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on these environments. Buckma.. Laboratories, Inc. can be contacted for technical assistance. Determine if federal, state, <br />and/or local release notification is required (see Regulatory Classifications section of this MSDS). Recover as much of the <br />pure product as possible into appropriate containers. Later, determine if this recovered product can be used for its intended <br />purpose. Address clean-up of contaminated environments. Spill or leak residuals may have to be collected and disposed of. <br />Clay, soil, or commercially available absorbents may be used to recover any material that can not readily be recovered as <br />pure product. Flushing residual material to an industrial sewer, if present at the site of a spill or leak incident, may be <br />acceptable if authorized approval is obtained. If product and/or spill/leak residuals are flushed to an industrial sewer, <br />insure that they do not come into contact with incompatible materials. Contact the person(s) responsible for the operation <br />of your facility's industrial sewer system prior to intentionally flushing or pumping spills or leaks of this product to the <br />industrial sewer. <br />DISPOSAL GUIDELINES <br />Note: Follow federal, state, and local regulations governing the disposal of waste materials. <br />Neat Product: Contact your Buckman representative or Buckman Laboratories, Inc., at (901) 278-0330 <br />Contaminated Materials: Determine if waste containing this product can be handled by available industrial effluent <br />system or other on-site waste management unit. If off-site management is required, contact a company experienced in <br />industrial waste management. This product is not specifically listed in 40 CFR 261 as a Resource Conservation and <br />Recovery Act (RCRA) hazardous waste. However, spill or leak residuals may meet the criteria of a characteristic <br />hazardous waste under this Act. Check the characteristics of the material to be disposed of and/or the physical and <br />reactivity data given in this MSDS for the neat product. <br />Container Disposal: Empty containers, as defined by appropriate sections of the RCRA, are not RCRA hazardous wastes. <br />However, insure proper management of any residuals remaining in container. <br />SECTION 14 TRANSPORTATION AND SHIPPING INFORMATION <br />DOT Shipping Name: CORROSIVE LIQUID, ACIDIC, INORGANIC, N.O.S., (Sulfuric acid, <br />Phosphoric acid), 8, UN 3264, PG III (ERG GUIDE 60) <br />The shipping name listed above applies only to a 55 gallon drum of the product. This product may have more than one proper shipping name, depending on <br />packaging, product properties, and mode of shipment. All products shipped from buckman locations have been properly packaged and labeled according to <br />appropriate hazardous shipping regulations that apply for that particular shipment. If any alteration of packaging, product, or mode of transportation is further <br />intended, different shipping names and labeling may apply. If there are any questions pertaining to hazardous shipping requirements, contact the Buckman <br />transportation department for further details. <br />SECTION 15 REGULATORY INFORMATION <br />The following Regulations are known to apply to the use and disposal of this product. Additional Federal, State and Local <br />regulations may also be applicable. <br />SARA (Superfund Amendments and Reauthorization Act): <br />SARA 302 Extremely Hazardous Substances List: The following components are listed on the SARA 302 Extremely <br />Hazardous Substances List: <br />Sulfuric acid TPQ = 1,000 <br />SARA 312 Hazard Category: Immediate (Acute) Health Hazard. <br />SARA 313 Toxic Chemicals List: The following components are listed on the SARA 313 Toxic Substances List (may <br />be listed as categories): <br />Phosphoric acid <br />Sulfuric acid <br />CERCLA (Comprehensive Environmental Response, Compensation and Liability Act: The following components are <br />Listed on the CERCLA Hazardous Substances List (may be listed as categories): <br />BUSPERSE 61 <br />Page 4 of 5 <br />