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COMPLIANCE INFO_PRE 2019
Environmental Health - Public
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VALPICO
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2200 - Hazardous Waste Program
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PR0513909
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COMPLIANCE INFO_PRE 2019
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Last modified
11/18/2019 1:21:58 PM
Creation date
11/2/2018 8:16:00 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
PRE 2019
RECORD_ID
PR0513909
PE
2226
FACILITY_ID
FA0009574
FACILITY_NAME
INTERNATIONAL PAPER
STREET_NUMBER
400
Direction
W
STREET_NAME
VALPICO
STREET_TYPE
RD
City
TRACY
Zip
95376
CURRENT_STATUS
01
SITE_LOCATION
400 W VALPICO RD
P_LOCATION
03
P_DISTRICT
005
QC Status
Approved
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SJGOV\wng
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FilePath
\MIGRATIONS\V\VALPICO\400\PR0513909\COMPLIANCE INFO\2010\OIR 06-18-10.PDF
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Generator Requirements Summary Chart <br /> CESQGs 11QGS:::: <br /> LQGs <br /> "f Silver-only CESQGs can not exceed 1,000 kg total HW or 100 kg of acute spill residue or soil accumulated onsite at <br /> any one time if they wish to retain Federal CESQG status. If quantities are exceeded, silver only facility is no longer <br /> regulated as a Federal CESQG but is subject to all applicable parts of 40 CFR 262.34 (generally, SQG rules). <br /> [§261.5(f)(2)and(g)(2)] <br /> (2) Accumulation quantities and time limits for acutely and extremely hazardous waste are not discussed in this reference <br /> due to lack of clear guidance as to the application of the regulations. Once clarification is provided, these rules will be <br /> addressed. <br /> (3) Various wastes are provided with alternative management standards(including, but not limited to, accumulation <br /> times)that act independently of the generator's status as a CESQG, SQG or LOG as long as conditions are met. <br /> Wastes with alternate management standards include lead-acid batteries(66266.80 et seq.), used oil and gasoline filters <br /> (66266.130 et seq. and HSC 25250.22), treated wood waste(67386.1 et seq.), asbestos(HSC 25143.7), reusable <br /> textile materials(HSC 25144.6), excluded recyclable materials(HSC 25143.9), and Universal Wastes(66273.1 et seq.). <br /> (4)Due to the way T22,66262.34(d) is written, CESQGs are not excluded from using the simple 1801270 day <br /> accumulation rules applicable to all generators of less than 1,000 kilograms/month- CESQGs may choose whichever <br /> accumulation time best serves them. As a general rule, if a CESQG generates greater than 9 gallons(approximately <br /> 113 of 27 gal or 100 kg) per month, they would be provided greater accumulation times if they followed the 1801270 day <br /> rules. For those that generate less than 9 gallons per month,they would optimize accumulation times by following the <br /> "90 days from the date the 100 kg limit is met"rule. <br /> (5)Laboratory Satellite Accumulation differs from"regular"satellite accumulation in that a laboratory setting (see <br /> definition in 25200.3.1), the"area"can be the entire room,the waste needs only to be stored as close as practical to the <br /> point of generation, and there must be at least one person responsible for the area who has been trained in the <br /> management of the waste.All other rules are similar or identical to"regular"satellite accumulation. <br /> (6)Additional guidance available(http://www.unidocs.org/hazmat/hazardous-waste/un-047.pdf) <br /> (7)Wastes that are non-RCRA or RCRA-exempt may be shipped out of the state of California to facilities that are not <br /> permitted by either California or US EPA. In these instances waste manifests must still be signed by the receiving <br /> facility and the TSDF copy must still be submitted to DTSC. If the receiving facility does not return the TSDF copy of the <br /> manifest,the generator should make a photocopy of the final signed copy returned to them and submit to DTSC. (HSC <br /> 25160(a)(3)) <br /> (8)SB 14 Waste Minimization program applies only to generators of more than 12,000 kg of waste(or> 12 kg EH waste) <br /> in a year. LQG facilities that may not be required to participate in the SB 14 program are those that are LQGs due to <br /> exceeding acutely hazardous waste quantities(>1 gtlmonth) or those that are LQGs due to episodic activity. The <br /> following waste streams are not counted: motor vehicle fluids(oil), lead acid batteries, HHW, UW lamps, lab scale <br /> research waste, and site clean up waste. (List is not all-inclusive; please refer to§67100.2 for full list. <br /> Version 7.4 Page 6 of 6 4/27/09 <br />
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