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Michelle D. Henry [EH] <br /> From: Michelle D. Henry [EH] <br /> Sent: Wednesday, October 08, 2014 2:40 PM <br /> To: 'Robin A. Choi' <br /> Subject: RE: Used Oil Question <br /> Thanks <br /> From: Robin A. Choi [mailto:RChoi@unifiedgrocers.com] <br /> Sent: Wednesday, October 08, 2014 2:33 PM <br /> To: Michelle D. Henry [EH] <br /> Subject: FW: Used Oil Question <br /> FYI <br /> From: Regulatory Assistance Office@DTSC [mailto:RAO@dtsc.ca.gov] <br /> Sent: Wednesday, August 06, 2014 10:53 AM <br /> To: Ross Dew <br /> Subject: RE: Used Oil Question <br /> Ross, <br /> Since the oil is "generated" it is counted towards your status. However, there are federal labels that <br /> are given Generators, which pertain Only to RCRA hazardous waste, which used oil is Not. <br /> if you look in CCR, Title 22, Section 66262.34, you will see that Generators are merely identified by <br /> the quantity of their total (RCRA + non-RCRA) generation. <br /> The local CUPAs however, do assign a Generator labeling system for fee purposes. <br /> I know it is a bit confusing. Hope that helps. <br /> Gloria Conti <br /> Regulatory Assistance Officer <br /> RAO@dtsc.ca.gov <br /> Hazardous Substances Scientist <br /> DTSC- Cypress branch <br /> 714-484-5400 DTSC Regulatory Assistance Officers provide informal guidance only about management of hazardous <br /> waste for the convenience of the public. Such oral or electronic mail advice is not binding upon DTSC, nor does it have <br /> the force of law. If you would like a formal opinion on a matter by DTSC, please contact the responsible program office <br />