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Sierra Chemical Co. <br />Hazardous Waste Management Plan <br />outside contractor <br />will <br />be supervised <br />and managed by the EHSS Manager. The current vendor used <br />by <br />Sierra Chemical Co <br />for <br />hazardous and <br />universal waste disposal and transport is: <br />ACT Environmental Services, Inc. <br />265 Riggs Ave. <br />Merced, CA 95341 <br />8.2 an Disposai Restrictions (LDRs) <br />Hazardous waste that is restricted from land disposal as specified in 40 CFR section 268.7(a)(4)), must <br />comply with the following items: <br />1. If a hazardous waste is subject to an LDR and does not meet applicable treatment standards, <br />Sierra Chemical Co. must submit a one-time written notice to each treatment, storage, or <br />disposal facility which received the initial shipment of waste. This one-time notice accompanies <br />the manifest and must include the information listed below. No additional notices are required <br />unless the waste or receiving facility changes. <br />• EPA hazardous waste codes) and State waste code(sj <br />• Identification of the waste as a wastewater or non -wastewater <br />• Manifest number associated with the waste shipment <br />• Waste analysis data (if any) <br />• For certain wastes, any additional hazardous constituents present <br />• Where hazardous debris is to be treated by an alternative technology under 40 CFR <br />268.45, a statement to that effect and the contaminants subject to treatment <br />2. If the waste meets applicable treatment standards, Sierra Chemical Co. must submit a notice <br />one-time and signed certification stating that the waste meets the required treatment standards <br />to each treatment, storage or disposal facility which receives the initial shipment of waste. The <br />notice must include the items listed above and the certification, which must be signed by an <br />authorized representative. <br />Records of the LDR must be retained with the copy of the waste manifest by the EHSS Manager. <br />Generally speaking, the hazardous waste transportation company generates the LDR. However, Sierra <br />Chemical Co. is ultimately responsible for the LDR documentation. <br />9, thl�sYe 1�lsrairnizaticrrt Pr�grarn <br />Since 5814 was enacted in 1984, LQGs of hazardous waste have been required to certify on their <br />hazardous waste manifests that they have a "waste minimization program." This certification is as <br />follows: <br />I hereby declare that the contents of this consignment are fully and accurately described above by the <br />proper shipping name, and are classified, packaged, marked and labeled/placarded, and are in all <br />respects in proper condition for transportation according to applicable international and national <br />government regulations. If export shipment and I am the Primary Exporter, 1 certify that they contents of <br />this consignment conform to the terms of the attached EPA Acknowledgment of Consent. <br />1 certify that the waste minimization statement identified in 40CFR 262.27(a) (if I am a large quantity <br />generator) or (b) (if I am a small quantity generator) is true. <br />Prepared By: <br />Issue date: <br />Replaces: <br />Page: <br />ACT Environmental Services Inc. <br />March 4 2016 <br />NA <br />16 of 23 <br />