The Bevill Exemption from Hazardous Waste Regulation



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Transcription:

The Bevill Exemption from Hazardous Waste Regulation Dean Miller Davis Graham & Stubbs LLP

Roadmap What s at Stake RCRA 101 Hazardous Waste Identification, Management, and Exemptions Solid Waste Identification, Management, and Exemptions

Roadmap The Bevill Exemption What are Bevill wastes? Beneficiation vs. Mineral processing How do you lose the Bevill exemption? How do you establish that your wastes are Bevill exempt? How do you maintain the Bevill exemption?

EPA Mineral Processing Compliance Assistance Page http://www.epa.gov/compliance/assistance/se ctors/minerals/processing/index.html

Mineral Processing Is On EPA s Radar Screen On December 10, 2003, EPA announced that its enforcement priorities for the next three years include increased enforcement against mineral processing facilities (68 FR 68893).

Reclamation of Historic Mine Waste Record metal prices have spurred renewed interest in reprocessing historic mine wastes Bevill determination is critical to this activity

What s at Stake? Managing waste as solid waste versus hazardous waste Solid waste regulations much less stringent than hazardous waste regulations Substantial penalties for RCRA violations

RCRA 101

Resource Conservation and Recovery Act (RCRA) RCRA Subtitle C regulates hazardous waste generators and transporters, and treatment, storage, and disposal (TSD) facilities RCRA Subtitle D regulates management of solid waste

Hazardous Waste Management Requirements Identify and count wastes Obtain EPA ID number Comply with accumulation and storage requirements (including requirements for training, contingency planning, and emergency arrangements) Prepare waste for transportation Track shipment and receipt of waste Meet record-keeping and reporting requirements

Solid Waste Management No open dumping Disposal facilities must not threaten endangered species, surface water, ground water, or flood plains Restrict public access Restrict land spreading of certain wastes Minimal Record-keeping requirements

Solid Waste Under RCRA Solid Waste is any discarded material Includes solids, liquids, gases Discarded Material is any material that is abandoned, recycled, or considered inherently waste-like

Typical Solid Wastes Garbage (e.g. egg shells, coffee grounds) Refuse (e.g. metal scrap, sheet rock) Sludges from waste-treatment plants Hazardous waste that is excluded from regulation under Subtitle C (i.e., Bevill wastes)

Exemptions from Solid Waste Regulation Twenty-one specific exclusions from regulation as solid waste, including: Domestic sewage Point source discharges regulated under Clean Water Act (NPDES) Irrigation return flows Materials subjected to in situ mining

Another Benefit of Bevill Simplified Waste Reclamation If your material is Bevill exempt, you can avoid reclamation analysis of 40 C.F.R. 261.2(c) Spent Materials Sludges (listed & characteristic) By-products (listed & characteristic)

Another Benefit of Bevill Simplified Waste Reclamation If your material is Bevill exempt, you can avoid recycling analysis of 40 C.F.R. 261.2(e) Ingredients in an industrial process to make a product Effective substitutes for commercial products Returned to the original process

Hazardous Wastes Under RCRA Hazardous Waste is a subset of solid waste All hazardous wastes are solid wastes Not all solid wastes are hazardous wastes

Categories of Hazardous Wastes Listed Wastes Characteristic Wastes

Listed Wastes Four different lists of specific industrial waste streams F list (Wastes from non-specific sources) K list (Known wastes from specific sources) P & U lists (Hazardous pure or commercial grade formulations of specific unused chemicals)

Listing Criteria Contains harmful chemicals that pose threat to human health or environment (toxic listed wastes) Contains such dangerous chemicals that they pose a threat even when properly managed (acutely hazardous wastes)

Listing Criteria Are ignitable, corrosive, reactive, toxic Listed for other reasons

Characteristic Wastes Ignitable; Corrosive; Reactive; or Toxic

Exemptions from Hazardous Waste Regulation Eighteen different categories, including: Household Waste Mining overburden returned to the mine site Oil & Gas exploration and production wastes Solid waste from the extraction beneficiation, and processing of ores and minerals (i.e., Bevill wastes)

The Bevill Exemption 1980 - Congress exempted from RCRA Subtitle C regulation mining and mineral processing wastes generated by extraction, beneficiation, and processing activities Twenty specific mineral processing wastes exempted All extraction and beneficiation wastes exempted

Uniquely Associated Wastes Only wastes that are uniquely associated with extraction and beneficiation of ores and minerals (plus 20 listed processing wastes) are exempt Wastes from ancillary operations not exempt Non-uniquely associated wastes include used oil, PCBs, discarded commercial chemicals, cleaning solvents, filters, empty drums, lab wastes, and general refuse

How Can You Lose the Bevill Exemption? Engage in mineral processing operations Acid digestion, chlorination, smelting Mix non-bevill-exempt waste with Bevillexempt waste (i.e., co-disposal)

Beneficiation vs. Mineral Processing

Beneficiation Operations crushing, grinding, washing dissolution, crystallization, filtration, sorting, sizing, drying, sintering, pelletizing, briquetting, calcining to remove water and/or carbon dioxide, roasting in preparation for leaching (except where the roasting/leaching sequence produces a final or intermediate product that does not undergo further beneficiation or processing), gravity concentration, magnetic separation, electrostatic separation, flotation, ion exchange, solvent extraction, electrowinning, precipitation, amalgamation, and heap, dump, vat, tank, and in situ leaching.

Beneficiation Operations Beneficiation Operations Generate high volume solid waste streams that are essentially earthen in character After removal of valuable constituents, remaining material is physically and chemically similar to ore entering process May be finer-grained

Beneficiation Operations Separate and concentrate the mineral values from waste material, remove impurities, or prepare the ore for further refinement No change in mineral values other than by reducing (e.g., crushing or grinding), or enlarging (e.g., pelletizing or briquetting) the particle size to facilitate processing A chemical change in the mineral value typically does not occur Use feedstocks that are less than 50% scrap materials

Processing Operations Generally follow beneficiation and change the concentrated mineral value into a more useful chemical form Commonly done by heat (e.g., smelting) or chemical reactions (e.g., acid digestion, chlorination) to change the chemical composition of the mineral

Processing Operations Often destroy the physical and chemical structure of the incoming ore or mineral feedstock Generate waste streams that bear little resemblance to original material i.e., produce waste streams that are not earthen in character

Processing Operations All operations downstream of processing operations are considered processing, regardless of whether they involve steps specifically identified as beneficiation operations i.e., floatation or grinding following digestion are considered processing

Is your waste Bevill exempt? Determine whether the material is considered a solid waste under RCRA Determine whether facility is using a primary ore or mineral to produce a final or intermediate product and also whether 50 percent of the feedstocks are from secondary sources

Is your waste Bevill exempt? Establish whether the material and the operation that generates it are uniquely associated with mineral production Determine where in the sequence of operations beneficiation ends and mineral processing begins (if it does) If processing, is it one of the 20 specific exemptions?

Mixing of Wastes The other way (besides engaging in mineral processing) to lose the Bevill exemption

The Mixture Rule If any amount of a listed waste is mixed with any amount of non-hazardous waste, the resulting mixture is a listed hazardous waste A mixture of a characteristic waste and a nonhazardous waste is hazardous only if the mixture exhibits a characteristic, unless the characteristic imparted to the mixture is from an exempt waste (such as Bevill) Mixture still subject to LDR s unless dilution occurs in CWA-exempt unit

Example Bevill Waste TCLP for Lead Non-Bevill Waste TCLP for Cadmium Mixture TCLP for Lead and Cadmium Mixture is regulated under Subtitle C

Example Bevill Waste TCLP for Lead Non-Bevill Waste TCLP for Cadmium Mixture TCLP for Lead Mixture is not regulated under Subtitle C

Mixtures of Wastes Listed for Hazardous Characteristic A mixture of a non-hazardous waste and a waste listed solely for exhibiting characteristics of ignitability, corrosivity, and/or reactivity are hazardous only if the mixture exhibits a characteristic Does not apply to waste listed for toxicity characteristic Mixture still subject to Land Disposal Restrictions (LDRs) unless listed waste does not exhibit listing characteristic at point of generation

Hazards of Mixing Wastes Mixing a hazardous waste with Bevillexempt waste to render it non-hazardous meets the definition of treatment Treatment requires RCRA permit Mixing may be form of impermissible dilution LDRs may still apply

Land Disposal Restrictions Disposal Prohibition (LDRs) Requires that waste-specific treatment standards must be met before a waste can be land disposed Ensures that wastes are properly treated and not simply diluted Prevents indefinite storage of hazardous wastes instead of prompt treatment of wastes

How do you establish that your waste is Bevill-exempt?

Strategy Try to resolve the issue on a site-specific factual (as opposed to legal) basis. Conduct a detailed analysis of current or historic operations Show that they involve(d) either specific operations identified as beneficiation or that the waste stream from the process is similar to the original material that entered the process (i.e., it is earthen-like) If possible, establish that waste from ancillary operations was/is not mixed with waste from primary operations

Tactics Obtain all documents in EPA and State files that relate to the site and the issue FOIA/Open Records Act requests may be necessary EPA Guidance Documents Obtain all other written determinations on the issue generated by EPA or the State, or at least those on which the agency is relying

How do you maintain the Bevill exemption? Consider the impact of any proposed process change on the Bevill-exempt status of your waste stream from the beginning Do not mix hazardous waste (i.e., ancillary wastes) with Bevill-exempt waste

Know the rules Conclusion Know how the rules apply to your processes

Dean Miller Davis Graham & Stubbs LLP 1550 17 th Street, Suite 500 Denver, CO 80202 303-892-7389 dean.miller@dgslaw.com www.dgslaw.com