Search

EPA Moves Forward with e-Manifest Standards

Posted on 5/27/2014 by Won Bae

On February 7, 2014, the US EPA established a new set of rules (79 FR 7518) for the e-manifest system. This system is meant to provide an alternative method of tracking hazardous waste shipments from generators to treatment, storage, and disposal facilities (TSDFs). While the EPA has a long-term goal of tracking hazardous waste electronically, the e-manifest system will coexist with paper manifests for years to come. Today, the e-manifest rule is still in its infancy since there are parts of how this new rule would be implemented that remain unfinished.
 
Although the new rule is effective starting August 6, 2014, the use of the e-manifest will not be permissible until the EPA actually creates the IT system for it. The system is still under construction, and the date of finalization has not been determined. Once determined, there are just a few conditions that would have to be met in order for the system to work. However, having a working e-manifest system in place won’t mean that paper documents will go away.
 
Meeting DOT (49 CFR) Shipping Papers Requirements
 
In order to make use of the e-manifest, all waste handlers, that is, the generator, transporter, and TSDF, would need to participate in the e-manifest system. However, the generator would still need to provide a paper copy of the manifest to the initial transporter of the hazardous waste. In other words, the DOT will not recognize the electronic copy of the manifest to be the sole shipping paper.
 
e-Manifest’s Effect on Other RCRA Requirements
 
The e-Manifest rulemaking will not impact other reporting and recordkeeping requirements under RCRA. LDR notices and certifications, exception reports, export acknowledgements, discrepancy reports, and notifications of waste activity will continue to be recorded and submitted on paper documents for the foreseeable future.
 
Electronic Signatures on e-Manifests 
 
Since the e-manifest IT system has yet to be created, another aspect of the e-manifest that remains uncertain is the requirement of an “electronic signature.” The February 7 rulemaking states that an electronic signature will be required to authorize the transfer of hazardous wastes from one handler to the next. The EPA stated in the proposed rule’s preamble that the signature validation method will be governed by the definition of “valid signature” under the Agency’s Cross-Media Electronic Reporting Regulation at 40 CFR 3. 
 
Using the e-Manifest for State Hazardous Waste
 
When the generator’s state or the destination state of a hazardous waste shipment requires the use of the manifest, generators may use the e-manifest system as long as all the waste handlers are participating in the e-manifest system. Waste handlers have to keep in mind that users of the e-manifest system may opt out and return to the original paper system at any time.
 
Finally, the EPA plans to establish a fee system for persons using the e-manifest. The actual fee structure has yet to be established. Future rulemakings are on the horizon, but until then, some elements of the new system remain unclear.
 
Renew your RCRA certification for 2014 at the Hazardous/Toxic Waste Management Workshop. The interactive two-day workshop covers the rules for managing and storing waste on site, manifesting, and more. Be confident that you and your team are prepared to meet your legal responsibilities to prevent accidental releases, fines as high as $37,500 per violation, and future liability under CERCLA. The US EPA requires training annually for hazardous waste personnel. [40 CFR 262.34(a) and 265.16] 

Tags: DOT, hazardous waste, manifests, new rules, RCRA

Find a Post

Compliance Archives

Lion - Quotes

No comparison. Lion has the best RCRA training ever!!

Matt Sabine

Environmental Specialist

This is a very informative training compared to others. It covers everything I expect to learn and even a lot of new things.

Quatama Jackson

Waste Management Professional

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

The instructor kept the class engaged and made learning fun. There was a lot of information to cover but time flew by. I will definitely use Lion in the future!

Chelsea Minguela

Hazmat Shipping Professional

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

Marc Bugg

Hazardous Waste 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

Best course instructor I've ever had. Funny, relatable, engaging; made it interesting and challenged us as the professionals we are.

Amanda Schwartz

Environmental Coordinator

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

Ian Martinez

Hazmat Shipping Professional

Our instructor was very dynamic and kept everyone's interest. Hazmat shipping can be a dry, complicated topic but I was engaged the entire time.

Kimberly Arnao

Senior Director of EH&S

The instructor was very engaging and helped less experienced people understand the concepts.

Steve Gall

Safety Leader

Download Our Latest Whitepaper

Use this guide to spot which tanks and substances are regulated under EPA's Underground Storage Tank program, and which are excluded as of October 2018.

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.