Laserfiche WebLink
threshold for extremely hazardous waste,then both hazardous waste and extremely hazardous waste must <br /> be addressed as part of SB 14 Plan. <br /> i A generator may manage wastes by a variety of strategies,such as transport offsite for recycling,treatment <br /> or disposal; on-site treatment; or on-site recycling. Wastes should not be double counted. For onsite <br /> treatment of a hazardous waste,only the hazardous waste influent entering the treatment unit should be <br /> included towards applicability,and not any resulting hazardous waste residue or effluent leaving from the <br /> unit. <br /> i California Hazardous Waste Law excludes some recyclable materials from classification as a waste,provided <br /> the conditions in Section 25143.2 of the Health and Safety Code are satisfied. As a consequence,these <br /> materials are not"waste"as per California law,and therefore,are not subject to SB 14. <br /> i How a hazardous waste stream is managed on-site may affect its inclusion in determining the applicability <br /> of SB 14 to the site. For example,some hazardous waste recycling processes do not currently require a <br /> permit from DTSC (i.e.,they are exempt from tiered permitting requirements),however,the material may <br /> still be designated a hazardous waste and captured by SB 14. <br /> i The residual material from the treatment of hazardous waste received from an off-site facility is not a waste <br /> that has been generated on-site by the generator. Therefore,a generator should not include this residual <br /> material when determining SB 14 applicability at the site. <br /> DTE Stockton, LLC I SB 14 Source Reduction Evaluation and Review Trinity <br /> Consultants 3-3 <br />