Understanding the Oil & Gas Exploration & Production Hazardous Waste Definition Exemption. Jeff Bowman, TEEX

Similar documents
IDENTIFYING YOUR WASTE

RAILROAD COMMISSION OF TEXAS APPENDIX C LIST OF E&P WASTES: EXEMPT AND NONEXEMPT

HAZARDOUS AND NONHAZARDOUS OIL AND GAS WASTE

Exemption of Oil and Gas Exploration and Production Wastes from Federal Hazardous Waste Regulations

WHAT IS A HAZARDOUS WASTE? Kansas Department of Health and Environment Bureau of Waste Management

The Bevill Exemption from Hazardous Waste Regulation

Hazardous Waste Determination and Management Plan

Can I Recycle Some of My Industrial or Hazardous Wastes?

CHAPTER 2 HAZARDOUS OIL AND GAS WASTE DETERMINATION

40 CFR Hazardous Waste Determination

How billions of barrels of toxic oil and gas waste are falling through regulatory cracks

Here are some hazardous wastes commonly generated by the marina industry:

Spill Prevention, Control and Countermeasure (SPCC) Training

Identifying Your Hazardous Waste

Fact Sheet: Disposal of Alkaline Batteries

States. Products include cleaning solvents,,p

EPA s proposed hazardous waste pharmaceutical regulations

Justice and Permitting Initiative is available at:

CRS Report for Congress

Hazardous Pharmaceutical Waste Management. Written by: Matthew Teeter, Environmental Compliance Consultant

ENVIRONMENTAL HEALTH AND SAFETY HAZARDOUS MATERIALS MANAGEMENT PLAN

Hazardous Waste Containers

District of Columbia Municipal Regulations UNDERGROUND STORAGE TANKS: GENERAL PROVISIONS 5500 COMPLIANCE WITH OTHER DISTRICT LAWS

CHAPTER PETROLEUM CONTACT WATER

How To Understand And Understand Solid And Hazardous Waste

Tuesday, March 17, 2015 Houston, TX. Energy Exchange 9:20 9:50 a.m. and 9:55 10:25 a.m. OIL AND GAS: ENVIRONMENTAL INSURANCE IS IT NECESSARY?

AP ENVIRONMENTAL SCIENCE 2012 SCORING GUIDELINES

COMPLIANCE MANAGEMENT STRATEGIES. Presented by: Megan Kazmierczak, ECS Eclipse

The Comprehensive Environmental Response,

RCRA and Pharmaceutical Waste Management: A Brief Federal Overview

Notification of RCRA Subtitle C Activity

PIPELINE FUNDAMENTALS. texaspipelines.com

The Comprehensive Environmental Response,

Hazardous Materials Management Considerations in Healthcare

Notification for Hazardous or Industrial Waste Management

NASA Stennis Space Center Environmental Resources Document

How To Get A Stormwater Discharge Permit In A City Of Scottsdale

Hazardous Waste Recycling. The dreaded definition of solid waste table (40 CFR 261.2) and other equally confusing regulations

Slide 1. Enviros Consulting Ltd

FINAL UPDATES TO REQUIREMENTS FOR STORAGE TANKS USED IN OIL AND NATURAL GAS PRODUCTION AND TRANSMISSION

Frequently Asked Questions about Hazardous Waste Lamps (e.g., fluorescent or other lights containing mercury)

HAZARDOUS WASTE MANAGEMENT PROGRAM

Chapter 1 Introduction

United States Progress Report on Fossil Fuel Subsidies Part 1: Identification and Analysis of Fossil Fuel Provisions

Treatment of Hazardous Waste On-Site by Generators

RAILROAD COMMISSION OF TEXAS APPENDIX I GLOSSARY AND ACRONYMS

Pollution Liability Exposure: Adjustments your automotive business should consider to maintain compliance

Spill Prevention Control and Countermeasure (SPCC) Regulations Fact Sheet

Harvard University. Hazardous Waste Program Overview

Statement of Mary L. Hendrickson,PharmD,MBA,RAC Director of Quality & Regulatory Affairs Capital Returns Inc., d/b/a Genco Pharmaceutical Services

Arkansas Natural Gas Severance Marketing Costs

INFOCUS 1EPA DRY CLEANING REGULATORY REVIEW REDUCING WASTE POLLUTION RESOURCES FOR DRY CLEANERS AND PREVENTING

Title 27A. Environment and Natural Resources Chapter 1 - Oklahoma Environmental Quality Act Article III - Jurisdiction of Environmental Agencies

SPE Distinguished Lecturer Program

Hazardous Waste Management Plan

New York State Department of Environmental Conservation 625 Broadway, Albany, NY Environmental Self Audit For Small Businesses

History of the SPCC Rule

Occupational Safety and Health Administration Directorate of Whistleblower Protection Programs (DWPP) Whistleblower Statutes Desk Aid

Management and Disposal of Hazardous Pharmaceutical Waste

Instructions for Reporting 2016 TSCA Chemical Data Reporting. U.S. Environmental Protection Agency Office of Pollution Prevention and Toxics

Well Site Spill Protection: Impacts, Trends and Technologies for Preventing Releases to Water Sources

REPORTING ENVIRONMENTAL RELEASES IN COLORADO

Occupational Safety and Health Administration Directorate of Whistleblower Protection Programs (DWPP) Whistleblower Statutes

[]n. Craving energy. Oil and gas formation. Oil and gas formation. Resources: Fossil Fuels. Supplying our energy needs: Source of energy in the US

THE RCRA EXPLORATION & PRODUCTION EXEMPTION

Waste Hazardous? Why?

Comparison of State Severance Taxes on Oil and Gas Utah and Selected Oil and Gas Producing States

Environmental Forensics

DIVISION D ELECTRICITY, GAS, WATER AND WASTE SERVICES

5-Minute Refresher: RENEWABLE ENERGY

Hazardous Waste Management Plan Page 1

Q 4/17/13: Thank you for your quick response to our dated April 10, In looking over your comments, we have a few clarifying remarks.

SECTION A - 2 HAZARDOUS MATERIALS REGULATIONS

Chapter 10. Overview of Federal Laws and Regulations Governing Incineration

Environmental Due Diligence: How Much Diligence Is Due?

FUELING AND FUEL STORAGE

SUBJECT: Effective Date: Procedure Number: Contractor Environmental Management. 09/03/13 emp11 Procedures

Pharmaceutical Waste Initiatives: What Comes Next? ACPE # L05-P (0.1 CEU)

POLLUTION PREVENTION FACT SHEET: AUTOMOBILE MAINTENANCE

January 2014: Jeanne Briskin of the U.S Environmental Protection Agency (EPA)

Hazardous Waste Definitions

Office of Environmental Quality Five Year Strategic Plan July, June 2022

PART 387. Minimum Levels of Financial Responsibility for Motor Carriers. (Interstate and Intrastate Commerce)

UTILITIES DEPARTMENT

Critical Regulations SUMMARY OF. Stormwater Management Regulations (National Pollutant Discharge Elimination System or "NPDES ) 40 CFR 122.

DEPARTMENT OF ENVIRONMENTAL PROTECTION BUREAU OF WATER SUPPLY MANAGEMENT. Principles for Ground Water Pollution Prevention and Remediation

CRS Report for Congress

Challenges and Opportunities for Small Businesses Engaged in Energy Development and Energy Intensive Manufacturing

Transcription:

Understanding the Oil & Gas Exploration & Production Hazardous Waste Definition Exemption Jeff Bowman, TEEX

Oil and Gas Exploration and Production Waste Exclusion Jeff R. Bowman, MSPH, CHMM Texas A&M Engineering Extension Service December 2015

History of the Exemption December 1978: EPA proposed hazardous waste management standards that included reduced requirements for several types of large volume wastes. EPA believed these large volume special wastes are lower in toxicity than other wastes being regulated as hazardous waste under RCRA.

History of the Exemption October 1980: RCRA Section 3001(b)(2)(A) - Bentsen Amendment - temporarily exempts "drilling fluids, produced waters, and other wastes associated with the exploration, development, and production of crude oil or natural gas." RCRA Section 8002(m) requires EPA to study these wastes and submit a Report to Congress evaluating the status of their management and potential risk to human health and the environment by October 1982.

Bevill and Bentsen Wastes Bevill Wastes: Fossil fuel combustion wastes, mining and mineral processing wastes, and cement kiln dust wastes exempt from RCRA Subtitle C regulation. Bentsen Wastes: Geothermal exploration, development, and production waste exempt from RCRA Subtitle C regulation.

History of the Exemption August 1985: The Alaska Center for the Environment sues EPA for its failure to conduct the required study and submit its findings to Congress. EPA enters into a consent order obligating it to complete and submit the Report to Congress by August 31, 1987 Extended to December 1987.

History of the Exemption December 1987: EPA submits a three-volume Report to Congress. July 6, 1988: EPA issues its Regulatory Determination for Oil, Gas, and Geothermal Exploration, Development and Production Wastes. EPA believes that regulation of oil and gas exploration and production wastes under RCRA Subtitle C is not warranted.

History of the Exemption October 2002: EPA issues the publication, Exemption of Oil and Gas Exploration and Production Wastes from Federal Hazardous Waste Regulations. December 2008: EPA clarifies the regulatory status of spent oil shale generated by above ground retorting or heating of oil shale.

Scope of the Exemption The RCRA Subtitle C exemption does not preclude these wastes from control under: state regulations, less stringent RCRA Subtitle D solid waste regulations, or other federal regulations.

Scope of the Exemption Although they are relieved from regulation as hazardous wastes, the exemption does not mean these wastes could not present a hazard to human health and the environment if improperly managed.

Scope of the Exemption The oil and gas exemption was expanded in the 1980 legislative amendments to RCRA to include drilling fluids, produced water, and other wastes associated with the exploration, development, or production of crude oil or natural gas

Scope of the Exemption other wastes associated specifically includes waste materials intrinsically derived from primary field operations associated with the exploration, development, or production of crude oil and natural gas.

Scope of the Exemption intrinsically derived from primary field operations This term is intended to distinguish exploration, development, and production operations from transportation and manufacturing operations.

Crude Oil Primary Field Operations include activities occurring at or near the wellhead and before the point where the oil is transferred from an individual field facility or a centrally located facility to a carrier for transport to a refinery or a refiner.

Natural Gas Primary Field Operations are those activities occurring at or near the wellhead or at the gas plant, but before the point where the gas is transferred from an individual field facility, a centrally located facility, or a gas plant to a carrier for transport to market. Examples of carriers include trucks, interstate pipelines, and some intrastate pipelines.

Primary Field Operations include exploration, development, and the primary, secondary, and tertiary production of oil or gas. Examples: Crude oil processing, such as water separation, deemulsifying, degassing, and storage at tank batteries associated with a specific well or wells. Gas plants are considered to be part of production operations regardless of their location with respect to the wellhead.

40 CFR 261.4(b)(5) (b) Solid wastes which are not hazardous wastes. The following solid wastes are not hazardous wastes:

Oil, Gas, and Geothermal Wastes Certain wastes from the exploration and production of oil, gas, and geothermal energy are excluded from the definition of hazardous waste.

Certain Wastes These wastes include those that have been brought to the surface during oil and gas exploration and production operations, and other wastes that have come into contact with the oil and gas production stream (e.g., during removal of waters injected into the drill well to cool the drill bit).

Exploration and Production Waste In general, the exempt status of an E&P waste depends on how the material was used or generated as waste, not necessarily whether the material is hazardous or toxic. exempt E&P wastes might be harmful to human health and the environment, and many nonexempt wastes might not be as harmful.

Exploration and Production Waste The following simple rule of thumb can be used to determine if an E&P waste is exempt or non-exempt from RCRA Subtitle C regulations: Has the waste come from down-hole, i.e., was it brought to the surface during oil and gas E&P operations? Has the waste otherwise been generated by contact with the oil and gas production stream during the removal of produced water or other contaminants from the product?

Exploration and Production Waste If the answer to either question is yes, then the waste is likely considered exempt from RCRA Subtitle C regulations. Note: All E&P wastes require proper management to ensure protection of human health and the environment.

Exempt Waste List The exempt waste list provides examples of exempt waste and applies only to those wastes generated by E&P operations. Similar wastes generated by activities other than E&P operations are not covered by the exemption.

Exempt Waste List Remember! The exempt status of an E&P waste depends on how the material was used or generated as waste, not necessarily whether the material is hazardous or toxic.

Nonexempt Waste List Although the wastes listed below are not exempt from RCRA Subtitle C, they are not necessarily hazardous or necessarily subject to hazardous waste regulation. Use process knowledge or testing to determine the waste characteristics prior to management. Texas Railroad Commission

Mixing Wastes A mixture of an exempt waste with another exempt waste remains exempt. Mixing a non-hazardous waste with an exempt waste results in a mixture that is also exempt.

Mixing Wastes If, after mixing a non-exempt characteristic hazardous waste with an exempt waste, the resulting mixture exhibits any of the same hazardous characteristics as the hazardous waste: D001 ignitability D002 corrosivity, D003 reactivity, or D004 D043 toxicity), the mixture is a non-exempt hazardous waste.

Mixing Wastes If a listed hazardous waste (F, K, P, or U) is mixed with an exempt waste, regardless of the proportions, the mixture is a non-exempt hazardous waste.

Unused Products Unused products, if disposed of, are not exempt, regardless of their intended use, because they have not been used and therefore are not uniquely associated with the exploration or production of oil and gas. When unused products become waste (e.g., they are disposed of), they are subject to RCRA Subtitle C hazardous waste regulations if they are listed or exhibit a hazardous characteristic.

State and Other Federal Regulations The exemption applies only to the federal requirements of RCRA Subtitle C. A waste that is exempt from RCRA Subtitle C regulation might be subject to more stringent or broader state hazardous and non-hazardous waste regulations and other state and federal program regulations. Example: Oil and gas exploration and production wastes are subject to regulation under the Clean Air Act (CAA), Clean Water Act (CWA), Safe Drinking Water Act (SDWA), and Oil Pollution Act of 1990 (OPA).

Texas E&P Waste Programs

Texas E&P Waste Programs

Louisiana E&P Waste Programs

Louisiana E&P Waste Programs

Arkansas E&P Waste Programs

Arkansas E&P Waste Programs

Remember Public Health! Although they are relieved from regulation as hazardous wastes, the exemption does not mean these wastes could not present a hazard to human health and the environment if improperly managed.

Please remember to fill out the conference survey. This will be sent to you by email. https://www.surveymonkey.com/r/2015ogenv Conference participants are eligible for up to 13 contact hours 1.3 CEUs. Forms will be available after lunch on Wednesday at the registration are. Return completed forms at the conclusion of the conference.

Understanding the Oil & Gas Exploration & Production Hazardous Waste Definition Exemption Jeff Bowman, TEEX