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Document Record Detail



Full Document:
Title:TCLP AND LEAD PAINT REMOVAL DEBRIS
RCRA Online Number:11624
Date:07/03/1991
To:Lund
From:Bussard
Organization of Recipient:C/P Utility Services Co.
Description: Provides general guidance for the representative sampling of lead-based paint abatement wastes (debris and abrasives) from drums, roll off boxes, and other containers. Shipments of LBP abatement wastes from a field site (bridge repair) to a central accumulation point must generally be accompanied by a manifest. The central accumulation point must be a transfer facility or a TSDF to accept manifested hazardous waste. Generators conducting lead-based paint (LBP) abatement must test the wastes using TCLP unless they can apply knowledge to determine characteristics (SEE ALSO: 63 FR 70233, 70241; 12/18/98). If an LBP waste first tests nonhazardous in TCLP due to the masking effect of an iron abrasive but exhibits the characteristic prior to disposal, all hazardous waste regulations apply. LBP abatement wastes that are characteristic for lead may be stabilized on site during accumulation in tanks or containers without a permit.
Regulatory Citation(s) : 260.10, 261.24, 262.11, 262.20, 262.34(a), 263.12 EXIT disclaimer
Statutory Citation(s):NA Read US Code 42, Chapter 82 EXIT disclaimer
Topic(s):Construction and Demolition Wastes; Containers; Generators; Hazardous Waste; Large Quantity Generators (LQG); Storage; Transporters; TSDFs; Characteristic Wastes; Disposal; Identification of Hazardous Waste; Permits and Permitting; Nonhazardous Waste; Tanks; Test Methods; Toxicity Characteristic; Treatment
Approximate Number of Hardcopy Pages:4
EPA Publication Number:NA
RPPC Number (if applicable): 9442.1991(10)
Official OSW Policy:No

 

 
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