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Pacific Cas and <br /> Flsc&is CornP8177 <br /> Curt Russell 77 Beale Street <br /> Director San Francisco,CA 94105 <br /> Environmental Support Mailing Address <br /> March 31, 2003 and Services PD.Box 7640 <br /> San Francisca,CA 94120 <br /> 415.973.7746 <br /> Fax:415.973.9201 <br /> Department of Toxic Substances Control <br /> Program Data Management Section <br /> Consolidation Site Annual Notification �C�E���C �� 1 <br /> 400 P Street, 4h Floor, Room 4453 <br /> P.O. Box 806 APR 0 1 2003 <br /> Sacramento, CA 95812-0806 <br /> ENVIRONMENT HEALTH <br /> Re: Pacific Gas & Electric Company's 2003 Remote Waste! PERMIT/SERVICES <br /> Consolidation Site Annual Notification. - <br /> Ladies/Gentlemen: <br /> Pacific Gas & Electric Company (PG&E) is submitting this annual notification to <br /> operate under the Health & Safety Code provisions allowing small quantities of <br /> hazardous waste to be transported without a uniform hazardous waste manifest from a <br /> remote location to a consolidation site. These remote sites are located within PG&E's <br /> operational territory, which includes most of northern and central California and parts of <br /> southeastern California. <br /> Attached is the signed certification and tables which list PG&E's consolidation facilities, <br /> including addresses and EPA identification numbers (Tables 1-3). Table 4 provides a <br /> 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 <br /> occasional maintenance projects that generate large quantities of waste. Table 5 lists the <br /> typical hazardous wastes that may be generated at the remote sites. <br /> In order to demonstrate eligibility for generator consolidation of remotely collected <br /> wastes, generators are-required to provide the basis for determining that a hazardous <br /> waste permit is not required under the federal Resource Conservation and Recovery Act <br /> (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 <br /> sites: <br /> • The hazardous wastes being consolidated are not hazardous waste under federal law <br /> although the wastes are regulated as hazardous waste under California state law. <br /> The hazardous wastes are hazardous waste under federal law, but transportation to <br /> and accumulation at the consolidation site of the wastes is not subject to permitting <br />