A presentation I provided as a technical session at the 2013 Iowa-Illinois Safety Conference in Coralville, IA on April 12, 2013. It explains the Universal Waste regulations, the types of Universal Waste in Iowa & Illinois, and the regulations governing their management.
The Federal regulations allow for the management of certain hazardous wastes as universal wastes: lamps, batteries, mercury-containing devices, and pesticides. The Wisconsin Department of Natural Resources recognizes and allows those universal waste while adding its own Wisconsin-Specific Universal Waste: Used Antifreeze for Recycling. The WDNR also allows for a reduced regulatory burden similar to the Universal Waste Regulations for generators of eWaste as long as certain requirements are met. This presentation is for any commercial, governmental (state, federal, municipal, or other), or military entity in Wisconsin.
An educational session I presented at the 2013 Plant and Facilities Maintenance Association (PFMA) Expo in Milwaukee, WI on February 27th. This information is necessary for any Wisconsin company that generates any of the following: Hazardous Waste, Non-Hazardous Waste, Used Oil, & Universal Waste. After viewing the presentation you will know the most common hazardous waste violations cited by the Wisconsin Department of Natural Resources (WDNR) and what you can do to avoid them. The presentation concludes with links to additional information.
One of my two presentations at the 2012 Michigan Safety Conference. The presentation is a basic (I only had one hour) summary of the MI Department of Environmental Quality (MDEQ) regulations pertaining to the generation and on-site management of hazardous waste.
Contains useful information for anyone who has the potential for a spill or release of a hazardous material either on their property or off. The presentation references the notification requirements of the US EPA, the Iowa DNR, and the Illinois EPA. It also explains the US EPA's requirement to conduct a hazardous waste determination, determine your hazardous waste generator status, and then comply with the applicable generator regulations. Links to additional information are provided at the end of the presentation.
The universal waste regulations of the USEPA include: Batteries, Lamps, Mercury-containing devices and Recalled or Canceled Pesticides. The MDEQ in Michigan allows these four and has added three more: Antifreeze, Consumer Electronics, and Pharmaceuticals. If you conduct business in Michigan and generate any of these materials as a waste you must know about the regulations of the MDEQ and your requirements as a Universal Waste Handler
The Federal universal waste regulations of the USEPA are located at 40 CFR 273. However, states with authorized hazardous waste programs may revise these regulations. Both Ohio and Kentucky closely follow the Federal regulations with some minor modifications of their own. This shore presentation, originally presented to the Mid-America OSHA Education Center Annual Conference on September 10, 2014 will help you to understand and comply with these regulations.
I delivered this presentation to the Greater Ozarks Chapter of the Hazardous Materials Mangers in 2013. I only had an hour to present and had a lot of information to cover, so it is only a summary. Take note: If you generate a hazardous waste in Missouri, you will subject to the regulations of the Missouri Department of Natural Resources (MDNR) which in many ways are more strict than those of surrounding states and those of the USEPA. As a matter-of-fact, some requirements of the MDNR regulations for hazardous waste generators have no equal outside of the State of California! Review this presentation, research the regulations, and contact me with any questions you may have about the generation, management, transportation, and disposal of hazardous waste in Missouri.
The Federal regulations allow for the management of certain hazardous wastes as universal wastes: lamps, batteries, mercury-containing devices, and pesticides. The Wisconsin Department of Natural Resources recognizes and allows those universal waste while adding its own Wisconsin-Specific Universal Waste: Used Antifreeze for Recycling. The WDNR also allows for a reduced regulatory burden similar to the Universal Waste Regulations for generators of eWaste as long as certain requirements are met. This presentation is for any commercial, governmental (state, federal, municipal, or other), or military entity in Wisconsin.
An educational session I presented at the 2013 Plant and Facilities Maintenance Association (PFMA) Expo in Milwaukee, WI on February 27th. This information is necessary for any Wisconsin company that generates any of the following: Hazardous Waste, Non-Hazardous Waste, Used Oil, & Universal Waste. After viewing the presentation you will know the most common hazardous waste violations cited by the Wisconsin Department of Natural Resources (WDNR) and what you can do to avoid them. The presentation concludes with links to additional information.
One of my two presentations at the 2012 Michigan Safety Conference. The presentation is a basic (I only had one hour) summary of the MI Department of Environmental Quality (MDEQ) regulations pertaining to the generation and on-site management of hazardous waste.
Contains useful information for anyone who has the potential for a spill or release of a hazardous material either on their property or off. The presentation references the notification requirements of the US EPA, the Iowa DNR, and the Illinois EPA. It also explains the US EPA's requirement to conduct a hazardous waste determination, determine your hazardous waste generator status, and then comply with the applicable generator regulations. Links to additional information are provided at the end of the presentation.
The universal waste regulations of the USEPA include: Batteries, Lamps, Mercury-containing devices and Recalled or Canceled Pesticides. The MDEQ in Michigan allows these four and has added three more: Antifreeze, Consumer Electronics, and Pharmaceuticals. If you conduct business in Michigan and generate any of these materials as a waste you must know about the regulations of the MDEQ and your requirements as a Universal Waste Handler
The Federal universal waste regulations of the USEPA are located at 40 CFR 273. However, states with authorized hazardous waste programs may revise these regulations. Both Ohio and Kentucky closely follow the Federal regulations with some minor modifications of their own. This shore presentation, originally presented to the Mid-America OSHA Education Center Annual Conference on September 10, 2014 will help you to understand and comply with these regulations.
I delivered this presentation to the Greater Ozarks Chapter of the Hazardous Materials Mangers in 2013. I only had an hour to present and had a lot of information to cover, so it is only a summary. Take note: If you generate a hazardous waste in Missouri, you will subject to the regulations of the Missouri Department of Natural Resources (MDNR) which in many ways are more strict than those of surrounding states and those of the USEPA. As a matter-of-fact, some requirements of the MDNR regulations for hazardous waste generators have no equal outside of the State of California! Review this presentation, research the regulations, and contact me with any questions you may have about the generation, management, transportation, and disposal of hazardous waste in Missouri.
Riding the Rails to Environmental Compliance: A Railroaders Guide to Regulato...Antea Group
Antea Group consultants Dean Krebs, Phil Gilchrist, and Tim Larson presented and moderated a session on environmental compliance at the 2016 ASLRRA Connections Convention. Topics include EPA regulations, SWPPPs, FRPs, SPCCs, C-plans, air quality, and a case study.
Established in 1972 to restore and maintain the chemical, physical, and biological integrity of the nation's waters by preventing point and non-point pollution sources, providing assistance to publicly owned treatment works for the improvement of waste water treatment, and maintaining the integrity of wetlands.
Oil Technics Lltd Spill Training ManualDavid Holmes
Oil Technics Ltd: We don`t just supply Spill Kits and Absorbents, we also ensure they conform to BS7959. Oh and if you order from ourselves, we will provide a Spill Response Tool Box Training Session, Free of Charge. Keeping you ISO14001 Compliant!
A presentation I gave at the 2012 Iowa-Illinois Safety Council Professional Development Conference. It contains an introduction to the two regulatory agencies (EPA & DOT), an overview of on-site management requirements, and an explanation of the the EPA & DOT regulations pertaining to the off site shipment of hazardous waste.
The Hazardous Materials Regulations of the Pipeline and Hazardous Materials Safety Administration within the U.S. DOT (USDOT/PHMSA) requires the shipper of a hazardous material (HazMat) to provide a shipping description for the HazMat on the shipping paper. In some cases the shipping description will require one - or more - of the additional descriptions identified at 49 CFR 172.203. This presentation identifies and explains the shipper's responsibility to provide an additional description if the hazardous material is also a Reportable Quantity (RQ) of a hazardous substance.
Every two years the International Maritime Organization (IMO) publishes and updated edition of its International Maritime Dangerous Goods Code (IMDG Code). Some years a particular edition of the IMDG Code is mandatory (e.g. the 2016 Edition in 2018). Other years their is an option of two editions (e.g. the 2016 Edition or the 2018 Edition in 2019). Confused? Don't be. Just view this simple infographic and make sure you refer to the correct edition of the IMDG Code to determine your compliance.
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Riding the Rails to Environmental Compliance: A Railroaders Guide to Regulato...Antea Group
Antea Group consultants Dean Krebs, Phil Gilchrist, and Tim Larson presented and moderated a session on environmental compliance at the 2016 ASLRRA Connections Convention. Topics include EPA regulations, SWPPPs, FRPs, SPCCs, C-plans, air quality, and a case study.
Established in 1972 to restore and maintain the chemical, physical, and biological integrity of the nation's waters by preventing point and non-point pollution sources, providing assistance to publicly owned treatment works for the improvement of waste water treatment, and maintaining the integrity of wetlands.
Oil Technics Lltd Spill Training ManualDavid Holmes
Oil Technics Ltd: We don`t just supply Spill Kits and Absorbents, we also ensure they conform to BS7959. Oh and if you order from ourselves, we will provide a Spill Response Tool Box Training Session, Free of Charge. Keeping you ISO14001 Compliant!
A presentation I gave at the 2012 Iowa-Illinois Safety Council Professional Development Conference. It contains an introduction to the two regulatory agencies (EPA & DOT), an overview of on-site management requirements, and an explanation of the the EPA & DOT regulations pertaining to the off site shipment of hazardous waste.
The Hazardous Materials Regulations of the Pipeline and Hazardous Materials Safety Administration within the U.S. DOT (USDOT/PHMSA) requires the shipper of a hazardous material (HazMat) to provide a shipping description for the HazMat on the shipping paper. In some cases the shipping description will require one - or more - of the additional descriptions identified at 49 CFR 172.203. This presentation identifies and explains the shipper's responsibility to provide an additional description if the hazardous material is also a Reportable Quantity (RQ) of a hazardous substance.
Every two years the International Maritime Organization (IMO) publishes and updated edition of its International Maritime Dangerous Goods Code (IMDG Code). Some years a particular edition of the IMDG Code is mandatory (e.g. the 2016 Edition in 2018). Other years their is an option of two editions (e.g. the 2016 Edition or the 2018 Edition in 2019). Confused? Don't be. Just view this simple infographic and make sure you refer to the correct edition of the IMDG Code to determine your compliance.
The e-Manifest System has been in discussion since at least 2005. It's history of legislation and regulation is identified here. Unfortunately, it still lacks the last piece: the date of implementation. This simple one-slide presentation illustrates at-a-glance the history, and proposed future, of the e-Manifest System.
40 cfr 261.4(a)(20) Hazardous Secondary Materials Used to Make Zinc FertilizerDaniels Training Services
The USEPA believes that some zinc-bearing waste may be managed to reclaim the zinc for the manufacture of zinc micronutrient fertilizers. To encourage this recycling, USEPA created this conditional exclusion from regulation as a solid waste for certain hazardous secondary materials if the conditions of the exclusion are met. This presentation explains the restrictions and requirements of the exclusion and provides direction to where more information may be found.
40 CFR 261.4(a)(23) excludes a hazardous secondary material from regulation as a solid waste - and thus as a hazardous waste - if the conditions of the exclusion are met. This presentation briefly summarizes the requirements of this RCRA conditional exclusion from regulation.
The Generator-Controlled Exclusion was retained and strengthened by the 2015 Definition of Solid Waste Final Rule which was a revision of the 2008 Definition of Solid Waste Rule. Its purpose is to exclude from regulation certain materials that might normally be a hazardous waste but have some value that make reclamation in a safe manner financially viable.
A generator of a hazardous secondary material must comply with the conditions of this exclusion in order to take advantage of its removal of the burden of the cradle-to-grave management of a hazardous waste.
A conditional exclusion from the definition of solid waste for certain specified solvents used in specific manufacturing sectors for specific purposes. These hazardous secondary materials must be managed according to the conditions of this exclusion in order to be eligible for the exclusion. 40 CFR 261.4(a)(27) became effective July 13, 2015 and is part of the codification of the 2015 Definition of Solid Waste Final Rule.
The Dangerous Goods Regulations of the International Air Transport Association (IATA) require the Shipper of a dangerous good to mark the package to provide information regarding the dangerous goods inside. When applying markings to a dangerous goods package, it is necessary to know the minimum size requirements for that marking. This simple table illustrates the size requirements for all regulated markings in the IATA DGR for a range of packaging sizes and includes the reference to the DGR so you can confirm my information.
The Additional Description of an Elevated Temperature Material on a Shipping ...Daniels Training Services
The Hazardous Material Regulations of the PHMSA/USDOT require a Shipper of a hazardous material (HazMat) to describe it on a shipping paper. Depending on the type of HazMat and the mode of transportation there may be a requirement for an additional description on the shipping paper (49 CFR 172.203). In a series of presentations I am researching and explaining each of these requirements for an additional description. This presentation looks solely at the requirement for an additional description for certain HazMat that meet the definition of an Elevated Temperature Material.
The international transportation of dangerous goods by vessel must comply with the regulations of the International Maritime Organization (IMO); these regulations are known as the International Maritime Dangerous Goods Code, or IMDG Code. The IMDG Code is constantly changing as the IMO attempts to ensure the safe transportation of dangerous goods by vessel throughout the world. Every two years these changes to the IMDG Code are published in an Amendment to the Code. View this simple graphic of the IMDG Code Amendment Cycle and confirm if you are referring to the correct IMDG Code.
The Spent Caustic Solutions From Petroleum Refining Exclusion from Regulation as a Solid Waste
40 CFR 261.4(a)(19) excludes Spent Caustic Solutions From Petroleum Refining from regulation as a solid waste - and thus as a hazardous waste - if the conditions of the exclusion are met. This presentation briefly summarizes the requirements of this RCRA conditional exclusion from regulation.
40 cfr 261.4(b)(7) The Mining Waste Exclusion from Regulation as a Hazardous ...Daniels Training Services
40 CFR 261.4(b)(7) excludes certain mining wastes generated during the extraction, beneficiation, and processing of minerals from regulation as a hazardous waste if the conditions of the exclusion are met. This presentation briefly summarizes the requirements of this RCRA conditional exclusion from regulation.
40 CFR 261.4(a)(15): RCRA Exclusion from Solid Waste for Kraft Mill Steam St...Daniels Training Services
The Exclusion from Regulation as a Solid Waste for Kraft Mill Steam Strippers
40 CFR 261.4(a)(15) excludes condensates from Kraft Mill steam strippers from regulation as a solid waste - and thus as a hazardous waste - if the requirements of the regulations are met. This presentation briefly summarizes the requirements of this RCRA exclusion from regulation.
40 cfr 261.4(b)(12) The RCRA Exclusion from Hazardous Waste for Used Chlorofl...Daniels Training Services
The hazardous waste regulations of the USEPA, and most states, allow for the exclusion from regulation for certain wastes if they meet the applicability requirements and are managed and disposed per the regulations. These exceptions from regulation are based on a variety of criteria. The exclusion at 40 CFR 261.4(b)(12) for Used Chlorofluorocarbons being reclaimed is not industry specific and is meant to encourage recycling of an otherwise environmentally damaging chemical.
The Agricultural Waste Exclusion from Regulation as a Hazardous Waste
The Resource Conservation and Recovery Act (RCRA) was never intended to regulate certain wastes generated by farms and returned to the soil as a fertilizer. For that reason RCRA excludes from regulation as a hazardous waste certain wastes generated by agricultural
40 CFR 261.4(b)(2) excludes Agricultural Waste, a solid waste from regulation as a hazardous waste if the requirements of the regulations are met. This presentation briefly summarizes the requirements of this RCRA exclusion from regulation.
How to Describe a DOT Special Permit or Exemption on a Hazardous Material Shi...Daniels Training Services
The Hazardous Materials Regulations (HMR) of the PHMSA/USDOT require a Shipper of a hazardous material (HazMat) to describe the hazardous material on a shipping paper pursuant to 49 CFR 172, Subpart C. The Shipper must then provide a certified copy of the shipping paper to the Carrier who is responsible to maintain it throughout the hazardous material’s time in transportation. It is the responsibility of the Shipper to provide an additional description on the shipping paper if the hazardous material it offers for transportation is subject to the regulations of 49 CFR 172.203 Additional Descriptions.
It is your responsibility as a Shipper of HazMat to comply with these regulations and to provide the required Function Specific training to your HazMat Employees.
40 cfr 261.4(b)(6) The RCRA Exclusion From Hazardous Waste for Trivalent Chro...Daniels Training Services
The Trivalent Chromium Wastes Exclusion from Regulation as a Hazardous Waste
40 CFR 261.4(b)(6) excludes Trivalent Chromium Waste, a solid waste, from regulation as a hazardous waste if the requirements of the regulations are met. This presentation briefly summarizes the requirements of this RCRA exclusion from regulation.
Those in the leather tanning industry, leather product manufacturing industry, shoe manufacturing industry, and titanium dioxide manufacturing industry should be aware of this RCRA exclusion and its possible impact on their operations.
40 cfr 261.4(a)(10) The RCRA Exclusion from Solid Waste for Coke By-Product W...Daniels Training Services
40 CFR 261.4(a)(10) excludes Coke By-Product Wastes from regulation as a solid waste - and thus as a hazardous waste - if the requirements of the regulations are met. This presentation briefly summarizes the requirements of this RCRA exclusion from regulation.
49 CFR 173.6 - The Materials of Trade Exception to the Hazardous Materials Re...Daniels Training Services
The Hazardous Material Regulations (HMR) of the USDOT/PHMSA mandate the responsibilities of shippers and carriers of hazardous materials (HazMat). An exception to the HMR allows for the transportation by motor vehicle of specified quantities of certain HazMat. This presentation will be of great use to anyone who ever needed to transport a 5-gallon container of gas (or many other hazardous materials) down the road.
Cracking the Workplace Discipline Code Main.pptxWorkforce Group
Cultivating and maintaining discipline within teams is a critical differentiator for successful organisations.
Forward-thinking leaders and business managers understand the impact that discipline has on organisational success. A disciplined workforce operates with clarity, focus, and a shared understanding of expectations, ultimately driving better results, optimising productivity, and facilitating seamless collaboration.
Although discipline is not a one-size-fits-all approach, it can help create a work environment that encourages personal growth and accountability rather than solely relying on punitive measures.
In this deck, you will learn the significance of workplace discipline for organisational success. You’ll also learn
• Four (4) workplace discipline methods you should consider
• The best and most practical approach to implementing workplace discipline.
• Three (3) key tips to maintain a disciplined workplace.
Falcon stands out as a top-tier P2P Invoice Discounting platform in India, bridging esteemed blue-chip companies and eager investors. Our goal is to transform the investment landscape in India by establishing a comprehensive destination for borrowers and investors with diverse profiles and needs, all while minimizing risk. What sets Falcon apart is the elimination of intermediaries such as commercial banks and depository institutions, allowing investors to enjoy higher yields.
Personal Brand Statement:
As an Army veteran dedicated to lifelong learning, I bring a disciplined, strategic mindset to my pursuits. I am constantly expanding my knowledge to innovate and lead effectively. My journey is driven by a commitment to excellence, and to make a meaningful impact in the world.
What are the main advantages of using HR recruiter services.pdfHumanResourceDimensi1
HR recruiter services offer top talents to companies according to their specific needs. They handle all recruitment tasks from job posting to onboarding and help companies concentrate on their business growth. With their expertise and years of experience, they streamline the hiring process and save time and resources for the company.
Memorandum Of Association Constitution of Company.pptseri bangash
www.seribangash.com
A Memorandum of Association (MOA) is a legal document that outlines the fundamental principles and objectives upon which a company operates. It serves as the company's charter or constitution and defines the scope of its activities. Here's a detailed note on the MOA:
Contents of Memorandum of Association:
Name Clause: This clause states the name of the company, which should end with words like "Limited" or "Ltd." for a public limited company and "Private Limited" or "Pvt. Ltd." for a private limited company.
https://seribangash.com/article-of-association-is-legal-doc-of-company/
Registered Office Clause: It specifies the location where the company's registered office is situated. This office is where all official communications and notices are sent.
Objective Clause: This clause delineates the main objectives for which the company is formed. It's important to define these objectives clearly, as the company cannot undertake activities beyond those mentioned in this clause.
www.seribangash.com
Liability Clause: It outlines the extent of liability of the company's members. In the case of companies limited by shares, the liability of members is limited to the amount unpaid on their shares. For companies limited by guarantee, members' liability is limited to the amount they undertake to contribute if the company is wound up.
https://seribangash.com/promotors-is-person-conceived-formation-company/
Capital Clause: This clause specifies the authorized capital of the company, i.e., the maximum amount of share capital the company is authorized to issue. It also mentions the division of this capital into shares and their respective nominal value.
Association Clause: It simply states that the subscribers wish to form a company and agree to become members of it, in accordance with the terms of the MOA.
Importance of Memorandum of Association:
Legal Requirement: The MOA is a legal requirement for the formation of a company. It must be filed with the Registrar of Companies during the incorporation process.
Constitutional Document: It serves as the company's constitutional document, defining its scope, powers, and limitations.
Protection of Members: It protects the interests of the company's members by clearly defining the objectives and limiting their liability.
External Communication: It provides clarity to external parties, such as investors, creditors, and regulatory authorities, regarding the company's objectives and powers.
https://seribangash.com/difference-public-and-private-company-law/
Binding Authority: The company and its members are bound by the provisions of the MOA. Any action taken beyond its scope may be considered ultra vires (beyond the powers) of the company and therefore void.
Amendment of MOA:
While the MOA lays down the company's fundamental principles, it is not entirely immutable. It can be amended, but only under specific circumstances and in compliance with legal procedures. Amendments typically require shareholder
[Note: This is a partial preview. To download this presentation, visit:
https://www.oeconsulting.com.sg/training-presentations]
Sustainability has become an increasingly critical topic as the world recognizes the need to protect our planet and its resources for future generations. Sustainability means meeting our current needs without compromising the ability of future generations to meet theirs. It involves long-term planning and consideration of the consequences of our actions. The goal is to create strategies that ensure the long-term viability of People, Planet, and Profit.
Leading companies such as Nike, Toyota, and Siemens are prioritizing sustainable innovation in their business models, setting an example for others to follow. In this Sustainability training presentation, you will learn key concepts, principles, and practices of sustainability applicable across industries. This training aims to create awareness and educate employees, senior executives, consultants, and other key stakeholders, including investors, policymakers, and supply chain partners, on the importance and implementation of sustainability.
LEARNING OBJECTIVES
1. Develop a comprehensive understanding of the fundamental principles and concepts that form the foundation of sustainability within corporate environments.
2. Explore the sustainability implementation model, focusing on effective measures and reporting strategies to track and communicate sustainability efforts.
3. Identify and define best practices and critical success factors essential for achieving sustainability goals within organizations.
CONTENTS
1. Introduction and Key Concepts of Sustainability
2. Principles and Practices of Sustainability
3. Measures and Reporting in Sustainability
4. Sustainability Implementation & Best Practices
To download the complete presentation, visit: https://www.oeconsulting.com.sg/training-presentations
Unveiling the Secrets How Does Generative AI Work.pdfSam H
At its core, generative artificial intelligence relies on the concept of generative models, which serve as engines that churn out entirely new data resembling their training data. It is like a sculptor who has studied so many forms found in nature and then uses this knowledge to create sculptures from his imagination that have never been seen before anywhere else. If taken to cyberspace, gans work almost the same way.
Affordable Stationery Printing Services in Jaipur | Navpack n PrintNavpack & Print
Looking for professional printing services in Jaipur? Navpack n Print offers high-quality and affordable stationery printing for all your business needs. Stand out with custom stationery designs and fast turnaround times. Contact us today for a quote!
"𝑩𝑬𝑮𝑼𝑵 𝑾𝑰𝑻𝑯 𝑻𝑱 𝑰𝑺 𝑯𝑨𝑳𝑭 𝑫𝑶𝑵𝑬"
𝐓𝐉 𝐂𝐨𝐦𝐬 (𝐓𝐉 𝐂𝐨𝐦𝐦𝐮𝐧𝐢𝐜𝐚𝐭𝐢𝐨𝐧𝐬) is a professional event agency that includes experts in the event-organizing market in Vietnam, Korea, and ASEAN countries. We provide unlimited types of events from Music concerts, Fan meetings, and Culture festivals to Corporate events, Internal company events, Golf tournaments, MICE events, and Exhibitions.
𝐓𝐉 𝐂𝐨𝐦𝐬 provides unlimited package services including such as Event organizing, Event planning, Event production, Manpower, PR marketing, Design 2D/3D, VIP protocols, Interpreter agency, etc.
Sports events - Golf competitions/billiards competitions/company sports events: dynamic and challenging
⭐ 𝐅𝐞𝐚𝐭𝐮𝐫𝐞𝐝 𝐩𝐫𝐨𝐣𝐞𝐜𝐭𝐬:
➢ 2024 BAEKHYUN [Lonsdaleite] IN HO CHI MINH
➢ SUPER JUNIOR-L.S.S. THE SHOW : Th3ee Guys in HO CHI MINH
➢FreenBecky 1st Fan Meeting in Vietnam
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➢ Korean Vietnam Partnership - Fair with LG
➢ Korean President visits Samsung Electronics R&D Center
➢ Vietnam Food Expo with Lotte Wellfood
"𝐄𝐯𝐞𝐫𝐲 𝐞𝐯𝐞𝐧𝐭 𝐢𝐬 𝐚 𝐬𝐭𝐨𝐫𝐲, 𝐚 𝐬𝐩𝐞𝐜𝐢𝐚𝐥 𝐣𝐨𝐮𝐫𝐧𝐞𝐲. 𝐖𝐞 𝐚𝐥𝐰𝐚𝐲𝐬 𝐛𝐞𝐥𝐢𝐞𝐯𝐞 𝐭𝐡𝐚𝐭 𝐬𝐡𝐨𝐫𝐭𝐥𝐲 𝐲𝐨𝐮 𝐰𝐢𝐥𝐥 𝐛𝐞 𝐚 𝐩𝐚𝐫𝐭 𝐨𝐟 𝐨𝐮𝐫 𝐬𝐭𝐨𝐫𝐢𝐞𝐬."
Tata Group Dials Taiwan for Its Chipmaking Ambition in Gujarat’s DholeraAvirahi City Dholera
The Tata Group, a titan of Indian industry, is making waves with its advanced talks with Taiwanese chipmakers Powerchip Semiconductor Manufacturing Corporation (PSMC) and UMC Group. The goal? Establishing a cutting-edge semiconductor fabrication unit (fab) in Dholera, Gujarat. This isn’t just any project; it’s a potential game changer for India’s chipmaking aspirations and a boon for investors seeking promising residential projects in dholera sir.
Visit : https://www.avirahi.com/blog/tata-group-dials-taiwan-for-its-chipmaking-ambition-in-gujarats-dholera/
What is the TDS Return Filing Due Date for FY 2024-25.pdfseoforlegalpillers
It is crucial for the taxpayers to understand about the TDS Return Filing Due Date, so that they can fulfill your TDS obligations efficiently. Taxpayers can avoid penalties by sticking to the deadlines and by accurate filing of TDS. Timely filing of TDS will make sure about the availability of tax credits. You can also seek the professional guidance of experts like Legal Pillers for timely filing of the TDS Return.
RMD24 | Debunking the non-endemic revenue myth Marvin Vacquier Droop | First ...BBPMedia1
Marvin neemt je in deze presentatie mee in de voordelen van non-endemic advertising op retail media netwerken. Hij brengt ook de uitdagingen in beeld die de markt op dit moment heeft op het gebied van retail media voor niet-leveranciers.
Retail media wordt gezien als het nieuwe advertising-medium en ook mediabureaus richten massaal retail media-afdelingen op. Merken die niet in de betreffende winkel liggen staan ook nog niet in de rij om op de retail media netwerken te adverteren. Marvin belicht de uitdagingen die er zijn om echt aansluiting te vinden op die markt van non-endemic advertising.
3. PRESENTED BY:
Daniels Training Services
815.821.1550
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Info@DanielsTraining.com
A different kind of training.
4. It’s important to first understand which State and
Federal agencies have authority over these
regulations and how they impact compliance.
The regulatory agencies
@DanielsTraining 4ID & Management of Universal Waste
6. Transportation of Universal Waste
• USDOT/PHMSA
regulates the
transportation of
hazardous materials
(HazMat).
• Not all UW are
HazMat.
ID & Management of Universal Waste @DanielsTraining 6
7. In order to understand the universal waste
regulations, you must know the basis for and the
purpose of the hazardous waste regulations.
An introduction to the hazardous
waste regulations
@DanielsTraining 7ID & Management of Universal Waste
8. The Hazardous Waste Determination
• The generator of a
waste, any waste,
must determine what,
if any, hazards it
contains.
• This process must be
documented and
records retained.
@DanielsTraining 8ID & Management of Universal Waste
9. What is a USEPA Hazardous Waste?
D001
F-Codes
K-Codes
P & U Codes
D004-D043
D003
D002
@DanielsTraining 9ID & Management of Universal Waste
10. What is Cradle to Grave?
• If you generate a hazardous waste,
regulations are applicable throughout its
lifecycle.
FOREVER!!!
@DanielsTraining 10ID & Management of Universal Waste
12. The universal waste regulations were created to
provide generators of hazardous waste with an
option for management of certain hazardous waste.
This section will address the purpose of universal
waste and its place within the RCRA regulations.
Later we will discuss specific universal waste
management requirements.
An introduction to the universal
waste regulations
@DanielsTraining 12ID & Management of Universal Waste
13. The Four (4) USEPA Universal Waste
1. Batteries
2. Lamps
3. Mercury-containing
devices
4. Recalled or
canceled pesticides
@DanielsTraining 13ID & Management of Universal Waste
14. Any more USEPA Universal Waste?
• US EPA may add to
this list.
• States may create their
own Universal Waste.
@DanielsTraining 14ID & Management of Universal Waste
15. Any More UW in Illinois or Iowa?
Illinois has not
expanded the USEPA
list of Universal Waste
Iowa follows USEPA
regulations
@DanielsTraining 15ID & Management of Universal Waste
16. Conditions for use of the
Universal Waste Option
1. Must be a waste.
• Used, spent, to be
discarded, no longer
acceptable for its
intended use, etc.
2. Must be a hazardous
waste.
3. Additional
considerations for
Pesticides.
ID & Management of Universal Waste @DanielsTraining 16
17. If you choose the universal waste option for the
management of your hazardous waste, you must
ensure you are in compliance with the applicable
State and Federal regulations
On-site management of universal
waste
@DanielsTraining 17ID & Management of Universal Waste
18. Universal Waste – Handler Status
Small Quantity Handler
• Generate or receive
for consolidation.
• Accumulate <5,000
kg of Universal
Waste.
Large Quantity Handler
• Generate or receive
for consolidation.
• Accumulate ≥5,000 kg
of Universal Waste.
Transporter
• Transport and store
at Transfer Facility for
≤10 days.
Destination Facility
• Recycle, treat, or
dispose.
18@DanielsTrainingID & Management of Universal Waste
19. Notification to State or USEPA
Small Quantity Handler
• USEPA ID # not
required.
Large Quantity Handler
• USEPA ID # required.
19@DanielsTrainingID & Management of Universal Waste
Use the 8700-12 Form
20. Employee Training
Small Quantity Handler
• Inform employees of
proper handling and
emergency
procedures.
Large Quantity Handler
• Ensure all employees
are “thoroughly
familiar” with proper
waste handling &
emergency
procedures.
20@DanielsTrainingID & Management of Universal Waste
21. Tracking Off-Site Shipments
Small Quantity Handler
• Not required to track
off-site shipments.
Large Quantity Handler
• Must track off-site
shipments.
• Name & address of
destination.
• Quantity & type of
each UW.
• Date shipment left.
21@DanielsTrainingID & Management of Universal Waste
Retain records for 3 years
22. Universal Waste Handler Prohibitions
• May not
dispose, treat, recycle,
or dilute Universal
Waste.
• Some on-site
management
allowed.
• Must manage to
prevent a release to
the environment.
ID & Management of Universal Waste @DanielsTraining 22
23. Requirements in the Event of a Spill
• Immediately contain all
releases of UW.
• Spilled UW may no
longer be subject to
management as
universal waste.
• May be a hazardous
waste.
@DanielsTraining 23ID & Management of Universal Waste
24. Universal Waste On-Site Accumulation
Time Limit
• One year of on-site
accumulation.
• “Longer if solely to
facilitate disposal.”
Translation: You may wait until you have enough
UW to justify a shipment
ID & Management of Universal Waste @DanielsTraining 24
26. Off-Site Shipments of Universal
Waste
• Uniform Hazardous
Waste Manifest not
required.
• Must determine if it’s a
DOT HazMat.
• Must ship to another UW
Handler or Destination
Facility.
• If you self-transport
UW, must comply with
Transporter regulations.
ID & Management of Universal Waste @DanielsTraining 26
27. Though very similar, each type of universal waste
has its own regulations which may differ in how you
may manage the waste on-site.
Specific requirements for the
management of universal waste
@DanielsTraining 27ID & Management of Universal Waste
28. What is a Universal Waste Battery?
• Includes:
• NiCad, lead acid,
lithium, mercury,
silver, etc.
ID & Management of Universal Waste @DanielsTraining 28
29. What isn’t a Universal Waste Battery?
• Doesn’t include:
• Non-hazardous
(alkaline) batteries.
• Lead acid batteries
being reclaimed.
ID & Management of Universal Waste @DanielsTraining 29
30. Lead Acid Batteries for Reclamation
• Manage according to
the lead acid battery
exemption for
recyclable materials @
40 CFR 266.80.
30@DanielsTrainingID & Management of Universal Waste
31. Management of Universal Waste
Batteries
• Containers needed
only if evidence of
leakage.
• Bag batteries or tape
terminals for shipment
to meet
USDOT/PHMSA
requirements.
ID & Management of Universal Waste @DanielsTraining 31
32. Why Tape Battery Terminals?
• If terminals contact
during shipment, the
heat from a residual
charge is enough to
cause vehicle fires.
ID & Management of Universal Waste @DanielsTraining 32
Batteries = HazMat
33. More Management Options for UW
Batteries (1.0)
• Handler (Large or Small) may conduct any of the
following (next slide), as long as:
• The casing of each battery cell is not breached,
remains intact, and closed, except…
• Cells may be opened to remove electrolyte but
shall be immediately closed after removal.
Next slide
ID & Management of Universal Waste @DanielsTraining 33
34. More Management Options for UW
Batteries (2.0)
• Allowable on-site management (see previous
slide):
• Sort batteries by type.
• Mix battery types in one container.
• Discharge electric charge from batteries.
• Regenerate used batteries.
• Disassemble batteries or battery packs.
• Remove batteries from consumer products.
• Remove electrolyte from batteries.
ID & Management of Universal Waste @DanielsTraining 34
35. What is a Universal Waste Mercury
Containing Device?
• Device or part of a
device with elemental
mercury integral to its
function
• Includes:
• Thermometers, ther
mostats, switches, g
auges, more...
ID & Management of Universal Waste @DanielsTraining 35
36. What isn’t a Universal Waste
Mercury Containing Device?
• Doesn’t include:
• Liquid metallic
mercury.
• Spill clean-up.
• Batteries.
• Lamps.
ID & Management of Universal Waste @DanielsTraining 36
37. Management of Universal Waste
Mercury-Containing Devices
• Containers needed
only if evidence of
leakage.
• Non-metallic container
with tight-fitting lid
recommended.
• Spill kit recommended.
ID & Management of Universal Waste @DanielsTraining 37
Hg Devices may be HazMat
38. Alternate Labeling for UW Thermostats
• “Universal Waste –
Mercury Thermostats”
• “Waste Mercury
Thermostats”
• “Used Mercury
Thermostats”
ID & Management of Universal Waste @DanielsTraining 38
39. More Management of UW
Mercury-Containing Devices
• Handler may remove Hg-containing ampules, if:
• Remove in a manner designed to prevent breakage.
• Remove only over or in a containment device.
• Hg clean up system readily available.
• Transfer spilled Hg to approved container.
• Area is well ventilated and monitored.
• Employees “thoroughly familiar” with Hg handling and
spill response.
• Removed ampules stored in closed, non-leaking
containers in good condition with packing materials to
prevent breakage.
ID & Management of Universal Waste @DanielsTraining 39
40. What is a Universal Waste Lamp?
• Bulb or tube of electric
lighting device.
• Includes:
• Fluorescent, HID,
high pressure
sodium, neon,
mercury vapor, metal
halide, etc.
ID & Management of Universal Waste @DanielsTraining 40
41. What isn’t a Universal Waste Lamp?
• Doesn’t include:
• Incandescent.
• “Green Cap”
fluorescents.
ID & Management of Universal Waste @DanielsTraining 41
“Green Caps” still contain Mercury
42. Management of UW Lamps
• Container with lid
required.
• Incidental breakage
(~<5%) OK if
contained properly.
ID & Management of Universal Waste @DanielsTraining 42
Intact Lamps ≠ HazMat
43. The use of this option will vary by state. This
presentation will look at the requirements for use of
this option in Illinois and Iowa.
Crushing of universal waste
lamps
@DanielsTraining 43ID & Management of Universal Waste
44. Crushing of UW Lamps
Iowa
• Not allowed under UW
regulations.
• Deliberate crushing
must be managed as
a hazardous waste.
Illinois
• OK, with conditions.
ID & Management of Universal Waste @DanielsTraining 44
45. Illinois: Mercury Emissions
• Must be crushed in a
closed system
designed and operated
so that any emission of
mercury ≤0.1 mg/m3
TWA over 8 hours.
• Crushing area well-
ventilated and
monitored to comply
with OSHA exposure
levels for mercury.
ID & Management of Universal Waste @DanielsTraining 45
46. Illinois: Quarterly Notification
• Use form provided by IEPA, must include:
• Name & address of handler.
• Estimated amount of lamps crushed/month.
• Technology of crushing, including:
• Certification or testing data from manufacturer
that emission controls of IL regulations are
met.
@DanielsTraining 46ID & Management of Universal Waste
47. Illinois: Containers for Crushed Lamps
• Closed.
• Non-leaking.
• Suitable to prevent release during storage,
handling, and transportation.
• Good condition.
• Not acceptable:
• Severe rusting.
• Apparent structural defects or deterioration.
@DanielsTraining 47ID & Management of Universal Waste
48. Illinois: Spills or Leaks
• Immediately transfer spills or leaks to container
meeting requirements of 35 IAC 722.134 (IL
hazardous waste regulations).
• Must have equipment necessary for this transfer
available.
ID & Management of Universal Waste @DanielsTraining 48
49. Illinois: Employee Training
• Ensure employees
crushing lamps
“thoroughly familiar
with proper waste
mercury handling and
emergency
procedures, including
transfer of mercury
from containment
devices to appropriate
containers.”
ID & Management of Universal Waste @DanielsTraining 49
50. Though a “Universal Waste”, it is of little use to
those outside of the pesticide manufacturing
industry. Asummary of the regulatory requirements
follows.
Recalled or canceled pesticides
@DanielsTraining 50ID & Management of Universal Waste
51. Definition of Pesticide
• “Pesticide” means any substance or mixture of
substances intended for preventing, destroying,
repelling, or mitigating any pest or intended for
use as a plant regulator, defoliant, or desiccant,
other than any article that:
• Is a new animal drug per FFDCA sec. 201(w).
• Is an animal drug determined by Sec. of Health
and Human Services to be a new animal drug.
• Is an animal feed per FFDCA sec. 201(x) and
subject to cancel or recall.
@DanielsTraining 51ID & Management of Universal Waste
52. Pesticides Subject to UW Regulations (1.0)
• Recalled pesticides:
• Stocks of a suspended and canceled pesticide
that is part of a voluntary or mandatory recall
per FIFRA sec. 19(b).
• Stocks of a suspended or canceled pesticide or
a pesticide not in compliance with FIFRA that is
part of a voluntary recall by the registrant.
@DanielsTraining 52
There must be a
decision to discard
ID & Management of Universal Waste
53. Pesticides Subject to UW Regulations (2.0)
• Stocks of other
unused pesticide
products collected and
managed as part of a
waste pesticide
collection program.
@DanielsTraining 53ID & Management of Universal Waste
There must be a
decision to discard
54. Pesticides not Subject to UW
Regulations
• Recalled and unused
pesticides managed
by farmers per 40
CFR 262.70.
• Those cans of bug
spray or unused
weed & feed you
have in storage.
ID & Management of Universal Waste @DanielsTraining 54
55. Management of
Universal Waste Pesticides
• Contained in one of the following:
• Closed container in good condition, compatible,
no leakage, etc..
• May overpack if original container in poor
condition.
• Tank per 40 CFR 265, Subpart J (w/
exclusions).
• Transport vehicle or vessel if closed, good
condition, compatible, no leakage, etc.
@DanielsTraining 55ID & Management of Universal Waste
56. Labeling of UW Pesticides
Recalled Pesticide
• Original label.
And…
• “Universal Waste –
Pesticide(s)”
Or…
• “Waste-Pesticide(s)”
Unused Pesticide
• Original label, if legible.
• If no good, label per
DOT regulations.
• If still no good, other
label prescribed by
State.
And…
@DanielsTraining 56ID & Management of Universal Waste
57. I provide:
Annual RCRA
Training for
Hazardous
Waste
Personnel.
And
Triennial
HazMat
Employee
Training.
Public
Seminars, O
nsite, Webin
ars…
@DanielsTraining
Daniels Training Services
815.821.1550
Info@DanielsTraining.com
www.DanielsTraining.com
57ID & Management of Universal Waste
Got
Question?
58. For More Information
• IEPA Guidance for UW Lamps:
http://www.epa.state.il.us/land/fluorescent-lamps/
• IDNR Fluorescent Lamp Handling:
http://www.iowadnr.gov/Portals/idnr/uploads/waste/fluoresc
entlamphandling.pdf
http://www.iowadnr.gov/Portals/idnr/uploads/waste/sw%20b
ulbs.pdf
• 40 CFR 273:
http://www.ecfr.gov/cgi-bin/text-
idx?c=ecfr&tpl=/ecfrbrowse/Title40/40cfr273_main_02.tpl
ID & Management of Universal Waste @DanielsTraining 58