They can be found on page 104 of the most recent version of the Hazardous Waste Report Instructions and Forms. Generally, Household Hazardous Wastes (HHWs) are exempt federally from the RCRA manifest, when the regulatory conditions for the HHW exemption are met. Also, the signed manifests may then be forwarded electronically by e-Manifest to the next non-rail transporter or the receiving facility. The Uniform Hazardous Waste Manifest is a form prepared by all generators who transport, or offer for transport, hazardous waste for off-site treatment, recycling, storage, or disposal. A. That subset was referred to as Universal Waste (UW). Weba municipal hazardous or special waste (MHSW) depot; other types not listed; Generator registration. Create manifests, edit Draft manifests, and complete non-CROMERR compliant signatures. WebHazardous waste pharmaceutical means a pharmaceutical that is a solid waste, as defined in 261.2, and exhibits one or more characteristics identified in part 261 subpart C or is listed in part 261 subpart D.A pharmaceutical is not a solid waste, as defined in 261.2, and therefore not a hazardous waste pharmaceutical, if it is legitimately used/reused (e.g., Since these low-level mixed waste shipments are subject to the NRCs manifest, and not the RCRA manifest, these waste shipments are not subject to e-Manifest. WebLandfilling of hazardous solid or containerized waste is regulated more stringently than landfilling of municipal solid waste.Hazardous wastes must be deposited in so-called secure landfills, which provide at least 3 metres (10 feet) of separation between the bottom of the landfill and the underlying bedrock or groundwater table. This answer depends on the state. A hazardous waste container is any portable device in which a hazardous waste is stored, transported, treated, or otherwise handled. The ARM rule amendment includes adoption of 12 federal hazardous waste regulations and a one-time fee increase for generator registration, permit renewal fees, and permit modification fees. Increased production of hazardous waste due to an increased rate of production is not an episodic event. All parties (i.e. Arkansas (BR, myRCRAid) Generally, if the wastes listed on a manifest are not required to be shipped under a manifest under either federal or state law, then there is no requirement that such manifests be submitted to EPA. Illinois TSDFs report the types and quantities of wastes received from in-state and out-of-state generators; they also report the procedures they used to manage these wastes. In such cases, the manifests required by the states to track such HHW shipments are subject to e-Manifest. When completed, the form contains information on the If releases are hazardous waste, must manageas hazardous waste. Montana has a statute (75-10-451 MCA) that imposes an additional requirement on the handlers of certain solvents. RCRA Training Module - Containers; Massachusetts (BR, myRCRAid) Yes. State Hazardous Waste Transportation and Permit Program. It was available, however, as an extra copy for exporters or others to use when convenient. The use of the corrections process facilitates data quality in the manifest data system, particularly, as we move toward integrating the system with the biennial reporting process. The driver or other transporter representative that is present at the generator site for the waste pick-up is the only person that can sign the manifest to acknowledge receipt of materials from the generator for highway transportation. Each of these electronic copies aresecured and retained by the system as copies of record which can be retrieved and examined by persons authorized by each handler to view their companys manifest records. Federal government websites often end in .gov or .mil. This can happen at any time post-receipt. However, some suggestions for Site Manager include: EPA strongly encourages sites to assign a Site Manager and will prioritize Site Manager permissions. Section Supervisor Denise Kirkpatrick (406) 444-3983, Hazardous Waste PermitsAnn Kron (406) 444-5824, Hazardous Waste PermitsErica Shuhler (406) 444-5852, Hazardous Waste RegulatoryJennifer Strause(406) 431-3148, Data ControlSpecialistPhil Nyhof (406) 444-2891. Enter the verification code into the box. This includes the time frames for follow-up actions by generators when a manifest signed by the receiving facility is not timely received by the generator. District of Columbia (BR, myRCRAid) If you believe there is an error with your invoice, you can request a review by EPA financial staff by emailing e-manifestfinancialhelp@epa.gov. If a Handling Code is not provided for Management Method Codes H132 and 141, the waste will be assumed to be landfilled. To properly close out the manifest, the interim facility must take the following actions: (1) the interim facility must receive prior approval from the generator to be named as the designated facility on the manifest; and (2) the manifest must list the interim facilityrather than the originally named receiving facility -- as the designated facility. Hazardous waste manifest requirements; Transporting hazardous waste. It is available to e-Manifest registered system users and works in the following manner. Here you can select multiple manifests to sign with a single signature process. If applicable, DEC's "B" type Waste Codes for PCB wastes must be used. Searching online - how to dispose of hazardous waste in (insert your county or city) Calling your closest hazardous waste collection facility. NOTE:"P" listed wastes areacutely hazardous wastes. In addition states can be more stringent in their regulations. We encourage you to contact your state regarding specific questions on such state-issued IDs. No, EPA does not charge a fee for registering with e-Manifest. That notification requires the submittal of the EPA ", The Montana Department of Environmental Quality adopted, by incorporation the hazardous waste transporter requirements found in, For more information on the transporter standards and/or to obtain an, Montana Department of Environmental Quality. Yes. Not at this time, this is future functionality. Treatment/Storage/Disposal During that accumulation, the vape shop must comply with container management and labeling standards in 266.502(d) and (e). Hazardous waste manifests are required to transport hazardous waste across the nation. Yes. Maryland (BR, myRCRAid) DEQ Headquarters1520 E 6th Avenue | Helena, MT 59601 Map of Office Locations, Questions?Call: 406-444-2544Staff Directory, The 1985 Montana Legislature gave the DEQ the authority for the registration of hazardous waste transporters who operate in Montana. When completed, it contains information on EPA is coordinating with DOT during the development of e-Manifest. If EPA staff resolve the dispute in your favor, late charges will be waived. All hazardous waste manifest forms and related correspondence should be mailed to: NYS Department of Environmental By aligning with a service company that participates in electronic manifesting, but that allows the generator to retain a paper copy under the hybrid approach, generators will have relationships with entities that are supporting and promoting electronic manifesting. In addition, the Act requires that EPA implement and enforce the e-Manifest requirements consistently in all states until such time as the states are authorized for these requirements.1 Thus, EPA will be active in all states on the programs effective date, implementing the federal e-Manifest requirements until the states are authorized. 2022 Stericycle, Inc. All Rights Reserved. The hazardous waste manifest system is designed to track hazardous waste from generation to disposal. When the states are authorized for delegable provisions of the e-Manifest rules, the states will then be able to implement the delegable electronic manifest regulatory requirements. Those involved in the transportation and receipt of these radioactive wastes should not submit the NRC manifest to e-Manifest. A lock icon ( If you receive an email from a state agency or EPA asking you to correct manifest data, please do so! If you operate a business that generates hazardous waste or waste oil, here are some important things to know. The rules for manifesting special waste can be found under Part 809.501, as well as 22.8 of the Environmental Protection Act. The regulations for management and disposal of hazardous waste pharmaceuticals are in 40 CFR 266 Subpart P (Subpart P). A hazardous waste generator must comply with all requirements of the Montana Hazardous Waste Act and Administrative Rules of Montana. An official website of the United States government. Yes. In 2018 the EPA launched the e-manifest system, a national system for electronically transmitting tracking forms for hazardous waste shipments. Hazardous waste manifest requirements; Transporting hazardous waste. In those circumstances where e-Manifest applies to VSQG/CESQG shipments (other than for episodic event shipments), an EPA ID Number is not required if the generator uses a paper manifest to track its waste. Regulations pertaining to RAPPs are located in Part 703, Subpart H and Part 724, Subpart B. Likewise, a generator that chooses to use paper manifests, but that has access to an account in e-Manifest, may also take advantage of the systems secure record retention and retrieval capabilities to satisfy its record retention requirements. Track your hazardous waste shipment(s) online via. EPA doesnot imposefees on generators or on members of the pubic that would use the system only to access data. No, you areable to access manifests and reports via the e-Manifest module in RCRAInfo. However, you can choose to save the manifest, thereby placing the manifest in a queue. Small and large quantity generators, and hazardous waste treatment, storage and disposal facilities must use a licensed hazardous waste transporter to move waste from Florida (BR) This is believed to be at least partially the result of successful waste minimization efforts. Unregistered users can register directly with the RCRAInfo Industry Application. In some situations, the signatory could be held personally liable if there are significant discrepancies on the manifest. Work with your transporter to complete and The information below will give you guidance related to these regulations. If the manifest is paper and created on a 5-copy paper manifest then the receiving facility provides the manifest tracking number from the paper form. The rejecting facility is responsible for the submission and payment regardless of the generators status as a TSDF. WebForm 870022) and, if necessary, the continuation sheet (EPA Form 870022A) for both inter- and intrastate transportation of hazardous waste. The state-only regulated waste facility should then enter in Item 10.C any applicable waste codes for the state-regulated wastes that are handled at their site and will be tracked under the manifests received at the facility. If you generate more than 1,000 kilograms (2,200 pounds) (or 1 kilogram of acutely hazardous waste) in a calendar month, the regulations that apply to you can be found in Part 722 at Section 722.134(a) through (c). In these cases, an offeror can sign the generator/offeror certification on the manifest on behalf of the generator, because the offeror can certify that the waste materials have been properly described and the shipment is in proper condition for transportation. Your accounting staff should be able to determine if you need this information. Iowa (BR) The annual Verification Questionnaire and fees assessment for hazardous waste ID numbers and hazardous waste manifests is required by Health & Safety Code sections 25205.15 and 25205.16. EPA hasimplementeda manifest data corrections process that enables any interested person to submit data corrections at any time after the receiving facility copy and data have been entered in the system. Permanent Identification Number Form Note: Failure to notify DTSC within 30 days of exceeding 10,000 lbs. A comprehensive list of the content available and maintained on the EPA's hazardous waste web site, Form; 8700-13, Form; 8700-23, Form; A. EPA acknowledges, however, that in early implementation of e-Manifest, there may be a lag in processing time for certain paper manifests, such as paper that requireprocessing. All facilities notifying MassDEP that they are small quantity (SQG) or large quantity (LQG) generators of RCRA-listed hazardous wastes receive annual compliance fee invoices from the agency, based on their generator status as of July 1. ; Waste Transporters - The New York State Environmental Conservation Law requires that Please follow this link when requestion public records:Requesting Public Records and Information. Persons seeking to engage in any activity that will require a RCRA permit in the state of Illinois should contact the Bureau of Land Permit Section at (217) 524-3300 to discuss the permitting process. Facilities that file the Site ID Form areissued an EPA ID Number, and this number is automatically added to RCRA Info and isavailable in the systems look-up tables for use in completing electronic manifests. The discrepancy report is intended to bring to the attention of the regulator that there was a shipment that presented a significant discrepancy which could not be resolved through the efforts of the affected waste handlers. Companies that were previously regulated report as nonregulated generators, and then do not continue to report. When you return to your Manifest Dashboard, you will see the Sign Manifests option. Please click here to see any active alerts. Under state and federal law, a facility that generates hazardous waste bears "cradle-to-grave" responsibility for the waste's creation, handling, transport, treatment and ultimate fate. For facilities managing on-site remediation waste, the
WebNotification of Hazardous Waste Activity (HW-1) Form (Word) Please submit a cover letter with the HW-1 Form detailing the reason for submittal. Multiple cards for the same registration will be issued upon request. In most instances, that is the first and last information reported to the system on the receipts for that shipment. The system distributes and retains in the relevant handlers accounts, all manifest copies produced and used during the tracking of a hazardous waste shipment, including the generators initial copy, the transporter copy, and the final copy signed by the receiving facility, which isdistributed to the original generator, to the delivering transporter, and to interested states. A list of EPA Regional contact is available here. The annual Verification Questionnaire and fees assessment for hazardous waste ID numbers and hazardous waste manifests is required by Health & Safety Code sections 25205.15 and 25205.16. All hazardous waste manifest forms and related correspondence should be mailed to: NYS Department of Environmental Dangerous wastes can also be produced through different means. The intent of the hazardous waste program is to provide a cradle-to-grave management scheme for hazardous wastes to ensure that these wastes are not mismanaged in a manner that will impact human health or the environment. You can always reach out to us. The original manifest remains active during the time that waste is temporarily stored at a transfer facility, so the waste shipment must leave the transfer facility under the same manifest under which it arrived. Enter the password you used to log in to the application and select Send Verification Code. A facility wanting to cancel or change its hazardous waste generator status needs to formally notify MassDEP before July 1. The e-Manifest requirements, including the post-receipt data corrections process, do not alter the existing discrepancy reporting requirements that have been in place for many years with respect to bulk shipments. Therefore, a unique regulatory exclusion was created for CRTs that are recycled. The hybrid manifest authorized under 40 CFR 262.24(c)(1) is one such example. In other words, a user granted Site Manager permission for a site would automatically have Certifier permissions for all three modules. States with connectivity to the e-Manifest system have immediate access to all manifests for which the state is shown as either the generation state or the destination state. Numbers, RCRA Online # RO 12016, November 26, 1980. The
Never accumulates more than 5,000 kilograms (11,000 pounds) of UW. Second, receiving facilities may submit paper manifests by uploading to the system both a data file and an attached image file copy of the form. The purpose of the re-notification requirement is to ensure each state has an accurate capture of the SQG universe within its jurisdiction. You may do this at no cost through myRCRAid after creating a RCRAInfo account. The new rules became effective on May 14, 2022. For electronic manifests, the EPA systemcollects and retains all handler copies from generators, transporters, and receiving facilities. Each Large Quantity Generator (LQG) and Licensed Hazardous Waste Facility in Massachusetts is required to submit an 8700-13 (a)/(b) Hazardous Waste Report (also known as a Biennial Report) to the U.S. Environmental Protection Agency (EPA) every two years. Develop procedures to follow during an unplanned major event. As a Certifier, you are required to obtain an Electronic Signature Agreement. Post-delivery, if the waste is determined to be non-TSCA regulated, the receiving facility should follow the necessary steps to resolve the discrepancy, as required by 40 CFR section 761.215. Generators that utilize hybrid manifest are also given paper copies of completed manifests from receiving facilities. If the status is not resolved by day 45, then the generator must file a written exception report with the regulatory agency. The number of regulated companies is on a downward trend. The streamlined regulations: **Note: Waste generated as part of a household is notregulated as either a hazardous or a universal waste. A comprehensive list of the content available and maintained on the EPA's hazardous waste web site, Form; 8700-13, Form; 8700-23, Form; A. The interim facility must sign and date the manifest and submit it to EPA for data processing. You can find the current e-Manifest User Fees and Payment Information here. Environmental Protection, Hazardous Waste Management, Title 75, Chapter 10, Part 4, Halogenated Solvent User Registration Form, Accumulate < 5,000 kg (11,000 lb) on site at any one time, Accumulate 5,000 kg (11,000) or more on site at any one time, Required/Must notify MT DEQ of activities, Not required, but must keep basic shipping records, Basic training geared toward employee responsibilities. In general, Very Small Quantity Generator (VSQG)/Conditionally Exempt Small Quantity Generator (CESQG) waste are exempt federally from the RCRA manifest, provided the regulatory conditions for the exemptions are met. For more information, please see our GUIDE TO MONTANA HAZARDOUS WASTE TRANSPORTER RULES. However, even after states are authorized for e-Manifest, EPA retains its primary responsibilities to operate and maintain the e-Manifest system, and to implement the user fee program and collect the user fees from the regulated community. Your insurance companymay ask you to prove that you have a valid ID before issuing or renewing your property and/or casualty policy. The Act provides that all requirements issued under the authority of the e-Manifest Act shall go into effect federally on the effective date of the federal regulations. Anyone who sells, buys, or uses more than 20 gallons of halogenated solvent in any year must register with the Montana Department of Environmental Quality. If you have not paid your invoice and are due an adjustment, you will receive an updated invoice. Contact the receiving facility to report the misdirected manifest error; Direct the receiving facility to EPAs webpage, ". Your company is required to file the 2022 Verification Questionnaire if it meets any of the following conditions: Your companys hazardous waste EPA ID number was active any time during the 2021/2022 fiscal year from July 1, 2021 June 30, 2022.; Your company shipped hazardous waste using an assigned hazardous waste EPA ID Thus, states that need more time to make these changes can take additional time to adopt e-Manifest requirements, and the program will still be implemented in the state by EPA. The legibility of manifest forms is important. Generators must complete Block 13 Waste Codes. An EPA notification form is found here: Keep a logbook to ensure compliance with applicable requirements. E-waste includes a wide variety of items such as: cell phones, computers, keyboards, and printers. The term commercial for-hire transporter refers to a transporter who conducts transportation activity on a commercial basis, as opposed to a transporter that is the same business entity as the generator. are subject to public hearing requirements of 75-10-441, MCA at the site proposal stage and annual reporting requirements ARM 17.53.708. Maintain records of waste determinations, manifests, and exception reports. RCRA Hazardous Waste Permit Applications -. A generator of a solid waste, as defined in 261.2, must make a determination as to whether that waste is a hazardous waste. As a result of this change, Illinois EPA is able to provide more appropriately targeted information to regulated entities. The rules for manifesting special waste can be found under Part 809.501, as well as 22.8 of the Environmental Protection Act. If a VSQG generates more than 2.2 pounds of acute hazardous waste in any month or accumulates more than 2.2 pounds of acute hazardous waste at any time, all hazardous waste on site becomes subject to regulation as if generated by a large quantity generator. The vape shop must use a hazardous waste transporter and hazardous waste manifest and send the non-creditable hazardous waste pharmaceuticals to a hazardous waste treatment, storage, and The log must provide the following information: the hazardous waste generated per month by date, the quantity and EPA waste code(s) associated with each waste, and which hazardous wastes have been disposed and where. The final copy from the receiving facility is an electronic manifest signed electronically, and is not an image file that displays the hand signatures of all the waste handlers. Generators and TSDF's should be aware that Block 11 Total Quantity ONLY applies to the quantity of hazardous waste, and should never include the waste container or packaging. These paper manifests accompany the waste shipments, be signed by hand by waste handlers with changes in custody of the waste shipment, and then be submitted to the system by the receiving facility within 30 days of receipt. You'll need to navigate through this site to find the sections you are interested in. Non-hazardous waste facilities that need an EPA ID Number for e-Manifest compliance must complete certain portions of the RCRA Site ID Form (Form 8700-12) to obtain an EPA ID Number. EPA will not publicly disclose through the e-Manifest system certain information from manifests involving P-List and U-List RCRA wastes if they are included on the Department of Homeland Security (DHS)s Chemicals of Interest list found at the appendix to 6 CFR part 27. No. Please see DEQs Very Small Quantity Generator Fact Sheet. Passwords expire every 90 days and can be reset using the forgot password link. A uniform hazardous waste manifest (EPA Form 8700-22) is used to track hazardous waste. Small and large quantity generators, and hazardous waste treatment, storage and disposal facilities must use a licensed hazardous waste transporter to move waste from To make a payment, you can initiate a transfer between agencies, which can be done through the Intra-Governmental Payment and Collection (IPAC) system. As a result of this change, Illinois EPA is able to provide more appropriately targeted information to regulated entities. EPA tracks the movement of hazardous waste generated and managed within the United States from "cradle to grave" - from when it leaves the place of generation until it gets to the place where it is managed. DOT HMR requires companies to retain a copy of the shipping paper (manifest), or an electronic image. The Hazardous Waste Program will answer your questions and help with implementing these new regulations. MassDEP will generally issue your EPA ID within seven (7) business days if the information you submit is complete and accurate. If a user wishes to continue to use the obsolete 6-copy forms, they should undertake measures to minimize confusion. No. Standards for placing waste on the land and associated requirements for certifications, notifications, and waste analysis plans. Therefore, we encourage states to adopt the changes included in the One Year Rule and the User Fee Rule at their earliest convenience, so that the states may share in the innovations and efficiencies. States canobtain their receiving facility data from the e-Manifest system rather than from the facilities. Electronic manifests, however, are not limited by the physical space constraints that limit paper form users to entering at most six codes. Generators that do not establish accounts for viewing their manifests should make arrangements with their receiving facilities to supply the generators with paper copies of completed manifests. JavaScript appears to be disabled on this computer. DEP Form 8700-12FL Notification of Regulated Waste Activity On June 30, 2018, the EPA established an electronic national e-manifest system to track hazardous waste shipments. The remaining copies of the manifest are then forwarded to the next non-rail transporter or to the designated facility for further manifest tracking after the waste shipment leaves the rail system. The answers you enter are case, space, and character sensitive within the system. HAZARDOUS WASTE MANAGEMENT BY P.MD.RAFI MTECH- SVU 2. SQGs produce between 220 pounds and 2,200 pounds of non-acute hazardous waste in any calendar month. No. $1,000 per day for generating and accumulating hazardous waste or waste oil without a valid ID (a "temporary" ID is not acceptable). Maintain copies of annual reports, manifests, and waste analysis on-site for three years. In 2006, Management Method Codes were added to the federal manifest form. Click on the word here within the Alert message (It is a blue link). The regulations pertaining to the proper management of hazardous waste are found in Title 35 Ill. Adm. Code, Parts 700-739. Yes. The sunset date for mailing the manifest form to the e-Manifest system is June 30, 2021. Listed hazardous waste appear on one of four (4) lists, "F," "K," "P," or "U." No, the current paper manifest system does not allow for decimals. A formal hearing and public comment period on the draft rules were held in February 2022. These standards will depend on how much hazardous waste you generate in a calendar month as indicated below: In 2016, U.S. EPA adopted the Hazardous Waste Generator Improvements Rule, which includes a requirement for all Small Quantity Generators (SQGs) of hazardous waste to re-notify U.S. EPA of their hazardous waste activities every four years. Highlight and copy this code. Thus, the data corrections process is an open process, conducted electronically among the interested waste handlers and state regulators connected with a manifest. 2. properly track hazardous waste shipments. Please call 303.739.7372 for additional information. However, if form 870022A fits the needs of the user community, the form is permissible.. Learn about Massachusetts hazardous waste generation, accumulation, labeling and manifest requirements, how to obtain a hazardous waste generator ID number, and annual compliance fees that apply to companies generating 220 pounds or more of hazardous waste per month. WebBuying Manifest Forms. EPA launched a new electronic manifesting system (e-Manifest) on June 30, 2018, see NYSDEC's e-Manifest webpage for more information. This authority is seldom used however, because the more common practice in such cases is to instead promptly issue provisional or emergency ID numbers for these sites and events, rather than waivers. Instead, the state should: Beginning June 30, 2021, receiving facilities have two options for submitting paper manifest to the e-Manifest system; as a scanned image upload, or data plus image upload. This is also a requirement for RCRA inspectors. This includes oil from other electrical equipment whose PCB concentration is unknown, except for circuit breakers, reclosers and cable. Uniform Hazardous Waste Manifest. If you (or your receiving facility) submitted the paper manifest via scanned image upload, its possible your manifest has not yet been entered into the e-Manifest system by the EPA Paper Processing Center. EPA finalized a rule in 2019 creating new management standards for hazardous waste pharmaceuticals. Top-requested sites to log in to services provided by the state. DEQs Hazardous Waste Program has finalized adoption of recent federal hazardous waste regulations and an increase in hazardous waste fees into the Administrative Rules of Montana (ARM). Transit-only states, that is, states through which waste is transported en route to a designated facility in another state, are not covered by this provision, so their tracking requirements would not trigger any responsibility for the designated facility to respond to a transit states manifest requirement. Wastes generated and/or destined for Illinois must be accompanied by the Uniform Hazardous Waste Manifest. Both generators and facilities have certain requirements to report their waste activity. WebThe Uniform Hazardous Waste Manifest is available in a traditional paper form or, as of June 30, 2018, an electronic form known as the EPA e-Manifest system.. See Uniform Hazardous Waste Manifest and EPA's e-Manifest System for more detailed information including e-Manifest fact sheets and a RCRA Industry User Registration Guide. Over-the-counter nicotine replacement therapies are exempted from the P075 hazardous waste listing of nicotine, meaning gums, patches, and lozenges will no longer need to be handled as hazardous pharmaceutical waste. See the FAQ in Additional Resources below to learn more. WebThe latest Lifestyle | Daily Life news, tips, opinion and advice from The Sydney Morning Herald covering life and relationships, beauty, fashion, health & wellbeing Hazardous Waste Remediation Projects page. Amount of hazardous waste generators are allowed to "accumulate" on site under each category. These facilities are subject to e-Manifest if the shipment to and from such facilities requires a RCRA manifest under either federal or state law. For NYSDEC Hazardous Waste Manifest information visit their hazardous waste manifest system webpage and their training webpage. A uniform hazardous waste manifest (EPA Form 8700-22) is used to track hazardous waste. No. At least one Site Manager who is responsible for managing personnel. In addition, this account is where generators receive any notices related to later data corrections made by interested waste handlers or regulators, and where they may themselves submit certified corrections of data to the system. These data are used for outreach, compliance assistance, and oversight activities. Your hazardous waste generator status determines how much waste you may accumulate at your site at one time, and how quickly you need to ship it off-site for recycling or disposal. Therefore, handlers using e-Manifest will still need to comply with that requirement (e.g., print the manifest from the e-Manifest system). Keep records of waste analysis for three years. Please turn on JavaScript and try again. A link to a list of these approved printers can be found in the right-hand column of this page under "Links Leaving DEC's Website."
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