Can a facility use toxicity measurements for their BMR if they haven been testing the specific pesticide active ingredients?
The BMR does not require pesticide active ingredient-specific measurements, although if a facility is choosing the P2 alternative, they should list the pesticide active ingredients that are present (or believed to be present) and monitor for the priority pollutants. Facilities are certainly welcome to provide additional data (e.g., toxicity measurements).
Related Questions
- Does a POTW/control authority need to monitor specifically for pesticide active ingredients to ensure that a facility is complying with the PFPR rule?
- Does a POTW/control authority need to monitor specifically for pesticide active ingredients to ensure that a facility is complying with the PFPR rule?
- Can a facility use toxicity measurements for their BMR if they haven been testing the specific pesticide active ingredients?
- Does "no discharge of process wastewater pollutants" refer only to the pesticide active ingredients and priority pollutants?
- Does "no discharge of process wastewater pollutants" refer only to the pesticide active ingredients and priority pollutants?
- How do we determine the CAS numbers of the pesticide active ingredients listed on Table 10?