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i. Contingency Plan and Emergency Procedures, 40 CFR Part 264 Subpart D <br /> This is not an ARAR and should not be listed. As acknowledged in the <br /> comment section, these plans are merely administrative and create no <br /> substantive cleanup standards. <br /> j. Releases from Solid Waste Management Units, 40 CFR Part 264 Subpart F <br /> This is not an ARAR. No SWMUs are contemplated for the selected remedy. <br /> k. Closure and Post-Closure, 40 CFR Part 264 Subpart G <br /> As a federal citation, this is not a proper ARAR. Moreover, closure <br /> requirements are included in 22 CCR §§ 66264.600 - 66264.603 dealing with <br /> miscellaneous units. Reference to this citation is sufficient. <br /> 1. Use and Management of Containers, 40 CFR Part 264 Subpart I <br /> As a federal citation, this is not a proper ARAR. The California equivalent <br /> to 40 CFR Part 264 Subpart is CCR Title 22, Div. 4.5, Chapter 14, Art. 10, <br /> Sections 66264.170 - 66264.178. Reference to 22 CCR §66264.600 - 66264.603 <br /> dealing with miscellaneous units is sufficient if used carbon units are the <br /> only anticipated hazardous waste to be generated as a result of the remedial <br /> activity. The determination must be made whether RCRA waste will be <br /> stored more than 90 days in containers. This triggers 22 CCR §§66264.170 - <br /> 66264.178. <br /> M. Tanks, 40 CFR Part 264 Subpart J <br /> As a federal citation this is not a proper ARAR. The California equivalent to <br /> 40 CFR Part 264 Subpart J is CCR, Title 22, Div. 4.5, Chapter 14, Article 10, <br /> Sections 66264.190 - -66264.199. However, reference to 22 CCR §§66264.600 - <br /> 66264.603 is sufficient if used carbon units are the only anticipated waste to <br /> be generated as a result of the remedial action. The determination must be <br /> made whether RCRA waste will be stored for more than 90 days in tanks, <br /> thus triggering 22 CCR §§66264.190 - 66264.199. <br /> n. Underground Injection Control Regulations, 40 CFR Parts 144 - 147 <br /> This is not an ARAR. First, percolation ponds are not subject to the UIC <br /> regulations because section 144.3 defines well injection as "the substantive <br /> emplacement of 'fluids' through a bored, ]lis g eaterriven 'well;' or throughsure <br /> a dug well, where the depth of the dug <br /> dimension." The percolation ponds to be included in the remedial action are <br /> not expected to be deeper than the surface dimensions. Second, for those <br /> wills that may otherwise be defined or subject to these regulations, Section <br /> 144.13(c) provides an exemption stating that wells used to inject contaminated <br /> 31/40 <br /> EPA/R9 June 7, 1993 <br />