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LEA Advisory 20 Attachment - Inspection Guidance for SW Landfills Page 46 of 52 <br /> If a demonstration has been done and is in the operating record and the inspector believes there may <br /> be a bird hazard to aircraft, the local airport and FAA should be sent a copy of the demonstration <br /> project along with the inspector's written concerns. In this case, an area of concern should be noted <br /> on the inspection report. <br /> A violation of this standard should be noted if no demonstration has been made and placed in the <br /> operating record. <br /> 17258.20 Procedures for Excluding the Receipt of Hazardous Waste <br /> (a) Owners or operators of all MSWLF units must implement a program at the facility for <br /> detecting and preventing the disposal of regulated hazardous wastes as defined in 40 CFR Part <br /> 261 and polychlorinated biphenyls (PCB) wastes as defined in 40 CFR Part 761. This program <br /> must include, at a minimum: <br /> (1) Random inspections of incoming loads unless the owner or operator takes other <br /> steps to ensure that incoming loads do not contain regulated hazardous wastes or PCB <br /> wastes; <br /> (2) Records of any inspections; <br /> (3) Training of facility personnel to recognize regulated hazardous waste and PCB <br /> wastes; and <br /> (4) Notification of the Director of the California Department of Toxic Substances <br /> Control if a regulated hazardous waste or PCB waste is discovered at the facility. <br /> (b) For purposes of this section "regulated hazardous waste"means a solid waste that is a <br /> hazardous waste, as defined in 40 CFR Section 261.3 that is not excluded from regulation as a <br /> hazardous waste under 40 CFR Section 261.4(b) or was not generated by a conditionally exempt <br /> small quantity generator as defined in 40 CFR Section 261.5. <br /> This standard requires owners/operator to conduct random inspections, as determined by the operator, <br /> of incoming loads in order to prevent the disposal of regulated hazardous wastes and polychlorinated <br /> biphenyls (PCBs). Regulated hazardous waste does not include household hazardous waste. <br /> Hazardous wastes may be gases, liquids, solids or sludges that are listed or exhibit the characteristics <br /> in 40 CFR Part 261. PCB wastes may be liquid or non-liquid (sludges or solids) and are defined in 40 <br /> CFR Section 761.60. PCB wastes do not include small capacitors found in fluorescent light ballast, <br /> white goods or other consumer electrical products. <br /> Training of facility personnel should emphasize methods to identify containers and labels typical of <br /> hazardous and PCB wastes. It should address hazardous waste handling procedures, safety <br /> precautions and recordkeeping requirements. Adequate training could be provided through a private <br /> contractor,LEA, DTSC, Solid Waste Association of North America(SWANA), or university that has <br /> a curriculum specializing in identification and handling of hazardous wastes. <br /> Note: Inspection records, training procedures and notification procedures required by this standard <br /> are required to be placed in the operating record [ §17258.29(a)(2) - Recordkeeping Requirements]. <br /> http://www.clwmb.ca.gov/pe/advisory/20/attach20/20attch l.htm 8/11/98 <br />