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Pacific Gas and <br />Electric Company, <br />WE DELIVER ENERGY." <br />RECEIVED <br />March 17, 2021 <br />Department of Toxic Substances Control <br />Re: Consolidation Site Annual Notification <br />1001 I Street <br />Sacramento, CA 95812-0806 <br />Re: Pacific Gas & Electric Company's <br />2021 Remote Waste/Consolidation Site Annual Notification <br />Ladies and Gentlemen: <br />MAR 2 5 2021 <br />ENVIRONMENTAL HEALTH <br />PERMIT/SERVICES <br />Pacific Gas & Electric Company (PG&E) is submitting this notification to operate under the Health & Safety Code <br />provisions allowing small quantities of hazardous waste to be transported without a uniform hazardous waste manifest <br />from a remote location to a consolidation site. These remote sites are located within PG&E's operational territory, <br />which includes most of northern and central California and parts of southeastern California. <br />Attached are tables which list PG&E's consolidation facilities, including addresses and EPA identification numbers <br />(Tables 1-3). Table 4 provides a general description of PG&E's remote sites. For some of these remote sites, PG&E <br />previously obtained and will maintain the EPA identification numbers to properly handle occasional maintenance <br />projects that generate large quantities of waste. Table 5 lists the typical hazardous wastes that may be generated at <br />the remote sites. One consolidation site has been removed and three consolidation sites have been added to the list <br />since the last notification was submitted. Round Mountain Substation has been removed. The sites that have been <br />added are Airport General Construction Yard, North Complex Fire Rebuild Laydown Yard, and Humboldt Substation. <br />In order to demonstrate eligibility for generator consolidation of remotely collected wastes, generators are required to <br />provide the basis for determining that a hazardous waste permit is not required under the federal Resource <br />Conservation and Recovery Act (RCRA) and the federal regulations adopted under RCRA (Title 40, Code of Federal <br />Regulations). The following best describe the operation of PG&E's onsite consolidation sites: <br />The hazardous wastes being consolidated are not hazardous waste under federal law although the wastes are <br />regulated as hazardous waste under California state law. <br />The hazardous wastes are hazardous waste under federal law, but transportation to and accumulation at the <br />consolidation site of the wastes is not subject to permitting requirements under federal law because RCRA does <br />not subject these wastes to permitting requirements. <br />If you should have any questions regarding this matter, please contact me at (530) 889-3180. <br />Sincerely, <br />/Sdi,1 <br />Isabella Jetflannes <br />Manager, Water Quality and Hazardous Materials <br />Environmental Management <br />Pacific Gas & Electric Company <br />Cc: Unified Program Agencies <br />Participating Agencies <br />Attachment: AB1448 tables (8 pages)