Search

What Are the Underlying Hazardous Constituents the Land Disposal Restrictions Make You Treat For?

Posted on 5/22/2012 by James Griffin

Section 3004(m) of the Resource Conservation and Recovery Act prohibits the land disposal of any hazardous waste unless it has been treated to minimize short- and long-term threats to human health and the environment. The EPA specifies waste treatment standards in 40 CFR Part 268—“Land Disposal Restrictions.” For most wastes, the treatment standard is to minimize the concentration of the constituent(s) that made the waste hazardous in the first place. For wastes with significant characteristics (D-codes), the waste must also “meet § 268.48 standards” by being treated for all underlying hazardous constituents. 
 
For any given hazardous waste, the “underlying hazardous constituents” (UHC) are any constituents listed in the Universal Treatment Standards (UTS) table (40 CFR 268.48) which can reasonably be expected to be present at the point of generation at a concentration above the UTS level. [40 CFR 268.2(i)]
 
For example, if a hazardous waste contains 1 ppm of lead at the point of generation (above the 0.75 ppm universal treatment standard), then lead is an underlying hazardous constituent for that waste, and the waste must be treated to reduce or immobilize that lead content before land disposal, even though the hazardous waste characteristic for lead (D008) only applies once the lead content is above 5 ppm. [40 CFR 261.24]
 
When the EPA first promulgated treatment standards for characteristic (D-coded) hazardous wastes, the Agency felt that simply treating the waste to remove the characteristic (ignitibility, corrosivity, reactivity, etc.) would be enough to make it safe to land dispose. However, several environmental groups and members of the waste management industry thought those standards insufficient and sued. In 1992, the D.C. Circuit Court agreed with the petitioners and vacated those treatment standards. [Chemical Waste Management, Inc. et al. v. EPA 976 F. 2d 2.]
 
In response to that lawsuit, the EPA created the Universal Treatment Standards in 1993. [May 24, 1993, 58 FR 29860] From then on, whenever a characteristic hazardous waste was going to be land disposed, it first must be treated to reduce the concentration of any underlying hazardous characteristic to below the levels in the UTS table.
 
The UTS table lists every possible hazardous constituent that could be present in a hazardous waste or cause it to be regulated in the first place. It lists over 150 organic chemicals and a dozen toxic inorganic compounds and sets a maximum concentration of each constituent. This list and the concentration levels were based on pre-existing treatment standards for “multi-source leachate” (F039). 
 
Multi-source leachate is liquid that has percolated through a landfill and become contaminated with all the wastes within. When you treat hazardous waste to remove UHCs, you are making sure that the waste that goes into the landfill is already cleaner than the dirtiest contaminated groundwater that can come out of a hazardous waste landfill. 
 
Learn a 5-step process to LDR compliance at Lion’s Land Disposal Restrictions Webinar. Designed to satisfy the EPA’s training standard for hazardous waste generators at 40 CFR 262.11 and 268.7, this webinar provides guidance on selecting treatment and disposal methods and finding alternative treatment standards that can save your facility time and money.
 

Tags: hazardous, LDR, RCRA, treatment, waste

Find a Post

Compliance Archives

Lion - Quotes

Much better than my previous class with another company. The Lion instructor made sense, kept me awake and made me laugh!

Marti Severs

Enterprise Safety Manager

Excellent course. Very interactive. Explanations are great whether you get the questions wrong or right.

Gregory Thompson

Environmental, Health & Safety Regional Manager

I was able to present my scenario to the instructor and worked thru the regulations together. In the past, I attended another training firm's classes. Now, I have no intention of leaving Lion!

Diana Joyner

Senior Environmental Engineer

I really enjoyed this training. Even after years on both sides of the comprehension coin, I find myself still learning! The quality of the delivery exceeded much of the training I have received in the past.

Neil Ozonur

Safety Officer

I have over 26 years of environmental compliance experience, and it has been some time since I have attended an environmental regulations workshop. I attended this course as preparation for EHS Audits for my six plants, and it was exactly what I was looking for.

Frank Sizemore

Director of Regulatory Affairs

We have a very busy work schedule and using Lion enables us to take the course at our own time. It makes it easy for me to schedule my employees' training.

Timothy Mertes

Hazmat Shipping Professional

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

John Gratacos

Logistics Manager

I like Lion's workshops the best because they really dig into the information you need to have when you leave the workshop.

Tom Bush, Jr.

EHS Manager

The instructor created a great learning environment.

Avinash Thummadi

CAD & Environmental Manager

The instructor did an excellent job presenting a very dry subject; keeping everyone interested and making it enjoyable.

Marc Bugg

Hazardous Waste Professional

Download Our Latest Whitepaper

This report details major changes for hazardous waste generators from US EPA’s Generator Improvements Rule, as well as the latest updates from states that are still working to adopt new, stricter Federal requirements.

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.