Search

Understanding the RCRA Exclusion for Oil and Gas E&P

Posted on 9/20/2018 by Roger Marks

oil_pump.jpgWhen US EPA introduced the Resource Conservation and Recovery Act (RCRA), the hazardous waste management standards included reduced requirements for some large-volume wastes. After studying the hazards of wastes in oil and gas exploration and production (E&P) operations, as directed by the US Congress, EPA determined regulation of these wastes under RCRA was not warranted. Therefore, many oil and gas E&P wastes are excluded from the RCRA Subtitle C hazardous waste management standards.

On its face, the exclusion seems simple; the total regulation text dealing with this exclusion amounts to about one sentence:

40 CFR 261.4(b):

“The following solid wastes are not hazardous wastes…

(5) Drilling fluids, produced waters, and other wastes associated with the exploration, development, or production of crude oil, natural gas or geothermal energy.”

But, like many topics in regulatory compliance, this exclusion is not as simple as it appears. EPA printed a clarification of this exclusion in the Federal Register on March 22, 1993 (FR Vol. 58, No. 53).

In short, the exclusion applies to two major kinds of waste:
  • Waste brought to the surface during oil and gas exploration & production operations (i.e. down-hole wastes); and
  • Wastes otherwise generated by contact with oil & gas production stream (gas and oil drilling muds, oil production brines, etc.) 
While many otherwise hazardous wastes are excluded from RCRA management standards, it is important to remember that not all wastes generated by oil and gas companies, or even all E&P wastes, are excluded. (continued below) 

Build in-depth expertise to navigate and apply the RCRA hazarodus waste rules that impact oil and gas professionals. Trusted since 1977, the RCRA Hazardous Waste Management Workshop will cross the country one more time in 2018.

Reserve your seat now to meet EPA's annual RCRA training mandate.

 
Generating oil and gas RCRA waste

Which Oil and Gas Wastes Are RCRA-Excluded? Which Are Not?

For crude oil and natural gas companies, the RCRA exclusion is limited to oil and gas field operations, meaning activities occurring at or near the well head or at the gas plant. The exclusion does not extend to refineries or the transport of oil and gas products—which is regulated under the US DOT’s Hazardous Materials Regulations (HMR).

While many oil and gas E&P wastes are excluded from the Federal hazardous waste management standards, states can regulate industry more stringently than the Federal government does and may not incorporate the Federal exclusion into their own State rules.

It’s also important to note that the RCRA exclusion for oil and gas does not extend to other Federal regulatory programs, like EPA’s Clean Air Act, Clean Water Act, EPCRA, TSCA, CERCLA, oil spill or release preparedness and contingency planning requirements, and others.

Lastly, EPA explicitly lists many specific wastes that are not excluded from regulation under RCRA. These non-excluded wastes include, among others:
waste_oil_tank_63280870-(1).jpg
  • Refinery wastes;
  • Unused fracturing fluids or acids;
  • Used hydraulic fluids;
  • Gas plant cooling tower cleaning wastes;
  • Painting wastes;
  • Waste solvents;
  • Lab wastes;
  • Boiler scrubber fluids, sludges, and ash;
  • Incinerator ash;
  • Pesticide wastes; and
  • Service company wastes: empty drums, drum rinsate, sandblast media, spent solvents, spilled chemicals, and waste acids.
While the oil and gas exclusion does not apply to the wastes above, some may be excluded from some RCRA management standards under different regulatory reliefs.


Mixing RCRA and Non-RCRA Wastes

Mixing wastes together can raise issues as well. Depending on the characteristics or excluded status of the wastes you mix together, the resulting mixture may or may not be excluded from the RCRA waste management standards.


Why It’s Important

men_drilling.jpgWhile the exclusion for the oil and gas industry may apply to your wastes, it’s crucial to understand that “exclusion” does not mean the waste is “unregulated.” In most cases, exclusions are sets of alternative management standards that must be met in order to qualify for relief from the more burdensome RCRA rules. To know if a certain waste is excluded or not, you must have a firm grasp of EPA’s hazardous waste management regulations.

By understanding the scope of the RCRA exclusion for the oil and gas industry, EHS managers and engineers can be confident they are managing waste in line with the latest Federal standards and avoid RCRA civil penalties as high as $72,718 per day, per violation.


Expert RCRA Training for Oil and Gas Professionals

US EPA requires personnel at sites that generate hazardous waste to complete training annually [40 CFR Part 262, Subpart A]. Fulfill this EPA requirement and get up to speed on the latest rules for managing hazardous waste at your site. With collaborative, nationwide public workshops; interactive and convenient online courses; and on-site group options, Lion Technology offers effective RCRA training for oil and gas professionals of any experience level or education background.

RCRA Hazardous Waste Training.


US DOT Required Hazmat Shipper Training

All “hazmat employees”—those involved in preparing US DOT-regulated hazardous materials for transport by ground, air, or vessel—must complete training once every three years. [49 CFR 172.704(c)] Explore your options for training oil and gas personnel on the DOT rules for shipping hazmat, including Class 3 flammable liquids and waste shipped on a Manifest.

Hazmat Shipper Training.
 

Tags: hazardous, RCRA, regulations, training, waste

Find a Post

Compliance Archives

Lion - Quotes

Lion courses are the standard to which all other workshops should strive for!

Brody Saleen

Registered Environmental Health Specialist

The course was very well structured and covered the material in a clear, concise manner.

Ian Martinez

Hazmat Shipping Professional

I attended training from another provider and learned absolutely nothing. Lion is much better. Hands down.

Nicole Eby

Environmental Specialist

Lion provided an excellent introduction to environmental regulations, making the transition to a new career as an EHS specialist less daunting of a task. Drinking from a fire hose when the flow of water is lessened, is much more enjoyable!

Stephanie Weathers

SHE Specialist

I had a positive experience utilizing this educational program. It was very informative, convenient, and rewarding from a career perspective.

John Gratacos

Logistics Manager

If I need thorough training or updating, I always use Lion. Lion is always the best in both instruction and materials.

Bryce Parker

EHS Manager

Lion's online training is more comprehensive, has better slides, and is a superior training experience than what I would get from other trainers.

Robert Brenner

District Environmental Manager

The instructor made the class very enjoyable and catered to the needs of our group.

Sarah Baker

Planner

Lion was very responsive to my initial questions and the website was user friendly.

Michael Britt

Supply Chain Director

Excellent. I learned more in two days with Lion than at a 5-day program I took with another provider.

Francisco Gallardo

HES Technician

Download Our Latest Whitepaper

What to do before, during, and after a RCRA hazardous waste inspection to defend your site from rising State and Federal penalties.

Latest Whitepaper

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.