Does the PFPR regulation require monitoring, other than priority pollutant monitoring for the BMR?
No. Facilities will be able to generate a list of pesticide active ingredients based on the products made at their facilities. EPA guidance has suggested that monitoring for priority pollutants or other surrogate parameters (e.g., TOC) would be helpful since facilities may not always be aware of sources of these pollutants in their wastewater, particularly pollutants that may be present through the addition of inert materials to the formulated products.
Related Questions
- In submitting the BMR, do PFPR/manufacturing facilities have to test commingled wastewater for the 126 priority pollutants or for specific pesticide active ingredient pollutants listed in Table 10?
- In submitting the BMR, do PFPR/manufacturing facilities have to test commingled wastewater for the 126 priority pollutants or for specific pesticide active ingredient pollutants listed in Table 10?
- Why does the ERCB require submission of decommissioning reports or environmental reports (e.g. soils and groundwater monitoring) in addition to the estimate of liability?
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- Does the PFPR regulation require monitoring, other than priority pollutant monitoring for the BMR?