|SUNY Geneseo EHS
The RCRA (Resource Conservation and Recovery Act) Hazardous Waste Program is a federal program implemented by the states. The New York State Department of Environmental Conservation has been granted authority by EPA to implement and enforce RCRA in New York State. EPA has, however, retained enforcement and oversight capabilities.
RCRA is an extremely convoluted program that actually contains many waste management options. The goal of RCRA is to reduce the volume and toxicity of hazardous waste generated. Incentive to do so is created by a tiered system of regulation. Those entities that generate the largest volumes of hazardous wastes are subject to the highest levels of regulation. Entities that produce only small quantities of hazardous wastes have only a few regulations to comply with.
Entities that produce large volumes of hazardous wastes are considered RCRA Large Quantity Generators. Smaller quantity producers are considered Small Quantity Generators and even smaller quantities belong in he category conditionally exempt Small Quantity Generator. The regulatory requirements a generator must adhere to vary with generator status. SUNY Geneseo has been both a LQG and a SQG over the last decade.
Certain wastes were considered by EPA to be "acutely hazardous". Generating or storing over 1 kg (approximately 1 quart) of these wastes in any calendar month places the campus in LQG status. Any campus department or researcher using any of the chemicals that the EPA considers a P-listed or acutely hazardous waste upon disposal are asked to contact EHS for a detailed waste classification. Dilution of these wastes is not permitted by regulation. This dilution restriction extends to rinsing containers. Containers of P-listed wastes should be disposed of as hazardous waste.
Empty containers of non-P-listed waste may be rinsed (triple rinsed) and disposed of as regular trash.
Other wastes categories, applicable to common campus wastes have been detailed in a spreadsheet. Examples of hazardous wastes generated by Laboratories, SOPA and Art Studios have also been provided. Additional information on wastes that are considered Characteristically Toxic (contain MEK, heavy metals including silver, carbon tetrachloride, pyridine, benzene, etc..) has also been summarized.
The federal regulations detail all RCRA waste categories. NYS also considers PCBs to be hazardous wastes.
Once a waste is generated, it must be placed in a container that is kept closed (except when filling) and labeled. The closed, labeled containers must be stored in the room in which the waste was generated. The specific area in the room where storage occurs is considered to be a RCRA Satelitte Accumulation Area (SAA) and storage there is subject to a specific set of requirements, including secondary containment and segregation by compatibility class.
It is the responsibility of the generating department to ensure its personnel are aware of the regulations and prohibitions regarding the management of RCRA Hazardous Wastes. It is the responsibility of the generating professor, researcher or other campus individual to ensure the waste is properly classified and managed.