Is getting the comeback copy of the manifest sufficient when closing out a shipment of PCBs?
No, 40 CFR 761.218 requires that you also receive a certificate of disposal. 40 CFR 761.208 requires that the generator obtain, by telephone or other means, confirmation that the waste was received at the TSDF by close of business the day he receives the comeback copy of the manifest. 9. Section 761.50(b)(4) regulates disposal of PCB bulk product waste if the waste was > 50 ppm when removed from service. Understanding that there is no specific use authorization for materials covered with PCB contaminated paint, is there any burden on a generator to determine PCB concentration of these materials prior to removal from service?Answer: There is currently no use authorization for paint containing PCBs. However, there is no regulatory requirement to test paint in use to determine its PCB concentration. Paint containing PCBs at concentrations >50 ppm are regulated for disposal whether or not someone has measured their concentration. You may dispose of the dried paint based either on its PCB c
Related Questions
- The C-9600 form notice gave a sufficient date of transfer of possession, but the closing was moved back. Does this affect the validity of the notice?
- Is getting the comeback copy of the manifest sufficient when closing out a shipment of PCBs?
- Can we receive a copy of the on-site audit report from the auditor at the closing meeting?