Sunday, December 31, 2017

2016 OSHA Silica Rule Upheld By Federal Court

On December 22 the U.S. Court of Appeals for the District of Columbia upheld the OSHA crystalline silica rule, rejecting all objections raised by industry groups. In 2016, OSHA published a final rule regulating workplace exposure to silica, Occupational Exposure to Respirable Crystalline Silica (29 CFR 1910, 1915 and 1926).

The industry groups had petitioned for review of several issues:
  • Whether substantial evidence supports OSHA’s finding that limiting workers’ silica exposure to the level set by the rule reduces a significant risk of material health impairment.
  • Whether substantial evidence supports OSHA’s finding that the rule is technologically and economically feasible
  • Whether OSHA had complied with the Administrative Procedure Act (APA) in promulgating the rule, and
  • Whether substantial evidence supports two provisions of the rule, which allow workers who undergo medical examinations to keep the results confidential from their employers and prohibiting employers from using dry cleaning methods unless doing so is infeasible.
Unions had requested review of parts of the rule requiring that medical surveillance for construction workers be provided only if the employee has to wear a respirator for 30 days for one employer in a one-year period and the absence of medical removal protections (MRP).

The Court rejected the unions’ challenge to the construction standard’s 30-day trigger for medical surveillance, however the Court did find that OSHA was arbitrary and capricious in declining to require MRP for some period when a medical professional recommends permanent removal, when a medical professional recommends temporary removal to alleviate COPD symptoms, and when a medical professional recommends temporary removal pending a specialist’s determination. The Court concluded that OSHA failed to adequately explain its decision to omit medical removal protections from the rule and remanded that portion of the rule back to OSHA for further consideration.

Friday, December 15, 2017

Benefits of Social Media Presence For Environmental & Safety Professionals



Presentation to Alliance of Hazardous Material Managers on value of social media presence for both EH&S professionals and for professional organizations.

Rules On Disposal Of Aerosols, Antifreeze, Paint Wastes In Ohio

The Ohio EPA adopted Ohio-specific universal waste rules allowing hazardous non-empty aerosol containers, hazardous antifreeze, hazardous paint and hazardous paint-related wastes to be classified and managed as a universal waste in Ohio. The rules will be effective on December 21, 2017. These rules will eventually be moved to Ohio Administrative Code chapter 3745-273.

This action designating waste that would otherwise be classified as hazardous waste as a universal waste promotes proper handling, recycling or disposal of the waste by streamlining the applicable regulations. The new Ohio-specific universal wastes will be subject to specific requirements detailed in the rule to address the risks the wastes may pose. The requirements include:
  • labeling,
  • tank and container standards,
  • limited treatment provisions,
  • accumulation time limits,
  • employee training requirements,
  • emergency response requirements and
  • transportation according to U.S. Department of Transportation rules.
Universal wastes do not count towards a generator’s monthly hazardous waste accumulation rate and they are not required to manifested as a hazardous waste in Ohio EPA or reported on the generator’s hazardous waste biennial report.

Click here to review other regulatory updates for Ohio

Sunday, December 10, 2017

EHS Auditors To Supplement Audit Teams Or Fill Subject Matter Expert Roles

Caltha LLP has environmental and safety compliance and management system auditors available for short-term assignments to supplement audit teams or to provide Subject Matter Experts for auditing projects. Click here to review recent audit project examples.

Caltha staff have experience conducting EH&S audits in most US States and Canada. Caltha also has performed media or regulatory specific audits, including:
  • Product stewardship audits
  • Product responsibility audits
  • Waste - hazardous waste audits
  • TSCA audits
  • Air permit compliance audits
  • Wastewater compliance audits
  • Tank compliance audits
  • Risk Management Plan audits
For more information on the availability of short-term auditors to supplement audit teams or to full specific SME roles, contact Caltha at info@calthacompany.com

Tuesday, November 28, 2017

WI Rules Protecting CHMM, CSP, CIH Credentials

Wisconsin Senate Bill 132 was signed prohibiting the unauthorized use of certain professional credentials, including Certified Hazardous Material Manager, or CHMM. Unless a person is certified by the Institute of Hazardous Materials Management (IHMM), the law prohibits that person from using the title of Certified Dangerous Goods Professional (CDGP), Certified Hazardous Materials Manager (CHMM), or Certified Hazardous Materials Practitioner (CHMP). The new Wisconsin law also provides protections for those certified by the American Board of Health Physics, the American Board of Industrial Hygiene, the Board of Certified Safety Professionals, and the National Registry of Radiation Protection Technologists.

The new law also prohibits a business from representing that services provided are furnished by one of these certified professionals unless those services are provided by a certified person. A person is also prohibited from misleading or deceiving another person by the unauthorized use of a certification mark awarded by the U.S. Patent and Trademark Office.

The Wisconsin law considers a violation of these prohibitions an unfair method of competition in business or an unfair trade practice, and allows a person who suffers a monetary loss because of a violation to sue for twice the amount of the monetary loss and reasonable attorney fees. The law allows the Department of Agriculture, Trade and Consumer Protection to bring a court action for an injunction to restrain a violation of these prohibitions.

Caltha LLP provides services performed by Certified Hazardous Material Manager certified by the Institute of Hazardous Materials Management.


Caltha LLP provides specialized expertise to clients nationwide in the evaluation environmental rules, developing EHS compliance procedures, and preparing cost-effective EHS management programs. For further information contact Caltha LLP at info@calthacompany.com or Caltha LLP Website

Sunday, November 26, 2017

MinnesotaToxic Pollution Prevention Plan Update Due January 1, 2018

The Minnesota Toxic Pollution Prevention Act (TPPA) requires facilities that report toxic chemical releases under EPCRA 313 to prepare a Pollution Prevention Plan (P2 Plan) for chemicals reported on EPA Form R. In addition to submitting their EPA Form R to the Environmental Protection Agency (EPA) and the Minnesota Emergency Planning and Community Right-to-Know Act (EPCRA) Program, TRI reporting sites must prepare a Pollution Prevention Plan and to submit annual Pollution Prevention Progress Reports based on those plans to the Minnesota EPCRA Program.

There are two reoccurring P2 requirements for TRI reporting sites in Minnesota:
  • Annual P2 Progress Report - due with TRI report on July 1, and
  • Biennial Update to Pollution Prevention  (P2) Plan - due by Jan 1 for each odd-numbered year (update required in 2017 must be completed by January 1, 2018)

The Pollution Prevention Plan and Progress Report do not apply to chemicals that are not required to be reported on EPA Form R, are reported on EPA Form A, or are reported on EPA Form R but have no on-site release or off-site transfer amounts.

Click here for more information and regulatory updates on EPCRA reporting.

Friday, November 24, 2017

Alabama Mutimedia Compliance Assessment Conducted By Certified Auditor

Caltha LLP Project Summary

Project: Environmental and Safety Compliance Audit
Client:
National Industrial Corporation
Location(s):
Mobile, Alabama

Key Elements: EH&S audit, hazardous waste, air permit, hazardous material, wastewater permit, hazard communication, emergency response preparedness

Overview: Caltha LLP conducted a multimedia environmental, health and safety audit of this industrial facility located in the Mobile, Alabama area. The scope of the audit included:
  • EPCRA hazardous chemical storage reporting
  • Hazardous and Solid Waste Management
  • Current ADEM. air permit
  • Current industrial wastewater pretreatment permit
  • Industrial stormwater BMP rules
  • TSCA
  • Tanks
  • Hazard communication
  • DOT Hazardous material transportation
The audit was led by a IIA-certified professional auditor.

Click here to review other example Caltha EH&S auditing projects. Click here to review other Caltha projects in Alabama and AL regulatory updates.

Sunday, November 5, 2017

Overview of Environmental and Safety Consultant Services


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Certified Environmental and Safety Audit in Raleigh


Caltha LLP Project Summary

Project: Multimedia EH&S Compliance Audit
Client:
National Corporation
Location(s):
Raleigh-Durham Region, North Carolina

Key Elements: EH&S audit, hazardous waste, air permit, hazardous material storage, wastewater permit, hazard communication

Overview: Caltha staff conducted a multimedia environmental, health and safety audit of this industrial facility located in Raleigh-Durham Region. The scope of the audit included:

  • EPCRA
  • Hazardous and Solid Waste Management- 15A NCAC 13B
  • Current NC Air Permit
  • NC Air Pollution Control Rule – NCAC 15A-2D
  • Current wastewater discharge permit
  • TSCA
  • Tanks
  • Hazard communication
  • DOT Hazardous material transportation
The audit was led by a IIA-certified professional auditor.


Click here to review other example Caltha EH&S auditing projects. Click here to review other Caltha projects in North Carolina and NC regulatory updates.

Tuesday, October 31, 2017

ISO 45001 Safety Management Standard Draft Published

The International Organization for Standardization (ISO) has release a final draft of it proposed International Standard for Occupational Health and Safety Management Systems, designated ISO 45001. Publication of the final standard is likely to be in the first half of 2018.

The standard is being developed by a committee of occupational health and safety experts, and will follow other generic management system approaches such as ISO 14001 and ISO 9001. It will take into account other International Standards in this area such as OHSAS 18001, the International Labour Organization's ILO-OSH Guidelines, various national standards and the ILO's international labor standards and conventions.

For those organizations that have already developed safety and health programs under OHSAS 18001, the publication of ISO 45001 will be particularly significant. OHSAS 18001 will be withdrawn on publication of ISO 45001 and organizations currently certified to OHSAS 18001 will have a three year period to migrate to ISO 45001.

Click here for examples of Caltha projects related to management systems and specifically on health and safety.

Sunday, October 29, 2017

Charlotte Facility Needed Audit For Compliance Improvement

Caltha LLP Project Summary

Project: Compliance Audit
Client:
National Industrial Corporation
Location(s):
Charlotte, North Carolina

Key Elements: EH&S audit, hazardous waste, air permit, hazardous material storage, wastewater permit, hazard communication

Overview: Caltha staff conducted a multimedia environmental, health and safety audit of this industrial facility located in Charlotte, NC. The scope of the audit included:
  • EPCRA
  • Hazardous waste rules as applicable to RCRA Conditionally Exempt Small Quantity Generator (CESQG), and Solid Waste Management rules including Mecklenburg County Mandatory Source Separation Ordinance (SSO) and 15A NCAC 13B
  • Current NC Air Permit
  • Current Charlotte-Mecklenburg Utility Department industrial wastewater discharge permit
  • TSCA
  • Tanks
  • Hazard communication
  • DOT Hazardous material transportation

The audit was led by a IIA-certified professional auditor.

Click here to review other example Caltha EH&S auditing projects. Click here to review other Caltha projects in North Carolina and NC regulatory updates.

DEQ Plans Hazardous Waste Generator Rule Update

The North Carolina Department of Environmental Quality (DEQ) has proposed a schedule to adopt the federal hazardous waste generator improvement rule into State hazardous waste regulations. This state rule also freezes the existing hazardous waste generator rules from May 29,2017 in place until North Carolina adopts the Hazardous Waste Generator Improvements Rule on March 1, 2018.

The EPA Hazardous Waste Generator Improvement Rule was finalized in 2016 and became effective in a few States in May 2017. However, the majority of States need to adopt the rule into their own State regulations in order for generators in their State to take advantage of the rule.

The EPA revision to RCRA rules is especially significant to Small Quantity generators (SQG) and Conditionally Exempt Small Quantity Generators (CESQG). Click here for more information on the key changes under the Hazardous Waste Generator Improvement Rule.

Click here for examples of Caltha projects related to hazardous waste management, and for project examples for clients located North Carolina.

Saturday, October 21, 2017

Amendment Proposed To California Hazardous Waste Generator and TSDF Training

The California Department of Toxic Substances Control (DTSC) has proposed revisions to the state’s unique Title 22 hazardous waste facility requirements. In addition to permitted treatment, storage & disposal facilities (TSDF) portions also apply to large quantity generators (LQG) of hazardous waste in the State.

The proposed hazardous waste revisions include a new reporting requirement; by March 1 each year, hazardous waste generators will be required to submit a report to DTSC that certifies that every employee has been trained on all requirements applicable to his or her job. The proposed revisions will also require employers to keep employee-signed or -certified hazardous waste training records on site and makes numerous changes to the training content required.

Click here to review examples of Caltha's EHS Training projects, including California hazardous waste training.

Wednesday, October 18, 2017

SD Waste Rule Update | Hazardous Waste Generator Improvements Rule

The South Dakota Department of Environment & Natural Resources (DENR) has finalized its hazardous waste regulations in order to align the state regulations with updates to EPA’s federal hazardous waste management program. The final regulations do not include the new federal Hazardous Waste Generator Improvements Rule which went into effect on the federal level on May 2017.

Click here for more information on the EPA Hazardous Waste Generator Improvements Rule

Click here for an update on State implementation of solvent wipe rule

South Dakota’s revised hazardous waste regulations went into effect on September 12, 2017. The revised regulations incorporate federal regulations by reference, with some minor modifications. The federal regulations incorporated by reference are those amended as of July 1, 2016.

Click here for recent Caltha South Dakota project examples and regulatory updates for South Dakota.

South Dakota Finalizes Solvent Contaminated Wipe Exclusion

The South Dakota Department of Environment & Natural Resources (DENR) has finalized its hazardous waste regulations in order to align the state regulations with updates to EPA’s federal hazardous waste management program. South Dakota’s revised hazardous waste regulations went into effect on September 12, 2017. The revised regulations incorporate federal regulations by reference, with some minor modifications. The federal regulations incorporated by reference are those amended as of July 1, 2016.

The updated rule incorporates certain exclusions from the definitions of solid and/or hazardous waste are now available to hazardous waste generators. It also includes the conditional exclusions from the definitions of solid and hazardous waste for management of solvent-contaminated wipes and the hazardous waste exclusion for carbon dioxide streams in geologic sequestration activities.

The final regulations do not include the new federal Hazardous Waste Generator Improvements Rule which went into effect on the federal level on May 30 of this year.

Click here for recent Caltha South Dakota project examples and regulatory updates for South Dakota.

Thursday, October 12, 2017

Rule on Management of Hazardous Waste Pharmaceuticals

The EPA Management Standards for Hazardous Waste Pharmaceuticals Rule was published in the Federal Register on September 25, 2015. EPA received a number of requests to extend the comment period and in response provided a 30-day extension. A notice announcing this extension was published in the Federal Register on November 5, 2015.



The rule proposes a tailored, sector-specific set of regulations for the management of hazardous waste pharmaceuticals by healthcare facilities (including pharmacies) and reverse distributors. It is intended to provide standards to ensure the management of hazardous waste pharmaceuticals is safe and workable within the healthcare setting. In addition, the proposed pharmaceutical rule is intended to reduce the amount of pharmaceuticals entering surface water.


States, such as Washington, has proposed their own interim policies regarding shipping of waste drugs which would otherwise be regulated as hazardous waste or dangerous waste.

Wednesday, October 11, 2017

Beryllium Worker Exposure Rule Deadlines

OSHA has issued a final rule limiting worker exposure to beryllium and beryllium compounds. The rule contains standards for general industry, construction, and shipyards which take effect on May 20, 2017. Employers must comply with most elements of the rule starting March 12, 2018.


The key provisions of the rule are:
  • Reduces the permissible exposure limit (PEL) for beryllium to 0.2 micrograms per cubic meter of air, averaged over 8-hours.
  • Establishes a new short term exposure limit for beryllium of 2.0 micrograms per cubic meter of air, over a 15-minute sampling period.
  • Requires employers to: use engineering and work practice controls (such as ventilation or enclosure) to limit worker exposure to beryllium; provide respirators when controls cannot adequately limit exposure; limit worker access to high-exposure areas; develop a written exposure control plan; and train workers on beryllium hazards.
  • Requires employers to make available medical exams to monitor exposed workers and provides medical removal protection benefits to workers identified with a beryllium-related disease.

Click here for more details on the safety, health and emergency preparedness services Caltha provides.


Click here to review a sampling of our past safety related projects.

Safety And Health Consultant Services In Minnesota

The development of cost effective safety programs to manage risks and to comply with OSHA regulations is a core service provided by Caltha LLP. Caltha also provides expert professional & technical support in developing safety management systems and in OHSAS 18001 registration. Caltha also supports our clients’ liability management programs by providing both systems and compliance auditing services.

Developing safety management programs that are easy to implement, document & track is an important service Caltha provides to our clients. This includes integrating compliance management with other risk management, quality improvement and cost control initiatives that our clients may already have. Caltha will train your staff to successfully implement the safety management programs in the future.

Caltha can also provide "as needed" technical support in preparing and maintaining OSHA compliance records, and to conduct incident investigations to support a root cause analysis. Caltha staff have led multi-disciplinary teams to develop corrective action plans arising from variety of incidence, including injuries, accidents, spills and fires.

Click here for more details on the safety, health and emergency preparedness services Caltha provides.

Click here to review a sampling of our past safety related projects.

Thursday, October 5, 2017

Silica Rule Is Enforced Starting September 2017; General Industry Rule in 2018

US OSHA began enforcing the respirable crystalline silica rule for the construction industry on September 23, 2017. The rule had been set to go into effect in June; however, the Department of Labor and OSHA delayed enforcement of the rule by 90 days. The delay was intended to provide DOL and OSHA additional time to issue guidance to industry regarding compliance. The construction silica rule is a companion to OSHA’s general industry silica rule that is scheduled to be enforceable beginning June 23, 2018.

The rule lowers the permissible exposure limit (PEL) for respirable silica dust in the construction industry, to 50 microgram per cubic meter exposure limit, calculated as an eight-hour time-weighted average (TWA). Employers subject to the construction rule may comply by implementing required engineering and work practice controls and respiratory protection , or by completing exposure assessments  of employees above the action level of 25 micrograms per cubic meter.

Under the rule, employers must:
  • Make medical screening available to employees who are required to use a respirator more than 30 or more days per year;
  • Develop a written exposure control plan;
  • Maintain certain records; and
  • Comply with certain limitations on housekeeping practices, such as using wet sweeping, HEPA-filtered vacuuming, or other methods designed to reduce employee exposure when feasible.


Caltha LLP provides specialized expertise to clients nationwide in the evaluation environmental rules, developing EHS compliance procedures, and preparing cost-effective EHS management programs. For further information contact Caltha LLP at info@calthacompany.com or Caltha LLP Website

Monday, October 2, 2017

Corporate HSE Department Needed Site Remediation Oversight Support

Caltha LLP Project Summary

Project: Corporate HSE Staffing-Site Remediation Oversight
Client: Multi-national Chemical Company
Location(s): California, Illinois, Indiana, Minnesota, North Carolina, Ontario, Canada, Michigan, Kentucky, Arizona


Key Elements: Environmental Health & Safety Staffing, Site remediation


Overview: This chemical company contracted with Caltha to provide temporary staffing in its corporate HSE Department for the position that oversaw numerous site remediation projects being conducted across the US and Canada. Due to staff turnover the position needed to be filled quickly to assure that process on projects continued, on-site contractors had questions and issues addressed, and that required agency submittals were reviewed, approved and submitted on time. Caltha provided a highly experienced HSE professional to fill the position until the corporation could hire a permanent replacement. Caltha staff were then able to provide transitional support.


For more information on Caltha LLP services, go to the Caltha Contact Page

Sunday, October 1, 2017

Compliance and Sustainability Training For MN and ND Industry


Caltha LLP Project Summary

Project: Environmental Awareness / Sustainability Training Module For Facility Management
Client:
Grain Processing & Food Manufacturing Corporation 
Location(s):
Minnesota, North Dakota


Key Elements: Regulatory training, Sustainability, Permit compliance, Employee training, Webinar


Overview: Caltha LLP was retained by this grain processing and food manufacturing corporation to prepare and present a training module that provides corporate and facility managers with basic compliance training to assist them in managing EH&S compliance activities at multiple facilities. The training was developed to be specific to the corporation's facilities and products and included:
  • Company's commitment to sustainability / Sustainability policy
  • Background on environmental regulations and key issues at company's locations
  • Overview of company's key procedures
Training was created as a recorded live webinar which can be replayed as needed.


For more information on Caltha LLP EH&S Training services, go to the Caltha LLP EH&S Training Page

Certified Environmental Health and Safety Audit Services



Caltha LLP provides IAA-BEAC certified auditors to perform internal EH&S audits to support ISO 14001 registered organizations or to support routine internal audit programs implemented as part of an overall governance system. Caltha can provide:
  • Single auditors to support audit teams as a media or regulatory expert,
  • Audit teams to address multiple program areas, or
  • Due diligence auditors / audit teams.
Caltha auditors can act as adjunct auditors to augment your existing internal audit team, or can act as an independent third party auditor.


Caltha auditors have conducted assessments in all 50 US States, Canada, Mexico, South America, Europe and Asia.


Click here for more information on Caltha Compliance Audit, Management System Audit and Due Diligence Assessment services




AZ Chemical Processor Needed Industrial Wastewater Management Plan



Caltha LLP Project Summary

Project: Compliance Review & Waste Water Management Procedure Development
Client:
Chemical Processing Facility
Location(s):
Arizona


Key Elements: Industrial waste water discharge, Waste management procedures, POTW industrial user rule, Wastewater sampling


Overview: Caltha LLP was retained by this Arizona chemical plant to conduct an assessment of wastewater management practices. The review included an evaluation of raw materials and waste products which could be discharged to the sanitary sewer from the process. Caltha staff met with POTW to determine waste acceptance criteria and developed key parameters which would be used to determine if specific waste streams were suitable for discharge to the POTW, or required alternate disposal methods. Caltha then prepared a written procedure for facility operators to use to screen waste streams to determine if discharge to the POTW was allowed. The procedure was provided to the POTW for review and concurrence.


For more information on Caltha LLP permit services, go to the Caltha Air, Wastewater and Waste Permitting Page

Saturday, September 30, 2017

Metal Plating Operation Required To Have Total Organic Spill Plan

Caltha LLP Project Summary

Project: Total Toxic Organics Management Plan For Metal Finisher
Client: Metal Finishing Company
Location(s): Minnesota


Key Elements: Total Toxic Organics Management Plan, SPCC Plan


Overview: This metal finishing was subject to Categorical Effluent Guidelines. In lieu of monitoring wastewater discharges for the full list of “Total Toxic Organics” the facility opted to prepare and implement a Total Toxic Organic Management Plan (TTOMP) for the site. Caltha was contracted to prepare the TTOMP for the facility. The TTOMP included:
• Inventory and description of TTO compounds used in the electroplating or finishing processes, and degreasing processes;
• Inventory and description of regulated processes where TTO compounds are used;
• Description of disposal methods for materials and wastes that contain TTO compounds;
• Description of controls used to limit or eliminate the discharge of TTO compounds to the sanitary sewer.


The TTOMP was combined with a Facility Spill Plan which included processes and containers not specifically addressed under the Effluent Guidelines. Caltha prepared a spill control plan for the site to minimize and control spills from areas where liquids are stored, transferred and used. The spill plan included:
1. Inventory and description of chemical storage and process tanks;
2. Description of batch discharges to sanitary sewer;
3. Description of controls and procedures to prevent entry of chemicals and other restricted materials and wastes from entering the sanitary sewer;
4. Emergency notification procedures;


Click here for more information on Caltha LLP Spill Prevention and Response Plan Services and SPCC Support Services.


TSCA Compliance Expert Technical Support For NJ Chemical Company


Caltha LLP Project Summary

Project: TSCA Certification Support
Client:
Chemical Distributor 
Location(s):
New Jersey


Key Elements: TCSA Import Certification, TSCA reporting, Hazardous Material Storage, Hazardous Material Transportation


Overview: Caltha LLP has provided on-going ad hoc technical support to this chemical importer and distribution company. Services are provided on an "as needed" basis and include review of product SDS, chemical storage requirements, and TSCA import certifications (positive certification, negative certification).


Click here for more information on Caltha LLP TSCA Compliance services.

Monday, September 25, 2017

TCEQ Issues Revised General Operating Permits

The Texas Commission on Environmental Quality (TCEQ) has issued revisions to Oil and Gas General Operating Permits (GOP) 511 and 514. The revisions were needed to address the applicability status of Wise County. Sites in Wise County are now covered under GOP 511 instead of GOP 514. The revised GOPs were proposed on January 27, 2017, and the public comment period closed on February 27, 2017.

Current permit holders are required to submit an application for a new authorization to operate (ATO) no later than October 12, 2017, if any of the emission units, applicability determinations, or the basis for the applicability determinations are affected by the revisions in the renewed GOPs. If the revisions in the GOPs do not affect a site, a new ATO is not required.

For more information on Caltha LLP air permitting services in Texas, go to
Caltha Permitting And Compliance Support

New Jersey General Permit For Emergency Generators Revised

The New Jersey Department of Environmental Protection (NJDEP) Air Quality Permitting Program has revised the Emergency Generator General Permit (GP-005) used by many facilities.

Permit GP-005 was revise to incorporate the requirements of revised New Jersey Administrative Code 7:27-19, Control and Prohibition of Air pollution by Oxides of Nitrogen,  and to  incorporate the United States Environmental Protection Agency proposed New Source Performance (NSPS) requirements for Emergency Generators outlined at 40 CFR 60.4207 Subpart IIII.

The revised general permit will now allow a facility to combine all applicable emergency generators at the facility into one single registration in most situations.

For more information on Caltha LLP services related to air permitting, go to:
Caltha Permitting & Compliance Page
 

Friday, July 21, 2017

Chicago Multimedia Compliance Audit For Manufacturing Plant

Caltha LLP Project Summary



Project: HSE Compliance Audit
Client:
High Tech Manufacturer
Location(s):
Chicago, Illinois


Key Elements: EH&S audit, hazardous waste, air permit, hazardous material storage, wastewater permit, PPE assessment, hazard communication


Overview: Caltha LLP conducted a multimedia environmental, health and safety audit of this manufacturing facility located in Cook County. The scope of the audit included:

  • EPCRA
  • Hazardous and Solid Waste Management
  • Current IEPA Air Permit
  • Cook County Air Emission Ordinance
  • Current wastewater discharge permit
  • TSCA
  • Tanks
  • Hazard communication
  • DOT Hazardous material transportation

The audit was led by a IIA-certified professional auditor.


For more information on Caltha LLP services, go to the Caltha Contact Page

Thursday, July 20, 2017

PPE Assessment and Employee Exposure Review For Minnesota Manufacturer

Caltha LLP Project Summary

Project: PPE Assessment
Client:
Chemical Formulating Facility
Location(s):
Minnesota


Key Elements: PPE assessment, OSHA hazard communication, employee training, safety data sheet, employee exposure control


Overview: Caltha LLP was retained by this chemical processing facility to conduct a PPE assessment for specific processing areas, including dry mixing, blending, wet mixing, and packaging. Caltha staff reviewed raw material and finished product safety data sheets, as well as specific tasks being conducted in each area. For each area, a standard set of employee PPE was prescribed; specific materials which require additional or other types of PPE were then identified. Employees were provided training, including visual reminders at each work station, to alert them when PPE beyond the standard was required.


For more information on Caltha LLP services, go to the Caltha Contact Page

Hazardous Waste and DOT Hazardous Material Training For Minnesota Facility

Caltha LLP Project Summary

Project: Employee training on Hazardous Waste management, Universal Waste Management, and DOT HazMat training for shipping of regulated hazardous materials
Client:
Medical product manufacturer
Location(s): Minnesota

Key Elements: Waste management, Employee training, DOT hazardous material shipping

Overview: Caltha LLP assisted this medical product manufacturer by conducting employee training sessions at the client's facility covering:
  • Hazardous waste management, for conditionally exempt small quality generator (CESQG)
  • Universal waste management
  • DOT HazMat employee training for individuals responsible for preparing and shipping hazardous materials, including wastes
For more information on Caltha LLP training services provided to small and medium sized facilities, go to Employer's Environmental Health and Safety Training Center.

Registration Permit Review For New Facility In Minnesota

Caltha LLP Project Summary

Project: Option D Permit Review For New Process
Client:
Food Manufacturing Processing Facility
Location(s):
Minnesota

Key Elements: Air permitting, Air permit compliance, Air emission estimates, Control equipment efficiency

Overview: Caltha LLP was retained by this food manufacturing processing facility to conduct an evaluation to determine if a new project planned at the facility would require a modification to the existing air emission permit issued by MPCA or if prior notifications would be required for the project. Caltha staff reviewed project plans to determine added air emissions resulting from the new project. These estimates were added to emission estimates for all other permitted sources at the facility to determine if any permit actions were required. Based on the technical evaluation, it was determined that the project could be constructed with no permit modifications or notifications.

For more information on Caltha LLP services, go to the Caltha Contact Page

Environmental Awareness and Sustainability Training For Food Manufacturer

Caltha LLP Project Summary

Project: Environmental Awareness / Sustainability Training Module For Facility Management
Client:
Grain Processing & Food Manufacturing Corporation
Location(s):
Minnesota, North Dakota

Key Elements: Regulatory training, Sustainability, Permit compliance, Employee training, Webinar

Overview: Caltha LLP was retained by this grain processing and food manufacturing corporation to prepare and present a training module that provides corporate and facility managers with basic compliance training to assist them in managing EH&S compliance activities at multiple facilities. The training was developed to be specific to the corporation's facilities and products and included:
  • Company's commitment to sustainability / Sustainability policy
  • Background on environmental regulations and key issues at company's locations
  • Overview of company's key procedures
Training was created as a recorded live webinar which can be replayed as needed.

For more information on Caltha LLP services, go to the Caltha Contact Page

SPCC Plan Review | Five Year SPCC Plan Amendment

Caltha LLP Project Summary

Project: SPCC Plan 5-Year Review, Plan Update & Management Compliance Training
Client:
Transportation Terminal
Location: Wisconsin

Key Elements: Regulatory compliance training, SPCC Plan

Overview: Caltha LLP was retained by this multimodal transportation terminal to conduct the five-year review of its Spill Prevention, Control & Countermeasure (SPCC) Plan. Under 40 CFR 112, SPCC Rule regulated facilities are required to conduct and document a review of their SPCC Plan at least every five years, independent of the requirement to keep the facility SPCC Plan updated to reflect changes at the facility. In conjunction with this review, Caltha staff provided ad hoc compliance training to selected facility staff on SPCC Rule requirements. Finally, Caltha prepared an updated facility SPCC Plan to reflect administrative changes at the facility.

For more information on Caltha LLP services, go to the Caltha Contact Page

Wisconsin Air Emission Reporting For Printing Operation

Caltha LLP Project Summary

Project: Air Emission Inventory Reporting Technical Support
Client:
Printing Facility
Location(s):
Wisconsin

Key Elements: Air emission inventory, Air permit compliance, Air emission tracking, Hazardous waste management

Overview: Caltha LLP was retained by this printing facility to assisting in preparing the air emission inventory report required by the Wisconsin DNR under their FESOP for VOC emitting equipment. Caltha staff reviewed operations and developed material usage tracking systems and monthly air emission estimate tracking sheets. The tracking system incorporated adjustments based on hazardous waste disposal records. This allowed the facility to comply with monthly recordkeeping requirements which were then available for annual air emission reporting using the WDNR on-line reporting system. Caltha provided training to facility staff on emission tracking procedures.

For more information on Caltha LLP services, go to the Caltha Contact Page

Leaking Tank Investigation - SPCC Plan For South Dakota Farm Operation

Caltha LLP Project Summary

Project: Tank Farm Investigation
Client:
Agricultural Production Sector
Location(s):
South Dakota

Key Elements: Phase 2 Investigation, leaking tank, SPCC requirements

Overview: Caltha LLP was retained by a potential investor group to conduct a Phase 2 Limited Site Investigation (LSI) at this large farm site. During a Phase 1 Environmental Site Investigation, visual evidence of past leaks and spills were identified within the tank farm. Due to recent changes to Federal Spill Prevention, Control & Countermeasure (SPCC) rules which would require above ground tanks at agricultural facilities to comply with SPCC rule, the tank farm was expected to require upgrades. The key question was what cost impact would be expected during tank farm upgrade to address existing contamination. The results of the investigation provided clarity to the potential investors on the range of cost impacts.

For more information on Caltha LLP services, go to the Caltha Contact Page

SWPPP and SWPP Training For Minnesota Residential Development

Caltha LLP Project Summary

Project: Construction Permitting, SWPPP & Training
Client:
National Home Builder
Location(s):
Minnesota

Key Elements: Stormwater permitting, SWPPP, Inspection training

Overview: Caltha LLP was retained by a national home builder/developer to provide technical services required for a 49-ac single family home development. Caltha staff prepared the project stormwater pollution prevention plan (SWPPP), erosion control plan, and then completed the permit application materials. Once permitted, Caltha staff provided SWPPP training to all site inspectors and subcontractors.

For more information on Caltha LLP services, go to the Caltha Contact Page

Hazardous Material Storage Review For Minnesota Manufacturer

Caltha LLP Project Summary

Project: Hazardous Material Storage Review
Client:
Specialty Plastics Manufacturer
Location(s):
Minnesota

Key Elements: Haz Mat regulatory review, Site storage inspection

Overview: Caltha LLP was retained by the specialty plastics manufacturer to conduct a review of Federal, State, County and City requirements related to planned on-site storage of several new hazardous materials. Once complete, Caltha staff conducted a pre-start-up on-site review on storage and handling practices and waste management.


For more information on Caltha LLP services, go to the Caltha Contact Page

Saturday, March 25, 2017

OSHA Recordkeeping Rule On Recordable Injuries Nullified After Congressional Review

On March 22, the US Senate voted to nullify OSHA’s rule “Clarification of Employer’s Continuing Obligation to Make and Maintain Accurate Records of Each Recordable Injury and Illness,” commonly referred to as the “Volks” rule. The “Volks” rule made recordkeeping requirements a continuing obligation for five years. The rule gave OSHA the ability to issue citations to employers for failing to record work-related injuries and illnesses during a 5-year retention period, compared to the six-month statute of limitations. The final rule was in response to a 2012 U.S. Court of Appeals decision that held that OSHA could not issue citations for failing to record an injury or illness beyond the six-month statute of limitations set out in the statute.

OSHA issued the proposed rule in July 2015, which was finalized in December 2016 and became effective in January 2017. According to OSHA, the rule was meant to “clarify that the duty to make and maintain an accurate record of an injury or illness continues for as long as the employer must keep and make available records for the year in which the injury or illness occurred. The duty does not expire if the employer fails to create the necessary records when first required to do so.”

The resolution passed the House of Representatives on March 1, 2017 and on March 22 the Senate adopted the resolution indicating that Congress believed OSHA had exceed its authority in issuing the final rule.


Caltha LLP provides specialized expertise to clients nationwide in the evaluation environmental rules, developing EHS compliance procedures, and preparing cost-effective EHS management programs. For further information contact Caltha LLP at info@calthacompany.com or Caltha LLP Website 
 


Saturday, March 4, 2017

Solvent Wipe Exemption Roll Out By States | States That Have Not Exempted SCW By Rule

In July 2013, US EPA published a final rule which exempted launderable (reusable) and some disposable wipes containing solvent ("Solvent-Contaminated Wipes" or SCW) from regulation as solid wastes and as hazardous waste. Solvent wipes are very common waste streams generated by a broad range of industrial, commercial, service and institutional sector facilities. This rule streamlined management of this waste stream and allowed these materials to be stored, transported* and cleaned/disposed of outside of the hazardous waste rules that would otherwise apply. This provides a benefit to both facilities that generate these wipes and companies that handle them.
 
* Although the rule exempts transporters from hazardous waste rules, Federal and State DOT HazMat rules still apply.
 
Click here for more information on the Federal Solvent Contaminated Wipe Rule.
 
Although the Federal rule became effective on January 31, 2014, in majority of States the Federal exemption does not apply until State Rules were revised to include this exemption. In many cases, States had operated for many years under policies or guidance which functionally excluded these wipes from regulation as hazardous waste until a Federal Rule was finalized. With the publication of the Federal Rule in 2013, States needed to update State rules to reflect this exemption, if they wanted to allow generators to take advantage of it. Because this rule change was less stringent than existing hazardous waste rules, States were not required to accept the Federal exemption and could require generators to handle these wipes as hazardous waste.
 

State Rule Update - March 2017

 
As of March 2017, 61% of State agencies have updated State rules to exempt solvent wipes, with most using Federal language or Federal language with very minor edits. One State (Rhode Island) implemented a rule that exempted reusable wipes only.
 
 
 

States Where Policy or Guidance Applies

As of March 2017, almost 1/3 of States have not revised State rules to reflect the SCW exemption and are still operating under policies or guidance documents written 10 to 15 years ago.
 
  • Colorado
  • Connecticut
  • Delaware
  • Kentucky
  • Maryland
  • Massachusetts
  • New Mexico
  • New York
  • Oregon
  • South Dakota
  • Vermont
  • Washington
  • Wisconsin
 
In most cases, this policy or guidance is similar to the Federal Rule, but typically less specific and less stringent. Currently, many of these States are still planning to update State rules in the near future and are allowing generators to follow the Federal rule.
 

States Without Policy or Guidance

As of March 2017, three States have not revised State rules and had not established a policy in the past to exempt these wipes from hazardous waste rules:
 
  • Nevada
  • Maine
  • Hawaii
 Maine and Hawaii both anticipate having a rule revision in 2017.

States With State-Specific Rules

Two States, California and Minnesota, have rules (California) or policies (Minnesota) that are significantly different than the Federal Rule and do not plan to revise them. In California, the Reusable Soiled Textile Rule excludes all hazardous waste (not just solvent) on a wider range of textiles (not just wipes). In Minnesota, guidance exempts some wipes ("sorbents") but wipes containing certain listed solvents ("toxic solvents") remain hazardous waste and also must be included in their monthly calculation of the generator size.
 
 
 
For further information contact Caltha LLP at info@calthacompany.com or Caltha LLP Website

 

Monday, February 27, 2017

Wisconsin Air Emission Reports Due To WDNR By March 1, 2017

Air emission inventory submittals are due to the Wisconsin Department of Natural Resources by March 1, 2017. Submittals are made using the WDNR Air Reporting System (ARS). The Air Reporting System allows facilities to report annual air emissions on the Internet using web-based software.


For permitted facilities that cannot submit their emission estimates by March 1, an extension must be requested through the WDNR. Those facilities granted an extension have until March 17, 2017 to submit their emission inventory.




For further information contact Caltha LLP at info@calthacompany.com or Caltha LLP Website 
 

Saturday, January 14, 2017

Changes To Toxic Release Inventory Reporting Chemicals In 2017

On November 28, 2016, the USEPA published a final rule that adds a HBCD category to the TRI list of reportable chemicals. The HBCD category includes two CASRNs:
•3194-55-6 (1,2,5,6,9,10-HBCD) and
•25637-99-4 (HBCD).


Since the HBCD category meets the TRI criteria for a persistent bioaccumulative toxic (PBT) chemical, USEPA established a reporting threshold of 100 lbs for the category.


The rule was effective November 30, 2016, and applies to the 2017 reporting year with the first reports due by July 1, 2018.


On November 16, 2016, the USEPA published a proposed rule to add a NPE category, which contains thirteen NPEs, to the TRI list of reportable chemicals. NPEs are nonionic surfactants used in adhesives, wetting agents, emulsifiers, stabilizers, dispersants, defoamers, cleaners, paints, and coatings. If finalized as proposed, facilities required to report NPEs included in the new category would file just one TRI report form for the covered NPEs.

Toxic Release Inventory reports for calendar year 2016 are due by July 1, 2016

Caltha LLP provides specialized expertise to clients nationwide in the evaluation environmental rules, developing EHS compliance procedures, and preparing cost-effective EHS management programs. For further information contact Caltha LLP at info@calthacompany.com or Caltha LLP Website




Wednesday, January 11, 2017

Proposed Amendment of TSCA Chemical Data Reporting Rule

EPA intends to establish a Negotiated Rulemaking Committee under the Federal Advisory Committee Act (FACA) and the Negotiated Rulemaking Act (NRA) to negotiate a proposed rule would limit chemical data reporting requirements for manufacturers of certain inorganic byproduct chemical substances.. The objective of the Negotiated Rulemaking Committee will be to negotiate a proposed rule that would limit chemical data reporting requirements under section 8(a) of the Toxic Substances Control Act (TSCA), as amended by the Frank. R. Lautenberg Chemical Safety for the 21st Century Act, for manufacturers of any inorganic byproduct chemical substances, if byproduct chemical substances are subsequently recycled, reused, or reprocessed.


What is the Negotiated Rulemaking Process?

In 1986, EPA created the Inventory Update Reporting (IUR) regulation under TSCA section 8 to collect, every four years, limited information on the manufacture (which includes import) of organic chemical substances listed on the TSCA Inventory, thereby providing more up-to-date production volume information on the chemical substances in U.S. commerce. In 2005, EPA amended the IUR to require the reporting of information on inorganic chemical substances and to collect additional manufacturing, processing, and use information. Manufacturers of inorganic chemical substances first reported under the IUR in 2006. They also reported under the CDR in 2012 and 2016. Specific reporting requirements for these manufacturers were phased in, to allow for the industry to better understand the reporting requirements and for EPA to gain a better understanding of the industry. In recent years, the regulatory requirement to report byproduct chemical substances (and the availability of exemptions from that requirement) has been a frequent topic of discussion.

In 2011, EPA also stated that it would examine CDR information related to byproduct chemical substances to identify whether there are segments of byproduct chemical substance manufacturing for which EPA can determine that there is no need for the CDR information to continue to be collected, either for 2016 or for future reporting cycles. On June 22, 2016, TSCA was amended by the Lautenberg Act. TSCA now includes a requirement that EPA enter into a negotiated rulemaking, pursuant to the NRA, to develop and publish a proposed rule to limit the reporting requirements under TSCA section 8(a), for manufacturers of any inorganic byproduct chemical substances, when such byproduct chemical substances, whether by the byproduct chemical substance manufacturer or by any other person, are subsequently recycled, reused, or reprocessed.

Caltha LLP provides specialized expertise to clients nationwide in the evaluation environmental rules, developing EHS compliance procedures, and preparing cost-effective EHS management programs.
For further information contact


Caltha LLP at info@calthacompany.com or Caltha LLP Website



Saturday, January 7, 2017

Overview of EHS Management Systems For The Hazardous Materials Manager - EH&S Compliance Professional

The link below provides training slides from the CHMM Review Course on Environmental Management Systems (EMS) and Health & Safety Management Systems.


Presentation Slides: EHS Management Systems Overview for the Hazardous Materials Professional


Caltha LLP provides specialized expertise to clients nationwide in the evaluation environmental rules, developing EHS compliance procedures, and preparing cost-effective EHS management programs. For further information contact Caltha LLP at info@calthacompany.com or Caltha LLP Website

New Washington Interim Policy On Handling Pharmaceutical Wastes Classified As Dangerous Waste

Washington Department of Ecology has developed an interim policy for generators of pharmaceutical wastes which could be classified as “dangerous waste” under State rules. The State has enacted this policy pending US EPA finalizing federal rules to streamline handling and disposal of these wastes. Once the EPA rule is finalized, Ecology expects to adopt the federal rule.


What are the generator requirements under the interim Ecology policy?

Caltha LLP provides specialized expertise to clients nationwide in the evaluation environmental rules, developing EHS compliance procedures, and preparing cost-effective EHS management programs. For further information contact Caltha LLP at info@calthacompany.com or Caltha LLP Website