Document RjR718xK35a9ra6eeZ1dRz66B
Vista Chemical Company
900 Threadneedie
Houston, Texas 77079-2990 (713) 588-3000
P.O. Box 19029
Houston, Texas 77224*9029 Fax (713) 588-3236
January 15, 1991
TGG: JCL: ERT: MJH: AJ0: RF
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Mr. J ohn Byrne Whitaker Oil Company P. 0. Box 93487 Atlanta, GA 30318
Dear Mr. Byrne:
Pete Douvry asked that I provide you information regarding the new
EPA definition of hazardous waste, commonly known as the Toxicity
Characteristic (TC).
This rule, finalized September 25, 1990,
essentially expands the list of ways a substance can be classed a
hazardous waste. Benzene is on the expanded list of substances,
that if present above the established threshold limit, causes a
material to be a hazardous waste for disposal purposes.
The
threshold for benzene is 5 mg/1.
I've attached a succinct summary article on the regulation.
For your information, our LPA solvents do not contain benzene, or
other listed chemicals, above regulatory thresholds.
This fact
could certainly be an advantage in some "substitute" markets.
The cost to have a TC analysis run can range from $300 -$1,000 dependent on the number of chemicals you're looking for and the physical state of the product.
Sincerely,
Thomas G. Grumbles, C.I.H. Manager Environmental Affairs dlj cc: P. Douvry
Attachment
ooo^fa9Z
Is it Hazardous or Is It Not?
Is your Product Waste hazard to he performed on product waste to
ous under recently revised federal
determine if it contains certain
regulations? How do you make this chemicals above a regulated level.
determination?
This TC rule establishes regulatory
Under the current Resource
limits for 25 new chemicals and 14
Conservation and Recovery Act
chemicals from a previous RCRA
(RCRA), Subtitle C, EPA uses two
rule. If the waste contains any of
procedures to define wastes as
these chemicals above the regulated
hazardous:
levels, then the waste is RCRA
!. A product waste is specifi
Hazardous. (See Table 1)
cally listed by chemical name;
The TC rule went into effect on
2. The waste possesses certain September 25, 1990 for large hazard
hazardous characteristics above an
ous waste generators (2,200 lbs/
EPA defined level.
month) and on March 29, 1991 for
Chances are if your product
small hazardous waste generators
waste has been listed in the regula (220 to 2,200 Ibs/month). A wastes'
tion as hazardous, you already know toxicity is only one of four charac
this, since this listing has been in ef teristics that must be considered
fect for many years. This article dis when identifying a waste as hazard
cusses a recent rule by EPA called the ous. The other three are
Toxicity Characteristic <TC) rule that 1GNITAB1LITY, REACTIVITY, and
requires a test called a Toxicity Char CORROSIVITY. These three have also
acteristic Leaching Procedure (TCLP)* l. been in effect for many years.
The quantity to distinguish large from small generators is the total amount of hazardous waste generated on a site basis. It is important to note that if new TC wastes are generated, then genera tors may be required to apply for new RCRA handling permits.
All businesses should make a determination whether their product waste is or is not, a "TC waste." This can be accomplished in two ways:
1. Through use of the TCLP to determine whether leachate resulting from this test exceeds the regulatory levels for the 40 specified chemicals.
2. Through calculation, show that it is impossible to exceed the TC regulatory levels even if all of the regulated chemical contained in the product waste is extracted. A recom-
TaWe 1 Calculations May Avoid Necessity of Running TCLP Test
If one can show by calculation that it is impossible to exceed the TCLP regulatory limit even if all of the regulated substance is extracted, then it is not necessary to run the test. Two examples follow: l. General TCLP Calculation
100 g sample
20X water = 2000g = 2L water If regulatory level is R mg/L = 2R mg/2L, then
2R mg
=
lOOg sample
2 x lO-3 Rg lOOg sample
= 0.002R wt% or 20R ppm
Anything less than 0.002R wt% or 20R ppm will pass the TCLP test even if all of the substance is extracted.
Substance
Cd,Se As, Cr, Pb, Ag Hg Ba
R (mg/L)
1.0 5.0 0.2 100.0
Any concentration lower than this will pass TCLP test
' 20 ppm 100 ppm 4 ppm
2000 ppm (0.2%)
2. Barium Sulfate Calculation
U"
*4-
VVV 000011693
BaS04 cannot exceed the TCLP regulatory limit for Ba, as shown by the following calculations: BaS04 solubility in wateT at 25C is 0.000246 g/lOOcc = 2.46 mg/L. BaSG4 solubility in 3% HC1 is 0.006 g/lOOcc = 60 mg/L.
In both water and 3% HC1, the concentration of Ba would be less than the 100 mg/L regulatory
limit. Since 3% HC1 is much more acid than the 4.93 pH specified for TCLP, BaS04 cannot be considered a hazardous waste by the TCLP test.
3
t'ndcd procedure to make this determination is shown in Table 1.
Chemical constituents and their regulatorv levels are shown in Table 2.
This is a relatively new test for hazardous waste determination, therefore not all laboratories are
capable of performing it. For more information, consult your Environmental Coordinator. Conoco Laboratory in Ponca City and most of the major commercial laboratories are capable of performing this test. Cost can range from $300 per sample for heavy metals analysis only, to $1500 for the full range of the 40 chemicals.
If the TCLP determines that any of the chemicals are present above the regulated levels in waste, then the waste is a "TC Waste'1 and subject to all RCRA hazardous waste requirements, and all customers should be so advised! A statement as to whether or not a product's --- waste is an RCRA hazardous waste
uould be included in the product's DS to enhance sales (if non-
hazardous) or to ensure proper handling and disposal of the waste (if hazardous).
This RCRA hazardous waste
determination applies to all waste, whether it is considered hazardous because of its toxicity or any of the other above mentioned hazardous characteristics. Your Environmental Coordinator, Environmental Legal, or one of the consultants in the ESD Solid Waste section should be contacted to assist in this assessment
and requirements, if now covered. Generators are legally respon
sible for determining whether they produce hazardous waste. The penalties for noncompliance can be very severe, and may even
include criminal liability. Hopefully, you have already made this deter mination, but if not you should do
so as soon as possible. Your product liability and expensive litigation could be at risk along with the notential adverse impact on the
ironment.
For more information contact: Tom Lukish, Environmental Affairs Fibers, 999*5576 or Wayne Martin, Regulatory Affairs - Polymer Prod ucts, 773-6587.
Table 2
Maximum Concentration of Contaminants for the Toxicity Characteristic (TCLP)
EPA HW Number
Contaminant
Regulatory Level
CAS Number
(mg/1)
D004 D005 D018 D006 D019 D020 D021 D022 D007 D023 D024 D025 D026 D016 D027 D028 D029 D030 DO 12 D031
D032 D033 D034 D008 DO 13 D009 D014 DO3 5 D036 D037 D038 D010 D011 D039 D015 D040 D041 D042 D017 D043
Arsenic Barium Benzene Cadmium Carbon Tetrachloride Chlordane Chlorobenzene Chloroform Chromium o-Cresoi m-Cresol p-Cresol Cresol 2,4-D 1,4-Dichlorobenzene 1,2-Dlchloroethane 1,1 -Dichioroethylene 2,4-Dinitrotoluene Endrin Heptachlor (and its hydroxide) Hexachlorobenzene Hexachlorobutadiene Hexachloroethane Lead Lindane Mercury Methoxychlor Methyl ethyl ketone Nitrobenzene Pentachlorophenol
Pyridine Selenium Silver Tetrachloroethylene Toxaphene Trichlorethylene 2,4,5-Trichlorophenol 2,4,6-Trichlorophenol
2,4,5-TP (Silvex) Vinyl chloride
7440-38-2 7440-39-3 71-43-2 7440-43-9 56-23-5 57-74-9 108-90-7 67-66-3 7440-47-3 95-48-7 108-39-4 106-44-5
94-75-7 106-46-7 107-06-2 75-35-4 121-14-2 72-20-8 76-44-8
118-74-1 87-68-3 67-72-1 7439-92-1 58-89-9 7439-97-6 72-43-5 78-93-3 98-95-3 87-86-5 110-86-1 7782-49-2 7440-22-4 127-18-4 8001-35-2 79-01-6 95-95-4 88-06-2 93-72-1 75-01-4
5.0 100.0
0.5 1.0 0.5 0.03 100.0 6.0 5.0 200.0 200.0 200.0 200.0 10.0 7.5 0.5 0.7 0.13 0.02 0.008
0.13 0.5 3.0 5.0 0.4 0.2 10.0 200.0 2.0 100.0 5.0 1.0 5.0 0.7 0.5 0.5 400.0 2.0 1.0 0.2
VVV 000011694