Does the generation of fluorescent lights, lead paint, or asbestos greater than 100 kg/month apply to the threshold for being an establishment under the Property Transfer Law?
Lead paint abatement wastes are exempt from the Property Transfer Law, as noted in Section 22a(4) of the Connecticut General Statutes. Mercury bulbs are listed as universal wastes, which are presently still classified as a hazardous waste, and must therefore still be subject to the Property Transfer Law. Asbestos is not regulated as a hazardous waste, and therefore, the Property Transfer Law would not apply.