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pHILIp SERVICES CORP <br /> RCRR Land Disposal Restriction Nottflcation Form <br /> US EFA ID <br /> Generator: HOME DEPOT N 60(j No. <br /> Manifest <br /> No. Profile ROMEBA-04 HOMES- - HOOME5l.-04 HON ETUB }l ZJ byc <br /> No. HOMEBA-04 HOiVIES.l•OS HOME5.2-04 HUAiETUI3EC-04 No. <br /> HOMEGAS-04 IIOMECYS-04 HOMMIS-04 <br /> with 90 CFR 268.7(a), the underlying hazardous constituents must be addressed v�Ys�l waste.. <br /> Per <br /> In accordance <br /> 268.2(1), "underlying hazardous constituent"means any constituent listed in generation <br /> , Tab <br /> Standard which can reasonably be expected to b present <br /> srQ da°d tR er getorFo�m-EZ (attached)for the tewaste <br /> concentration above the constituent-specific (1T <br /> code(s), treatability group, and subcategory applicable to this waste.' <br /> stituents in characteristic wastes,please check the appropriate box: <br /> In order to address underlying hazardous con <br /> ❑ I have reviewed the UTS list of 268.48,and per 268.7(a),I have determind that is waste.ere are no <br /> underlying hazardous constituents reasonably expected to be present in th <br /> I have reviewed the UTS list of 268.48, and per 268.7(a),I have determined <br /> tha tituentst underlying <br /> nderlyi g <br /> hazardous constituents are present in this waste.The underlying hazardous <br /> identified as follows; <br /> I Ne. <br /> CC i�.va ctMI ----- <br /> � 4 . <br /> The determination of underlying hazardous constituents was based on: <br /> M Generator's knowledge of the waste <br /> ❑ Analysis <br /> gh <br /> I certify that I personally have examined and am familCewithhat as an authe waste tlrorzed representative of the geneough analysis and testing,or rator <br /> knowledge of the waste to support this certification.I s hue and correct to the best of my knowledge. <br /> named above,all the information submitted in this notif <br /> Printed Name Signature <br /> Dae <br /> i <br /> This is a two sided form <br /> Rnrm Ex Revised 07131/98 <br />