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VCVSHealth <br /> Ms. Florido " ECEIV <br /> rmop <br /> November 2, 2018 <br /> Page 8 NOV 0 5 2018 <br /> Labeling Hazardous Waste Containers ENVIRONMENTAL HEALTH <br /> Your item#605 relates to labeling hazardous waste containers. Specii cally, youNT <br /> observed incomplete hazardous waste labels on hazardous waste containers in the back storage <br /> area. As background, CVS's hazardous waste management program requires all hazardous waste <br /> containers to be separate for Flammables, Flammable Aerosols and Combustibles; Corrosive <br /> Acids; Corrosive Bases; Oxidizers; Toxics & State Regulated Wastes; Universal Waste; and <br /> Pharmacy, and labeled as "Hazardous Waste"with the appropriate accumulation start date, <br /> physical state and the content applicable. To address your concern, reinforcement training was <br /> provided to appropriate store personnel to emphasize labeling requirements for all hazardous <br /> waste containers. We have received confirmation that hazardous waste containers are currently <br /> properly labeled and all items un-containerized were placed in the appropriate hazardous waste <br /> container. Attached please find photos as evidence of properly labeled hazardous waste <br /> containers. On October 10, 2018 Chris Yerzy, CVS Health Environmental Specialists, retrained <br /> store colleagues on the hazardous waste program, including the importance of properly labeling <br /> hazardous waste containers. <br /> Based on the above, we believe your concern related to Store 3908 have been effectively <br /> addressed. Should you have any additional questions or concerns, please contact Adriana <br /> Morales of CVS Health(401-644-8333). <br /> Sincerely, <br /> Nicole Wilkinson <br /> Director, Corporate Environmental <br /> cc: Greg Blount, Esq., Troutman Sanders LLP <br /> Karlie Webb, Esq., Troutman Sanders LLP <br /> Adriana Morales, CVS Health <br /> C;" pharmacy/caremark /minute clinic/ specialty <br />