The EPA published the e-Manifest final third rule on June 28, 2024. It amends aspects of the hazardous waste manifest regulations under RCRA about the e-manifest system. As your waste disposal partner, we are here to help explain key aspects of the final rule. Mandatory Account Registration Effective Jan. 22, 2025, Small Quantity Generators (SQG)
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When Excess Hazardous Waste Contributes to Large Volume Designations: Managing Episodic Events
Producers of hazardous waste are broken down into three categories of waste generator status. We broke down these categories and their stipulations to define what constitutes a small quantity vs large quantity generator in a recent article. While the different categories are clear, the higher hazardous waste producers have a much higher level of compliance
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Hazardous Waste Generators regardless of generator status are breathing a sigh of relief that 2023 is not a reporting year for submitting the Biennial Hazardous Waste Report. However, it’s always an excellent time to check that you’re using the best reporting practices possible. Federal regulations require generators and transporters of hazardous waste and owners or
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