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COMPLIANCE INFO_2019
Environmental Health - Public
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EHD Program Facility Records by Street Name
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2200 - Hazardous Waste Program
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PR0507085
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COMPLIANCE INFO_2019
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Last modified
6/16/2020 12:18:49 PM
Creation date
6/15/2020 4:04:57 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
2019
RECORD_ID
PR0507085
PE
2227
FACILITY_ID
FA0004925
FACILITY_NAME
Caltrans-Lodi
STREET_NUMBER
845
Direction
E
STREET_NAME
PINE
STREET_TYPE
St
City
Lodi
Zip
95240
CURRENT_STATUS
01
SITE_LOCATION
845 E Pine St
P_LOCATION
02
P_DISTRICT
004
QC Status
Approved
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SJGOV\dsedra
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EHD - Public
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3 <br /> The new regulations did clarify the requirement to use a restricted waste code when more <br /> than one state waste code applies. California Code of Regulations, title 22, section <br /> 66262.23 has been amended to include some instruction on which state waste code to use. <br /> California Code of Regulations, title 22, Appendix XII of section 66261 has the following <br /> language in paragraph (a)(2): <br /> If both a California Hazardous Waste Code from the "California Restricted Wastes" <br /> category and a code from another category of California Hazardous Waste Codes apply to a <br /> specific hazardous waste, the code from the"California Restricted Wastes" category shall <br /> be used. <br /> Why does DTSC not use the Hazardous Waste Tracking System (HWTS) to filter <br /> those instances where multiple waste codes are applicable and the use of a restricted <br /> waste code would be required? <br /> DTSC will use HWTS to examine the use of restricted codes where multiple codes would <br /> apply and a restricted code should be used. As noted in the previous question and answer, <br /> DTSC agrees that a restricted code should be used if two applicable codes are provided. <br /> The manifest regulations made a substantive change by dropping lists of California <br /> waste codes that are referenced in Item 20 in the state manifest instructions. The <br /> federal instructions lack this reference. Did DISC revise the instructions or provide a <br /> cross reference to the Appendix in Chapter 11? <br /> DTSC agrees that dropping the list of codes previously found in the manifest instructions is <br /> a substantive change, but in order to conform to existing Federal regulations, DTSC could <br /> list the codes. The instructions found in the Appendix do still require the entry of a state <br /> waste code, and a reference to the list of state and RCRA waste codes in section <br /> 66262.23(a)(6)has been added. DISC is looking at adding a new Appendix II to California <br /> Code of Regulations,title 22, Chapter 14 containing the codes. <br /> Are we supposed to fill out all six boxes for waste codes? <br /> No. Only one California waste code, at least one RCRA waste code (if applicable) and one <br /> state waste code from the destination state, if applicable, are required. Only multiple <br /> RCRA waste codes are allowed, if applicable. <br /> If there are more than five applicable RCRA waste codes,where do you put the <br /> others? <br /> A generator is not required by regulation to list ALL RCRA waste codes. Manifests should <br /> include up to the five most applicable RCRA waste codes in box 13. No waste codes, <br /> RCRA or state, should be entered in box 14. <br /> BOX 15, GENERATOR'S/OFFERER'S CERTIFICATION <br /> 95 of 98 <br />
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