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Federal Register / Vol. 80, No. 186/Friday, September 25, 2015/Proposed Rules 58051 <br />§ 261.4(b)(1) because the exclusion <br />applies even when the household <br />hazardous wastes are collected. It is <br />important to note that in order to <br />maintain the exclusion, a retail <br />pharmacy (or other DEA authorized <br />collector pharmacy) can use the DEA <br />authorized collection receptacle to <br />collect waste generated only at <br />households and brought to the store for <br />collection. The hazardous waste <br />generated by the retail pharmacy and <br />store, including hazardous waste <br />pharmaceuticals, are not excluded <br />household wastes under RCRA and may <br />not be placed in the DEA authorized <br />receptacle.124 Furthermore, states <br />generally regulate non -hazardous waste <br />and they may have licensing or <br />permitting requirements for the <br />collection of solid waste. Because EPA <br />would like to see the use of DEA <br />authorized collection receptacles <br />become widespread, we encourage <br />states to streamline any requirements <br />that may create a barrier to the use of <br />the collection receptacles. <br />Under this proposal, pharmaceuticals <br />collected in DEA authorized collection <br />receptacles will continue to be excluded <br />from regulation as household hazardous <br />waste, with some conditions. The <br />Agency has a long-standing <br />recommendation that household <br />hazardous waste collection programs <br />manage the collected waste as <br />hazardous waste. We strongly believe <br />that if a program goes to the expense of <br />collecting the waste, including waste <br />pharmaceuticals, it should manage the <br />waste as hazardous waste, rather than <br />manage it as municipal solid waste, <br />which the household could do absent <br />the collection program. However, the <br />current household waste exemption <br />does not require an entity that hosts a <br />household hazardous waste collection <br />event to manage the collected waste as <br />hazardous waste. Typically, the parties <br />conducting household hazardous waste <br />collection events have been government <br />entities—municipalities and counties. It <br />is relatively new that retail pharmacies <br />and others are becoming interested in <br />performing this function, To encourage <br />this practice, while at the same time <br />ensuring that collection programs are <br />managing the collected waste properly, <br />we are proposing that pharmaceuticals <br />that are household hazardous waste <br />(i.e., "household waste <br />pharmaceuticals") and are collected in <br />DEA authorized collection receptacles <br />124DEA regulations <br />also prohibits retail pharmacy <br />stock/inventory from being placid in the collection <br />receptacle or mail -back onvelapes [see 21 CPR <br />1317.05(a)l4 <br />where they may be co -mingled 125 with <br />controlled substances continue to be <br />excluded from RCRA regulation, <br />provided they are: <br />(1) Combusted at a municipal solid <br />V or hazardous waste combustor, <br />and <br />(2) managed in accordance with all <br />applicable DEA regulations (see <br />266,506(a)(2)).The Agency solicits <br />Comments on all these provisions. <br />On a separate, but related matter, EPA <br />ltas received a number of inquiries <br />about the exemption in the Clean Air <br />Act regulations for Other Solid Waste <br />I (OSWI) "units that combust <br />contraband or prohibited goods" (see <br />the exemption at 40 CFR 60.2887(p) for <br />new OSWIs and 40 CFR 60.2993(p) for <br />existing OSWIs). As indicated in a <br />previous guidance memo, EPA does not <br />consider pharmaceuticals, voluntarily <br />collected from ultimate users in a take - <br />back program, to be contraband or <br />prohibited goods. 126 Likewise, EPA will <br />not consider pharmaceuticals that are <br />voluntarily dropped off at collection <br />receptacles to be contraband or <br />prohibited goods. Therefore, the OSWI <br />exemption does not apply and law <br />enforcement may not destroy <br />voluntarily collected pharmaceuticals in <br />the same way that it is allowed to <br />destroy contraband or prohibited goods. <br />3. Management of Residues ill <br />Pharmaceutical Containers <br />a. Regulatory background. Over the <br />yearsV EPA has recoived numerous <br />inquiries regarding the regulatory status <br />of various types of containers that once <br />heId pharmaceuticals that are <br />considered hazardous waste when <br />discarded because of the hazardous <br />waste residue in the containers. <br />Stakeholders have been particularly <br />concerned about containers that once <br />heId pharmaceuticals that are on the "I <br />list" of acutely hazardous commercial <br />chemical products in § 261.33(e) <br />because a generator becomes an LQG if <br />it generates more than 1 kg of acute <br />hazardous waste per calendar month or <br />accumulates more than 1 kg of acute <br />hazardous waste at any time.127 The <br />current regulatory status of acute and <br />non-acute commercial chemical product <br />rsy DCA dons not prohibit ca•mingling of <br />rnntrolled substances with non -controlled <br />suhstances provided thry are all then managed as <br />wntrolled substances. <br />,xs Rudzinski to RCRA Division Directors, <br />Srptember 26, 2012. RCRA Online #14933 hfipr// <br />yosemi fv.epa.gov/ostv/rcra.ns` f/0C994248c23994 <br />7e65256d090071175f/fcb11dd6f61d4 <br />616652.) 7u fet705ob9ce!OC)enDoctrrrtertt. <br />127 Additionally, acute hazardous wastes are <br />Included on Ihn F -list of § 261.31; however none of <br />thoso acute hazardous wastes are pharmaceuticals, <br />residues remaining in a container are <br />specifically addressed in § 261.33: <br />The following materials or items are <br />hazardous wastes if and when they are <br />discarded or intended to be discarded <br />(c) Any residue remaining in a <br />container or in an inner liner removed <br />from a container that has held any <br />commercial chemical product or <br />M chemical intermediate <br />having the generic name listed in <br />paragraphs (a) or (f) of this section, <br />unless the container is empty as defined <br />in § 261.7(b). [emphasis added] <br />According to § 261.7(b)(1), there are <br />two ways a container that hold a non- <br />acute hazardous waste can be <br />Go "empty". <br />A container or an inner liner removed <br />from a container that has held any <br />hazardous waste, except a waste that is <br />a compressed gas or that is identified as <br />an acute hazardous waste listed in <br />261.31 or § 261.33(e) of this chapter is <br />empty if: <br />(i) All wastes have been removed that <br />can be removed using the practices <br />CC employed to remove <br />in from that type of container, <br />e.g., pouring, pumping, aspirating, and <br />(ii) No more than 2.5 centimeters (one <br />in of residue remain on the bottom <br />of the container or inner liner, or <br />(A)'No more than 3 percent by weight <br />M the total capacity of the container <br />remains in the container or inner liner <br />if the container is less than or equal to <br />119 gallons in size, or <br />(B) No more than 0.3 percent by <br />weight of the total capacity of the <br />container remains in the container or <br />inner liner if the container is greater <br />than 119 gallons in size, <br />Therefore, if the container that held <br />the non-acute hazardous waste <br />pharmaceutical does not have its <br />contents removed by a commonly <br />employed practice and either has one <br />in or less of residue remaining or has <br />3 percent or less by weight of the total <br />capacity of the container remaining,128 <br />then the container is not considered <br />"RCRA empty," even though the <br />P may have been fully <br />dispensed. If the container is not "RCRA <br />V then the residues are regulated <br />as hazardous waste (since the residues <br />are within the container, the container <br />must be managed as hazardous waste, as <br />well, even if it is not itself hazardous <br />V On the other hand, if the <br />contents of the container have been <br />remove, ;k commonly employed <br />-.r <br />t1x We ire �ksumtng That containers flint hold <br />P are in containers les's thin 119 ,_,1 <br />gallons in size. <br />APR 0 <br />3 2019 <br />ENVIRONMENTAL HEALTH <br />DEPARTMENT <br />