Laserfiche WebLink
0 0 <br /> If a generator was required to report only for 1998 and not for 2002, the <br /> generator is not subject to SB 14 and is not required to prepare and submit <br /> the SPR. Regardless, OPPTD requests that active generators complete and <br /> submit parts of Table I and Table 2 for 1998,as appropriate. <br /> Table I of the SPR requests general information and total hazardous waste <br /> generation data for calendar years 1998 and 2002. Table I also requests a brief <br /> summary and comments of your organization's historical source reduction successes <br /> and waste management practices.Your comments can also include reuse,recycling, <br /> treatment,and disposal activities. If more space is needed for comments,please add <br /> a separate page to provide complete information. Since the information requested in <br /> Table I is for the entire facility,Table 1 is only completed once for each site. <br /> Table 2, Section 24 addresses accomplishments by specific waste stream, as <br /> achieved over the last four year period 1999-2002. This information can be obtained <br /> from your 2002 Performance Report. Table 2, Section 25 addresses projections by <br /> specific waste stream covering the next four year period 2003-2006. Use your 2002 <br /> Plan to obtain information for Section 25. Since the information required for Table <br /> 2 is waste stream-specific,a separate Table 2 must be completed for each major <br /> waste stream and for each minor waste stream for which a source reduction <br /> measure was selected. <br /> Note that SPR Form 1262 is also to be used to report extremely hazardous waste. <br /> If you have identified extremely hazardous waste in your 1998 or 2002 source <br /> reduction documents, please complete a separate copy of Form 1262 for your <br /> extremely hazardous waste streams and indicate their description in Table 2,Section <br /> 21. <br /> Also note that the SPR is not confidential and OPPTD will make all SPR forms <br /> available to the public upon request. If a trade secret issue is involved, follow the <br /> procedure discussed in Chapter 8 of the Guidance Manual, <br /> 3.2 Solutions to Common SPR Mistakes <br /> September 1, 1999 was the first time that generators subject to SB 14 were required <br /> to prepare and submit an SPR to DTSC. Following that deadline,OPPTD evaluated <br /> all submitted SPRs for accuracy and completeness. Mistakes were most frequently <br /> found in two specific areas. <br /> 1)Differentiating hazardous waste streams that are pretreated on site,and then <br /> discharged, from those that are not. <br /> The following changes have been made to the Guidance Manual and to Form 1262 <br /> to alleviate the confusion associated with the waste stream categories. Hazardous <br /> waste streams that are pretreated on site,then subsequently discharged via the sewer <br /> system to a publicly owned treatment works or to a receiving water under a National <br /> Pollution Discharge Elimination System (NPDES) permit, are now referred to as <br /> Category A wastes in the Guidance Manual. This type of waste stream was formerly <br /> called"aqueous waste." All other hazardous waste streams subject to SB 14,which <br /> were formerly called"nonaqueous wastes",are now referred to as Category B wastes_ <br /> These terminology changes are relevant to Sections 15, 16,and 23 of Revised SPR <br /> Form 1262. <br />