Document ExB91j2RBr43ed7bBJ62QVdX4
f t E A ~ United States
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Environmental Protection
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Agency
EPA REGION 6 Enforcement Division
INSPECTION REPORT
Inspection Entry
4/24/2025 11:30 AM (CT)
Date/Time
Inspection Exit Date/Time 4/24/2025 12:15 PM (CT)
Regulatory Program Type of Inspection
RCRA Compliance Evaluation Inspection (CEI)
Announced: No (tenants and related facilities) Access: Granted
Facility or Site Name Facility/Site Identifier Facility/Site Physical Address City, State, Zip Code County/Borough Generator Status NAICS Type of Operation
Geographic Coordinates
Waste Connections Bayou Inc. N/A 500 Seven Oaks Blvd.
Bridge City, LA 70094 Jefferson N/A 562111 Waste Connections Bayou (WCB) collects solid waste, trash, and construction materials from businesses and residents. 29.92721, -90.15179
Additional Persons Participating in Inspection:
Name
Title
Organization Email
Sandesh Thapa
Inspector
EPA REGION 6 Thapa.Sandesh@epa.gov
Joseph Watson
Contractor
Eastern Research Joe.Watson@erg.com Group (ERG)
Lead Inspector: Vince Damiano
ERG
Vincent Damiano
Digitally signed by Vincent Damiano Date: 2025.06.06 16:00:16 -04'00'
Vince.Damiano@erg.com
I
Page 1 of 4
Waste Connections Bayou Inc.
Inspection Date: 4/24/2025
SECTION I - INTRODUCTION
Site Entry and Purpose of the Inspection
The Port of New Orleans and surrounding facilities were selected for inspection based on a Regional initiative to evaluate facilities at ports receiving or transporting Resource Conservation and Recovery Act (RCRA)-regulated hazardous wastes, and/or have an International Convention for the Prevention of Pollution from Ships (MARPOL) Annex V Certificate of Adequacy (COA) issued by the U.S. Coast Guard (USCG).
This report is based on information supplied by the facility representatives, inspector observations, portrelated facilities, and other records, including photographs taken, verbal or written statements made during or after the on-site inspection, and/or materials shown, demonstrated, or submitted to the Environmental Protection Agency (EPA) during or after the on-site inspection. In addition, information gathered prior to or after the inspection from a review of EPA, State, and public records may be included in this report.
Attendees
Title/Organization
Lead Inspector/ Contractor/ERG
Inspector/Enforcement Officer/EPA Region 6
RCRA Inspector/ Contractor/ERG
Manager/Waste Connections Bayou
Name
Email
Vince Damiano Vince.Damiano@erg.com
Sandesh Thapa Thapa.Sandesh@epa.gov
Joseph Watson Joe.Watson@erg.com
Buddy Gonlag Bgonlag@wcnx.org
Opening Closing Conf. Conf.
Yes
Yes
Yes
Yes
Yes
Yes
Yes
Yes
Page 2 of 4
Waste Connections Bayou Inc.
Inspection Date: 4/24/2025
Facility General Description
Tenant/Area Waste Connections Bayou Inc.
Inspection
Date
Process Description
4/24/25 WCB collects solid waste, trash, and construction
materials from businesses and residents. The facility does
not maintain a MARPOL COA.
Area of Concern
Yes
SECTION II - OBSERVATIONS
Facility: Waste Connections Bayou Inc.
Section: 2.1
Date: 3/27/25, 09:45 AM Contains AOC: Yes Contains CBI: No
I
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Lead Inspector: Vince Damiano Attendees: Buddy Gonlag (Manager)
WCB, located in Birch City, LA, collects municipal solid waste, trash, construction debris, and demolition debris from businesses and residents. WCB operates 34 trucks, including rear-load, front-load, and roll-off types. When WCB collects waste, it is brought straight to the disposal site, typically to River Birch Landfill. Mr. Gonlag stated that waste is never brought back to the facility, and the only waste WCB generates is used oil and used batteries from maintenance on its trucks. WCB does not collect any waste from the Port of New Orleans or port-related facilities. WCB is not registered with the EPA.
After the opening conference, the inspection team observed WCB's maintenance area and equipment storage yard. In the maintenance area, the inspection team observed four 55-gallon drums of used oil, which were properly labeled as "Used Oil" and stored in closed 55-gallon drums. Next to the used oil drums, the inspection team observed a pallet of 14 spent lead-acid batteries generated from WCB's trucks (see Appendix 1 - Photo 1). The batteries were not labeled and did not have an accumulation start date to suggest a residence time. At the time of the inspection, Mr. Gonlag stated the batteries are sent out to be recycled, but was uncertain under which program WCB is managing the spent batteries while on site [AOC #1 - WCB did not label universal waste batteries (i.e., each battery), or a container in which the batteries are contained, with any one of the following phrases: "Universal Waste--Battery(ies)," or "Waste Battery(ies)," or "Used Battery(ies);" - 40 CFR 273.34(a)]. The inspection team then walked through the equipment storage yard and did not observe any areas of concern (AOCs) in the area.
The inspection team did not observe any additional AOCs at the time of the inspection. However, further EPA review may change or add to their potential AOCs. A closing conference was conducted at approximately 12:15 PM with Mr. Gonlag. The AOCs were communicated during the closing.
Following the inspection on 5/1/2025, Mr. Gonlag sent a follow-up email in response to the AOCs observed during the inspection. In the response, Mr. Gonlag stated WCB is exempt from Universal Waste regulations under 40 CFR Part 273, as all used lead-acid battery cores are sent for credit and recycling per 40 CFR 266.80. Documentation of all battery shipments is maintained, and the cores present during the inspection have been removed and recycled. Photos of battery storage improvements and manifests for the shipments of batteries were included in the response (see Appendix 2).
Page 3 of 4
Waste Connections Bayou Inc.
Inspection Date: 4/24/2025
SECTION III - RECORDS REVIEW No RCRA-regulated records were reviewed during this focused onsite inspection.
SECTION IV - AREAS OF CONCERN
The presentation of Area(s) of Concern does not constitute a formal compliance determination or violation. Facility: Waste Connections Bayou Inc.
AOC #1 - WCB did not label universal waste batteries (i.e., each battery), or a container in which the batteries are contained, with any one of the following phrases: "Universal Waste--Battery(ies)," or "Waste Battery(ies)," or "Used Battery(ies)."
Citation:
40 CFR 273.34(a)
Section: 2.1
SECTION V - FOLLOW UP
Any facility follow-up items are as discussed in the observations in Section II. Documents or files provided by the facility were transmitted via email and included responses to AOCs or provision of documents requested.
Communication Log During and after the inspection, additional information was emailed to EPA including: 1. 5/1/25 WCB email - Mr. Gonlag provided the inspection team with a response to AOCs observed during the inspection.
SECTION VI - LIST OF APPENDICES Appendix 1. Photograph Log Appendix 2. 5/1/25 Response from WCB
Page 4 of 4
APPENDIX 1. PHOTOGRAPH LOG
UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
Photograph Log
Location: Waste Connections Bayou Inc.
City: Birch City
County/Parish: Jefferson
State: Louisiana
Photo No. 1
Photo File Name: DSCN7981 Date of Photo: 4/24/2025 Time of Photo: 1150 hrs. Photographer: Vince Damiano Description: View of a pallet of 14 spent lead-acid batteries being accumulated on a pallet in the maintenance area.
APPENDIX 2. 5/1/25 RESPONSE FROM WBC
WASTE CONNECTIONS
Connect with the Future
April 30, 2025
RE: Response to Follow-Up Email from EPA Visit 4/24/2025 Sent via Email to: Vince.Damiano@erg.com
Dear Mr. Damiano,
Thank you for your recent visit to our facility on April 24, 2025. We appreciate the opportunity to discuss our operations and clarify our management practices.
In response to your email inquiry dated April 24, 2025, regarding the handling of used battery cores, we would like to confirm our understanding that the facility is exempt from the Universal Waste regulations under 40 CFR Part 273. This exemption applies because all used lead-acid battery cores are sent for credit and recycling in accordance with 40 CFR 266.80. These batteries are managed in compliance with applicable provisions for spent lead-acid batteries that are reclaimed and, therefore, are not subject to the Universal Waste Rule.
That said, following your visit, we have taken additional steps to enhance compliance by relocating the battery cores to a designated storage area with improved signage. Photos documenting this corrective action are included in the attached Photo Log.
We also maintain documentation of all battery shipments and ensure the cores are transported to an appropriate battery recycler or core processor. The battery cores onsite during the inspection have been removed and taken to a battery recycler. A copy of the receipt for the battery cores removed by Fleet Pride is included in the attached Photo Log.
Please let us know if any additional information or documentation is required.
Sincerely,
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B~dci{Go~ District Manager Waste Connections of Louisiana, New Orleans
cc: Joe Vieceli, Region Engineer, Waste Connections Nikki Crews, Region Compliance Manager, Waste Connections
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WASTE CONNECTIONS
Connect with the F1tture
PHOTOGRAPHIC LOG
Project Name: New Orleans EPA Site Visit - Lead Acid Battery Storage Response
Photograph No. 1
Date: 4-25-25 Comments: New Battery Rack Storage Area with signage
Photograph No. 2 Date: 4-25-25 Comments: New Battery Rack Storage Area (door open)
Photograph No. 3
Date: 4-30-25
Comments: Used Battery Core Storage with updated containment tray and signage
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Photograph No. 4
Date: 4-29-25
Comments: Copy of Receipt - Battery Cores Shipped to Recycler
FleetPride
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CUSTOMER RETURNED GOODS AUTHORIZATION
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Outlook
RE: Follow-up from EPA Visit on 4/24/2025
From Buddy Gonlag <buddy.gonlag@wasteconnections.com > Date Thu 5/1/2025 10:51 AM To Vince Damiano <Vince.Damiano@erg.com> Cc Joe Watson <Joe.Watson@erg.com>; Thapa, Sandesh <Thapa.Sandesh@epa.gov>; Nikki Crews
<Nikki.Crews@WasteConnections.com >; Joe Vieceli <joe.vieceli@wasteconnections.com>
@1 attachment (390 KB)
20250501_092547 .pdf;
CAUTION : Don't open links or attachments unless you recognize the sender and know they are safe.
Mr. Damiano:
Please find attached our response to your recent inquiry following the inspection of our facility. Let us know if you have any questions or need additional information.
Thank you, Buddy Gonlag
From: Vince Damiano <Vince.Damiano@erg.com> Sent: Thursday, April 24, 2025 5:54 PM To: Buddy Gonlag <buddy.gonlag@wasteconnections.com> Cc: Joe Watson <Joe.Watson@erg.com>; Thapa, Sandesh <Thapa.Sandesh@epa.gov> Subject: Follow-up from EPA Visit on 4/24/2025
Hello Buddy,
I am following up with a list of items and notes from our inspection today. Below are initial Areas of Concern and items requested; you may follow up with pictures, write-ups, sample results, or however you see fit:
Unlabeled and non-dated universal waste batteries Again, thank you for taking the time out of your day to meet with us. Please let us know if you have any questions or concerns.
Thanks, Vince
ERG
Vince Damiano
Chemical Engineer, Chantilly Office