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In the United States, the Resource Conservation and Recovery Act (RCRA) of 1976 led to establishment of federal standards for the disposal of solid waste and hazardous waste. RCRA requires that industrial wastes and other wastes must be characterized following testing protocols published by EPA. [1] TCLP is one of these tests.
RCRA laws and regulations from the EPA; RCRA summary from the EPA; As codified in 42 U.S.C. chapter 82 of the United States Code from the LII; As codified in 42 U.S.C. chapter 82 of the United States Code from the US House of Representatives; Solid Waste Disposal Act aka RCRA (PDF/details) as amended in the GPO Statute Compilations collection
The F-list (non-specific source wastes). This list identifies wastes from common manufacturing and industrial processes, such as solvents that have been used in cleaning or degreasing operations. Because the processes producing these wastes can occur in different sectors of industry, the F-listed wastes are known as wastes from non-specific ...
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In the absence of LC 50 data on the poisonous (toxic) constituent substances, the mixture may be assigned a packing group and hazard zone based on simplified threshold toxicity tests. When these threshold tests are used, the most restrictive packing group and hazard zone must be determined and used for the transportation of the mixture.
In regulatory terms, RCRA hazardous wastes are wastes that appear on one of the four hazardous wastes lists (F-list, K-list, P-list, or U-list), or exhibit at least one of the following four characteristics; ignitability, corrosivity, reactivity, or toxicity. in the US, Hazardous wastes are regulated under the Resource Conservation and Recovery ...
Implementation of RCRA was relatively slow [34] and Congress reauthorized and strengthened RCRA through the Hazardous and Solid Waste Amendments (HSWA) of 1984. This was the beginning of the fourth phase. The 1984 RCRA Amendments suggested a policy shift away from land disposal and toward more preventive solutions.
In general, RCRA regulations are waste-specific, not source-specific, and thus may apply to any facility that generates mercury-containing wastes. RCRA regulations assign specific waste codes to five types of wastes that are either "characteristic" wastes or "listed" wastes. Mercury is both a characteristic and a listed waste under RCRA. [40]