Document 8VLgOKOVOVYZNwYbDpx078zY5
VAYNE DISPOSAL; INC.
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WASTE ACCEPTANCE POLICV AND PROCEDURES . - Wayne Disposal, Site *2, MID048090633 -
Due to the frequency of recent changes in hazardous waste regulations, we find it necessary.to issue the following information for your use in getting approval for disposal of waste materials. Please take time to read the information contained so that your disposal request will be complete and approved as quickly as possible.
Hazardous vs Non-Hazardous
It is the responsibility of the generator to determine if his waste material is considered hazardous by federal or state criteria. The
single most important key to making this determination is obtaining copies of the federal hazardous waste regulation and rules for
Michigan's Act 64. . Copies of Act 64 rules may be obtained.from the
. Michigan .Department of Natural Resources, Office of Hazardous Waste. ' Management* (517) 373-2736. Becoming familiar with Act 64-rules is'
essential for completing a waste characterization as discussed below. Please be aware that Michigan's "universe" of hazardous/managed wastes includes all RCRA regulated wastes and more. These rules went into effect on April 17, 1981.
Non-Hazardous Wastes
Documentation of non-hazardous determinations for manufacturing wastes
must be 'submitted, prior to disposal of these wastes. In order to
eliminate all possible, hazardous classifications, the generator should
complete a Michigan Waste Characterization form (a sample copy has been
attached for your use.O Your thoroughness in completing this form will
expedite each of your requests.
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AnyAanalytical' data generated *to- complete-the waste characterization should alsc be forwarded. Samples of the waste may be requested in specific instances.
Once approved for disposal, each load of non-hazardous manufacturing waste should be accompanied by a bill of lading. See attachment "A" for appropriate information to be included on the shipper. One copy
copies will be signed as received and returned to the driver of the truck.
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v?'.'do<not'xecomjnend.T.uBingriovinanifeBt^br'iiion-rhftzardouB wastes, (unless
confusion to DNR keypunch operators working the Act 64 and Act 136 programs. (Note: It is not our present policy to issue generator comeback
copies on non-hazardous waste manifests. We will retain the green copy for our files. All extra copies of the manifest will be returned to the driver).
Notification Wastes
Act 64 contains rules and other criteria defining this category (see R299.6203, Rule 203 and R299.6201 g(iii) Civ). Some wastes previously not regulated federally may fall into this category under Michigan rules. Basically, a notification waste is one that contains a hazardous constituent(s) in either a concentration or volume that is considered significant (see Act 64 rules Figures A and B). It's important to note that notification wastes are marginally regulated under state law, requiring the forwarding of a characterization to the state. These wastes are not required to be manifested.
Wayne Disposal's policy regarding this waste category is simple. With respect to its acceptability, the waste will be handled the same as regulated hazardous wastes. Frankly, we feel that some notification wastes will be more hazardous than many regulated hazardous wastes.
'or. shipping purposes, these wastes do.not have to be manifested and we prefer that they are' not manifested. ?Ke acceptable shipping documentation will include the use of a shipper/bill of lading that
indicates, "This is an Act 64 Notification waste", the volume, the generator, date of shipment and the waste designation. For our purposes the waste designation will be the state commercial chemical product or other constituent code preceeded by the prefix "N", e.g. NP001. The shipper must be signed by the generator. If a generator/ transporter wants a record of delivery, provide the appropriate number of shipper copies. Extra copies will be signed upon receipt at the landfill, and given to the driver.
Hazardous Wastes
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If the generator of the waste determines his waste to be hazardous
under federal or .state regulation, a completed and signed State
of M'i'chlgah"wa^te {cha'rfccteriziii'ti6h form must "be submitted for review. *
A sample copy of this form has been attached for your use. Please be
as complete as possible, attaching all available analytical data.
Be sure to also include density of the material (Question 14) as it
will enable us to accurately report the weight of material we are
handling to the US EPA in our annual report. In addition a 4-8 ounce
sample ofJthe .waste shQuld.be forwarded. .. (UPS or Perolator shipments sKSld' bVSde' fe^sW^'Seivice- Dr.' Bellevil*ie>-' Mi. 'Mil'll .'' * *" WSF?.
Once this information is reviewed, the generator representative will oe contacted to clarify any information and a verbal approval (or disapproval) will be issued. A written approval will be issued, as required by federal law, shortly thereafter.
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)nce approval has been quoted* each load must be delivered with a
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of Disposal (as confirmation of proper disposal pursuant to Act 64)
will be issued to the Michigan Department of Natural Resources,
transporter and generator of the waste. This should be retained by;-
transporters and generators in accordance with state law. Note: Due
to statutory changes, CD's will not be issued after March 31, 1983.
Waste Containing Asbestos
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Pure asbestos is a regulated hazardous waste Under Act 64 and will be reviewed and processed as previously indicated under the hazardous waste section. Other waste products containing asbestos will very likely fall into Michigan's "notification Waste" category. The vast majority of asbestos waste we receive is pipe or tank insulation. Although we are required to have adequate information on file to
properly handle hazardous/notification wastes, this is one type of material, because of our standing familiarity, that we will not require the receipt of a "waste characterization form". However,
you are still obligated to provide the DNR with this information via submittal of a Michigan Waste Characterization Report.
Like other notification wastes, there is a concentration, volumeweight cutoff for management as a notification waste, e.g. 100 KG 99%. If you feel your waste qualifies under this exemption, it will be necessary to document the percentage of asbestos in.the . / /aste and the weight. If this is difficult or more trouble than . it's worth, we will assume the concentration is between 1-99% and will require you to handle the approval and shipping in the same
manner as a true notification waste.
Please contact the landfill office for information on proper packaging and labeling requirements such as:
(1) Asbestos containing materials must be containerized prior to delivery at the landfill. This may be in bags, drums, cartons, etc.
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(2) Each container of asbestos must be clearly marked with
the following warning of:
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"CAUTION* CONTAINS ASBESTOS - AVOID BREATHING DUST"
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Preprinted asbestos warning labels are available commercially through Labelmaster in Chicago.
(Phone: 800-621-5808)
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^y^neratok,Exemptions;-------------------- ..------- .._-_~. ._ T-.nrjirTn_ru.r-^ .........
Although both federal and state law recognizes these exemptions, our policy regarding reviewing and handling will not significantly differ from large generator procedures. One exception would be the use of an EPA I.D. number. We require a letter from small generators indicating their status prior to disposal. Please contact the landfill office for more information if you are a small generator. Depending on the specific circumstances, we will try to ease the burden as much as possible. Do not send a shipment of small generator hazardous waste to the landfill and expect disposal unless prior arrangements have been made.
We realize that the .maze of federal and state regulations can be confusing, particularlyto smaller manufacturers with limited environmental staffs. We will be happy to assist you in any way possible, so feel free to contact us at (313) 697-7830 (Landfill Office) or (313) 326-0200 (General Office.)
Thank you for your cooperation.
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Donald Vilnius General Manager
James H. Stock Hazardous Waste Coordinator
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NON-HAZARDOUS WASTE
NOTIFICATION WASTE
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sfRAlGtfT BILL OF IAD1N6
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Sh i pper/6enerator: ABC Company
| Transporter; XYZ Hauling
j Deuver To; Wayne Disposal Site#, Belleville, Ml
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! Material; Act 64 Notification V!aste-NU122, pipe insulation containing I*i ASBESTOS3 concentration less than 99%
QuANTITY;5 CUBIC YARDS
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Authorized Signiture;
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EPA - PART A HAZARDOUS HASTE CODE LIST ** wmmmf
>001 F002 F004 F005 F006 F008 F010 F012 F016
D002 0004 D005 D006 D007 0008 DO09 D010 0011
D012 D013 0014 . D015 0016 D017
K001 K005 K024 K035
K048 K049 K050 K051 K052 K061 K063 K087 K088
P011 PQ12
P015 P030
P105
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U013 UO 51 U052 U054 U061 U073 U122 U147 U159 U16S U188 U190 U228 U223
Please note that F005, F008, F010 are listed as hazardous
due to toxicity and either reactivity or ignitability. 'These vastes would-not be acceptable if they are truly-~ ... ignitable or reactive. Contact the office if your waste falls into one of these categories.
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