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PMY <br /> i. Metals by EPA Method 131 1/6010C <br /> ii. Mercury EPA method 7470/7471 <br /> iii. Semi-volatile organic compounds (SVOC) by EPA Method 131 1/8270D <br /> iv. Volatile organic compounds (VOC) by EPA Method 131 1/8260C <br /> v. Chlorinated Pesticides by EPA Method 131 1/8081 <br /> vi. Chlorinated Herbicides by EPA Method 131 1/8151A <br /> e) Paint Filter by EPA method 9095B <br /> a. This test is used to determine if the waste is liquid or a solid. Based on the material this test <br /> may or may not be required by the disposal facility. <br /> 5.2 Regulatory Disposal Requirements <br /> If the material is classified as hazardous waste the material is subject to EPA Resource Conservation and <br /> Recovery Act (RCRA) Subtitle C Regulation and Colorado Department of Public Health and Environment <br /> (CDPHE) Regulation 6 CCR 1007-3. If the material is not classified as hazardous it is subject to EPA RCRA <br /> Subtitle D Regulation and CDPHE Section 6 CCR 1007-2. Based on the analytical results, determination of the <br /> waste and Federal and State Regulations,the following disposal options are as follows: <br /> a) Hazardous Solids and Liquids <br /> a. Disposal must be in accordance with the EPA RCRA Subtitle C Regulation and CDPHE <br /> Regulation 6 CCR 1007-3. <br /> b. Hazardous waste can be recycled, treated, Iandfilled, and used in incinerators. The disposal <br /> option can vary depending on the amount of waste and the characteristics from the analytical <br /> data. <br /> c. Disposal of hazardous waste must be completed by a licensed hazardous waste transporter; <br /> the following codes are for classification of transporting hazardous waste: <br /> i. Ignitability hazardous waste Code D001 <br /> ii. Corrosivity hazardous waste Code D002 <br /> iii. Reactivity hazardous waste Code D003 <br /> iv. TCLP hazardous waste Code D004 <br /> b) Non-Hazardous Solids and Liquids <br /> a. The material must be disposed of in accordance with EPA RCRA Subtitle D Regulation and <br /> the CDPHE Regulation 6 CCR 1007-2. <br /> b. Non-hazardous waste can be spread on site (liquids spread on pavement, solids in vegetated <br /> area not on hard surface). <br /> 5.3 Disposal and Transportation Options <br /> In the case the material is classified as non-hazardous waste the material can be disposed of at an accepting <br /> landfill (e.g., Republic Services Foothills Landfill, Waste Management — Denver Arapahoe Disposal Site). <br /> Hazardous materials must be disposed of at an EPA Regulated landfill or recycling/incineration Facility. These <br /> facilities must provide an EPA identification number (e.g., Clean Harbors— Deer Trail Landfill). <br /> During the transportation process, the facility receiving the material will provide manifests for the material <br /> being accepted. The manifest is designed to track the materials from the time it leaves the site until it reaches <br /> the off-site management facility. Typically, manifests are a sheet of paper containing at minimum,the following <br /> carbon copies: <br /> a) Consultant Copy <br /> a. Generators information must be filled out by the generator (company producing the waste, <br /> typically the client or company that is having the work completed). The consultant (Pinyon) <br /> IDW and Waste Materials Handling <br /> December 23, 2022 <br /> Page 6 of 7 <br />