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Ms Tammi Simpson <br /> Page 2 <br /> July 20, 1988 <br /> Please recognize the importance of filling out manifests accurately <br /> and completely, which is a regulatory requirement under Section <br /> 66481(b) , Title 22 , CCR. Please make note of the following two <br /> Sections in Title 22 , CCR: <br /> 66471. Hazardous Waste Determination Requirement for the <br /> Generator. A person who generates a waste, as defined in <br /> the Health- and Safety Code, Section 25122 and 25122 . 5, shall <br /> determine if that waste is a hazardous waste using the <br /> following method: <br /> (a) He shall determine if the waste is listed as a <br /> hazardous waste in Article 9 or 11. <br /> (b} If the waste is not listed as a hazardous waste in <br /> Article 9 or 11, he shall determine whether the waste is <br /> identified in Article 11 by either: <br /> (1) Testing the waste according to the methods set forth in <br /> Article 11, or according to an equivalent method approved by <br /> the Department; or <br /> (2) Applying knowledge of the hazard characteristics of the <br /> waste in light of the materials or the processes used and <br /> the criteria established in Article 11. <br /> 66492. Recordkeeping Requirements for the Generator. . . . (c) <br /> A generator shall keep records of any test results, waste <br /> analyses or other determinations made in accordance with <br /> Section 66471 for at least three years from the date that <br /> the waste was last sent to on-site or .off-site treatment, <br /> storage or disposal. . . <br /> If you need more assistance with your request to the State Board of <br /> Equalization, please call Carol Masson at (916) 322-3670. <br /> Sincerely, <br /> David J. Le , Ph.D. , Chief <br /> Alternative Technology Section <br /> Toxic Substances Control Division <br /> cc: See next page <br />