Any person who produces hazardous waste or causes hazardous waste to become subject to regulation is a generator of hazardous waste. Waste can be produced by industrial processes or through recycling and waste treatment. Wastes can become subject to regulation without actually being produced through the closure of a process or facility or the cleanup of an abandoned site or accidental release.
A “person” can be an individual, but more generally, the term applies to a facility or site. The amount of hazardous waste generated at a site during a calendar month determines its generator status.
While the term “generator status” doesn’t actually appear in the Resource Conservation and Recovery Act (RCRA) or its implementing regulations, it is used by the EPA and others to refer to the amount of hazardous waste generated at a facility and the particular regulations that apply to that facility and its waste.
There are three categories of generator status: large quantity generator, small quantity generator, and conditionally exempt small quantity generator.
Status
Amount Per Month
Applicable
Large Quantity Generator (LQG)
1,000 kg or more (>1 kg acute hazardous waste)
40 CFR 262.34(a)
Small Quantity Generator (SQG)
>100 kg or < = 1,000 kg
40 CFR 262.34(d)
Conditionally Exempt Small Quantity Generator (CESQG)
100 kg or less (1 kg or less acute hazardous waste)
40 CFR 261.5
Knowing Your Generator Status
Knowing your generator status is the most important thing you can do under RCRA, because the more waste you generate, the more rules you have to follow.
Status
Written Training Plan/Records
Written Contingency Plan
Biennial Report
Large Quantity Generator (LQG)
Yes
Yes
Yes
Small Quantity Generator (SQG)
No
No
No
Conditionally Exempt Small Quantity Generator (CESQG)
No
No
No
Due to the Federalized nature of RCRA, not every State-level implementing authority recognizes the SQG or CESQG provisions, and may not extend every relief to every facility. As always, check your state-level agency rules/policies before making major policy changes.
Changing Generator Status
Generator status is based on the amount of waste generated over the course of a month. If a facility generates 1,000 kg or more of hazardous waste in a month, then ALL of the waste generated that month must be managed as LQG waste. Any waste generated in previous months can be managed under the rules that applied in those months.
The original regulations don’t account for the possibility of status change, but many State and regional authorities have their own uncodified policies and procedures for handling temporary or permanent change in generator status.
Keeping Good Records
On March 1 of every even-numbered year, every facility that treats, stores, or disposes of hazardous waste and every large quantity generator must file a Biennial Report (EPA FORM 8700-13A) on their hazardous waste management activities for the previous year.
This means that if a facility generates a large quantity of hazardous waste (1,000 kg or more) during even a single month of 2013, then it must file a report in 2014 for all of the waste generated the previous year—not just for the waste generated in that month. The report must describe all the hazardous waste that was generated at the facility, how much was generated, and what happened to it. A best practice is to keep good records of your waste generation every month, even if you’re normally a small quantity generator.
Ensure you are always in compliance with accumulation rules with effective RCRA training. At Lion’s Hazardous/Toxic Waste Management Workshops, you’ll learn how to classify hazardous waste, determine your on-site storage options, count hazardous wastes, and more.
What do you find to be your biggest problem in determining generator status? Share comments below.
Lion's course was superior to others I have taken in the past. Very clear in the presentation and the examples helped to explain the content presented.
George Bersik
Hazardous Waste Professional
I can take what I learned in this workshop and apply it to everyday work and relate it to my activities.
Shane Hersh
Materials Handler
Lion is easily and consistently the best option for compliance training. I've learned new information from every instructor I've had.
Rachel Mathis
EHS Specialist
The price was reasonable, the time to complete the course was manageable, and the flexibility the online training allowed made it easy to complete.
Felicia Rutledge
Hazmat Shipping Professional
Lion courses always set the bar for content, reference, and practical application. Membership and access to the experts is an added bonus.
John Brown, CSP
Director of Safety & Env Affairs
The course was very informative and presented in a way that was easily understood and remembered. I would recommend this course.
Jeffrey Tierno
Hazmat Shipping Professional
The course is well thought out and organized in a way that leads to a clearer understanding of the total training.
David Baily
Hazmat Shipping Professional
I used the IT support number available and my issue was resolved within a few minutes. I don't see anything that could have made it better.
Danny Province
EHS Professional
The instructor was very dedicated to providing a quality experience. She did her best to make sure students were really comprehending the information.
Stephanie Venn
Inventory Control Specialist
Best instructor ever! I was going to take my DOT training w/a different provider, but based on this presentation, I will also be doing my DOT training w/Lion!
Donna Moot
Hazardous Waste Professional
Download Our Latest Whitepaper
Use this guide as a quick reference to the most common HAZWOPER questions, and get course recommendations for managers and personnel who are in need of OSHA-required HAZWOPER training.
By submitting your phone number, you agree to receive recurring marketing and training text messages. Consent to receive text messages is not required for any purchases. Text STOP at any time to cancel. Message and data rates may apply. View our Terms & Conditions and Privacy Policy.