Direct Connection Cellular/PCS Dual-Band Amplifier (811201) (quantum-wireless...Ari Zoldan
• Improves voice and data signal quality
• Improves data communication rates needed for 3G technologies
• Power control logic ensures maximum output power is within cellular network standards
• Automatic gain control
• Automatic shutdown on overload.
• Advanced electronics receive and transmit better than a cell phone or cellular data card
• Connects directly to a cell phone or cellular data card with a Wilson antenna adapter
• Mobile, marine and in-building use
• DC power supply included - AC power supply sold separately
• Greatly reduces disconnects, drop outs, and noise
• Transmits signal energy to the outside antenna
• FCC and IC type accepted
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.
Direct Connection Cellular/PCS Dual-Band Amplifier (811201) (quantum-wireless...Ari Zoldan
• Improves voice and data signal quality
• Improves data communication rates needed for 3G technologies
• Power control logic ensures maximum output power is within cellular network standards
• Automatic gain control
• Automatic shutdown on overload.
• Advanced electronics receive and transmit better than a cell phone or cellular data card
• Connects directly to a cell phone or cellular data card with a Wilson antenna adapter
• Mobile, marine and in-building use
• DC power supply included - AC power supply sold separately
• Greatly reduces disconnects, drop outs, and noise
• Transmits signal energy to the outside antenna
• FCC and IC type accepted
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.
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.
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.
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.
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.
40 cfr 261.4(a)(9) - The Spent Wood Preservatives Exclusion from Regulation a...Daniels Training Services
40 CFR 261.4(a)(9) excludes Spent Wood Preservatives 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(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.
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.
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.
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.
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.
40 cfr 261.4(a)(9) - The Spent Wood Preservatives Exclusion from Regulation a...Daniels Training Services
40 CFR 261.4(a)(9) excludes Spent Wood Preservatives 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.