PRGE.03 <br />