83_FR_11706 83 FR 11654 - Increasing Recycling: Adding Aerosol Cans to the Universal Waste Regulations

83 FR 11654 - Increasing Recycling: Adding Aerosol Cans to the Universal Waste Regulations

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 83, Issue 52 (March 16, 2018)

Page Range11654-11667
FR Document2018-05282

The Environmental Protection Agency (EPA or the Agency) is proposing to add hazardous waste aerosol cans to the universal waste program under the federal Resource Conservation and Recovery Act (RCRA) regulations. This proposed change, once finalized, would benefit the wide variety of establishments generating and managing hazardous waste aerosol cans, including the retail sector, by providing a clear, protective system for managing discarded aerosol cans. The streamlined universal waste regulations are expected to ease regulatory burdens on retail stores and others that discard hazardous waste aerosol cans; promote the collection and recycling of these cans; and encourage the development of municipal and commercial programs to reduce the quantity of these wastes going to municipal solid waste landfills or combustors.

Federal Register, Volume 83 Issue 52 (Friday, March 16, 2018)
[Federal Register Volume 83, Number 52 (Friday, March 16, 2018)]
[Proposed Rules]
[Pages 11654-11667]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-05282]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Parts 260, 261, 264, 265, 268, 270, and 273

[EPA-HQ-OLEM-2017-0463; FRL-9975-44-OLEM]
RIN 2050-AG92


Increasing Recycling: Adding Aerosol Cans to the Universal Waste 
Regulations

AGENCY: Environmental Protection Agency (EPA).

ACTION: Proposed rule.

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SUMMARY: The Environmental Protection Agency (EPA or the Agency) is 
proposing to add hazardous waste aerosol cans to the universal waste 
program under the federal Resource Conservation and Recovery Act (RCRA) 
regulations. This proposed change, once finalized, would benefit the 
wide variety of establishments generating and managing hazardous waste 
aerosol cans, including the retail sector, by providing a clear, 
protective system for managing discarded aerosol cans. The streamlined 
universal waste regulations are expected to ease regulatory burdens on 
retail stores and others that discard hazardous waste aerosol cans; 
promote the collection and recycling of these cans; and encourage the 
development of municipal and commercial programs to reduce the quantity 
of these wastes going to municipal solid waste landfills or combustors.

DATES: Comments must be received on or before May 15, 2018. Under the 
Paperwork Reduction Act (PRA), comments on the information collection 
provisions are best assured of consideration if the Office of 
Management and Budget (OMB) receives a copy of your comments on or 
before April 16, 2018.

ADDRESSES: Submit your comments, identified by Docket ID No. EPA-HQ-

[[Page 11655]]

OLEM-2017-0463, at https://www.regulations.gov. Follow the online 
instructions for submitting comments. Once submitted, comments cannot 
be edited or removed from Regulations.gov. The EPA may publish any 
comment received to its public docket. Do not submit electronically any 
information you consider to be Confidential Business Information (CBI) 
or other information whose disclosure is restricted by statute. 
Multimedia submissions (audio, video, etc.) must be accompanied by a 
written comment. The written comment is considered the official comment 
and should include discussion of all points you wish to make. The EPA 
will generally not consider comments or comment contents located 
outside of the primary submission (i.e., on the web, cloud, or other 
file sharing system). For additional submission methods, the full EPA 
public comment policy, information about CBI or multimedia submissions, 
and general guidance on making effective comments, please visit https://www2.epa.gov/dockets/commenting-epa-dockets.

FOR FURTHER INFORMATION CONTACT: Tracy Atagi, Office of Land and 
Emergency Management (5304P), Environmental Protection Agency, 1200 
Pennsylvania Avenue NW, Washington, DC 20460; telephone number: 703-
308-8672; email address: [email protected], or Tiffany Kollar, Office 
of Land and Emergency Management (5304P), Environmental Protection 
Agency, 1200 Pennsylvania Avenue NW, Washington, DC 20460; telephone 
number: 703-308-8675; email address: [email protected].

SUPPLEMENTARY INFORMATION: 

I. General Information

A. Does this action apply to me?

    This proposed rulemaking would affect persons who generate, 
transport, treat, recycle, or dispose of hazardous waste aerosol cans, 
herein referred to as aerosol cans, unless those persons are households 
or very small quantity generators (VSQGs). Entities potentially 
affected by this action include over 18,000 industrial facilities in 18 
different industries (at the 2-digit North American Industry 
Classification System (NAICS) code level). Most of these industries 
have relatively few entities that are potentially affected. The two top 
economic sectors (at the 2-digit NAICS code level) with the largest 
percentage of potentially affected entities are the retail trade 
industry (NAICS code 44-45), representing 65% of the affected Large 
Quantity Generator universe, and Manufacturing (NAICS code 31-33), 
representing 20% of the affected Large Quantity Generator universe. 
Potentially affected categories and entities include, but are not 
necessarily limited to:

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                                                                              Total affected
         2 Digit NAICS code                 Primary NAICS description         large quantity     Generated tons
                                                                                generators
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44-45...............................  Retail Trade........................              4,225              395.8
31-33...............................  Manufacturing.......................              1,327            6,767.2
48-49...............................  Transportation and Warehousing......                138            1,214.9
62..................................  Health Care and Social Assistance...                179               29.5
92..................................  Public Administration...............                116              186.8
61..................................  Educational Services................                126               18.0
54..................................  Professional, Scientific, and                        81               63.6
                                       Technical Services.
56..................................  Administrative and Support and Waste                112            2,655.2
                                       Management and Remediation Services.
42..................................  Wholesale Trade.....................                 73              130.0
22..................................  Utilities...........................                 32                6.8
81..................................  Other Services (except Public                        65                4.2
                                       Administration).
21..................................  Mining, Quarrying, and Oil and Gas                   28               10.3
                                       Extraction.
23..................................  Construction........................                  4               24.1
71..................................  Arts, Entertainment, and Recreation.                  3                3.2
55..................................  Management of Companies and                           6                0.6
                                       Enterprises.
53..................................  Real Estate and Rental and Leasing..                  3                0.6
51..................................  Information.........................                  1                0.5
11..................................  Agriculture, Forestry, Fishing and                    1                0.0
                                       Hunting.
                                                                           -------------------------------------
    Total...........................  ....................................              6,520           11,511.3
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    This table is not intended to be exhaustive, but rather provides a 
guide for readers regarding entities likely to be regulated by this 
action. This table lists the types of entities that EPA is now aware 
could potentially be regulated by this action. Other entities not 
listed in the table could also be regulated. To determine whether your 
entity is regulated by this action, you should carefully examine the 
applicability criteria found in Section IV of this action. If you have 
questions regarding the applicability of this action to a particular 
entity, consult the person listed in the FOR FURTHER INFORMATION 
CONTACT section.

B. What action is the agency taking?

    The Environmental Protection Agency (EPA) is proposing to add 
hazardous waste aerosol cans to the list of universal wastes regulated 
under the Resource Conservation and Recovery Act (RCRA) regulations. 
This proposed change, once finalized, would benefit the wide variety of 
establishments generating and managing aerosol cans, including the 
retail sector, by providing a clear, practical system for handling 
discarded aerosol cans.

C. What is the agency's authority for taking this action?

    These regulations are proposed under the authority of sections 
2002(a), 3001, 3002, 3004, and 3006 of the Solid Waste Disposal Act, as 
amended by the Resource Conservation and Recovery Act (RCRA), and as 
amended by the Hazardous and Solid Waste Amendments (HSWA), 42 U.S.C. 
6921(a), 6921, 6922, 6924, and 6926.

D. What are the incremental costs and benefits of this action?

    This proposed action, if finalized as proposed, is expected to 
result in an annual cost savings of $3.0 million to $63.3 million. 
Information on the estimated future economic impacts of this action is 
presented in Section VII of this notice, as well as in the Regulatory 
Impact Analysis (RIA) available in the docket for this proposed action. 
Note

[[Page 11656]]

that the expected cost savings is based on the assumption that all 
eligible states would adopt regulatory changes, once they are 
finalized. EPA requests comment on this assumption.
    In addition to cost savings, EPA's analysis shows qualitative 
benefits to adding aerosol cans to the universal waste program, 
including improved implementation of and compliance with the hazardous 
waste program and increased recovery and recycling of aerosol cans.

II. Background

A. Description of Aerosol Cans

    Aerosol cans are widely used for dispensing a broad range of 
products including paints, solvents, pesticides, food and personal care 
products, and many others. The Consumer Specialty Products Association 
(CSPA) estimates that 3.82 billion aerosol cans were filled in the 
United States in 2015 for use by commercial and industrial facilities 
as well as by households.\1\
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    \1\ Consumer Specialty Product Association, What's New, Industry 
Updates and Association Highlights, June 2016. https://www.cspa.org/aerosol-products-industry-growing-steadily-survey-reveals-north-american-production-reaches-historic-high/, retrieved November 8, 
2017.
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    A typical aerosol can consists of several components, including 
(but not limited to): (1) The can or container storing both propellant 
and the product; (2) an actuator or button at the top of the can that 
is pressed to deliver the product; (3) a valve which controls delivery 
or flow of the product; (4) the propellant (a compressed gas or 
liquefied gas), which provides the pressure in the container to expel 
or release the product when the actuator is pressed to open the valve; 
(5) the product itself; and (6) a dip tube which is connected to the 
valve to bring the product up through the can to be released when the 
actuator is pressed.\2\
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    \2\ National Aerosol Association, History of the Aerosol, http://www.nationalaerosol.com/history-of-the-aerosol/, retrieved December 
11, 2017.
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    The can itself is typically a small steel or aluminum container, 
designed to be hand-held, which is sealed with its contents under 
pressure. The can's design is intended to prevent unwanted releases of 
the contents to the environment under normal handling and storage 
conditions. However, when aerosol cans are mismanaged, particularly 
when exposed to excessive heat, the resulting increase in internal 
pressure can reach a point beyond the design strength of the can, 
thereby causing it to burst and release its contents. At the point of 
bursting, the contents of the can have been heated to a temperature and 
pressure far above ambient environmental conditions, causing the 
contents to rapidly vaporize and be forcefully released. One or more of 
the following may occur when a can bursts as a result of over-heating: 
(1) If the propellant or product are ignitable, the contents of the can 
may readily catch fire as they are released and exposed to atmospheric 
oxygen, creating a rapidly burning vapor ``fireball''; (2) the bottom 
of the can may detach as a result of a manufacturing defect or an 
external force, causing the upper part of the can to become a 
projectile; or (3) the can may fragment as it bursts, releasing metal 
shards.
    Aerosol cans frequently contain flammable propellants such as 
propane or butane which can cause the aerosol can to demonstrate the 
hazardous characteristic for ignitability (40 CFR 261.21).\3\ In 
addition, the aerosol can may also be a hazardous waste for other 
reasons when discarded. More specifically, an aerosol can may contain 
materials that exhibit hazardous characteristics per 40 CFR part 261 
subpart C. Similarly, a discarded aerosol can may also be a P or U-
listed hazardous waste if it contains a commercial chemical product 
found at 40 CFR 261.33(e) or (f).
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    \3\ University of Vermont, Paint and Aerosol Safety, http://www.uvm.edu/safety/art/paint-aerosol-safety, retrieved December 11, 
2017.
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B. Current Federal Regulation of Aerosol Cans

1. Regulation of Aerosol Cans Under the Resource Conservation and 
Recovery Act (RCRA)
    Any person who generates a solid waste, as defined in 40 CFR 261.2, 
must determine whether the solid waste qualifies as hazardous waste. 
The waste may be hazardous either because it is listed as a hazardous 
waste in subpart D of 40 CFR part 261 or because it exhibits one or 
more of the characteristics of hazardous waste, as provided in subpart 
C of 40 CFR part 261. As discussed above, aerosol cans are frequently 
hazardous due to the ignitability characteristic, and in some cases may 
also contain listed or exhibit other hazardous waste 
characteristics.\4\
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    \4\ Aerosol cans that have not been discarded are not solid or 
hazardous wastes.
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    Many, but not all, generators of aerosol cans identified or listed 
as a hazardous waste are subject to the full RCRA subtitle C hazardous 
waste management requirements, including all applicable requirements of 
40 CFR parts 260 through 268. Depending on their activities, some 
generators have only to meet the requirements of part 262, including 
on-site management, pre-transport, and manifesting. Under 40 CFR 
262.14, very small quantity generators (VSQGs), defined as facilities 
that generate less than or equal to 100 kilograms of hazardous waste in 
a calendar month, are not subject to the RCRA subtitle C hazardous 
waste management standards, provided they send their waste to a 
municipal solid waste landfill or non-municipal nonhazardous waste 
facility approved by the state for the management of VSQG wastes and 
meet other conditions. In addition, households that generate waste 
aerosol cans are exempt from the federal hazardous waste management 
requirements under the household hazardous waste exemption in 40 CFR 
261.4(b)(1).\5\
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    \5\ Under 40 CFR 261.4(b)(1), ``household waste'' means any 
material (including garbage, trash and sanitary wastes in septic 
tanks) derived from households (including single and multiple 
residences, hotels and motels, bunkhouses, ranger stations, crew 
quarters, campgrounds, picnic grounds and day-use recreation areas).
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    Facilities that treat, store, and/or dispose of hazardous waste 
aerosol cans are subject to the requirements of 40 CFR part 264 (for 
permitted facilities), or the requirements of 40 CFR part 265 (for 
interim status facilities). However, when hazardous waste aerosol cans 
are recycled, the recycling process itself is not subject to 
regulation, except as indicated in 40 CFR 261.6(d). EPA has interpreted 
the current hazardous waste regulations to mean that puncturing and 
draining an aerosol can, if performed for the purpose of recycling 
(e.g., for scrap metal recycling), is considered part of the recycling 
process and is exempt from RCRA permitting requirements under 40 CFR 
261.6(c).\6\ However, facilities receiving hazardous waste aerosol cans 
from off-site would require a RCRA permit for storage prior to the 
recycling activity, and the recycling process would be subject to 
subparts AA and BB of 40 CFR part 264, 265, or 267.
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    \6\ EPA first explained this interpretation in 1993. See U.S. 
EPA 1993 Regulatory Status of Used Residential And Commercial/
Industrial Aerosol Cans, Memo from Jeff Denit, Acting Director, 
Office of Solid Waste to John DiFazio, Chemical Specialties 
Manufacturers Association, October 7, 1993. RO #11780.
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2. Regulation Under the Federal Insecticide, Fungicide, and Rodenticide 
Act (FIFRA)
    Hazardous waste aerosol cans that contain pesticides are also 
subject to the requirements of Federal Insecticide, Fungicide, and 
Rodenticide Act (FIFRA), including compliance with the instructions on 
the label. In general, the statement on aerosol pesticide product FIFRA 
labels prohibits the puncturing of the cans. However, in April 2004, 
EPA

[[Page 11657]]

issued a determination \7\ that puncturing aerosol pesticide containers 
is consistent with the purposes of FIFRA and is therefore lawful 
pursuant to FIFRA section 2(ee)(6) provided that the following 
conditions are met:
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    \7\ 2004 U.S. EPA Puncturing of Aerosol Pesticide Products Under 
FIFRA for the Purpose of Recycling, Letter from Lois Rossi and 
William Diamond, Office of Pollution Prevention and Toxic 
Substances, U.S. EPA, to John A. Wildie, Randolph Air Force Base, 
April 30, 2004, available in the docket for this rule.
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     The puncturing of the container is performed by a person 
who, as a general part of his or her profession, performs recycling 
and/or disposal activities;
     The puncturing is conducted using a device specifically 
designed to safely puncture aerosol cans and effectively contain the 
residual contents and any emissions thereof; and
     The puncturing, waste collection, and disposal, are 
conducted in compliance with all applicable federal, state and local 
waste (solid and hazardous waste) and occupational safety and health 
laws and regulations.
    EPA anticipates that this 2004 FIFRA determination would not be 
affected by the proposed addition of hazardous waste aerosol cans to 
the universal waste rules.

C. Retail Strategy and Aerosol Cans

    The retail sector as a whole handles a very large number of diverse 
products, which change over time and may, in many instances, become 
regulated as hazardous waste under RCRA when discarded. As a result, 
retailers are required to make hazardous waste determinations for a 
variety of products being discarded at stores located across the 
country.
    In 2014, EPA published a Notice of Data Availability (NODA) for the 
Retail Sector as part of the Agency's continuing efforts to better 
understand concerns from all stakeholders regarding RCRA's 
applicability to the retail sector, as well as to obtain information 
and feedback on issues affecting the retail sector. (79 FR 8926, 
February 14, 2014) In the NODA, EPA requested comment on a series of 
topics related to retail operations, waste management practices and 
management of materials that may become hazardous waste when discarded. 
This specifically included requests for information regarding aerosol 
cans (e.g., quantity generated, classification and management options, 
including handling as universal waste), since aerosol cans comprise a 
large percentage of the retail sector's hazardous waste stream. 
Approximately 35% of NODA commenters specifically suggested that 
discarded aerosol cans be managed as universal waste.
    In response to comments on the Retail Sector NODA, the Agency 
published the Strategy for Addressing the Retail Sector under RCRA's 
Regulatory Framework, which lays out a cohesive plan to address the 
unique challenges faced by the retail sector in complying with RCRA 
regulations while reducing burden and protecting human health and the 
environment.\8\ One of the action items under the Retail Strategy is to 
explore adding hazardous waste aerosol cans to the universal waste 
rule.
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    \8\ EPA 2016. Strategy for Addressing the Retail Sector under 
RCRA's Regulatory Framework. September 12, 2016. https://www.epa.gov/hwgenerators/strategy-addressing-retail-sector-under-resource-conservation-and-recovery-acts, retrieved on January 24, 
2018.
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D. Universal Waste Rule

    In 1995, EPA promulgated the universal waste rule (60 FR 25492, May 
11, 1995) to establish a streamlined hazardous waste management system 
for widely generated hazardous wastes as a way to encourage 
environmentally sound collection and proper management of the wastes 
within the system. Hazardous waste batteries, certain hazardous waste 
pesticides, mercury-containing equipment, and hazardous waste lamps are 
already included on the federal list of universal wastes. The universal 
waste regulations in 40 CFR part 273 are a set of alternative hazardous 
waste management standards that operate in lieu of regulation under 40 
CFR parts 260 through 272 for specified hazardous wastes.
    Handlers and transporters who generate or manage items designated 
as a universal waste are subject to the management standards under 40 
CFR part 273, rather than the full RCRA subtitle C regulations. 
Handlers include both facilities that generate universal waste and 
facilities that receive universal waste from other universal waste 
handlers, accumulate the universal waste and then send the universal 
waste to another handler, a destination facility or a foreign 
destination. Handlers do not include facilities that treat, dispose of, 
or recycle universal waste except as provided in the universal waste 
regulations. The regulations distinguish between ``large quantity 
handlers of universal waste'' (those who handle more than 5,000 
kilograms of total universal waste at one time) and ``small quantity 
handlers of universal waste'' (those who handle 5,000 kilograms or less 
of universal waste at one time). The 5,000-kilogram accumulation 
criterion applies to the quantity of all universal wastes accumulated. 
The streamlined standards include requirements for storage, labeling 
and marking, preparing the waste for shipment off site, employee 
training, response to releases, and, in the case of large quantity 
handlers, notification and tracking of universal waste shipments. 
Transporters of universal waste are also subject to less stringent 
requirements than the full subtitle C hazardous waste transportation 
regulations. The primary difference between the universal waste 
transporter requirements and the subtitle C transportation requirements 
is that no manifest is required for transport of universal waste.
    Under the universal waste rule, destination facilities are those 
facilities that treat, store, dispose, or recycle universal wastes. 
Universal waste destination facilities are subject to all currently 
applicable requirements for hazardous waste treatment, storage, and 
disposal facilities (TSDFs) and must receive a RCRA permit for such 
activities. Destination facilities that recycle universal waste and 
that do not store that universal waste prior to recycling in accordance 
with 40 CFR 261.6(c)(2) may be exempt from permitting under the federal 
regulations (see 40 CFR 273.60(b)). Finally, some states are authorized 
to add wastes that are not federal universal wastes to their lists of 
universal wastes. Therefore, in some states, aerosol cans are already 
regulated as a universal waste.

E. State Universal Waste Programs That Include Aerosol Cans

    Four states, California, Colorado, Utah and New Mexico, already 
have universal waste aerosol can programs in place, and two more 
states, Ohio and Minnesota, have proposed to add aerosol cans to their 
universal waste regulations.\9\ The universal waste programs in all 
these states include streamlined management standards similar to 40 CFR 
part 273 for small and large quantity handlers of universal waste, and 
a one-year accumulation time limit for the aerosol cans. In addition, 
the four current state universal waste programs, as well as Ohio's 
proposed regulations, set standards for puncturing and draining of 
aerosol cans by universal waste handlers.
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    \9\ EPA 2017. Summary of State Programs Addressing Aerosol Cans 
Under RCRA Hazardous Waste Regulations or Under State Universal 
Waste Programs.
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    The aerosol can universal waste programs of California, Colorado, 
Utah and New Mexico, as well as Ohio's proposed aerosol can universal 
waste program, allow for puncturing and draining of aerosol cans by 
universal

[[Page 11658]]

waste handlers, as long as specific management standards and waste 
characterization requirements are met. In addition, California does not 
allow off-site commercial processors \10\ to puncture and drain aerosol 
cans without a permit, and requires those handlers that do puncture and 
drain cans to submit a notification. Minnesota's proposed rule would 
not allow handlers to puncture and drain their aerosol cans.
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    \10\ According to California's guidance for their regulations, a 
``commercial processor'' is any person that processes aerosol cans 
in exchange for compensation. Some examples include: Individuals 
from another generator's site, registered hazardous waste 
transporters, operators of hazardous waste treatment, storage and/or 
disposal facilities, and operators of transportable treatment units.
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III. Rationale for Proposing Aerosol Cans Be Managed Under the 
Universal Waste Rule

A. Factors for Inclusion in the Universal Waste Rule

    EPA is proposing to add aerosol cans to the universal waste rule, 
because the Agency believes that this waste meets the factors that 
describe hazardous waste that is appropriate for management under the 
streamlined universal waste system. Adding aerosol cans to the 
universal waste rule simplifies handling and disposal of the wastes for 
generators, while ensuring that aerosol cans are sent to the 
appropriate destination facilities, where they will be managed as a 
hazardous waste with all applicable subtitle C requirements. Management 
as universal waste under the proposed requirements is also expected to 
facilitate environmentally sound recycling of the metal used to make 
the cans. The universal waste regulations include eight factors to 
consider in evaluating whether a waste is appropriate for inclusion in 
the universal waste rule. These factors, codified at 40 CFR 273.81, are 
to be used to determine whether regulating a particular hazardous waste 
under the streamlined standards would improve overall management of the 
waste and, therefore, whether the waste is a good candidate for the 
universal waste rule. As the Agency noted in the preamble to the final 
universal waste rule (60 FR 25513), not every factor must be met for a 
waste to be appropriately regulated under the universal waste system. 
However, consideration of all the factors should result in a conclusion 
that regulating a particular hazardous waste under 40 CFR part 273 will 
improve waste management. EPA has examined information on aerosol cans, 
including information submitted in the public comments on the 2014 
Retail NODA,\11\ using the criteria in 40 CFR 273.81. In light of its 
evaluation of this information, the Agency is proposing that on 
balance, these wastes are appropriate for inclusion onto the federal 
list of universal wastes for management under part 273. EPA believes 
that adding aerosol cans to the universal waste rule would make 
collection and transportation of this waste to an appropriate facility 
easier and, therefore, will help facilitate recycling and reduce the 
amount of aerosol cans disposed of in municipal landfills. A summary of 
how the criteria in 40 CFR 273.81 apply to aerosol cans is described 
below. EPA solicits comment on this analysis.
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    \11\ Public comments on the 2014 Retail NODA can be found in 
docket number EPA-HQ-RCRA-2012-0426 on regulations.gov.
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1. The Waste, as Generated by a Wide Variety of Generators, Should Be a 
Listed or Characteristic Hazardous Waste (40 CFR 273.81(a))
    As discussed in Section III, aerosol cans frequently demonstrate 
the hazardous characteristic for ignitability (40 CFR 261.21) due to 
the nature of the propellant used. In addition, the contents 
(propellant or product) may also cause the can to be a hazardous waste 
for other reasons if discarded.
2. The Waste, or Category of Waste, Should Not Be Exclusive to a 
Particular Industry or Group of Industries, But Generated by a Wide 
Variety of Establishments (40 CFR 273.81(b))
    EPA has documented in the Regulatory Impact Analysis (RIA) 
developed for this proposal, that large and small quantity generators 
that manage hazardous waste aerosol cans can be found in 18 different 
industries (at the 2-digit North American Industry Classification 
System (NAICS) code level). Thus, aerosol cans are commonly generated 
by a wide variety of types of establishments, including households, 
retail and commercial businesses, office complexes, very small quantity 
generators, small businesses, government organizations, as well as 
large industrial facilities.
3. The Waste Should Be Generated by a Large Number of Generators and 
Frequently Generated in Relatively Small Quantities (40 CFR 273.81(c))
    As documented in the RIA, more than 18,000 large and small quantity 
generators manage hazardous waste aerosol cans. Quantities generated 
vary depending on the type of generator and the situations associated 
with generation. For example, a retail store may determine that large 
quantities of aerosol cans, which can no longer be sold or donated, 
must be discarded as hazardous waste. On the other hand, entities that 
use aerosol cans in their day-to-day operations may generate small 
quantities of partially-used hazardous waste aerosol cans on a sporadic 
basis. Data from the RIA demonstrate that in 2015, large quantity 
generators that generated hazardous waste aerosol cans generated an 
average of 1.8 tons per year (approximately 4,100 cans), while small 
quantity generators generated an average of 0.5 tons per year 
(approximately 1,100 cans). The median amounts are 0.12 tons 
(approximately 274 cans) and 0.04 tons (approximately 85 cans) for 
large quantity generators and small quantity generators respectively, 
per year.
4. Systems To Be Used for Collecting the Waste (Including Packaging, 
Marking, and Labeling Practices) Should Ensure Close Stewardship of the 
Waste (40 CFR 273.81(d))
    The baseline universal waste requirements of notification, 
labeling, training, response to releases found in 40 CFR part 273 
subparts B and C and the proposed specific requirements for management 
of aerosol cans in 40 CFR 273.13 and 40 CFR 273.33 as discussed Section 
IV below are designed to ensure close stewardship of the hazardous 
waste aerosol cans.
5. Risks Posed by the Waste During Accumulation and Transport Should Be 
Relatively Low Compared to the Risks Posed by Other Hazardous Waste, 
and Specific Management Standards Would Be Protective of Human Health 
and the Environment During Accumulation and Transport (40 CFR 
273.81(e))
    Aerosol cans are designed to contain the products they hold during 
the periods of storage and transportation as they move from the 
manufacturer, to the retailer, and ultimately to the final customer. As 
long as they remain intact, therefore, EPA expects that hazardous waste 
aerosol cans would present a lower risk as compared to other types of 
hazardous waste that are not contained as-generated under normal 
management conditions. In addition, the ignitability risk posed during 
accumulation and transport is addressed by standards set by the 
Department of Transportation, Office of Safety and Health 
Administration, and local fire codes.\12\

[[Page 11659]]

These standards include requirements for outer packaging and can 
design, including limits on the amount of flammable gas and general 
pressure conditions.
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    \12\ For example, DOT--49 CFR 173.306 for Shipping of Limited 
Quantities, Aerosol Cans and 49 CFR 173.115 for Flammable Gas, 
OSHA--29 CFR 1910.106(d)(6), Flammable Liquids, 2015 NFPA--Chapter 
30, Flammable and Combustible Liquids Code, and Chapter 30B, Code 
for the Manufacture and Storage of Aerosol Products.
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    Finally, as discussed below, the proposed management standards for 
aerosol cans that are punctured and drained at the handler would 
address the ignitability risk, and help prevent releases, and thus EPA 
believes that the risks posed by the activities proposed are addressed 
by the universal waste designation.
6. Regulation of the Waste Under 40 CFR Part 273 Will Increase the 
Likelihood That the Waste Will Be Diverted From Non-Hazardous Waste 
Management Systems (e.g., the Municipal Solid Waste Stream) to 
Recycling, Treatment, or Disposal in Compliance With Subtitle C of RCRA 
(40 CFR 273.81(f))
    Managing hazardous waste aerosol cans under the universal waste 
program is expected to increase the number of these items collected, 
and to increase the number of aerosol cans being diverted from the non-
hazardous waste stream into the hazardous waste stream because it would 
allow generators, especially those that generate this waste 
sporadically, to send it to a central consolidation point. Under the 
universal waste rule, a handler of universal waste can send the 
universal waste to another handler, where it can be consolidated into a 
larger shipment for transport to a destination facility. Therefore, 
under the proposed rule it would be more economical to send hazardous 
waste aerosol cans to recycling for recovery of metal values. EPA thus 
expects such management to not only advance the RCRA goal of increased 
resource conservation, but also to increase proper disposal as 
hazardous waste, making it less likely that it will be sent for 
improper disposal in municipal landfills or municipal incinerators. In 
addition, because of the streamlined structure of the universal waste 
rule makes aerosol can collection programs more economical, hazardous 
waste aerosol cans that might otherwise be sent to a municipal landfill 
under a VSQG or household hazardous waste exemption, would be more 
easily collected and consolidated for hazardous waste disposal by those 
who are interested in managing it this way. This waste would be 
diverted from the municipal solid waste stream to universal waste 
management.
7. Regulation of the Waste Under 40 CFR Part 273 Will Improve the 
Implementation and Compliance With the Hazardous Waste Regulatory 
Program (40 CFR 273.81(g))
    The structure and requirements of the universal waste rule are well 
suited to the circumstances of handlers of hazardous waste aerosol cans 
and their participation in the universal waste program will improve 
compliance with the hazardous waste regulations. In particular, 
handlers of hazardous waste aerosol cans who are infrequent generators 
of hazardous waste and who might otherwise be unfamiliar with the more 
complex subtitle C management structure, but who generate hazardous 
waste aerosol cans will be able to more easily send this waste for 
proper management. Therefore, adding aerosol cans to the universal 
waste rule would offer a protective hazardous waste management system 
that is likely to be more accessible, particularly for the retail 
sector, which can pose unique compliance challenges as compared to 
manufacturing and other ``traditional'' RCRA-regulated sectors.\13\
---------------------------------------------------------------------------

    \13\ EPA 2016. Strategy for Addressing the Retail Sector under 
RCRA's Regulatory Framework. September 12, 2016. https://www.epa.gov/hwgenerators/strategy-addressing-retail-sector-under-resource-conservation-and-recovery-acts.
---------------------------------------------------------------------------

8. Additional Factor (40 CFR 273.81(h)): States' Experience Under 
Existing State Universal Waste Programs Indicates That Regulation Under 
40 CFR Part 273 Will Improve Management of Aerosol Cans
    As discussed above, the factors included in 40 CFR 273.81 are 
designed to determine whether regulating a particular hazardous waste 
under the streamlined standards of the universal waste rules would 
improve the overall management of the waste. Because in this case, as 
at least four states have added aerosol cans to their universal waste 
programs, those states' experiences with management of aerosol cans 
under their respective universal waste programs provides a useful 
source of information to inform EPA's judgment on whether to propose 
adding aerosol cans to the national universal waste program.
    Information supplied to EPA from those states' officials indicates 
that their programs improve the implementation of the hazardous waste 
program. Specifically, State waste management officials have 
represented to EPA that these programs have been operating well and 
achieving their objective of facilitating safe management of hazardous 
waste aerosol cans.\14\ In particular, state officials from both 
California and Colorado stated to EPA that their respective aerosol can 
universal waste programs have been in effect since 2002, and they have 
not identified any problems with compliance with the standards. 
Accordingly, this information also weighs in favor of concluding that 
management of aerosol cans under the federal universal waste 
regulations is likely to be successful.
---------------------------------------------------------------------------

    \14\ EPA 2017. Summary of State Programs Addressing Aerosol Cans 
Under RCRA Hazardous Waste Regulations or Under State Universal 
Waste Programs. December 2017.
---------------------------------------------------------------------------

B. Expected Changes in Management of Aerosol Cans

    If EPA's proposal to include aerosol cans in the list of Universal 
Waste is finalized as proposed, EPA expects that the number of aerosol 
cans that are diverted from municipal solid waste landfills and 
incinerators to recycling or disposal in subtitle C facilities would 
increase. Small and large quantity generators are already required to 
manage their hazardous waste aerosol cans under RCRA subtitle C. As a 
result of implementation of this rule in the states, some of these 
generators would likely begin managing their aerosol cans as a 
universal waste, either to save money or to improve implementation of 
their existing waste management program. One of the streamlined 
provisions of the universal waste rule allows consolidation of aerosol 
cans at central locations, which makes it easier for smaller users to 
arrange for hazardous waste recycling or disposal of these materials 
when they are generated. EPA intends to encourage individual households 
and VSQGs to participate in such programs, which would divert aerosol 
cans from the municipal waste stream.
    In summary, EPA believes that management of hazardous waste aerosol 
cans can best be implemented through a universal waste approach where 
handlers are operating within a simple, streamlined management system 
with some limited oversight. The universal waste program addresses the 
environmental concerns surrounding the management of such wastes, while 
at the same time putting into place a structure that will allow for and 
encourage increased collection of aerosol cans for recycling.

IV. Discussion of Proposed Rule

A. Waste Covered by Proposed Rule

    EPA is proposing that an ``aerosol can'' be defined as an intact 
container

[[Page 11660]]

in which gas under pressure is used to aerate and dispense any material 
through a valve in the form of a spray or foam. This definition is the 
same as the definition of aerosol can in the California, Colorado, New 
Mexico and Utah universal waste programs, with the exception of a size 
limit in Utah's definition of aerosol can, as described below. EPA is 
proposing to adopt this definition of aerosol can to keep consistency 
with the existing state programs.
    EPA also intends this definition to be limited to sealed containers 
whose intended use is to dispense a material by means of a propellant 
or compressed gas. Aerosol cans are designed to contain those materials 
until they are intended for release and to present minimal risk during 
normal storage and transport. Other types of containers, including 
compressed gas canisters and propane cylinders, present a greater risk 
than aerosol cans and would not be included.
    Utah's definition of aerosol cans includes a size limitation of 
twenty-four ounces for aerosol cans that would qualify under their 
universal waste provisions. EPA has not, however, included a size 
limitation on universal waste aerosol cans in this proposal because EPA 
believes that aerosol cans that meet the proposed definition in general 
can be safely managed under the universal waste system for the reasons 
explained in Section III above, and has not identified reasons why size 
would affect the considerations described. However, EPA requests 
comment on whether to include a size limit of twenty-four ounces or 
other type of limitations on the types of aerosol cans that would be 
eligible for the federal universal waste rule, including any 
information on how such a limit would be necessary to ensure safe 
management of aerosol cans. EPA requests comment on the appropriate 
scope of the definition of ``aerosol can'' and the types of materials 
that should fall under it.
    Proposed section 273.6 has specific exclusions from the coverage of 
the proposed rules in paragraph 273.6(b). First, the proposed rules at 
273.6(b)(1) and (2) exclude from the definition of ``aerosol can'' 
those cans that are not yet a waste under 40 CFR part 261, and those 
cans that are not hazardous waste, respectively. An aerosol can would 
only be subject to the proposed rule if it is considered a hazardous 
waste under 40 CFR part 261, and before a material can be determined to 
be a hazardous waste, it first must be determined to be a solid waste. 
Accordingly, any aerosol can that is not yet a solid waste (for 
example, because it is not yet discarded) would also not be subject to 
this section. Consistent with prior universal waste rules, the proposed 
rule at 273.6(c) also explains that a used aerosol can becomes a waste 
on the date it is discarded, and an unused aerosol can becomes a waste 
on the date the handler decides to discard it.
    A solid waste may be a hazardous waste either because it is listed 
as a hazardous waste in subpart D of 40 CFR part 261 or because it 
exhibits one or more of the characteristics of hazardous waste, as 
provided in subpart C of 40 CFR part 261. For example, as discussed in 
Section II above, aerosol cans are frequently hazardous due to the 
ignitability characteristic, and in some cases may also contain listed 
hazardous waste or materials exhibiting another hazardous 
characteristic. If a solid waste aerosol can is determined to be non-
hazardous then it is also not subject to the proposed universal waste 
regulations.
    In proposed 273.6(b)(3), EPA specifically excludes aerosol cans 
that have been emptied of their contents (both propellant and product). 
Once the contents of a universal waste aerosol can have been removed, 
the emptied can is considered a new point of generation and is subject 
to a hazardous waste determination per 40 CFR 262.11. An aerosol can 
that meets the definition of empty container in 40 CFR 261.7 is not 
subject to hazardous waste regulation, and may be recycled as scrap 
metal.
    The proposed rules also exclude at 273.4(b)(4), aerosol cans that 
show evidence of leakage, spillage, or damage that could cause leakage 
under reasonably foreseeable conditions. Through this exclusion, EPA 
intends that hazardous waste aerosol cans that are not intact continue 
to be subject to the full hazardous waste standards. The protectiveness 
of the proposed management standards described below relies in part on 
the fact that the aerosol cans to be managed in accordance with those 
rules are not leaking or otherwise damaged where contents or 
propellants could be dispersed out of the can, because such 
uncontrolled release could pose risk to human health and the 
environment, including an increased risk of fire. A leaking or damaged 
hazardous waste aerosol can that presents a risk of the contents or 
propellants being dispersed out of the can would need to be managed as 
RCRA hazardous waste under 40 CFR parts 260 through 272. Therefore, 
this provision includes all discarded, intact, non-empty hazardous 
waste aerosol cans.

B. Proposed Management Requirements for Aerosol Cans

1. Proposed Requirements for Small and Large Quantity Handlers
    Under this proposed rule, the existing universal waste requirements 
currently applicable to small quantity handlers of universal waste 
(SQHUWs) and large quantity handlers of universal waste (LQHUWs) would 
also be applicable to handlers of discarded aerosol cans. For both 
SQHUWs and LQHUWs, these requirements include waste management 
standards, labeling and marking, accumulation time limits, employee 
training, response to releases, requirements related to off-site 
shipments, and export requirements. LQHUWs are subject to additional 
notification and tracking requirements. For the labeling requirement, 
EPA is proposing that either each aerosol can, or a container in which 
the aerosol cans are contained, must be labeled or marked clearly with 
any of the following phrases: ``Universal Waste--Aerosol Can(s),'' 
``Waste Aerosol Can(s)'', or ``Used Aerosol Can(s)''.
    In addition, EPA is proposing that small and large quantity 
universal waste handlers must follow certain specific management 
standards while handling their aerosol cans. Under this proposal, all 
handlers must manage their universal waste aerosol cans in a manner 
designed to prevent releases to the environment. This includes 
accumulating universal waste aerosol cans in containers that are 
structurally sound and compatible with the contents of the can, and 
show no evidence of leaks, spills, or damage that could cause leaks 
under reasonably foreseeable conditions. Handlers may sort aerosol cans 
by type and consolidate intact aerosol cans in larger containers, 
remove actuators to reduce the risk of accidental release, and under 
certain conditions, may puncture and drain aerosol cans that are being 
recycled, as described below.
2. Proposed Requirements and Request for Comment on Puncturing and 
Draining at Small and Large Quantity Handlers
    As discussed in Section II above, under the current hazardous waste 
regulations, puncturing and draining an aerosol can, if performed as 
part of the recycling process (e.g., scrap metal recycling), is exempt 
from RCRA permitting requirements per 40 CFR 261.6(c). Storage of 
hazardous waste aerosol cans prior to recycling still requires a 
permit, unless it is exempt from permitting under another provision.

[[Page 11661]]

    However, EPA expects that puncturing and draining activities at 
universal waste handlers will be different from those currently 
performed by hazardous waste generators. Because handlers may receive 
universal waste from many other handlers, the volume of aerosol cans 
punctured and drained at a commercial universal waste handler is likely 
to be much greater than at a typical hazardous waste generator (which 
can only puncture and drain its own hazardous waste aerosol cans). In 
addition, under the universal waste regulations, handlers can store 
their universal waste up to a year, which could increase the number of 
cans punctured and drained at one time if the facility processes the 
cans in batches.
    Because of the likely differences between recycling of aerosol cans 
at hazardous waste generators versus recycling of aerosol cans at 
universal waste handlers, EPA is proposing specific management 
standards for the puncturing and draining of aerosol cans at universal 
waste handlers, similar to the requirements currently being implemented 
in states that have added aerosol cans to their list of universal 
waste. The aerosol can universal waste programs of California, 
Colorado, Utah and New Mexico, as well as Ohio's proposed aerosol can 
universal waste program, allow for puncturing and draining of aerosol 
cans by universal waste handlers, as long as specific management 
standards and waste characterization requirements are met.
    Similar to the current state requirements, EPA is proposing that 
puncturing and draining activities must be conducted by a commercial 
device specifically designed to safely puncture aerosol cans and 
effectively contain the residual contents and any emissions thereof. 
Puncturing and draining systems for aerosol cans are available from 
multiple commercial vendors. These devices generally consist of an 
enclosed puncturing device that punctures an aerosol can, allowing the 
contents to be drained into an attached container. In many cases, these 
containers are 55-gallon drums with a filter made of carbon or similar 
materials to capture any gases that may escape the 55-gallon drum 
during the puncturing and draining process.
    Manufacturers of aerosol can puncturing and draining devices 
include instructions for their use.\15\ These instructions include 
operating devices in a well ventilated area that is free from sparks 
and ignition sources in order to prevent fires, use of personal 
protective equipment such as safety goggles, and segregating 
incompatible products from being drained into the same container. 
Operators of puncturing and draining devices are also instructed to 
ensure that the container remains closed, does not become overfilled 
and that the container storing the contents of the drained aerosol cans 
is also kept in a well ventilated area free from sparks or ignition 
sources.
---------------------------------------------------------------------------

    \15\ EPA 2017. Compilation of Manufacturer's Guidance on Devices 
for Puncturing and Draining Aerosol Cans, December 2017.
---------------------------------------------------------------------------

    However, the Agency has previously investigated the performance of 
at least one aerosol can puncturing and draining device through EPA's 
Environmental Technology Verification (ETV) program. The ETV review 
demonstrated one type of drum-top puncturing and draining system was 
effective in processing at least 187 cans before breakthrough of 
volatile chemicals occurred, which was significantly less than the 600-
750 cans recommended by some manufacturers. The drum that contained the 
drained liquid from the aerosol cans was also never more than 25% full 
before breakthrough occurring. These findings were contrary to 
manufacturer recommendations of ensuring the container is not filled 
past 70% full in order to avoid breakthrough of volatile chemicals. In 
addition, the ETV program found that halogenated compounds (e.g., 
chlorinated solvents) were found to be incompatible with the seal and 
gasket materials.
    The performance of aerosol can puncturing and draining devices will 
vary by manufacturer and it remains the responsibility of the operator 
to ensure that the puncturing device is properly draining the contents 
of the aerosol cans into the drum, that breakthrough is not occurring, 
and that aerosol cans incompatible with the device are not punctured. 
For example, information is readily available regarding potential 
incompatibilities for aerosol can propellants with puncturing devices 
containing rubber seals or gaskets.\16\
---------------------------------------------------------------------------

    \16\ EPA 2017. Compilation of Manufacturer's Guidance on Devices 
for Puncturing and Draining Aerosol Cans, December 2017. See table 
beginning on page 54.
---------------------------------------------------------------------------

    Therefore, EPA is proposing that handlers must establish a written 
procedure detailing how to safely puncture and drain universal waste 
aerosol can (including operation and maintenance of the unit; 
segregation of incompatible wastes; and proper waste management 
practices to prevent fires or releases), and ensure employees operating 
the device are trained in the proper procedures. At minimum, EPA is 
proposing that the written procedure address the operation and 
maintenance of the unit including its proper assembly; segregation of 
incompatible wastes; and proper waste management practices, (e.g., 
ensuring that flammable wastes are stored away from heat or open 
flames).
    EPA is also proposing that the actual puncturing of the cans should 
be done in a manner designed to prevent fires and to prevent the 
release of the aerosol can contents to the environment. This includes, 
but is not limited to, locating the equipment on a solid, flat surface 
in a well-ventilated area.
    In addition, EPA is proposing that the contents from the cans 
should be immediately transferred from the waste aerosol can, or 
puncturing device if applicable, to a container or tank and that the 
contents are subject to a hazardous waste determination under 40 CFR 
262.11. The handler becomes that hazardous waste generator of the 
hazardous aerosol can contents and must manage those waste in 
accordance with applicable RCRA regulations.
    The proposed rule would also require that a written procedure be in 
place in the event of a spill or release and a spill clean-up kit 
should be provided. All spills or leaks of the contents of the aerosol 
cans should be cleaned up promptly.
    Finally, EPA notes that all puncturing, waste collection, and 
disposal, must be conducted in compliance with all applicable federal, 
state and local waste (solid and hazardous waste) and occupational 
safety and health laws and regulations.
    In addition, EPA is requesting comment on establishing further 
limitations on puncturing and draining of aerosol cans, similar to 
limitations that have been established by state waste management 
programs either through regulations or guidance. Many states have 
issued guidelines for puncturing and draining aerosol cans under their 
hazardous waste program. Some state guidelines recommend against the 
generator puncturing and draining certain types of aerosol cans due to 
the possible incompatibility with the puncturing and draining equipment 
or the contents of other cans being drained, or due to the hazardous 
nature of the contents. These aerosol cans include, but are not limited 
to, cans containing the following contents: Ethers including ethyl 
ether, chlorinated compounds, pesticides, herbicides, freons, foamers, 
corrosive cleaners and unknowns.\17\ EPA requests comment on

[[Page 11662]]

establishing additional regulatory requirements for can draining 
devices and limits on aerosol cans that may pose compatibility problems 
and that may be punctured and drained under the proposed rules.
---------------------------------------------------------------------------

    \17\ EPA 2017. Summary of State Programs Addressing Aerosol Cans 
Under RCRA Hazardous Waste Regulations or Under State Universal 
Waste Programs. December 2017.
---------------------------------------------------------------------------

    In addition, EPA is requesting comment on limiting puncturing and 
draining practices to handlers that are not commercial processors 
(i.e., a person that processes aerosol cans received from other 
entities in exchange for compensation). Such a limitation would be 
consistent with California's universal waste program. Under this 
option, the puncturing and draining management standards would only 
apply to handlers that are not commercial processors. Handlers that are 
commercial processors may still accept aerosol cans and process the 
cans by sorting and consolidating them, but would be unable to puncture 
and drain the cans. Under this option, commercial processors that would 
like to puncture and drain aerosol cans must first meet the 
requirements for a universal waste destination facility (including 
requiring a permit for storage of the hazardous waste aerosol cans 
prior to recycling). Handlers would still be allowed to puncture and 
drain the hazardous waste aerosol cans that they generate.
1. Proposed Requirements for Transporters
    This proposed rule would not change any of the existing 
requirements applicable to universal waste transporters. Under 40 CFR 
273.9, the definition of a universal waste transporter is ``a person 
engaged in the off-site transportation of universal waste by air, rail, 
highway, or water.'' Persons meeting the definition of universal waste 
transporter include those persons who transport universal waste from 
one universal waste handler to another, to a processor, to a 
destination facility, or to a foreign destination. These persons are 
subject to the universal waste transporter requirements of part 273, 
subpart D. EPA notes that this proposed rule also would not affect the 
applicability of shipping requirements under the hazardous waste 
materials regulations of the Department of Transportation. Transporters 
continue to be subject to these requirements, if applicable (e.g., 49 
CFR 173.306 for shipping of limited quantities of aerosol cans, or 49 
CFR 173.115(l) which sets limits in the definition of ``aerosol'' for 
the purpose of shipping flammable gas).
2. Proposed Requirements for Destination Facilities
    This proposed rule would not change any of the existing 
requirements applicable to universal waste destination facilities 
(subpart E of part 273). Under 40 CFR 273.9, the definition of a 
destination facility is ``a facility that treats, disposes of, or 
recycles a particular category of universal waste'' (except certain 
activities specified in the regulations at Sec.  273.13(a) and (c) and 
Sec.  273.33(a) and (c)).
3. Effect of This Proposed Rule on Household Wastes and Very Small 
Quantity Generators
    Adding hazardous waste aerosol cans to the federal definition of 
universal wastes would not impose any requirements on households and 
very small quantity generators for managing these cans. Household waste 
continues to be exempt from RCRA subtitle C regulations under 40 CFR 
261.4(b)(1). However, under the universal waste rule, households and 
VSQGs may choose to manage their hazardous waste aerosol cans in 
accordance with either the VSQG regulations under 40 CFR 261.5 or as a 
universal waste under part 273 (40 CFR 273.8(a)(2)). It should be 
noted, however, that 40 CFR 273.8(b) would continue to apply. Under 
this provision, if household or VSQG wastes are mixed with universal 
waste subject to the requirements of 40 CFR part 273 (i.e., universal 
waste that is not generated by households or VSQGs), the commingled 
waste must be handled as universal waste in accordance with part 273. 
Under this proposed rule, handlers of universal waste who collect 5,000 
kilograms or more of this commingled aerosol can waste would be 
considered large quantity handlers of universal waste and must meet the 
requirements of that category of universal waste handler. Hazardous 
waste aerosol cans that are managed as a universal waste under 40 CFR 
part 273 would not be required to be included in a facility's 
determination of hazardous waste generator status (40 CFR 261.5(c)(6)). 
Therefore, a generator that manages such cans under the universal waste 
rule and does not generate any other hazardous waste would not be 
subject to other subtitle C hazardous waste management regulations, 
such as the hazardous waste generator regulations in part 262. A large 
or small universal waste handler that generates more than 100 kilograms 
but less than 1,000 kilograms of hazardous waste in a calendar month in 
addition to the universal waste it generates would be regulated as a 
small quantity generator of hazardous waste and would be required to 
manage all hazardous waste not included within the scope of that 
universal waste rule in accordance with all applicable subtitle C 
hazardous waste management standards. Similarly, a larger or small 
universal waste handler that generates 1000 kilograms or more of 
hazardous waste in a calendar month in addition to the universal waste 
it generates would be regulated as a large quantity generator of 
hazardous waste.
4. Applicability of Land Disposal Restriction Requirements
    This proposed rule would not change the applicability of land 
disposal restriction (LDR) requirements to universal waste. Under the 
existing regulations (40 CFR 268.1(f)), universal waste handlers and 
transporters are exempt from the land disposal restriction (LDR) 
requirements regarding testing, tracking, and recordkeeping in 40 CFR 
268.7 and the storage prohibition in 40 CFR 268.50. EPA proposes to 
amend 40 CFR 268.1(f) to add aerosol can universal waste for 
consistency. This proposed rule would also not change the regulatory 
status of destination facilities; they remain subject to the full LDR 
requirements.

V. Technical Corrections

    As part of this rulemaking, EPA is proposing four technical 
corrections to the universal waste standards for mercury-containing 
equipment in 40 CFR 273.13(c)(2)(iii) and (iv) and 273.33(c)(2)(iii) 
and (iv). Each of these paragraphs contains a reference to 40 CFR 
262.34, which was removed and reserved as part of the November 28, 
2016, Hazardous Waste Generator Improvements Rule (81 FR 85732). EPA 
neglected to update these references as part of its corresponding 
changes in that rule and is correcting that mistake here. In all four 
places, EPA is proposing that the regulation refer to 40 CFR 262.16 or 
262.17, as applicable.

VI. State Authority

A. Applicability of Proposed Rule in Authorized States

    Under section 3006 of RCRA, EPA may authorize qualified states to 
administer and enforce the RCRA hazardous waste program within the 
state. Following authorization, EPA retains enforcement authority under 
sections 3008, 3013, and 7003 of RCRA, although authorized states have 
primary enforcement responsibility. The standards and requirements for 
state authorization are found at 40 CFR part 271. Prior to enactment of 
the Hazardous and Solid Waste Amendments of 1984 (HSWA), a State with 
final RCRA authorization administered its hazardous waste program 
entirely in lieu of EPA administering the federal program in

[[Page 11663]]

that state. The federal requirements no longer applied in the 
authorized state, and EPA could not issue permits for any facilities in 
that state, since only the state was authorized to issue RCRA permits. 
When EPA promulgated new, more stringent federal requirements for these 
pre-HSWA regulations, the state was obligated to enact equivalent 
authorities within specified time frames. However, the new federal 
requirements did not take effect in an authorized state, until the 
state adopted the federal requirements as state law. In contrast, under 
RCRA section 3006(g) (42 U.S.C. 6926(g)), which was added by HSWA, new 
requirements and prohibitions imposed under HSWA authority take effect 
in authorized states at the same time that they take effect in 
unauthorized states. EPA is directed by the statute to implement these 
requirements and prohibitions in authorized states, including the 
issuance of permits, until the state is granted authorization to do so. 
While states must still adopt HSWA related provisions as state law to 
retain final authorization, EPA implements the HSWA provisions in 
authorized states until the states do so.
    Authorized states are required to modify their programs only when 
EPA enacts federal requirements that are more stringent or broader in 
scope than existing federal requirements. RCRA section 3009 allows the 
states to impose standards more stringent than those in the federal 
program (see also 40 CFR 271.1). Therefore, authorized states may, but 
are not required to, adopt federal regulations, both HSWA and non-HSWA, 
that are considered less stringent than previous federal regulations.

B. Effect on State Authorization

    This proposed rule would be less stringent than the current federal 
program. Because states are not required to adopt less stringent 
regulations, they would not have to adopt the universal waste 
regulations for aerosol cans, although EPA encourages them to do so. 
Some states have already added aerosol cans to the list of universal 
wastes in that state, and others may do so in the future. If a state's 
standards for aerosol cans are less stringent than those in the final 
rule, the state would have to amend its regulations to make them at 
least equivalent to the federal standards and pursue authorization.

VII. Statutory and Executive Order Reviews

    Additional information about these statutes and Executive Orders 
can be found at http://www.epa.gov/laws-regulations/laws-and-executive-orders.

A. Executive Order 12866: Regulatory Planning and Review and Executive 
Order 13563: Improving Regulation and Regulatory Review

    This action is not a significant regulatory action because it does 
not have a significant economic impact nor does it raise novel legal or 
policy issues. The Office of Management and Budget (OMB) waived review.

B. Executive Order 13771: Reducing Regulations and Controlling 
Regulatory Costs

    This action is expected to be an Executive Order 13771 deregulatory 
action. Details on the estimated cost savings of this proposed rule can 
be found in EPA's analysis of the potential costs and benefits 
associated with this action.

C. Paperwork Reduction Act (PRA)

    The information collection activities in this proposed rule will be 
submitted for approval to the Office of Management and Budget (OMB) 
under the PRA. The Information Collection Request (ICR) documents that 
the EPA prepared have been assigned EPA ICR number 1597.12 and ICR 
number 2513.03. You can find copies of the ICRs in the docket for this 
rule, and they are briefly summarized here.
    Because aerosol cans managed under the proposed rule are not 
counted toward a facility's RCRA generator status, respondents will see 
a reduction in burden. This is because the aerosol cans would not be 
subject to recordkeeping and reporting requirements as hazardous waste, 
and the respondent may no longer be subject to hazardous waste 
generator recordkeeping and reporting requirements, depending on the 
quantity of non-aerosol can hazardous waste they generate. The existing 
universal waste requirements currently applicable to small quantity 
handlers of universal waste (SQHUWs) and large quantity handlers of 
universal waste (LQHUWs) would also be applicable to handlers of 
aerosol can waste. For both SQHUWs and LQHUWs, these requirements 
include labeling and marking, employee training, response to releases, 
and export requirements. LQHUWs are also subject to additional 
notification and tracking requirements.
    Respondents/affected entities: The information collection 
requirements of the proposed rule affect facilities that handle aerosol 
can waste and vary based on facility generator and handler status.
    Respondent's obligation to respond: The recordkeeping and 
notification requirements are required in order to obtain a benefit 
under 40 CFR part 273.
    Estimated number of respondents: 639.
    Frequency of response: One-time notification for LQHUWs, annual 
training requirements for all universal waste handlers; per-shipment 
costs for labeling (all handlers) and tracking (LQHUWs).
    Total estimated burden: EPA estimates the annual burden to 
respondents to be a net reduction in burden of approximately 39,113 
hours. Burden is defined at 5 CFR 1320.3(b).
    Total estimated cost: The total estimated annual cost of this rule 
is a cost savings of approximately $2.0 million. This cost savings is 
composed of approximately $1.94 million in annualized avoided labor 
costs and $0.06 million in avoided capital or operation and maintenance 
costs.
    An agency may not conduct or sponsor, and a person is not required 
to respond to, a collection of information unless it displays a 
currently valid OMB control number. The OMB control numbers for the 
EPA's regulations in 40 CFR are listed in 40 CFR part 9. The OMB 
Control Number for this proposed rule is 2050-0145. Submit your 
comments on the Agency's need for this information, the accuracy of the 
provided burden estimates and any suggested methods for minimizing 
respondent burden to the EPA using the docket identified at the 
beginning of this rule. You may also send your ICR-related comments to 
OMB's Office of Information and Regulatory Affairs via email to 
[email protected], Attention: Desk Officer for the EPA. Since 
OMB is required to make a decision concerning the ICR between 30 and 60 
days after receipt, OMB must receive comments no later than April 16, 
2018. The EPA will respond to any ICR-related comments in the final 
rule.

D. Regulatory Flexibility Act (RFA)

    I certify that this proposed action will not have a significant 
economic impact on a substantial number of small entities under the 
RFA. In making this determination, the impact of concern is any 
significant adverse economic impact on small entities. An agency may 
certify that a rule will not have a significant economic impact on a 
substantial number of small entities if the rule relieves regulatory 
burden, has no net burden or otherwise has a positive economic effect 
on the small entities subject to the rule. As documented in the 
Regulatory Impact Analysis found in the docket for this

[[Page 11664]]

proposal, EPA does not expect the rule to result in an adverse impact 
to a significant number of small entities, since the rule is expected 
to result in net cost savings for all entities affected by the rule. We 
have therefore concluded that this proposed action will either relieve 
regulatory burden or have no net regulatory burden for all directly 
regulated small entities.

E. Unfunded Mandates Reform Act (UMRA)

    As documented in the Regulatory Impact Analysis found in the docket 
for this proposal, this proposed action does not contain an unfunded 
mandate of $100 million or more as described in UMRA, 2 U.S.C. 1531-
1538, and does not significantly or uniquely affect small governments.

F. Executive Order 13132: Federalism

    As documented in the Regulatory Impact Analysis found in the docket 
for this proposal, this proposed action does not have federalism 
implications. It will not have substantial direct effects on the 
states, on the relationship between the national government and the 
states, or on the distribution of power and responsibilities among the 
various levels of government.

G. Executive Order 13175: Consultation and Coordination With Indian 
Tribal Governments

    This proposed action does not have tribal implications as specified 
in Executive Order 13175. Because the proposed rule is expected to 
result in net cost savings, EPA does not expect that it would result in 
any adverse impacts on tribal entities. Thus, Executive Order 13175 
does not apply to this proposed action.

H. Executive Order 13045: Protection of Children From Environmental 
Health Risks and Safety Risks

    This proposed action is not subject to Executive Order 13045 
because it is not economically significant as defined in Executive 
Order 12866, and because the EPA does not believe the environmental 
health or safety risks addressed by this proposed action present a 
disproportionate risk to children. This proposed action's health and 
risk assessments are contained in the Regulatory Impact Analysis of 
Proposed Rule to Add Aerosol Cans to the Universal Waste Rule, found in 
the docket for this proposal.

I. Executive Order 13211: Actions Concerning Regulations That 
Significantly Affect Energy Supply, Distribution or Use

    This proposed action is not subject to Executive Order 13211, 
because it is not a significant regulatory action under Executive Order 
12866.

J. National Technology Transfer and Advancement Act (NTTAA)

    This rulemaking does not involve technical standards.

K. Executive Order 12898: Federal Actions To Address Environmental 
Justice in Minority Populations and Low-Income Populations

    The EPA believes that this proposed action does not have 
disproportionately high and adverse human health or environmental 
effects on minority populations, low-income populations and/or 
indigenous peoples, as specified in Executive Order 12898 (59 FR 7629, 
February 16, 1994).
    The documentation for this decision is contained in Regulatory 
Impact Analysis of Proposed Rule to Add Aerosol Cans to the Universal 
Waste Rule, found in the docket for this proposal.

List of Subjects

40 CFR Part 260

    Environmental protection, Administrative practice and procedure, 
Hazardous waste.

40 CFR Part 261

    Environmental protection, Hazardous waste, Recycling.

40 CFR Part 264

    Environmental protection, Hazardous waste, Packaging and 
containers.

40 CFR Part 265

    Environmental protection, Hazardous waste, Packaging and 
containers.

40 CFR Part 268

    Environmental protection, Hazardous waste, Reporting and 
recordkeeping requirements.

40 CFR Part 270

    Environmental protection, Hazardous materials transportation, 
Reporting and recordkeeping requirements.

40 CFR Part 273

    Environmental protection, Hazardous materials transportation, 
Hazardous waste.

    Dated: March 5, 2018.
E. Scott Pruitt,
Administrator.
    For the reasons set out in the preamble, title 40, chapter I of the 
Code of Federal Regulations, parts 260, 261, 264, 265, 268, 270, and 
273 are proposed to be amended as follows:

PART 260--HAZARDOUS WASTE MANAGEMENT SYSTEM: GENERAL

0
1. The authority citation for part 260 continues to read as follows:

    Authority:  42 U.S.C. 6905, 6912(a), 6921- 6927, 6930, 6934, 
6935, 6937, 6938, 6939, and 6974.

Subpart B--Definitions

0
2. Section 260.10 is amended by:
0
a. Adding the definition of ``Aerosol can'' in alphabetical order;
0
b. Amending the definition ``Universal waste'' by:
0
i. Republishing the introductory text;
0
ii. Removing the word ``and'' at the end of paragraph (3);
0
 iii. Revising paragraph (4); and
0
 iv. Adding paragraph (5); and
0
c. Republishing the introductory text of paragraph (2) and revising 
paragraph (2)(i) of the definition of ``Universal waste handler''.
    The revisions and additions read as follows:


Sec.  260.10  Definitions.

* * * * *
    Aerosol can means an intact container in which gas under pressure 
is used to aerate and dispense any material through a valve in the form 
of a spray or foam.
* * * * *
    Universal waste means any of the following hazardous wastes that 
are managed under the universal waste requirements of part 273 of this 
chapter:
* * * * *
    (4) Lamps as described in Sec.  273.5 of this chapter; and
    (5) Aerosol cans as described in Sec.  273.6 of this chapter.
    Universal waste handler:
* * * * *
    (2) Does not mean:
    (i) A person who treats (except under the provisions of 40 CFR 
273.13(a) or (c), or 40 CFR 273.33(a) or (c)), disposes of, or recycles 
(except under the provisions of 40 CFR 273.13(e) or 40 CFR 273.33(e)) 
universal waste; or
* * * * *

PART 261--IDENTIFICATION AND LISTING OF HAZARDOUS WASTE

0
3. The authority citation for part 261 continues to read as follows:


[[Page 11665]]


    Authority:  42 U.S.C. 6905, 6912(a), 6921, 6922, 6924(y), and 
6938.

Subpart A--General

0
4. Section 261.9 is amended by:
0
a. Removing the word ``and'' at the end of paragraph (c);
0
b. Revising paragraph (d); and
0
c. Adding paragraph (e).
    The revisions and additions read as follows:


Sec.  261.9  Requirements for universal waste.

* * * * *
    (d) Lamps as described in Sec.  273.5 of this chapter; and
    (e) Aerosol cans as described in Sec.  273.6 of this chapter.

PART 264--STANDARDS FOR OWNERS AND OPERATORS OF HAZARDOUS WASTE 
TREATMENT, STORAGE AND DISPOSAL FACILITIES

0
5. The authority citation for part 264 continues to read as follows:

    Authority: 42 U.S.C. 6905, 6912(a), 6924, and 6925.

Subpart A--General

0
6. Section 264.1 is amended by:
0
a. Removing the word ``and'' at the end of paragraph (g)(11)(iii);
0
b. Revising paragraph (g)(11)(iv); and
0
c. Adding paragraph (g)(11)(v).
    The revision and addition read as follows:


Sec.  264.1   Purpose, scope and applicability.

* * * * *
    (g) * * *
    (11) * * *
    (iv) Lamps as described in Sec.  273.5 of this chapter; and
    (v) Aerosol cans as described in Sec.  273.6 of this chapter.
* * * * *

PART 265--INTERIM STATUS STANDARDS FOR OWNERS AND OPERATORS OF 
HAZARDOUS WASTE TREATMENT, STORAGE, AND DISPOSAL FACILITIES

0
7. The authority citation for part 265 continues to read as follows:

    Authority: 42 U.S.C. 6905, 6906, 6912, 6922, 6923, 6924, 6925, 
6935, 6936, and 6937.

Subpart A--General

0
8. Section 265.1 is amended by:
0
a. Removing the word ``and'' at the end of paragraph (c)(14)(iii);
0
b. Revising paragraph (c)(14)(iv); and
0
c. Adding paragraph (c)(14)(v).
    The revision and addition read as follows:


Sec.  265.1   Purpose, scope, and applicability.

* * * * *
    (c) * * *
    (14) * * *
    (iv) Lamps as described in Sec.  273.5 of this chapter; and
    (v) Aerosol cans as described in Sec.  273.6 of this chapter.
* * * * *

PART 268--LAND DISPOSAL RESTRICTIONS

0
9. The authority citation for part 268 continues to read as follows:

    Authority:  42 U.S.C. 6905, 6912(a), 6921, and 6924.

Subpart A--General

0
10. Section 268.1 is amended by:
0
a. Removing the word ``and'' at the end of paragraph (f)(3);
0
b. Revising paragraph (f)(4); and
0
c. Adding paragraph (f)(5)
    The revision and addition read as follows:


Sec.  268.1  Purpose, scope, and applicability.

* * * * *
    (f) * * *
    (4) Lamps as described in Sec.  273.5 of this chapter; and
    (5) Aerosol cans as described in Sec.  273.6 of this chapter.

PART 270--EPA ADMINISTERED PERMIT PROGRAMS: THE HAZARDOUS WASTE 
PERMIT PROGRAM

0
11. The authority citation for part 270 continues to read as follows:

    Authority: 42 U.S.C. 6905, 6912, 6924, 6925, 6927, 6939, and 
6974.

Subpart A--General Information

0
12. Section 270.1 is amended by:
0
a. Removing the word ``and'' at the end of paragraph (c)(2)(viii)(C);
0
b. Revising paragraph (c)(2)(viii)(D); and
0
c. Adding paragraph (c)(2)(viii)(E).
    The revision and addition read as follows:


Sec.  270.1   Purpose and scope of these regulations.

* * * * *
    (c) * * *
    (2) * * *
    (viii) * * *
    (D) Lamps as described in Sec.  273.5 of this chapter; and
    (E) Aerosol cans as described in Sec.  273.6 of this chapter.
* * * * *

PART 273--STANDARDS FOR UNIVERSAL WASTE MANAGEMENT

0
13. The authority for part 273 continues to read as follows:

    Authority: 42 U.S.C. 6922, 6923, 6924, 6925, 6930, and 6937.

Subpart A--General

0
14. Section 273.1 is amended by:
0
a. Removing the word ``and'' at the end of paragraph (a)(3);
0
b. Revising paragraph (a)(4); and
0
c. Adding paragraph (a)(5).
    The revision and addition read as follows:


Sec.  273.1   Scope.

    (a) * * *
    (4) Lamps as described in Sec.  273.5 of this chapter; and
    (5) Aerosol cans as described in Sec.  273.6 of this chapter.
* * * * *
0
15. Section 273.6 is added to read as follows:


Sec.  273.6   Applicability--Aerosol cans.

    (a) Aerosol cans covered under this part 273. The requirements of 
this part apply to persons managing aerosol cans, as described in Sec.  
273.9, except those listed in paragraph (b) of this section.
    (b) Aerosol cans not covered under this part 273. The requirements 
of this part do not apply to persons managing the following aerosol 
cans:
    (1) Aerosol cans that are not yet a waste under part 261 of this 
chapter. Paragraph (c) of this section describes when an aerosol cans 
becomes a waste;
    (2) Aerosol cans that are not hazardous waste. An aerosol can is a 
hazardous waste if the aerosol can exhibits one or more of the 
characteristics identified in part 261, subpart C of this chapter or 
the aerosol can contains a substance that is listed in part 261, 
subpart D of this chapter;
    (3) Aerosol cans that meet the standard for empty containers under 
part 261.7 of this chapter, and
    (4) Aerosol cans that show evidence of leakage, spillage, or damage 
that could cause leakage under reasonably foreseeable conditions.
    (c) Generation of waste aerosol cans.
    (1) A used aerosol can become a waste on the date it is discarded.
    (2) An unused aerosol can become a waste on the date the handler 
decides to discard it.
0
16. Section 273.9 is amended by:
0
a. Adding the definition of ``Aerosol can'' in alphabetical order;
0
b. Revising the definitions of ``Large quantity handler of universal 
waste'' and ``Small quantity handler of universal waste'';

[[Page 11666]]

0
c. In the definition ``Universal waste'':
0
 i. Republishing the introductory paragraph;
0
 ii. Removing the word ``and'' at the end of paragraph (3);
0
 iii. Revising paragraph (4), and adding paragraph (5); and
0
d. Republishing the introductory text of paragraph (b) and revising 
paragraph (b)(1) of the definition of ``Universal waste handler''.
    The revision and addition read as follows to read as follows:


Sec.  273.9   Definitions.

    Aerosol can means an intact container in which gas under pressure 
is used to aerate and dispense any material through a valve in the form 
of a spray or foam.
* * * * *
    Large Quantity Handler of Universal Waste means a universal waste 
handler (as defined in this section) who accumulates 5,000 kilograms or 
more total of universal waste (batteries, pesticides, mercury-
containing equipment, lamps, or aerosol cans, calculated collectively) 
at any time. This designation as a large quantity handler of universal 
waste is retained through the end of the calendar year in which the 
5,000-kilogram limit is met or exceeded.
* * * * *
    Small Quantity Handler of Universal Waste means a universal waste 
handler (as defined in this section) who does not accumulate 5,000 
kilograms or more of universal waste (batteries, pesticides, mercury-
containing equipment, lamps, or aerosol cans, calculated collectively) 
at any time.
* * * * *
    Universal Waste means any of the following hazardous wastes that 
are subject to the universal waste requirements of this part 273:
* * * * *
    (4) Lamps as described in Sec.  273.5; and
    (5) Aerosol cans as described in Sec.  273.6.
    Universal Waste Handler:
* * * * *
    (b) Does not mean:
    (1) A person who treats (except under the provisions of 40 CFR 
273.13(a) or (c), or 40 CFR 273.33(a) or (c)), disposes of, or recycles 
(except under the provisions of 40 CFR 273.13(e) or 40 CFR 273.33(e)) 
universal waste; or
* * * * *

Subpart B--Standards for Small Quantity Handlers of Universal Waste

0
17. Section 273.13 is amended by revising paragraphs (c)(2)(iii) and 
(iv) and adding paragraph (e) to read as follows:


Sec.  273.13  Waste management.

* * * * *
    (c) * * *
    (2) * * *
    (iii) Ensures that a mercury clean-up system is readily available 
to immediately transfer any mercury resulting from spills or leaks from 
broken ampules from that containment device to a container that meets 
the requirements of 40 CFR 262.16 or 262.17, as applicable.
    (iv) Immediately transfers any mercury resulting from spills or 
leaks from broken ampules from the containment device to a container 
that meets the requirements of 40 CFR 262.16 or 262.17, as applicable.
* * * * *
    (e) Aerosol cans. A small quantity handler of universal waste must 
manage universal waste aerosol cans in a way that prevents releases of 
any universal waste or component of a universal waste to the 
environment, as follows:
    (1) Universal waste aerosol cans must be accumulated in a container 
that is structurally sound, compatible with the contents of the aerosol 
cans, and lacks evidence of leakage, spillage, or damage that could 
cause leakage under reasonably foreseeable conditions;
    (2) A small quantity handler of universal waste may conduct the 
following activities as long as each individual aerosol can is not 
breached and remains intact:
    (i) Sorting aerosol cans by type;
    (ii) Mixing intact cans in one container; and
    (iii) Removing actuators to reduce the risk of accidental release.
    (3) A small quantity handler of universal waste who punctures and 
drains their aerosol cans must recycle the empty punctured aerosol cans 
and meet the following requirements while puncturing and draining 
hazardous waste aerosol cans:
    (i) Conduct puncturing and draining activities using a device 
specifically designed to safely puncture aerosol cans and effectively 
contain the residual contents and any emissions thereof;
    (ii) Establish a written procedure detailing how to safely puncture 
and drain universal waste aerosol can (including proper assembly, 
operation and maintenance of the unit; segregation of incompatible 
wastes; and proper waste management practices to prevent fires or 
releases), maintain a copy of the manufacturer's specification and 
instruction onsite, and ensure employees operating the device are 
trained in the proper procedures;
    (iii) Ensure that puncturing of the can is in a manner designed to 
prevent fires and to prevent the release of any component of universal 
waste to the environment. This includes, but is not limited to, 
locating the equipment on a solid, flat surface in a well ventilated 
area;
    (iv) Immediately transfer the contents from the waste aerosol can, 
or puncturing device if applicable, to a container or tank that meets 
the applicable requirements of Sec.  262.14, 262.15, 262.16, or 262.17;
    (v) Conduct a hazardous waste determination on the emptied aerosol 
can and its contents per 40 CFR 262.11. Any hazardous waste generated 
as a result of puncturing and draining the aerosol can is subject to 
all applicable requirements of 40 CFR parts 260 through 272. The 
handler is considered the generator of the hazardous waste and is 
subject to 40 CFR part 262;
    (vi) If the contents are determined not to be hazardous, the 
handler may manage the waste in any way that is in compliance with 
applicable federal, state or local solid waste regulations; and
    (vii) A written procedure must be in place in the event of a spill 
or release and a spill clean-up kit must be provided. All spills or 
leaks of the contents of the aerosol cans must be cleaned up promptly.
0
18. Section 273.14 is amended by adding paragraph (f) to read as 
follows:


Sec.  273.14  Labeling/marking.

* * * * *
    (f) Universal waste aerosol cans (i.e., each aerosol can), or a 
container in which the aerosol cans are contained, must be labeled or 
marked clearly with any of the following phrases: ``Universal Waste--
Aerosol Can(s),'' ``Waste Aerosol Can(s),'' or ``Used Aerosol Can(s)''.

Subpart C--Standards for Large Quantity Handlers of Universal Waste

0
19. Section 273.32 is amended by revising paragraph (b)(4) to read as 
follows:


Sec.  273.32  Notification.

* * * * *
    (b) * * *
    (4) A list of all the types of universal waste managed by the 
handler (e.g., batteries, pesticides, mercury-containing equipment, 
lamps, and aerosol cans); and
    * * *
* * * * *
0
20. Section 273.33 is amended by revising paragraphs (c)(2)(iii) and 
(iv)

[[Page 11667]]

and adding paragraph (e) to read as follows:


Sec.  273.33   Waste management.

* * * * *
    (c) * * *
    (2) * * *
    (iii) Ensures that a mercury clean-up system is readily available 
to immediately transfer any mercury resulting from spills or leaks of 
broken ampules from that containment device to a container that meets 
the requirements of 40 CFR 262.16 or 262.17, as applicable.
    (iv) Immediately transfers any mercury resulting from spills or 
leaks from broken ampules from the containment device to a container 
that meets the requirements of 40 CFR 262.16 or 262.17, as applicable.
* * * * *
    (e) Aerosol cans. A large quantity handler of universal waste must 
manage universal waste aerosol cans in a way that prevents releases of 
any universal waste or component of a universal waste to the 
environment, as follows:
    (1) Universal waste aerosol cans must be accumulated in a container 
that is structurally sound, compatible with the contents of the aerosol 
cans, and lacks evidence of leakage, spillage, or damage that could 
cause leakage under reasonably foreseeable conditions;
    (2) A large quantity handler of universal waste may conduct the 
following activities as long as each individual aerosol can is not 
breached and remains intact:
    (i) Sorting aerosol cans by type; and
    (ii) Mixing intact cans in one container; and (iii) Removing 
actuators to reduce the risk of accidental release;
    (3) A large quantity handler of universal waste who punctures and 
drains their aerosol cans must recycle the empty punctured aerosol cans 
and meet the following requirements while puncturing and draining 
hazardous waste aerosol cans:
    (i) Conduct puncturing and draining activities using a device 
specifically designed to safely puncture aerosol cans and effectively 
contain the residual contents and any emissions thereof;
    (ii) Establish a written procedure detailing how to safely puncture 
and drain universal waste aerosol can (including proper assembly, 
operation and maintenance of the unit; segregation of incompatible 
wastes; and proper waste management practices to prevent fires or 
releases), maintain a copy of the manufacturer's specification and 
instruction onsite, and ensure employees operating the device are 
trained in the proper procedures;
    (iii) Ensure that puncturing of the can is in a manner designed to 
prevent fires and to prevent the release of any component of universal 
waste to the environment. This includes, but is not limited to, 
locating the equipment on a solid, flat surface in a well ventilated 
area;
    (iv) Immediately transfer the contents from the waste aerosol can, 
or puncturing device if applicable, to a container or tank that meets 
the applicable requirements of Sec.  262.14, 15, 16, or 17;
    (v) Conduct a hazardous waste determination on the emptied aerosol 
can and its contents per 40 CFR 262.11. Any hazardous waste generated 
as a result of puncturing and draining the aerosol can is subject to 
all applicable requirements of 40 CFR parts 260 through 272. The 
handler is considered the generator of the hazardous waste and is 
subject to 40 CFR part 262;
    (vi) If the contents are determined not to be hazardous, the 
handler may manage the waste in any way that is in compliance with 
applicable federal, state or local solid waste regulations; and
    (vii) A written procedure must be in place in the event of a spill 
or release and a spill clean-up kit must be provided. All spills or 
leaks of the contents of the aerosol cans must be cleaned up promptly.
0
21. Section 273.34 is amended by adding paragraph (f) to read as 
follows:


Sec.  273.34  Labeling/marking.

* * * * *
    (f) Universal waste aerosol cans (i.e., each aerosol can), or a 
container in which the aerosol cans are contained, must be labeled or 
marked clearly with any of the following phrases: ``Universal Waste--
Aerosol Can(s)'', ``Waste Aerosol Can(s)'', or ``Used Aerosol Can(s)''.

[FR Doc. 2018-05282 Filed 3-15-18; 8:45 am]
 BILLING CODE 6560-50-P



                                                 11654                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                    Both the EPA and the NH DES signed                   and 7429(b)(2); 40 CFR 62.02(a). Thus,                List of Subjects in 40 CFR Part 62
                                                 the MoA in which the parties agreed to                  in reviewing state plan submissions,                     Environmental protection, Air
                                                 the terms and conditions regarding the                  EPA’s role is to approve state choices,               pollution control, Administrative
                                                 responsibility to implement and enforce                 provided that they meet the criteria of               practice and procedure, Carbon
                                                 the policies, responsibilities and                      the CAA. Accordingly, this action                     monoxide, Intergovernmental relations,
                                                 procedures of the SSI Federal Plan. The                 merely approves a state delegation                    Lead, Nitrogen dioxide, Particulate
                                                 MoA became effective upon signature                     request as meeting Federal requirements               matter, Reporting and recordkeeping
                                                 by the EPA on December 22, 2017.                        and does not impose additional                        requirements, Sulfur oxides, Waste
                                                    Under the EPA’s Delegation Manual,                   requirements beyond those already                     treatment and disposal.
                                                 item 7–139, the Regional Administrator                  imposed by state law. For that reason,
                                                 is authorized to delegate                               this action:                                            Dated: March 8, 2018.
                                                 implementation and enforcement of                          • Is not a significant regulatory action           Alexandra Dapolito Dunn,
                                                 sections 111(d)/129 Federal Plans to                    subject to review by the Office of                    Regional Administrator, EPA Region 1.
                                                 state environmental agencies. The                       Management and Budget under                           [FR Doc. 2018–05316 Filed 3–15–18; 8:45 am]
                                                 Regional Administrator may consider                     Executive Orders12866 (58 FR 51735,                   BILLING CODE 6560–50–P
                                                 delegating authority to implement and                   October 4, 1993) and 13563 (76 FR 3821,
                                                 enforce Federal Plans to a state provided               January 21, 2011);
                                                 the following conditions are met: (1)                                                                         ENVIRONMENTAL PROTECTION
                                                                                                            • Does not impose an information
                                                 The state does not already have an EPA                                                                        AGENCY
                                                                                                         collection burden under the provisions
                                                 approved State Plan; (2) the state
                                                                                                         of the Paperwork Reduction Act (44
                                                 submits a demonstration of adequate                                                                           40 CFR Parts 260, 261, 264, 265, 268,
                                                                                                         U.S.C. 3501 et seq.);
                                                 resources and legal authority to                                                                              270, and 273
                                                 administer and enforce the Federal Plan;                   • Is certified as not having a
                                                                                                         significant economic impact on a                      [EPA–HQ–OLEM–2017–0463; FRL–9975–
                                                 and (3) the state enters into a MoA with                                                                      44–OLEM]
                                                 the Regional Administrator that sets                    substantial number of small entities
                                                 forth the terms, conditions and effective               under the Regulatory Flexibility Act (5               RIN 2050–AG92
                                                 date of the delegation and that serves as               U.S.C. 601 et seq.);
                                                 the mechanism for the transfer of                          • Does not contain any unfunded                    Increasing Recycling: Adding Aerosol
                                                 authority.                                              mandate or significantly or uniquely                  Cans to the Universal Waste
                                                    NH DES has met all of the EPA’s                      affect small governments, as described                Regulations
                                                 delegation requirements as described                    in the Unfunded Mandates Reform Act                   AGENCY:  Environmental Protection
                                                 above. The reader may view the NH DES                   of 1995 (Pub. L. 104–4);                              Agency (EPA).
                                                 letter to the EPA requesting delegation                    • Does not have Federalism
                                                                                                                                                               ACTION: Proposed rule.
                                                 and the MoA signed by both parties at                   implications as specified in Executive
                                                 www.regulations.gov, identified by                      Order 13132 (64 FR 43255, August 10,                  SUMMARY:   The Environmental Protection
                                                 Docket ID Number EPA–R01–OAR–                           1999);                                                Agency (EPA or the Agency) is
                                                 2018–0069.                                                 • Is not an economically significant               proposing to add hazardous waste
                                                 IV. What is the EPA’s proposed                          regulatory action based on health or                  aerosol cans to the universal waste
                                                 conclusion?                                             safety risks subject to Executive Order               program under the federal Resource
                                                                                                         13045 (62 FR 19885, April 23, 1997);                  Conservation and Recovery Act (RCRA)
                                                   The EPA has evaluated the NH DES                         • Is not a significant regulatory action           regulations. This proposed change, once
                                                 submittal for consistency with the CAA,                 subject to Executive Order 13211 (66 FR               finalized, would benefit the wide
                                                 EPA regulations, and EPA policy. The                    28355, May 22, 2001);                                 variety of establishments generating and
                                                 NH DES has met all the requirements of
                                                 the EPA’s guidance for obtaining                           • Is not subject to requirements of                managing hazardous waste aerosol cans,
                                                                                                         Section 12(d) of the National                         including the retail sector, by providing
                                                 delegation of authority to implement                                                                          a clear, protective system for managing
                                                 and enforce the SSI Federal Plan. The                   Technology Transfer and Advancement
                                                                                                         Act of 1995 (15 U.S.C. 272 note) because              discarded aerosol cans. The streamlined
                                                 NH DES entered into a MoA with the                                                                            universal waste regulations are expected
                                                 EPA, and it became effective on                         application of those requirements would
                                                                                                         be inconsistent with the Clean Air Act;               to ease regulatory burdens on retail
                                                 December 22, 2017. Accordingly, the                                                                           stores and others that discard hazardous
                                                 EPA is proposing to approve the NH                      and
                                                                                                            • Does not provide EPA with the                    waste aerosol cans; promote the
                                                 DES request dated November 14, 2017                                                                           collection and recycling of these cans;
                                                 for delegation of authority to implement                discretionary authority to address, as
                                                                                                         appropriate, disproportionate human                   and encourage the development of
                                                 and enforce the Federal Plan for existing                                                                     municipal and commercial programs to
                                                 SSI units. The EPA will continue to                     health or environmental effects, using
                                                                                                         practicable and legally permissible                   reduce the quantity of these wastes
                                                 retain certain specific authorities                                                                           going to municipal solid waste landfills
                                                 reserved to the EPA in the SSI Federal                  methods, under Executive Order 12898
                                                                                                         (59 FR 7629, February 16, 1994).                      or combustors.
                                                 Plan and as indicated in the MoA (e.g.,
                                                                                                            In addition, this rulemaking does not              DATES: Comments must be received on
                                                 authority to approve major alternatives
                                                 to test methods or monitoring, etc.).                   apply on any Indian reservation land or               or before May 15, 2018. Under the
                                                                                                         in any other area where EPA or an                     Paperwork Reduction Act (PRA),
daltland on DSKBBV9HB2PROD with PROPOSALS




                                                 V. Statutory and Executive Order                        Indian tribe has demonstrated that a                  comments on the information collection
                                                 Reviews                                                 tribe has jurisdiction. In those areas of             provisions are best assured of
                                                   Under the Clean Air Act, the                          Indian country, the rule does not have                consideration if the Office of
                                                 Administrator is required to approve a                  tribal implications and will not impose               Management and Budget (OMB)
                                                 state plan submission that complies                     substantial direct costs on tribal                    receives a copy of your comments on or
                                                 with the provisions of the CAA section                  governments or preempt tribal law as                  before April 16, 2018.
                                                 111(d) and 129(b)(2) and applicable                     specified by Executive Order 13175 (65                ADDRESSES: Submit your comments,
                                                 Federal regulations. 42 U.S.C. 7411(d)                  FR 67249, November 9, 2000).                          identified by Docket ID No. EPA–HQ–


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                                                                                  Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                                                                   11655

                                                 OLEM–2017–0463, at https://                                                submissions, and general guidance on                                            treat, recycle, or dispose of hazardous
                                                 www.regulations.gov. Follow the online                                     making effective comments, please visit                                         waste aerosol cans, herein referred to as
                                                 instructions for submitting comments.                                      https://www2.epa.gov/dockets/                                                   aerosol cans, unless those persons are
                                                 Once submitted, comments cannot be                                         commenting-epa-dockets.                                                         households or very small quantity
                                                 edited or removed from Regulations.gov.                                    FOR FURTHER INFORMATION CONTACT:                                                generators (VSQGs). Entities potentially
                                                 The EPA may publish any comment                                            Tracy Atagi, Office of Land and                                                 affected by this action include over
                                                 received to its public docket. Do not                                      Emergency Management (5304P),                                                   18,000 industrial facilities in 18
                                                 submit electronically any information                                      Environmental Protection Agency, 1200                                           different industries (at the 2-digit North
                                                 you consider to be Confidential                                            Pennsylvania Avenue NW, Washington,                                             American Industry Classification
                                                 Business Information (CBI) or other                                        DC 20460; telephone number: 703–308–                                            System (NAICS) code level). Most of
                                                 information whose disclosure is                                            8672; email address: atagi.tracy@                                               these industries have relatively few
                                                 restricted by statute. Multimedia                                          epa.gov, or Tiffany Kollar, Office of
                                                 submissions (audio, video, etc.) must be                                                                                                                   entities that are potentially affected. The
                                                                                                                            Land and Emergency Management                                                   two top economic sectors (at the 2-digit
                                                 accompanied by a written comment.                                          (5304P), Environmental Protection
                                                 The written comment is considered the                                                                                                                      NAICS code level) with the largest
                                                                                                                            Agency, 1200 Pennsylvania Avenue                                                percentage of potentially affected
                                                 official comment and should include                                        NW, Washington, DC 20460; telephone
                                                 discussion of all points you wish to                                                                                                                       entities are the retail trade industry
                                                                                                                            number: 703–308–8675; email address:                                            (NAICS code 44–45), representing 65%
                                                 make. The EPA will generally not                                           kollar.tiffany@epa.gov.
                                                 consider comments or comment                                                                                                                               of the affected Large Quantity Generator
                                                                                                                            SUPPLEMENTARY INFORMATION:                                                      universe, and Manufacturing (NAICS
                                                 contents located outside of the primary
                                                 submission (i.e., on the web, cloud, or                                    I. General Information                                                          code 31–33), representing 20% of the
                                                 other file sharing system). For                                                                                                                            affected Large Quantity Generator
                                                 additional submission methods, the full                                    A. Does this action apply to me?                                                universe. Potentially affected categories
                                                 EPA public comment policy,                                                    This proposed rulemaking would                                               and entities include, but are not
                                                 information about CBI or multimedia                                        affect persons who generate, transport,                                         necessarily limited to:

                                                                                                                                                                                                                        Total affected
                                                   2 Digit NAICS                                                          Primary NAICS description                                                                     large quantity    Generated tons
                                                       code                                                                                                                                                               generators

                                                 44–45 ................      Retail Trade ..................................................................................................................                      4,225             395.8
                                                 31–33 ................      Manufacturing ...............................................................................................................                        1,327           6,767.2
                                                 48–49 ................      Transportation and Warehousing .................................................................................                                       138           1,214.9
                                                 62 ......................   Health Care and Social Assistance .............................................................................                                        179              29.5
                                                 92 ......................   Public Administration ....................................................................................................                             116             186.8
                                                 61 ......................   Educational Services ....................................................................................................                              126              18.0
                                                 54 ......................   Professional, Scientific, and Technical Services .........................................................                                              81              63.6
                                                 56 ......................   Administrative and Support and Waste Management and Remediation Services .....                                                                         112           2,655.2
                                                 42 ......................   Wholesale Trade ..........................................................................................................                              73             130.0
                                                 22 ......................   Utilities ..........................................................................................................................                    32               6.8
                                                 81 ......................   Other Services (except Public Administration) ............................................................                                              65               4.2
                                                 21 ......................   Mining, Quarrying, and Oil and Gas Extraction ...........................................................                                               28              10.3
                                                 23 ......................   Construction .................................................................................................................                           4              24.1
                                                 71 ......................   Arts, Entertainment, and Recreation ............................................................................                                         3               3.2
                                                 55 ......................   Management of Companies and Enterprises ..............................................................                                                   6               0.6
                                                 53 ......................   Real Estate and Rental and Leasing ...........................................................................                                           3               0.6
                                                 51 ......................   Information ...................................................................................................................                          1               0.5
                                                 11 ......................   Agriculture, Forestry, Fishing and Hunting ..................................................................                                            1               0.0

                                                       Total ...........     .......................................................................................................................................              6,520          11,511.3



                                                    This table is not intended to be                                        B. What action is the agency taking?                                            3002, 3004, and 3006 of the Solid Waste
                                                 exhaustive, but rather provides a guide                                                                                                                    Disposal Act, as amended by the
                                                 for readers regarding entities likely to be                                  The Environmental Protection Agency                                           Resource Conservation and Recovery
                                                                                                                            (EPA) is proposing to add hazardous                                             Act (RCRA), and as amended by the
                                                 regulated by this action. This table lists
                                                                                                                            waste aerosol cans to the list of                                               Hazardous and Solid Waste
                                                 the types of entities that EPA is now
                                                                                                                            universal wastes regulated under the                                            Amendments (HSWA), 42 U.S.C.
                                                 aware could potentially be regulated by
                                                                                                                            Resource Conservation and Recovery                                              6921(a), 6921, 6922, 6924, and 6926.
                                                 this action. Other entities not listed in                                  Act (RCRA) regulations. This proposed
                                                 the table could also be regulated. To                                      change, once finalized, would benefit                                           D. What are the incremental costs and
                                                 determine whether your entity is                                           the wide variety of establishments                                              benefits of this action?
                                                 regulated by this action, you should                                       generating and managing aerosol cans,                                             This proposed action, if finalized as
                                                 carefully examine the applicability
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                                                                                                                            including the retail sector, by providing                                       proposed, is expected to result in an
                                                 criteria found in Section IV of this                                       a clear, practical system for handling                                          annual cost savings of $3.0 million to
                                                 action. If you have questions regarding                                    discarded aerosol cans.                                                         $63.3 million. Information on the
                                                 the applicability of this action to a                                                                                                                      estimated future economic impacts of
                                                 particular entity, consult the person                                      C. What is the agency’s authority for
                                                                                                                            taking this action?                                                             this action is presented in Section VII of
                                                 listed in the FOR FURTHER INFORMATION                                                                                                                      this notice, as well as in the Regulatory
                                                 CONTACT section.                                                             These regulations are proposed under                                          Impact Analysis (RIA) available in the
                                                                                                                            the authority of sections 2002(a), 3001,                                        docket for this proposed action. Note


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                                                 11656                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                 that the expected cost savings is based                 ambient environmental conditions,                     transport, and manifesting. Under 40
                                                 on the assumption that all eligible states              causing the contents to rapidly vaporize              CFR 262.14, very small quantity
                                                 would adopt regulatory changes, once                    and be forcefully released. One or more               generators (VSQGs), defined as facilities
                                                 they are finalized. EPA requests                        of the following may occur when a can                 that generate less than or equal to 100
                                                 comment on this assumption.                             bursts as a result of over-heating: (1) If            kilograms of hazardous waste in a
                                                   In addition to cost savings, EPA’s                    the propellant or product are ignitable,              calendar month, are not subject to the
                                                 analysis shows qualitative benefits to                  the contents of the can may readily                   RCRA subtitle C hazardous waste
                                                 adding aerosol cans to the universal                    catch fire as they are released and                   management standards, provided they
                                                 waste program, including improved                       exposed to atmospheric oxygen, creating               send their waste to a municipal solid
                                                 implementation of and compliance with                   a rapidly burning vapor ‘‘fireball’’; (2)             waste landfill or non-municipal
                                                 the hazardous waste program and                         the bottom of the can may detach as a                 nonhazardous waste facility approved
                                                 increased recovery and recycling of                     result of a manufacturing defect or an                by the state for the management of
                                                 aerosol cans.                                           external force, causing the upper part of             VSQG wastes and meet other
                                                 II. Background                                          the can to become a projectile; or (3) the            conditions. In addition, households that
                                                                                                         can may fragment as it bursts, releasing              generate waste aerosol cans are exempt
                                                 A. Description of Aerosol Cans                          metal shards.                                         from the federal hazardous waste
                                                    Aerosol cans are widely used for                        Aerosol cans frequently contain                    management requirements under the
                                                 dispensing a broad range of products                    flammable propellants such as propane                 household hazardous waste exemption
                                                 including paints, solvents, pesticides,                 or butane which can cause the aerosol                 in 40 CFR 261.4(b)(1).5
                                                 food and personal care products, and                    can to demonstrate the hazardous                         Facilities that treat, store, and/or
                                                 many others. The Consumer Specialty                     characteristic for ignitability (40 CFR               dispose of hazardous waste aerosol cans
                                                 Products Association (CSPA) estimates                   261.21).3 In addition, the aerosol can                are subject to the requirements of 40
                                                 that 3.82 billion aerosol cans were filled              may also be a hazardous waste for other               CFR part 264 (for permitted facilities),
                                                 in the United States in 2015 for use by                 reasons when discarded. More                          or the requirements of 40 CFR part 265
                                                 commercial and industrial facilities as                 specifically, an aerosol can may contain              (for interim status facilities). However,
                                                 well as by households.1                                 materials that exhibit hazardous                      when hazardous waste aerosol cans are
                                                    A typical aerosol can consists of                    characteristics per 40 CFR part 261                   recycled, the recycling process itself is
                                                 several components, including (but not                  subpart C. Similarly, a discarded aerosol             not subject to regulation, except as
                                                 limited to): (1) The can or container                   can may also be a P or U-listed                       indicated in 40 CFR 261.6(d). EPA has
                                                 storing both propellant and the product;                hazardous waste if it contains a                      interpreted the current hazardous waste
                                                 (2) an actuator or button at the top of the             commercial chemical product found at                  regulations to mean that puncturing and
                                                 can that is pressed to deliver the                      40 CFR 261.33(e) or (f).                              draining an aerosol can, if performed for
                                                 product; (3) a valve which controls                     B. Current Federal Regulation of Aerosol              the purpose of recycling (e.g., for scrap
                                                 delivery or flow of the product; (4) the                Cans                                                  metal recycling), is considered part of
                                                 propellant (a compressed gas or                                                                               the recycling process and is exempt
                                                 liquefied gas), which provides the                      1. Regulation of Aerosol Cans Under the               from RCRA permitting requirements
                                                 pressure in the container to expel or                   Resource Conservation and Recovery                    under 40 CFR 261.6(c).6 However,
                                                 release the product when the actuator is                Act (RCRA)                                            facilities receiving hazardous waste
                                                 pressed to open the valve; (5) the                         Any person who generates a solid                   aerosol cans from off-site would require
                                                 product itself; and (6) a dip tube which                waste, as defined in 40 CFR 261.2, must               a RCRA permit for storage prior to the
                                                 is connected to the valve to bring the                  determine whether the solid waste                     recycling activity, and the recycling
                                                 product up through the can to be                        qualifies as hazardous waste. The waste               process would be subject to subparts AA
                                                 released when the actuator is pressed.2                 may be hazardous either because it is                 and BB of 40 CFR part 264, 265, or 267.
                                                    The can itself is typically a small steel            listed as a hazardous waste in subpart
                                                 or aluminum container, designed to be                                                                         2. Regulation Under the Federal
                                                                                                         D of 40 CFR part 261 or because it                    Insecticide, Fungicide, and Rodenticide
                                                 hand-held, which is sealed with its                     exhibits one or more of the
                                                 contents under pressure. The can’s                                                                            Act (FIFRA)
                                                                                                         characteristics of hazardous waste, as
                                                 design is intended to prevent unwanted                  provided in subpart C of 40 CFR part                     Hazardous waste aerosol cans that
                                                 releases of the contents to the                         261. As discussed above, aerosol cans                 contain pesticides are also subject to the
                                                 environment under normal handling                       are frequently hazardous due to the                   requirements of Federal Insecticide,
                                                 and storage conditions. However, when                   ignitability characteristic, and in some              Fungicide, and Rodenticide Act
                                                 aerosol cans are mismanaged,                            cases may also contain listed or exhibit              (FIFRA), including compliance with the
                                                 particularly when exposed to excessive                  other hazardous waste characteristics.4               instructions on the label. In general, the
                                                 heat, the resulting increase in internal                   Many, but not all, generators of                   statement on aerosol pesticide product
                                                 pressure can reach a point beyond the                   aerosol cans identified or listed as a                FIFRA labels prohibits the puncturing of
                                                 design strength of the can, thereby                     hazardous waste are subject to the full               the cans. However, in April 2004, EPA
                                                 causing it to burst and release its                     RCRA subtitle C hazardous waste
                                                 contents. At the point of bursting, the                 management requirements, including all                  5 Under 40 CFR 261.4(b)(1), ‘‘household waste’’

                                                 contents of the can have been heated to                                                                       means any material (including garbage, trash and
                                                                                                         applicable requirements of 40 CFR parts               sanitary wastes in septic tanks) derived from
                                                 a temperature and pressure far above                    260 through 268. Depending on their                   households (including single and multiple
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                                                                                                         activities, some generators have only to              residences, hotels and motels, bunkhouses, ranger
                                                   1 Consumer Specialty Product Association,                                                                   stations, crew quarters, campgrounds, picnic
                                                                                                         meet the requirements of part 262,
                                                 What’s New, Industry Updates and Association                                                                  grounds and day-use recreation areas).
                                                 Highlights, June 2016. https://www.cspa.org/            including on-site management, pre-                      6 EPA first explained this interpretation in 1993.
                                                 aerosol-products-industry-growing-steadily-survey-                                                            See U.S. EPA 1993 Regulatory Status of Used
                                                 reveals-north-american-production-reaches-                3 University of Vermont, Paint and Aerosol
                                                                                                                                                               Residential And Commercial/Industrial Aerosol
                                                 historic-high/, retrieved November 8, 2017.             Safety, http://www.uvm.edu/safety/art/paint-          Cans, Memo from Jeff Denit, Acting Director, Office
                                                   2 National Aerosol Association, History of the        aerosol-safety, retrieved December 11, 2017.          of Solid Waste to John DiFazio, Chemical
                                                 Aerosol, http://www.nationalaerosol.com/history-          4 Aerosol cans that have not been discarded are     Specialties Manufacturers Association, October 7,
                                                 of-the-aerosol/, retrieved December 11, 2017.           not solid or hazardous wastes.                        1993. RO #11780.



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                                                                            Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                               11657

                                                 issued a determination 7 that puncturing                    In response to comments on the Retail             include requirements for storage,
                                                 aerosol pesticide containers is                          Sector NODA, the Agency published the                labeling and marking, preparing the
                                                 consistent with the purposes of FIFRA                    Strategy for Addressing the Retail Sector            waste for shipment off site, employee
                                                 and is therefore lawful pursuant to                      under RCRA’s Regulatory Framework,                   training, response to releases, and, in
                                                 FIFRA section 2(ee)(6) provided that the                 which lays out a cohesive plan to                    the case of large quantity handlers,
                                                 following conditions are met:                            address the unique challenges faced by               notification and tracking of universal
                                                    • The puncturing of the container is                  the retail sector in complying with                  waste shipments. Transporters of
                                                 performed by a person who, as a general                  RCRA regulations while reducing                      universal waste are also subject to less
                                                 part of his or her profession, performs                  burden and protecting human health                   stringent requirements than the full
                                                 recycling and/or disposal activities;                    and the environment.8 One of the action              subtitle C hazardous waste
                                                    • The puncturing is conducted using                   items under the Retail Strategy is to                transportation regulations. The primary
                                                 a device specifically designed to safely                 explore adding hazardous waste aerosol               difference between the universal waste
                                                 puncture aerosol cans and effectively                    cans to the universal waste rule.                    transporter requirements and the
                                                 contain the residual contents and any                                                                         subtitle C transportation requirements is
                                                 emissions thereof; and                                   D. Universal Waste Rule
                                                                                                                                                               that no manifest is required for transport
                                                    • The puncturing, waste collection,                      In 1995, EPA promulgated the                      of universal waste.
                                                 and disposal, are conducted in                           universal waste rule (60 FR 25492, May                  Under the universal waste rule,
                                                 compliance with all applicable federal,                  11, 1995) to establish a streamlined                 destination facilities are those facilities
                                                 state and local waste (solid and                         hazardous waste management system                    that treat, store, dispose, or recycle
                                                 hazardous waste) and occupational                        for widely generated hazardous wastes                universal wastes. Universal waste
                                                 safety and health laws and regulations.                  as a way to encourage environmentally                destination facilities are subject to all
                                                    EPA anticipates that this 2004 FIFRA                  sound collection and proper                          currently applicable requirements for
                                                 determination would not be affected by                   management of the wastes within the                  hazardous waste treatment, storage, and
                                                 the proposed addition of hazardous                       system. Hazardous waste batteries,                   disposal facilities (TSDFs) and must
                                                 waste aerosol cans to the universal                      certain hazardous waste pesticides,                  receive a RCRA permit for such
                                                 waste rules.                                             mercury-containing equipment, and                    activities. Destination facilities that
                                                 C. Retail Strategy and Aerosol Cans                      hazardous waste lamps are already                    recycle universal waste and that do not
                                                                                                          included on the federal list of universal            store that universal waste prior to
                                                   The retail sector as a whole handles                   wastes. The universal waste regulations
                                                 a very large number of diverse products,                                                                      recycling in accordance with 40 CFR
                                                                                                          in 40 CFR part 273 are a set of
                                                 which change over time and may, in                                                                            261.6(c)(2) may be exempt from
                                                                                                          alternative hazardous waste
                                                 many instances, become regulated as                                                                           permitting under the federal regulations
                                                                                                          management standards that operate in
                                                 hazardous waste under RCRA when                                                                               (see 40 CFR 273.60(b)). Finally, some
                                                                                                          lieu of regulation under 40 CFR parts
                                                 discarded. As a result, retailers are                                                                         states are authorized to add wastes that
                                                                                                          260 through 272 for specified hazardous
                                                 required to make hazardous waste                                                                              are not federal universal wastes to their
                                                                                                          wastes.
                                                 determinations for a variety of products                    Handlers and transporters who                     lists of universal wastes. Therefore, in
                                                 being discarded at stores located across                 generate or manage items designated as               some states, aerosol cans are already
                                                 the country.                                             a universal waste are subject to the                 regulated as a universal waste.
                                                   In 2014, EPA published a Notice of                     management standards under 40 CFR                    E. State Universal Waste Programs That
                                                 Data Availability (NODA) for the Retail                  part 273, rather than the full RCRA                  Include Aerosol Cans
                                                 Sector as part of the Agency’s                           subtitle C regulations. Handlers include
                                                 continuing efforts to better understand                                                                          Four states, California, Colorado, Utah
                                                                                                          both facilities that generate universal
                                                 concerns from all stakeholders regarding                 waste and facilities that receive                    and New Mexico, already have
                                                 RCRA’s applicability to the retail sector,               universal waste from other universal                 universal waste aerosol can programs in
                                                 as well as to obtain information and                     waste handlers, accumulate the                       place, and two more states, Ohio and
                                                 feedback on issues affecting the retail                  universal waste and then send the                    Minnesota, have proposed to add
                                                 sector. (79 FR 8926, February 14, 2014)                  universal waste to another handler, a                aerosol cans to their universal waste
                                                 In the NODA, EPA requested comment                       destination facility or a foreign                    regulations.9 The universal waste
                                                 on a series of topics related to retail                  destination. Handlers do not include                 programs in all these states include
                                                 operations, waste management practices                   facilities that treat, dispose of, or recycle        streamlined management standards
                                                 and management of materials that may                     universal waste except as provided in                similar to 40 CFR part 273 for small and
                                                 become hazardous waste when                              the universal waste regulations. The                 large quantity handlers of universal
                                                 discarded. This specifically included                    regulations distinguish between ‘‘large              waste, and a one-year accumulation
                                                 requests for information regarding                       quantity handlers of universal waste’’               time limit for the aerosol cans. In
                                                 aerosol cans (e.g., quantity generated,                  (those who handle more than 5,000                    addition, the four current state universal
                                                 classification and management options,                   kilograms of total universal waste at one            waste programs, as well as Ohio’s
                                                 including handling as universal waste),                  time) and ‘‘small quantity handlers of               proposed regulations, set standards for
                                                 since aerosol cans comprise a large                      universal waste’’ (those who handle                  puncturing and draining of aerosol cans
                                                 percentage of the retail sector’s                        5,000 kilograms or less of universal                 by universal waste handlers.
                                                 hazardous waste stream. Approximately                    waste at one time). The 5,000-kilogram                  The aerosol can universal waste
                                                 35% of NODA commenters specifically                      accumulation criterion applies to the                programs of California, Colorado, Utah
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                                                 suggested that discarded aerosol cans be                 quantity of all universal wastes                     and New Mexico, as well as Ohio’s
                                                 managed as universal waste.                              accumulated. The streamlined standards               proposed aerosol can universal waste
                                                                                                                                                               program, allow for puncturing and
                                                   7 2004 U.S. EPA Puncturing of Aerosol Pesticide          8 EPA 2016. Strategy for Addressing the Retail     draining of aerosol cans by universal
                                                 Products Under FIFRA for the Purpose of Recycling,       Sector under RCRA’s Regulatory Framework.
                                                 Letter from Lois Rossi and William Diamond, Office       September 12, 2016. https://www.epa.gov/               9 EPA 2017. Summary of State Programs

                                                 of Pollution Prevention and Toxic Substances, U.S.       hwgenerators/strategy-addressing-retail-sector-      Addressing Aerosol Cans Under RCRA Hazardous
                                                 EPA, to John A. Wildie, Randolph Air Force Base,         under-resource-conservation-and-recovery-acts,       Waste Regulations or Under State Universal Waste
                                                 April 30, 2004, available in the docket for this rule.   retrieved on January 24, 2018.                       Programs.



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                                                 11658                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                 waste handlers, as long as specific                     comments on the 2014 Retail NODA,11                   generation. For example, a retail store
                                                 management standards and waste                          using the criteria in 40 CFR 273.81. In               may determine that large quantities of
                                                 characterization requirements are met.                  light of its evaluation of this                       aerosol cans, which can no longer be
                                                 In addition, California does not allow                  information, the Agency is proposing                  sold or donated, must be discarded as
                                                 off-site commercial processors 10 to                    that on balance, these wastes are                     hazardous waste. On the other hand,
                                                 puncture and drain aerosol cans without                 appropriate for inclusion onto the                    entities that use aerosol cans in their
                                                 a permit, and requires those handlers                   federal list of universal wastes for                  day-to-day operations may generate
                                                 that do puncture and drain cans to                      management under part 273. EPA                        small quantities of partially-used
                                                 submit a notification. Minnesota’s                      believes that adding aerosol cans to the              hazardous waste aerosol cans on a
                                                 proposed rule would not allow handlers                  universal waste rule would make                       sporadic basis. Data from the RIA
                                                 to puncture and drain their aerosol cans.               collection and transportation of this                 demonstrate that in 2015, large quantity
                                                                                                         waste to an appropriate facility easier               generators that generated hazardous
                                                 III. Rationale for Proposing Aerosol                                                                          waste aerosol cans generated an average
                                                                                                         and, therefore, will help facilitate
                                                 Cans Be Managed Under the Universal                                                                           of 1.8 tons per year (approximately
                                                                                                         recycling and reduce the amount of
                                                 Waste Rule                                                                                                    4,100 cans), while small quantity
                                                                                                         aerosol cans disposed of in municipal
                                                 A. Factors for Inclusion in the Universal               landfills. A summary of how the criteria              generators generated an average of 0.5
                                                 Waste Rule                                              in 40 CFR 273.81 apply to aerosol cans                tons per year (approximately 1,100
                                                                                                         is described below. EPA solicits                      cans). The median amounts are 0.12
                                                    EPA is proposing to add aerosol cans                                                                       tons (approximately 274 cans) and 0.04
                                                                                                         comment on this analysis.
                                                 to the universal waste rule, because the                                                                      tons (approximately 85 cans) for large
                                                 Agency believes that this waste meets                   1. The Waste, as Generated by a Wide                  quantity generators and small quantity
                                                 the factors that describe hazardous                     Variety of Generators, Should Be a                    generators respectively, per year.
                                                 waste that is appropriate for                           Listed or Characteristic Hazardous
                                                 management under the streamlined                        Waste (40 CFR 273.81(a))                              4. Systems To Be Used for Collecting the
                                                 universal waste system. Adding aerosol                                                                        Waste (Including Packaging, Marking,
                                                                                                           As discussed in Section III, aerosol                and Labeling Practices) Should Ensure
                                                 cans to the universal waste rule                        cans frequently demonstrate the
                                                 simplifies handling and disposal of the                                                                       Close Stewardship of the Waste (40 CFR
                                                                                                         hazardous characteristic for ignitability             273.81(d))
                                                 wastes for generators, while ensuring                   (40 CFR 261.21) due to the nature of the
                                                 that aerosol cans are sent to the                       propellant used. In addition, the                        The baseline universal waste
                                                 appropriate destination facilities, where               contents (propellant or product) may                  requirements of notification, labeling,
                                                 they will be managed as a hazardous                     also cause the can to be a hazardous                  training, response to releases found in
                                                 waste with all applicable subtitle C                    waste for other reasons if discarded.                 40 CFR part 273 subparts B and C and
                                                 requirements. Management as universal                                                                         the proposed specific requirements for
                                                 waste under the proposed requirements                   2. The Waste, or Category of Waste,                   management of aerosol cans in 40 CFR
                                                 is also expected to facilitate                          Should Not Be Exclusive to a Particular               273.13 and 40 CFR 273.33 as discussed
                                                 environmentally sound recycling of the                  Industry or Group of Industries, But                  Section IV below are designed to ensure
                                                 metal used to make the cans. The                        Generated by a Wide Variety of                        close stewardship of the hazardous
                                                 universal waste regulations include                     Establishments (40 CFR 273.81(b))                     waste aerosol cans.
                                                 eight factors to consider in evaluating                    EPA has documented in the                          5. Risks Posed by the Waste During
                                                 whether a waste is appropriate for                      Regulatory Impact Analysis (RIA)                      Accumulation and Transport Should Be
                                                 inclusion in the universal waste rule.                  developed for this proposal, that large               Relatively Low Compared to the Risks
                                                 These factors, codified at 40 CFR                       and small quantity generators that                    Posed by Other Hazardous Waste, and
                                                 273.81, are to be used to determine                     manage hazardous waste aerosol cans                   Specific Management Standards Would
                                                 whether regulating a particular                         can be found in 18 different industries               Be Protective of Human Health and the
                                                 hazardous waste under the streamlined                   (at the 2-digit North American Industry               Environment During Accumulation and
                                                 standards would improve overall                         Classification System (NAICS) code                    Transport (40 CFR 273.81(e))
                                                 management of the waste and, therefore,                 level). Thus, aerosol cans are commonly
                                                 whether the waste is a good candidate                                                                            Aerosol cans are designed to contain
                                                                                                         generated by a wide variety of types of               the products they hold during the
                                                 for the universal waste rule. As the                    establishments, including households,
                                                 Agency noted in the preamble to the                                                                           periods of storage and transportation as
                                                                                                         retail and commercial businesses, office              they move from the manufacturer, to the
                                                 final universal waste rule (60 FR 25513),               complexes, very small quantity
                                                 not every factor must be met for a waste                                                                      retailer, and ultimately to the final
                                                                                                         generators, small businesses,                         customer. As long as they remain intact,
                                                 to be appropriately regulated under the                 government organizations, as well as
                                                 universal waste system. However,                                                                              therefore, EPA expects that hazardous
                                                                                                         large industrial facilities.                          waste aerosol cans would present a
                                                 consideration of all the factors should
                                                 result in a conclusion that regulating a                3. The Waste Should Be Generated by a                 lower risk as compared to other types of
                                                 particular hazardous waste under 40                     Large Number of Generators and                        hazardous waste that are not contained
                                                 CFR part 273 will improve waste                         Frequently Generated in Relatively                    as-generated under normal management
                                                 management. EPA has examined                            Small Quantities (40 CFR 273.81(c))                   conditions. In addition, the ignitability
                                                 information on aerosol cans, including                                                                        risk posed during accumulation and
                                                                                                           As documented in the RIA, more than                 transport is addressed by standards set
                                                 information submitted in the public                     18,000 large and small quantity
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                                                                                                                                                               by the Department of Transportation,
                                                                                                         generators manage hazardous waste                     Office of Safety and Health
                                                    10 According to California’s guidance for their
                                                                                                         aerosol cans. Quantities generated vary               Administration, and local fire codes.12
                                                 regulations, a ‘‘commercial processor’’ is any person   depending on the type of generator and
                                                 that processes aerosol cans in exchange for
                                                 compensation. Some examples include: Individuals        the situations associated with                          12 For example, DOT—49 CFR 173.306 for

                                                 from another generator’s site, registered hazardous                                                           Shipping of Limited Quantities, Aerosol Cans and
                                                 waste transporters, operators of hazardous waste          11 Public comments on the 2014 Retail NODA can      49 CFR 173.115 for Flammable Gas, OSHA—29 CFR
                                                 treatment, storage and/or disposal facilities, and      be found in docket number EPA–HQ–RCRA–2012–           1910.106(d)(6), Flammable Liquids, 2015 NFPA—
                                                 operators of transportable treatment units.             0426 on regulations.gov.                              Chapter 30, Flammable and Combustible Liquids



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                                                                           Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                                11659

                                                 These standards include requirements                    7. Regulation of the Waste Under 40                   hazardous waste aerosol cans.14 In
                                                 for outer packaging and can design,                     CFR Part 273 Will Improve the                         particular, state officials from both
                                                 including limits on the amount of                       Implementation and Compliance With                    California and Colorado stated to EPA
                                                 flammable gas and general pressure                      the Hazardous Waste Regulatory                        that their respective aerosol can
                                                 conditions.                                             Program (40 CFR 273.81(g))                            universal waste programs have been in
                                                    Finally, as discussed below, the                                                                           effect since 2002, and they have not
                                                                                                            The structure and requirements of the              identified any problems with
                                                 proposed management standards for                       universal waste rule are well suited to
                                                 aerosol cans that are punctured and                                                                           compliance with the standards.
                                                                                                         the circumstances of handlers of                      Accordingly, this information also
                                                 drained at the handler would address                    hazardous waste aerosol cans and their
                                                 the ignitability risk, and help prevent                                                                       weighs in favor of concluding that
                                                                                                         participation in the universal waste                  management of aerosol cans under the
                                                 releases, and thus EPA believes that the                program will improve compliance with
                                                 risks posed by the activities proposed                                                                        federal universal waste regulations is
                                                                                                         the hazardous waste regulations. In                   likely to be successful.
                                                 are addressed by the universal waste                    particular, handlers of hazardous waste
                                                 designation.                                            aerosol cans who are infrequent                       B. Expected Changes in Management of
                                                 6. Regulation of the Waste Under 40                     generators of hazardous waste and who                 Aerosol Cans
                                                 CFR Part 273 Will Increase the                          might otherwise be unfamiliar with the                   If EPA’s proposal to include aerosol
                                                 Likelihood That the Waste Will Be                       more complex subtitle C management                    cans in the list of Universal Waste is
                                                 Diverted From Non-Hazardous Waste                       structure, but who generate hazardous                 finalized as proposed, EPA expects that
                                                 Management Systems (e.g., the                           waste aerosol cans will be able to more               the number of aerosol cans that are
                                                 Municipal Solid Waste Stream) to                        easily send this waste for proper                     diverted from municipal solid waste
                                                 Recycling, Treatment, or Disposal in                    management. Therefore, adding aerosol                 landfills and incinerators to recycling or
                                                 Compliance With Subtitle C of RCRA                      cans to the universal waste rule would                disposal in subtitle C facilities would
                                                 (40 CFR 273.81(f))                                      offer a protective hazardous waste                    increase. Small and large quantity
                                                                                                         management system that is likely to be                generators are already required to
                                                    Managing hazardous waste aerosol                     more accessible, particularly for the                 manage their hazardous waste aerosol
                                                 cans under the universal waste program                  retail sector, which can pose unique                  cans under RCRA subtitle C. As a result
                                                 is expected to increase the number of                   compliance challenges as compared to                  of implementation of this rule in the
                                                 these items collected, and to increase                  manufacturing and other ‘‘traditional’’               states, some of these generators would
                                                 the number of aerosol cans being                        RCRA-regulated sectors.13                             likely begin managing their aerosol cans
                                                 diverted from the non-hazardous waste                                                                         as a universal waste, either to save
                                                 stream into the hazardous waste stream                  8. Additional Factor (40 CFR 273.81(h)):
                                                                                                                                                               money or to improve implementation of
                                                 because it would allow generators,                      States’ Experience Under Existing State
                                                                                                                                                               their existing waste management
                                                 especially those that generate this waste               Universal Waste Programs Indicates
                                                                                                                                                               program. One of the streamlined
                                                 sporadically, to send it to a central                   That Regulation Under 40 CFR Part 273
                                                                                                                                                               provisions of the universal waste rule
                                                 consolidation point. Under the                          Will Improve Management of Aerosol
                                                                                                                                                               allows consolidation of aerosol cans at
                                                 universal waste rule, a handler of                      Cans
                                                                                                                                                               central locations, which makes it easier
                                                 universal waste can send the universal                     As discussed above, the factors                    for smaller users to arrange for
                                                 waste to another handler, where it can                  included in 40 CFR 273.81 are designed                hazardous waste recycling or disposal of
                                                 be consolidated into a larger shipment                  to determine whether regulating a                     these materials when they are generated.
                                                 for transport to a destination facility.                particular hazardous waste under the                  EPA intends to encourage individual
                                                 Therefore, under the proposed rule it                   streamlined standards of the universal                households and VSQGs to participate in
                                                 would be more economical to send                        waste rules would improve the overall                 such programs, which would divert
                                                 hazardous waste aerosol cans to                         management of the waste. Because in                   aerosol cans from the municipal waste
                                                 recycling for recovery of metal values.                 this case, as at least four states have               stream.
                                                 EPA thus expects such management to                     added aerosol cans to their universal                    In summary, EPA believes that
                                                 not only advance the RCRA goal of                       waste programs, those states’                         management of hazardous waste aerosol
                                                 increased resource conservation, but                    experiences with management of aerosol                cans can best be implemented through
                                                 also to increase proper disposal as                     cans under their respective universal                 a universal waste approach where
                                                 hazardous waste, making it less likely                  waste programs provides a useful source               handlers are operating within a simple,
                                                 that it will be sent for improper disposal              of information to inform EPA’s                        streamlined management system with
                                                 in municipal landfills or municipal                     judgment on whether to propose adding                 some limited oversight. The universal
                                                 incinerators. In addition, because of the               aerosol cans to the national universal                waste program addresses the
                                                 streamlined structure of the universal                  waste program.                                        environmental concerns surrounding
                                                 waste rule makes aerosol can collection                                                                       the management of such wastes, while
                                                 programs more economical, hazardous                        Information supplied to EPA from
                                                                                                         those states’ officials indicates that their          at the same time putting into place a
                                                 waste aerosol cans that might otherwise                                                                       structure that will allow for and
                                                 be sent to a municipal landfill under a                 programs improve the implementation
                                                                                                         of the hazardous waste program.                       encourage increased collection of
                                                 VSQG or household hazardous waste                                                                             aerosol cans for recycling.
                                                 exemption, would be more easily                         Specifically, State waste management
                                                 collected and consolidated for                          officials have represented to EPA that                IV. Discussion of Proposed Rule
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                                                 hazardous waste disposal by those who                   these programs have been operating
                                                                                                         well and achieving their objective of                 A. Waste Covered by Proposed Rule
                                                 are interested in managing it this way.
                                                 This waste would be diverted from the                   facilitating safe management of                         EPA is proposing that an ‘‘aerosol
                                                 municipal solid waste stream to                                                                               can’’ be defined as an intact container
                                                                                                           13 EPA 2016. Strategy for Addressing the Retail
                                                 universal waste management.
                                                                                                         Sector under RCRA’s Regulatory Framework.               14 EPA 2017. Summary of State Programs

                                                                                                         September 12, 2016. https://www.epa.gov/              Addressing Aerosol Cans Under RCRA Hazardous
                                                 Code, and Chapter 30B, Code for the Manufacture         hwgenerators/strategy-addressing-retail-sector-       Waste Regulations or Under State Universal Waste
                                                 and Storage of Aerosol Products.                        under-resource-conservation-and-recovery-acts.        Programs. December 2017.



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                                                 11660                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                 in which gas under pressure is used to                  because it is not yet discarded) would                B. Proposed Management Requirements
                                                 aerate and dispense any material                        also not be subject to this section.                  for Aerosol Cans
                                                 through a valve in the form of a spray                  Consistent with prior universal waste
                                                                                                                                                               1. Proposed Requirements for Small and
                                                 or foam. This definition is the same as                 rules, the proposed rule at 273.6(c) also
                                                                                                                                                               Large Quantity Handlers
                                                 the definition of aerosol can in the                    explains that a used aerosol can
                                                 California, Colorado, New Mexico and                    becomes a waste on the date it is                        Under this proposed rule, the existing
                                                 Utah universal waste programs, with the                 discarded, and an unused aerosol can                  universal waste requirements currently
                                                 exception of a size limit in Utah’s                     becomes a waste on the date the handler               applicable to small quantity handlers of
                                                 definition of aerosol can, as described                 decides to discard it.                                universal waste (SQHUWs) and large
                                                 below. EPA is proposing to adopt this                      A solid waste may be a hazardous                   quantity handlers of universal waste
                                                 definition of aerosol can to keep                       waste either because it is listed as a                (LQHUWs) would also be applicable to
                                                 consistency with the existing state                     hazardous waste in subpart D of 40 CFR                handlers of discarded aerosol cans. For
                                                 programs.                                               part 261 or because it exhibits one or                both SQHUWs and LQHUWs, these
                                                     EPA also intends this definition to be              more of the characteristics of hazardous              requirements include waste
                                                 limited to sealed containers whose                      waste, as provided in subpart C of 40                 management standards, labeling and
                                                 intended use is to dispense a material                  CFR part 261. For example, as discussed               marking, accumulation time limits,
                                                 by means of a propellant or compressed                  in Section II above, aerosol cans are                 employee training, response to releases,
                                                 gas. Aerosol cans are designed to                       frequently hazardous due to the                       requirements related to off-site
                                                 contain those materials until they are                  ignitability characteristic, and in some              shipments, and export requirements.
                                                 intended for release and to present                     cases may also contain listed hazardous               LQHUWs are subject to additional
                                                 minimal risk during normal storage and                  waste or materials exhibiting another                 notification and tracking requirements.
                                                 transport. Other types of containers,                   hazardous characteristic. If a solid waste            For the labeling requirement, EPA is
                                                 including compressed gas canisters and                  aerosol can is determined to be non-                  proposing that either each aerosol can,
                                                 propane cylinders, present a greater risk               hazardous then it is also not subject to              or a container in which the aerosol cans
                                                 than aerosol cans and would not be                      the proposed universal waste                          are contained, must be labeled or
                                                 included.                                               regulations.                                          marked clearly with any of the
                                                     Utah’s definition of aerosol cans                      In proposed 273.6(b)(3), EPA                       following phrases: ‘‘Universal Waste—
                                                 includes a size limitation of twenty-four               specifically excludes aerosol cans that               Aerosol Can(s),’’ ‘‘Waste Aerosol
                                                 ounces for aerosol cans that would                      have been emptied of their contents                   Can(s)’’, or ‘‘Used Aerosol Can(s)’’.
                                                 qualify under their universal waste                     (both propellant and product). Once the                  In addition, EPA is proposing that
                                                 provisions. EPA has not, however,                       contents of a universal waste aerosol                 small and large quantity universal waste
                                                 included a size limitation on universal                 can have been removed, the emptied                    handlers must follow certain specific
                                                 waste aerosol cans in this proposal                     can is considered a new point of                      management standards while handling
                                                 because EPA believes that aerosol cans                  generation and is subject to a hazardous              their aerosol cans. Under this proposal,
                                                 that meet the proposed definition in                    waste determination per 40 CFR 262.11.                all handlers must manage their
                                                 general can be safely managed under the                 An aerosol can that meets the definition              universal waste aerosol cans in a
                                                 universal waste system for the reasons                  of empty container in 40 CFR 261.7 is                 manner designed to prevent releases to
                                                 explained in Section III above, and has                 not subject to hazardous waste                        the environment. This includes
                                                 not identified reasons why size would                   regulation, and may be recycled as scrap              accumulating universal waste aerosol
                                                 affect the considerations described.                    metal.                                                cans in containers that are structurally
                                                 However, EPA requests comment on                           The proposed rules also exclude at                 sound and compatible with the contents
                                                 whether to include a size limit of                      273.4(b)(4), aerosol cans that show                   of the can, and show no evidence of
                                                 twenty-four ounces or other type of                     evidence of leakage, spillage, or damage              leaks, spills, or damage that could cause
                                                 limitations on the types of aerosol cans                that could cause leakage under                        leaks under reasonably foreseeable
                                                 that would be eligible for the federal                  reasonably foreseeable conditions.                    conditions. Handlers may sort aerosol
                                                 universal waste rule, including any                     Through this exclusion, EPA intends                   cans by type and consolidate intact
                                                 information on how such a limit would                   that hazardous waste aerosol cans that                aerosol cans in larger containers,
                                                 be necessary to ensure safe management                  are not intact continue to be subject to              remove actuators to reduce the risk of
                                                 of aerosol cans. EPA requests comment                   the full hazardous waste standards. The               accidental release, and under certain
                                                 on the appropriate scope of the                         protectiveness of the proposed                        conditions, may puncture and drain
                                                 definition of ‘‘aerosol can’’ and the                   management standards described below                  aerosol cans that are being recycled, as
                                                 types of materials that should fall under               relies in part on the fact that the aerosol           described below.
                                                 it.                                                     cans to be managed in accordance with
                                                     Proposed section 273.6 has specific                 those rules are not leaking or otherwise              2. Proposed Requirements and Request
                                                 exclusions from the coverage of the                     damaged where contents or propellants                 for Comment on Puncturing and
                                                 proposed rules in paragraph 273.6(b).                   could be dispersed out of the can,                    Draining at Small and Large Quantity
                                                 First, the proposed rules at 273.6(b)(1)                because such uncontrolled release could               Handlers
                                                 and (2) exclude from the definition of                  pose risk to human health and the                        As discussed in Section II above,
                                                 ‘‘aerosol can’’ those cans that are not yet             environment, including an increased                   under the current hazardous waste
                                                 a waste under 40 CFR part 261, and                      risk of fire. A leaking or damaged                    regulations, puncturing and draining an
                                                 those cans that are not hazardous waste,                hazardous waste aerosol can that                      aerosol can, if performed as part of the
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                                                 respectively. An aerosol can would only                 presents a risk of the contents or                    recycling process (e.g., scrap metal
                                                 be subject to the proposed rule if it is                propellants being dispersed out of the                recycling), is exempt from RCRA
                                                 considered a hazardous waste under 40                   can would need to be managed as RCRA                  permitting requirements per 40 CFR
                                                 CFR part 261, and before a material can                 hazardous waste under 40 CFR parts                    261.6(c). Storage of hazardous waste
                                                 be determined to be a hazardous waste,                  260 through 272. Therefore, this                      aerosol cans prior to recycling still
                                                 it first must be determined to be a solid               provision includes all discarded, intact,             requires a permit, unless it is exempt
                                                 waste. Accordingly, any aerosol can that                non-empty hazardous waste aerosol                     from permitting under another
                                                 is not yet a solid waste (for example,                  cans.                                                 provision.


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                                                                           Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                                11661

                                                    However, EPA expects that                            order to prevent fires, use of personal               of the unit including its proper
                                                 puncturing and draining activities at                   protective equipment such as safety                   assembly; segregation of incompatible
                                                 universal waste handlers will be                        goggles, and segregating incompatible                 wastes; and proper waste management
                                                 different from those currently performed                products from being drained into the                  practices, (e.g., ensuring that flammable
                                                 by hazardous waste generators. Because                  same container. Operators of puncturing               wastes are stored away from heat or
                                                 handlers may receive universal waste                    and draining devices are also instructed              open flames).
                                                 from many other handlers, the volume                    to ensure that the container remains                     EPA is also proposing that the actual
                                                 of aerosol cans punctured and drained                   closed, does not become overfilled and                puncturing of the cans should be done
                                                 at a commercial universal waste handler                 that the container storing the contents of            in a manner designed to prevent fires
                                                 is likely to be much greater than at a                  the drained aerosol cans is also kept in              and to prevent the release of the aerosol
                                                 typical hazardous waste generator                       a well ventilated area free from sparks               can contents to the environment. This
                                                 (which can only puncture and drain its                  or ignition sources.                                  includes, but is not limited to, locating
                                                 own hazardous waste aerosol cans). In                      However, the Agency has previously                 the equipment on a solid, flat surface in
                                                 addition, under the universal waste                     investigated the performance of at least              a well-ventilated area.
                                                 regulations, handlers can store their                   one aerosol can puncturing and draining                  In addition, EPA is proposing that the
                                                 universal waste up to a year, which                     device through EPA’s Environmental                    contents from the cans should be
                                                 could increase the number of cans                       Technology Verification (ETV) program.                immediately transferred from the waste
                                                 punctured and drained at one time if the                The ETV review demonstrated one type                  aerosol can, or puncturing device if
                                                 facility processes the cans in batches.                 of drum-top puncturing and draining                   applicable, to a container or tank and
                                                    Because of the likely differences                    system was effective in processing at                 that the contents are subject to a
                                                 between recycling of aerosol cans at                    least 187 cans before breakthrough of                 hazardous waste determination under
                                                 hazardous waste generators versus                       volatile chemicals occurred, which was                40 CFR 262.11. The handler becomes
                                                 recycling of aerosol cans at universal                  significantly less than the 600–750 cans              that hazardous waste generator of the
                                                 waste handlers, EPA is proposing                        recommended by some manufacturers.                    hazardous aerosol can contents and
                                                 specific management standards for the                   The drum that contained the drained                   must manage those waste in accordance
                                                 puncturing and draining of aerosol cans                 liquid from the aerosol cans was also                 with applicable RCRA regulations.
                                                 at universal waste handlers, similar to                 never more than 25% full before                          The proposed rule would also require
                                                 the requirements currently being                        breakthrough occurring. These findings                that a written procedure be in place in
                                                 implemented in states that have added                   were contrary to manufacturer                         the event of a spill or release and a spill
                                                 aerosol cans to their list of universal                 recommendations of ensuring the                       clean-up kit should be provided. All
                                                 waste. The aerosol can universal waste                  container is not filled past 70% full in              spills or leaks of the contents of the
                                                 programs of California, Colorado, Utah                  order to avoid breakthrough of volatile               aerosol cans should be cleaned up
                                                 and New Mexico, as well as Ohio’s                       chemicals. In addition, the ETV program               promptly.
                                                 proposed aerosol can universal waste                    found that halogenated compounds                         Finally, EPA notes that all
                                                 program, allow for puncturing and                       (e.g., chlorinated solvents) were found               puncturing, waste collection, and
                                                 draining of aerosol cans by universal                   to be incompatible with the seal and                  disposal, must be conducted in
                                                 waste handlers, as long as specific                     gasket materials.                                     compliance with all applicable federal,
                                                 management standards and waste                             The performance of aerosol can                     state and local waste (solid and
                                                 characterization requirements are met.                  puncturing and draining devices will                  hazardous waste) and occupational
                                                    Similar to the current state                         vary by manufacturer and it remains the               safety and health laws and regulations.
                                                 requirements, EPA is proposing that                     responsibility of the operator to ensure                 In addition, EPA is requesting
                                                 puncturing and draining activities must                 that the puncturing device is properly                comment on establishing further
                                                 be conducted by a commercial device                     draining the contents of the aerosol cans             limitations on puncturing and draining
                                                 specifically designed to safely puncture                into the drum, that breakthrough is not               of aerosol cans, similar to limitations
                                                 aerosol cans and effectively contain the                occurring, and that aerosol cans                      that have been established by state
                                                 residual contents and any emissions                     incompatible with the device are not                  waste management programs either
                                                 thereof. Puncturing and draining                        punctured. For example, information is                through regulations or guidance. Many
                                                 systems for aerosol cans are available                  readily available regarding potential                 states have issued guidelines for
                                                 from multiple commercial vendors.                       incompatibilities for aerosol can                     puncturing and draining aerosol cans
                                                 These devices generally consist of an                   propellants with puncturing devices                   under their hazardous waste program.
                                                 enclosed puncturing device that                         containing rubber seals or gaskets.16                 Some state guidelines recommend
                                                 punctures an aerosol can, allowing the                     Therefore, EPA is proposing that                   against the generator puncturing and
                                                 contents to be drained into an attached                 handlers must establish a written                     draining certain types of aerosol cans
                                                 container. In many cases, these                         procedure detailing how to safely                     due to the possible incompatibility with
                                                 containers are 55-gallon drums with a                   puncture and drain universal waste                    the puncturing and draining equipment
                                                 filter made of carbon or similar                        aerosol can (including operation and                  or the contents of other cans being
                                                 materials to capture any gases that may                 maintenance of the unit; segregation of               drained, or due to the hazardous nature
                                                 escape the 55-gallon drum during the                    incompatible wastes; and proper waste                 of the contents. These aerosol cans
                                                 puncturing and draining process.                        management practices to prevent fires or              include, but are not limited to, cans
                                                    Manufacturers of aerosol can                         releases), and ensure employees                       containing the following contents:
                                                 puncturing and draining devices
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                                                                                                         operating the device are trained in the               Ethers including ethyl ether, chlorinated
                                                 include instructions for their use.15                   proper procedures. At minimum, EPA is                 compounds, pesticides, herbicides,
                                                 These instructions include operating                    proposing that the written procedure                  freons, foamers, corrosive cleaners and
                                                 devices in a well ventilated area that is               address the operation and maintenance                 unknowns.17 EPA requests comment on
                                                 free from sparks and ignition sources in
                                                                                                           16 EPA 2017. Compilation of Manufacturer’s            17 EPA 2017. Summary of State Programs
                                                   15 EPA 2017. Compilation of Manufacturer’s            Guidance on Devices for Puncturing and Draining       Addressing Aerosol Cans Under RCRA Hazardous
                                                 Guidance on Devices for Puncturing and Draining         Aerosol Cans, December 2017. See table beginning      Waste Regulations or Under State Universal Waste
                                                 Aerosol Cans, December 2017.                            on page 54.                                           Programs. December 2017.



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                                                 11662                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                 establishing additional regulatory                      applicable to universal waste                         waste management standards. Similarly,
                                                 requirements for can draining devices                   destination facilities (subpart E of part             a larger or small universal waste handler
                                                 and limits on aerosol cans that may pose                273). Under 40 CFR 273.9, the definition              that generates 1000 kilograms or more of
                                                 compatibility problems and that may be                  of a destination facility is ‘‘a facility that        hazardous waste in a calendar month in
                                                 punctured and drained under the                         treats, disposes of, or recycles a                    addition to the universal waste it
                                                 proposed rules.                                         particular category of universal waste’’              generates would be regulated as a large
                                                   In addition, EPA is requesting                        (except certain activities specified in the           quantity generator of hazardous waste.
                                                 comment on limiting puncturing and                      regulations at § 273.13(a) and (c) and
                                                 draining practices to handlers that are                 § 273.33(a) and (c)).                                 4. Applicability of Land Disposal
                                                 not commercial processors (i.e., a                                                                            Restriction Requirements
                                                 person that processes aerosol cans                      3. Effect of This Proposed Rule on
                                                                                                                                                                 This proposed rule would not change
                                                 received from other entities in exchange                Household Wastes and Very Small
                                                                                                                                                               the applicability of land disposal
                                                 for compensation). Such a limitation                    Quantity Generators
                                                                                                                                                               restriction (LDR) requirements to
                                                 would be consistent with California’s                      Adding hazardous waste aerosol cans                universal waste. Under the existing
                                                 universal waste program. Under this                     to the federal definition of universal                regulations (40 CFR 268.1(f)), universal
                                                 option, the puncturing and draining                     wastes would not impose any                           waste handlers and transporters are
                                                 management standards would only                         requirements on households and very                   exempt from the land disposal
                                                 apply to handlers that are not                          small quantity generators for managing                restriction (LDR) requirements regarding
                                                 commercial processors. Handlers that                    these cans. Household waste continues                 testing, tracking, and recordkeeping in
                                                 are commercial processors may still                     to be exempt from RCRA subtitle C                     40 CFR 268.7 and the storage
                                                 accept aerosol cans and process the cans                regulations under 40 CFR 261.4(b)(1).                 prohibition in 40 CFR 268.50. EPA
                                                 by sorting and consolidating them, but                  However, under the universal waste                    proposes to amend 40 CFR 268.1(f) to
                                                 would be unable to puncture and drain                   rule, households and VSQGs may                        add aerosol can universal waste for
                                                 the cans. Under this option, commercial                 choose to manage their hazardous waste                consistency. This proposed rule would
                                                 processors that would like to puncture                  aerosol cans in accordance with either                also not change the regulatory status of
                                                 and drain aerosol cans must first meet                  the VSQG regulations under 40 CFR                     destination facilities; they remain
                                                 the requirements for a universal waste                  261.5 or as a universal waste under part              subject to the full LDR requirements.
                                                 destination facility (including requiring               273 (40 CFR 273.8(a)(2)). It should be
                                                 a permit for storage of the hazardous                   noted, however, that 40 CFR 273.8(b)                  V. Technical Corrections
                                                 waste aerosol cans prior to recycling).                 would continue to apply. Under this                     As part of this rulemaking, EPA is
                                                 Handlers would still be allowed to                      provision, if household or VSQG wastes                proposing four technical corrections to
                                                 puncture and drain the hazardous waste                  are mixed with universal waste subject                the universal waste standards for
                                                 aerosol cans that they generate.                        to the requirements of 40 CFR part 273                mercury-containing equipment in 40
                                                                                                         (i.e., universal waste that is not                    CFR 273.13(c)(2)(iii) and (iv) and
                                                 1. Proposed Requirements for                            generated by households or VSQGs), the
                                                 Transporters                                                                                                  273.33(c)(2)(iii) and (iv). Each of these
                                                                                                         commingled waste must be handled as                   paragraphs contains a reference to 40
                                                    This proposed rule would not change                  universal waste in accordance with part               CFR 262.34, which was removed and
                                                 any of the existing requirements                        273. Under this proposed rule, handlers               reserved as part of the November 28,
                                                 applicable to universal waste                           of universal waste who collect 5,000                  2016, Hazardous Waste Generator
                                                 transporters. Under 40 CFR 273.9, the                   kilograms or more of this commingled                  Improvements Rule (81 FR 85732). EPA
                                                 definition of a universal waste                         aerosol can waste would be considered                 neglected to update these references as
                                                 transporter is ‘‘a person engaged in the                large quantity handlers of universal                  part of its corresponding changes in that
                                                 off-site transportation of universal waste              waste and must meet the requirements                  rule and is correcting that mistake here.
                                                 by air, rail, highway, or water.’’ Persons              of that category of universal waste                   In all four places, EPA is proposing that
                                                 meeting the definition of universal                     handler. Hazardous waste aerosol cans                 the regulation refer to 40 CFR 262.16 or
                                                 waste transporter include those persons                 that are managed as a universal waste                 262.17, as applicable.
                                                 who transport universal waste from one                  under 40 CFR part 273 would not be
                                                 universal waste handler to another, to a                required to be included in a facility’s               VI. State Authority
                                                 processor, to a destination facility, or to             determination of hazardous waste                      A. Applicability of Proposed Rule in
                                                 a foreign destination. These persons are                generator status (40 CFR 261.5(c)(6)).
                                                                                                                                                               Authorized States
                                                 subject to the universal waste                          Therefore, a generator that manages
                                                 transporter requirements of part 273,                   such cans under the universal waste                      Under section 3006 of RCRA, EPA
                                                 subpart D. EPA notes that this proposed                 rule and does not generate any other                  may authorize qualified states to
                                                 rule also would not affect the                          hazardous waste would not be subject to               administer and enforce the RCRA
                                                 applicability of shipping requirements                  other subtitle C hazardous waste                      hazardous waste program within the
                                                 under the hazardous waste materials                     management regulations, such as the                   state. Following authorization, EPA
                                                 regulations of the Department of                        hazardous waste generator regulations                 retains enforcement authority under
                                                 Transportation. Transporters continue                   in part 262. A large or small universal               sections 3008, 3013, and 7003 of RCRA,
                                                 to be subject to these requirements, if                 waste handler that generates more than                although authorized states have primary
                                                 applicable (e.g., 49 CFR 173.306 for                    100 kilograms but less than 1,000                     enforcement responsibility. The
                                                 shipping of limited quantities of aerosol               kilograms of hazardous waste in a                     standards and requirements for state
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                                                 cans, or 49 CFR 173.115(l) which sets                   calendar month in addition to the                     authorization are found at 40 CFR part
                                                 limits in the definition of ‘‘aerosol’’ for             universal waste it generates would be                 271. Prior to enactment of the
                                                 the purpose of shipping flammable gas).                 regulated as a small quantity generator               Hazardous and Solid Waste
                                                                                                         of hazardous waste and would be                       Amendments of 1984 (HSWA), a State
                                                 2. Proposed Requirements for                            required to manage all hazardous waste                with final RCRA authorization
                                                 Destination Facilities                                  not included within the scope of that                 administered its hazardous waste
                                                    This proposed rule would not change                  universal waste rule in accordance with               program entirely in lieu of EPA
                                                 any of the existing requirements                        all applicable subtitle C hazardous                   administering the federal program in


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                                                                           Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                          11663

                                                 that state. The federal requirements no                 found at http://www.epa.gov/laws-                        Respondent’s obligation to respond:
                                                 longer applied in the authorized state,                 regulations/laws-and-executive-orders.                The recordkeeping and notification
                                                 and EPA could not issue permits for any                                                                       requirements are required in order to
                                                                                                         A. Executive Order 12866: Regulatory
                                                 facilities in that state, since only the                                                                      obtain a benefit under 40 CFR part 273.
                                                                                                         Planning and Review and Executive                        Estimated number of respondents:
                                                 state was authorized to issue RCRA
                                                                                                         Order 13563: Improving Regulation and                 639.
                                                 permits. When EPA promulgated new,
                                                                                                         Regulatory Review                                        Frequency of response: One-time
                                                 more stringent federal requirements for
                                                 these pre-HSWA regulations, the state                     This action is not a significant                    notification for LQHUWs, annual
                                                 was obligated to enact equivalent                       regulatory action because it does not                 training requirements for all universal
                                                 authorities within specified time frames.               have a significant economic impact nor                waste handlers; per-shipment costs for
                                                 However, the new federal requirements                   does it raise novel legal or policy issues.           labeling (all handlers) and tracking
                                                 did not take effect in an authorized                    The Office of Management and Budget                   (LQHUWs).
                                                 state, until the state adopted the federal              (OMB) waived review.                                     Total estimated burden: EPA
                                                 requirements as state law. In contrast,                                                                       estimates the annual burden to
                                                                                                         B. Executive Order 13771: Reducing                    respondents to be a net reduction in
                                                 under RCRA section 3006(g) (42 U.S.C.
                                                                                                         Regulations and Controlling Regulatory                burden of approximately 39,113 hours.
                                                 6926(g)), which was added by HSWA,
                                                                                                         Costs                                                 Burden is defined at 5 CFR 1320.3(b).
                                                 new requirements and prohibitions
                                                                                                                                                                  Total estimated cost: The total
                                                 imposed under HSWA authority take                         This action is expected to be an
                                                                                                                                                               estimated annual cost of this rule is a
                                                 effect in authorized states at the same                 Executive Order 13771 deregulatory
                                                                                                                                                               cost savings of approximately $2.0
                                                 time that they take effect in                           action. Details on the estimated cost
                                                                                                                                                               million. This cost savings is composed
                                                 unauthorized states. EPA is directed by                 savings of this proposed rule can be
                                                                                                                                                               of approximately $1.94 million in
                                                 the statute to implement these                          found in EPA’s analysis of the potential
                                                                                                                                                               annualized avoided labor costs and
                                                 requirements and prohibitions in                        costs and benefits associated with this
                                                                                                                                                               $0.06 million in avoided capital or
                                                 authorized states, including the                        action.
                                                                                                                                                               operation and maintenance costs.
                                                 issuance of permits, until the state is                                                                          An agency may not conduct or
                                                                                                         C. Paperwork Reduction Act (PRA)
                                                 granted authorization to do so. While                                                                         sponsor, and a person is not required to
                                                 states must still adopt HSWA related                      The information collection activities               respond to, a collection of information
                                                 provisions as state law to retain final                 in this proposed rule will be submitted               unless it displays a currently valid OMB
                                                 authorization, EPA implements the                       for approval to the Office of                         control number. The OMB control
                                                 HSWA provisions in authorized states                    Management and Budget (OMB) under                     numbers for the EPA’s regulations in 40
                                                 until the states do so.                                 the PRA. The Information Collection                   CFR are listed in 40 CFR part 9. The
                                                    Authorized states are required to                    Request (ICR) documents that the EPA                  OMB Control Number for this proposed
                                                 modify their programs only when EPA                     prepared have been assigned EPA ICR                   rule is 2050–0145. Submit your
                                                 enacts federal requirements that are                    number 1597.12 and ICR number                         comments on the Agency’s need for this
                                                 more stringent or broader in scope than                 2513.03. You can find copies of the ICRs              information, the accuracy of the
                                                 existing federal requirements. RCRA                     in the docket for this rule, and they are             provided burden estimates and any
                                                 section 3009 allows the states to impose                briefly summarized here.                              suggested methods for minimizing
                                                 standards more stringent than those in                    Because aerosol cans managed under                  respondent burden to the EPA using the
                                                 the federal program (see also 40 CFR                    the proposed rule are not counted                     docket identified at the beginning of this
                                                 271.1). Therefore, authorized states may,               toward a facility’s RCRA generator                    rule. You may also send your ICR-
                                                 but are not required to, adopt federal                  status, respondents will see a reduction              related comments to OMB’s Office of
                                                 regulations, both HSWA and non-                         in burden. This is because the aerosol                Information and Regulatory Affairs via
                                                 HSWA, that are considered less                          cans would not be subject to                          email to OIRA_submission@
                                                 stringent than previous federal                         recordkeeping and reporting                           omb.eop.gov, Attention: Desk Officer for
                                                 regulations.                                            requirements as hazardous waste, and                  the EPA. Since OMB is required to make
                                                                                                         the respondent may no longer be subject               a decision concerning the ICR between
                                                 B. Effect on State Authorization
                                                                                                         to hazardous waste generator                          30 and 60 days after receipt, OMB must
                                                    This proposed rule would be less                     recordkeeping and reporting                           receive comments no later than April
                                                 stringent than the current federal                      requirements, depending on the                        16, 2018. The EPA will respond to any
                                                 program. Because states are not required                quantity of non-aerosol can hazardous                 ICR-related comments in the final rule.
                                                 to adopt less stringent regulations, they               waste they generate. The existing
                                                 would not have to adopt the universal                   universal waste requirements currently                D. Regulatory Flexibility Act (RFA)
                                                 waste regulations for aerosol cans,                     applicable to small quantity handlers of                I certify that this proposed action will
                                                 although EPA encourages them to do so.                  universal waste (SQHUWs) and large                    not have a significant economic impact
                                                 Some states have already added aerosol                  quantity handlers of universal waste                  on a substantial number of small entities
                                                 cans to the list of universal wastes in                 (LQHUWs) would also be applicable to                  under the RFA. In making this
                                                 that state, and others may do so in the                 handlers of aerosol can waste. For both               determination, the impact of concern is
                                                 future. If a state’s standards for aerosol              SQHUWs and LQHUWs, these                              any significant adverse economic
                                                 cans are less stringent than those in the               requirements include labeling and                     impact on small entities. An agency may
                                                 final rule, the state would have to                     marking, employee training, response to               certify that a rule will not have a
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                                                 amend its regulations to make them at                   releases, and export requirements.                    significant economic impact on a
                                                 least equivalent to the federal standards               LQHUWs are also subject to additional                 substantial number of small entities if
                                                 and pursue authorization.                               notification and tracking requirements.               the rule relieves regulatory burden, has
                                                                                                           Respondents/affected entities: The                  no net burden or otherwise has a
                                                 VII. Statutory and Executive Order
                                                                                                         information collection requirements of                positive economic effect on the small
                                                 Reviews
                                                                                                         the proposed rule affect facilities that              entities subject to the rule. As
                                                   Additional information about these                    handle aerosol can waste and vary based               documented in the Regulatory Impact
                                                 statutes and Executive Orders can be                    on facility generator and handler status.             Analysis found in the docket for this


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                                                 11664                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                 proposal, EPA does not expect the rule                  I. Executive Order 13211: Actions                       Dated: March 5, 2018.
                                                 to result in an adverse impact to a                     Concerning Regulations That                           E. Scott Pruitt,
                                                 significant number of small entities,                   Significantly Affect Energy Supply,                   Administrator.
                                                 since the rule is expected to result in net             Distribution or Use                                     For the reasons set out in the
                                                 cost savings for all entities affected by                                                                     preamble, title 40, chapter I of the Code
                                                                                                            This proposed action is not subject to             of Federal Regulations, parts 260, 261,
                                                 the rule. We have therefore concluded
                                                                                                         Executive Order 13211, because it is not              264, 265, 268, 270, and 273 are
                                                 that this proposed action will either
                                                                                                         a significant regulatory action under                 proposed to be amended as follows:
                                                 relieve regulatory burden or have no net                Executive Order 12866.
                                                 regulatory burden for all directly
                                                 regulated small entities.                               J. National Technology Transfer and                   PART 260—HAZARDOUS WASTE
                                                                                                         Advancement Act (NTTAA)                               MANAGEMENT SYSTEM: GENERAL
                                                 E. Unfunded Mandates Reform Act
                                                 (UMRA)                                                    This rulemaking does not involve                    ■ 1. The authority citation for part 260
                                                                                                         technical standards.                                  continues to read as follows:
                                                   As documented in the Regulatory                                                                               Authority: 42 U.S.C. 6905, 6912(a), 6921–
                                                 Impact Analysis found in the docket for                 K. Executive Order 12898: Federal
                                                                                                                                                               6927, 6930, 6934, 6935, 6937, 6938, 6939,
                                                 this proposal, this proposed action does                Actions To Address Environmental                      and 6974.
                                                 not contain an unfunded mandate of                      Justice in Minority Populations and
                                                                                                         Low-Income Populations                                Subpart B—Definitions
                                                 $100 million or more as described in
                                                 UMRA, 2 U.S.C. 1531–1538, and does                         The EPA believes that this proposed                ■ 2. Section 260.10 is amended by:
                                                 not significantly or uniquely affect small              action does not have disproportionately               ■ a. Adding the definition of ‘‘Aerosol
                                                 governments.                                            high and adverse human health or                      can’’ in alphabetical order;
                                                                                                         environmental effects on minority                     ■ b. Amending the definition
                                                 F. Executive Order 13132: Federalism                                                                          ‘‘Universal waste’’ by:
                                                                                                         populations, low-income populations
                                                   As documented in the Regulatory                       and/or indigenous peoples, as specified               ■ i. Republishing the introductory text;
                                                                                                         in Executive Order 12898 (59 FR 7629,                 ■ ii. Removing the word ‘‘and’’ at the
                                                 Impact Analysis found in the docket for
                                                                                                         February 16, 1994).                                   end of paragraph (3);
                                                 this proposal, this proposed action does
                                                                                                                                                               ■ iii. Revising paragraph (4); and
                                                 not have federalism implications. It will                  The documentation for this decision                ■ iv. Adding paragraph (5); and
                                                 not have substantial direct effects on the              is contained in Regulatory Impact                     ■ c. Republishing the introductory text
                                                 states, on the relationship between the                 Analysis of Proposed Rule to Add                      of paragraph (2) and revising paragraph
                                                 national government and the states, or                  Aerosol Cans to the Universal Waste                   (2)(i) of the definition of ‘‘Universal
                                                 on the distribution of power and                        Rule, found in the docket for this                    waste handler’’.
                                                 responsibilities among the various                      proposal.                                                The revisions and additions read as
                                                 levels of government.                                   List of Subjects                                      follows:
                                                 G. Executive Order 13175: Consultation                  40 CFR Part 260                                       § 260.10   Definitions.
                                                 and Coordination With Indian Tribal                                                                           *      *     *    *     *
                                                 Governments                                              Environmental protection,                               Aerosol can means an intact container
                                                                                                         Administrative practice and procedure,                in which gas under pressure is used to
                                                    This proposed action does not have                   Hazardous waste.                                      aerate and dispense any material
                                                 tribal implications as specified in                                                                           through a valve in the form of a spray
                                                                                                         40 CFR Part 261
                                                 Executive Order 13175. Because the                                                                            or foam.
                                                 proposed rule is expected to result in                   Environmental protection, Hazardous                  *      *     *    *     *
                                                 net cost savings, EPA does not expect                   waste, Recycling.                                        Universal waste means any of the
                                                 that it would result in any adverse                                                                           following hazardous wastes that are
                                                                                                         40 CFR Part 264
                                                 impacts on tribal entities. Thus,                                                                             managed under the universal waste
                                                 Executive Order 13175 does not apply                     Environmental protection, Hazardous                  requirements of part 273 of this chapter:
                                                 to this proposed action.                                waste, Packaging and containers.                      *      *     *    *     *
                                                 H. Executive Order 13045: Protection of                 40 CFR Part 265                                          (4) Lamps as described in § 273.5 of
                                                 Children From Environmental Health                                                                            this chapter; and
                                                 Risks and Safety Risks                                   Environmental protection, Hazardous                     (5) Aerosol cans as described in
                                                                                                         waste, Packaging and containers.                      § 273.6 of this chapter.
                                                   This proposed action is not subject to                                                                         Universal waste handler:
                                                                                                         40 CFR Part 268
                                                 Executive Order 13045 because it is not                                                                       *      *     *    *     *
                                                 economically significant as defined in                    Environmental protection, Hazardous                    (2) Does not mean:
                                                 Executive Order 12866, and because the                  waste, Reporting and recordkeeping                       (i) A person who treats (except under
                                                 EPA does not believe the environmental                  requirements.                                         the provisions of 40 CFR 273.13(a) or
                                                 health or safety risks addressed by this                                                                      (c), or 40 CFR 273.33(a) or (c)), disposes
                                                                                                         40 CFR Part 270                                       of, or recycles (except under the
                                                 proposed action present a
                                                                                                                                                               provisions of 40 CFR 273.13(e) or 40
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                                                 disproportionate risk to children. This                   Environmental protection, Hazardous
                                                 proposed action’s health and risk                       materials transportation, Reporting and               CFR 273.33(e)) universal waste; or
                                                 assessments are contained in the                        recordkeeping requirements.                           *      *     *    *     *
                                                 Regulatory Impact Analysis of Proposed                  40 CFR Part 273                                       PART 261—IDENTIFICATION AND
                                                 Rule to Add Aerosol Cans to the
                                                                                                                                                               LISTING OF HAZARDOUS WASTE
                                                 Universal Waste Rule, found in the                       Environmental protection, Hazardous
                                                 docket for this proposal.                               materials transportation, Hazardous                   ■ 3. The authority citation for part 261
                                                                                                         waste.                                                continues to read as follows:


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                                                                           Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                            11665

                                                   Authority: 42 U.S.C. 6905, 6912(a), 6921,             § 265.1   Purpose, scope, and applicability.          PART 273—STANDARDS FOR
                                                 6922, 6924(y), and 6938.                                *     *     *     *    *                              UNIVERSAL WASTE MANAGEMENT
                                                 Subpart A—General                                         (c) * * *
                                                                                                                                                               ■ 13. The authority for part 273
                                                                                                           (14) * * *                                          continues to read as follows:
                                                 ■ 4. Section 261.9 is amended by:                         (iv) Lamps as described in § 273.5 of
                                                 ■ a. Removing the word ‘‘and’’ at the                                                                           Authority: 42 U.S.C. 6922, 6923, 6924,
                                                                                                         this chapter; and
                                                 end of paragraph (c);                                                                                         6925, 6930, and 6937.
                                                                                                           (v) Aerosol cans as described in
                                                 ■ b. Revising paragraph (d); and                        § 273.6 of this chapter.                              Subpart A—General
                                                 ■ c. Adding paragraph (e).
                                                                                                         *     *     *     *    *
                                                   The revisions and additions read as                                                                         ■ 14. Section 273.1 is amended by:
                                                 follows:                                                PART 268—LAND DISPOSAL                                ■ a. Removing the word ‘‘and’’ at the
                                                                                                         RESTRICTIONS                                          end of paragraph (a)(3);
                                                 § 261.9   Requirements for universal waste.                                                                   ■ b. Revising paragraph (a)(4); and
                                                 *     *     *     *    *                                ■ 9. The authority citation for part 268              ■ c. Adding paragraph (a)(5).
                                                   (d) Lamps as described in § 273.5 of                  continues to read as follows:                           The revision and addition read as
                                                 this chapter; and                                         Authority: 42 U.S.C. 6905, 6912(a), 6921,
                                                                                                                                                               follows:
                                                   (e) Aerosol cans as described in                      and 6924.                                             § 273.1    Scope.
                                                 § 273.6 of this chapter.
                                                                                                         Subpart A—General                                       (a) * * *
                                                 PART 264—STANDARDS FOR                                                                                          (4) Lamps as described in § 273.5 of
                                                 OWNERS AND OPERATORS OF                                 ■ 10. Section 268.1 is amended by:                    this chapter; and
                                                 HAZARDOUS WASTE TREATMENT,                              ■ a. Removing the word ‘‘and’’ at the                   (5) Aerosol cans as described in
                                                 STORAGE AND DISPOSAL FACILITIES                         end of paragraph (f)(3);                              § 273.6 of this chapter.
                                                                                                         ■ b. Revising paragraph (f)(4); and                   *     *     *     *     *
                                                 ■ 5. The authority citation for part 264                                                                      ■ 15. Section 273.6 is added to read as
                                                                                                         ■ c. Adding paragraph (f)(5)
                                                 continues to read as follows:                                                                                 follows:
                                                                                                           The revision and addition read as
                                                   Authority: 42 U.S.C. 6905, 6912(a), 6924,             follows:
                                                 and 6925.                                                                                                     § 273.6    Applicability—Aerosol cans.
                                                                                                         § 268.1   Purpose, scope, and applicability.             (a) Aerosol cans covered under this
                                                 Subpart A—General                                                                                             part 273. The requirements of this part
                                                                                                         *     *     *     *    *
                                                                                                                                                               apply to persons managing aerosol cans,
                                                 ■ 6. Section 264.1 is amended by:                         (f) * * *
                                                                                                                                                               as described in § 273.9, except those
                                                 ■ a. Removing the word ‘‘and’’ at the                     (4) Lamps as described in § 273.5 of                listed in paragraph (b) of this section.
                                                 end of paragraph (g)(11)(iii);                          this chapter; and                                        (b) Aerosol cans not covered under
                                                 ■ b. Revising paragraph (g)(11)(iv); and                  (5) Aerosol cans as described in                    this part 273. The requirements of this
                                                 ■ c. Adding paragraph (g)(11)(v).                       § 273.6 of this chapter.                              part do not apply to persons managing
                                                   The revision and addition read as                                                                           the following aerosol cans:
                                                 follows:                                                PART 270—EPA ADMINISTERED
                                                                                                                                                                  (1) Aerosol cans that are not yet a
                                                                                                         PERMIT PROGRAMS: THE
                                                 § 264.1   Purpose, scope and applicability.                                                                   waste under part 261 of this chapter.
                                                                                                         HAZARDOUS WASTE PERMIT
                                                 *     *     *     *    *                                                                                      Paragraph (c) of this section describes
                                                                                                         PROGRAM
                                                                                                                                                               when an aerosol cans becomes a waste;
                                                   (g) * * *
                                                                                                         ■ 11. The authority citation for part 270                (2) Aerosol cans that are not
                                                   (11) * * *
                                                                                                         continues to read as follows:                         hazardous waste. An aerosol can is a
                                                   (iv) Lamps as described in § 273.5 of
                                                                                                                                                               hazardous waste if the aerosol can
                                                 this chapter; and                                         Authority: 42 U.S.C. 6905, 6912, 6924,
                                                                                                                                                               exhibits one or more of the
                                                   (v) Aerosol cans as described in                      6925, 6927, 6939, and 6974.
                                                                                                                                                               characteristics identified in part 261,
                                                 § 273.6 of this chapter.
                                                                                                         Subpart A—General Information                         subpart C of this chapter or the aerosol
                                                 *     *     *     *    *                                                                                      can contains a substance that is listed in
                                                                                                         ■ 12. Section 270.1 is amended by:                    part 261, subpart D of this chapter;
                                                 PART 265—INTERIM STATUS                                                                                          (3) Aerosol cans that meet the
                                                                                                         ■ a. Removing the word ‘‘and’’ at the
                                                 STANDARDS FOR OWNERS AND                                                                                      standard for empty containers under
                                                                                                         end of paragraph (c)(2)(viii)(C);
                                                 OPERATORS OF HAZARDOUS WASTE                                                                                  part 261.7 of this chapter, and
                                                                                                         ■ b. Revising paragraph (c)(2)(viii)(D);
                                                 TREATMENT, STORAGE, AND                                                                                          (4) Aerosol cans that show evidence
                                                 DISPOSAL FACILITIES                                     and
                                                                                                         ■ c. Adding paragraph (c)(2)(viii)(E).                of leakage, spillage, or damage that
                                                 ■ 7. The authority citation for part 265                  The revision and addition read as                   could cause leakage under reasonably
                                                 continues to read as follows:                           follows:                                              foreseeable conditions.
                                                                                                                                                                  (c) Generation of waste aerosol cans.
                                                   Authority: 42 U.S.C. 6905, 6906, 6912,
                                                                                                         § 270.1 Purpose and scope of these                       (1) A used aerosol can become a waste
                                                 6922, 6923, 6924, 6925, 6935, 6936, and
                                                 6937.
                                                                                                         regulations.                                          on the date it is discarded.
                                                                                                         *     *     *     *    *                                 (2) An unused aerosol can become a
                                                 Subpart A—General                                         (c) * * *                                           waste on the date the handler decides to
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                                                                                                           (2) * * *                                           discard it.
                                                 ■ 8. Section 265.1 is amended by:                                                                             ■ 16. Section 273.9 is amended by:
                                                 ■ a. Removing the word ‘‘and’’ at the                     (viii) * * *                                        ■ a. Adding the definition of ‘‘Aerosol
                                                 end of paragraph (c)(14)(iii);                            (D) Lamps as described in § 273.5 of                can’’ in alphabetical order;
                                                 ■ b. Revising paragraph (c)(14)(iv); and                this chapter; and                                     ■ b. Revising the definitions of ‘‘Large
                                                 ■ c. Adding paragraph (c)(14)(v).                         (E) Aerosol cans as described in                    quantity handler of universal waste’’
                                                   The revision and addition read as                     § 273.6 of this chapter.                              and ‘‘Small quantity handler of
                                                 follows:                                                *     *     *     *    *                              universal waste’’;


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                                                 11666                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                 ■ c. In the definition ‘‘Universal waste’’:             and adding paragraph (e) to read as                      (iii) Ensure that puncturing of the can
                                                 ■ i. Republishing the introductory                      follows:                                              is in a manner designed to prevent fires
                                                 paragraph;                                                                                                    and to prevent the release of any
                                                 ■ ii. Removing the word ‘‘and’’ at the
                                                                                                         § 273.13    Waste management.                         component of universal waste to the
                                                 end of paragraph (3);                                   *       *    *     *     *                            environment. This includes, but is not
                                                 ■ iii. Revising paragraph (4), and adding                  (c) * * *                                          limited to, locating the equipment on a
                                                 paragraph (5); and                                         (2) * * *                                          solid, flat surface in a well ventilated
                                                 ■ d. Republishing the introductory text                    (iii) Ensures that a mercury clean-up              area;
                                                 of paragraph (b) and revising paragraph                 system is readily available to                           (iv) Immediately transfer the contents
                                                 (b)(1) of the definition of ‘‘Universal                 immediately transfer any mercury                      from the waste aerosol can, or
                                                 waste handler’’.                                        resulting from spills or leaks from                   puncturing device if applicable, to a
                                                   The revision and addition read as                     broken ampules from that containment                  container or tank that meets the
                                                 follows to read as follows:                             device to a container that meets the                  applicable requirements of § 262.14,
                                                                                                         requirements of 40 CFR 262.16 or                      262.15, 262.16, or 262.17;
                                                 § 273.9   Definitions.                                  262.17, as applicable.                                   (v) Conduct a hazardous waste
                                                    Aerosol can means an intact container                   (iv) Immediately transfers any                     determination on the emptied aerosol
                                                 in which gas under pressure is used to                  mercury resulting from spills or leaks                can and its contents per 40 CFR 262.11.
                                                 aerate and dispense any material                        from broken ampules from the                          Any hazardous waste generated as a
                                                 through a valve in the form of a spray                  containment device to a container that                result of puncturing and draining the
                                                 or foam.                                                meets the requirements of 40 CFR                      aerosol can is subject to all applicable
                                                 *      *    *     *     *                               262.16 or 262.17, as applicable.                      requirements of 40 CFR parts 260
                                                    Large Quantity Handler of Universal                  *       *    *     *     *                            through 272. The handler is considered
                                                 Waste means a universal waste handler                      (e) Aerosol cans. A small quantity                 the generator of the hazardous waste
                                                 (as defined in this section) who                        handler of universal waste must manage                and is subject to 40 CFR part 262;
                                                 accumulates 5,000 kilograms or more                     universal waste aerosol cans in a way                    (vi) If the contents are determined not
                                                 total of universal waste (batteries,                    that prevents releases of any universal               to be hazardous, the handler may
                                                 pesticides, mercury-containing                          waste or component of a universal waste               manage the waste in any way that is in
                                                 equipment, lamps, or aerosol cans,                      to the environment, as follows:                       compliance with applicable federal,
                                                 calculated collectively) at any time. This                 (1) Universal waste aerosol cans must              state or local solid waste regulations;
                                                 designation as a large quantity handler                 be accumulated in a container that is                 and
                                                 of universal waste is retained through                  structurally sound, compatible with the                  (vii) A written procedure must be in
                                                 the end of the calendar year in which                   contents of the aerosol cans, and lacks               place in the event of a spill or release
                                                 the 5,000-kilogram limit is met or                      evidence of leakage, spillage, or damage              and a spill clean-up kit must be
                                                 exceeded.                                               that could cause leakage under                        provided. All spills or leaks of the
                                                                                                         reasonably foreseeable conditions;                    contents of the aerosol cans must be
                                                 *      *    *     *     *
                                                                                                            (2) A small quantity handler of                    cleaned up promptly.
                                                    Small Quantity Handler of Universal
                                                                                                         universal waste may conduct the                       ■ 18. Section 273.14 is amended by
                                                 Waste means a universal waste handler
                                                                                                         following activities as long as each                  adding paragraph (f) to read as follows:
                                                 (as defined in this section) who does not
                                                                                                         individual aerosol can is not breached
                                                 accumulate 5,000 kilograms or more of
                                                                                                         and remains intact:                                   § 273.14   Labeling/marking.
                                                 universal waste (batteries, pesticides,                    (i) Sorting aerosol cans by type;
                                                 mercury-containing equipment, lamps,                                                                          *     *     *    *      *
                                                                                                            (ii) Mixing intact cans in one                       (f) Universal waste aerosol cans (i.e.,
                                                 or aerosol cans, calculated collectively)               container; and
                                                 at any time.                                                                                                  each aerosol can), or a container in
                                                                                                            (iii) Removing actuators to reduce the             which the aerosol cans are contained,
                                                 *      *    *     *     *                               risk of accidental release.                           must be labeled or marked clearly with
                                                    Universal Waste means any of the                        (3) A small quantity handler of
                                                                                                                                                               any of the following phrases: ‘‘Universal
                                                 following hazardous wastes that are                     universal waste who punctures and
                                                                                                                                                               Waste—Aerosol Can(s),’’ ‘‘Waste
                                                 subject to the universal waste                          drains their aerosol cans must recycle
                                                                                                                                                               Aerosol Can(s),’’ or ‘‘Used Aerosol
                                                 requirements of this part 273:                          the empty punctured aerosol cans and
                                                                                                                                                               Can(s)’’.
                                                 *      *    *     *     *                               meet the following requirements while
                                                    (4) Lamps as described in § 273.5; and               puncturing and draining hazardous                     Subpart C—Standards for Large
                                                    (5) Aerosol cans as described in                     waste aerosol cans:                                   Quantity Handlers of Universal Waste
                                                 § 273.6.                                                   (i) Conduct puncturing and draining
                                                    Universal Waste Handler:                             activities using a device specifically                ■ 19. Section 273.32 is amended by
                                                 *      *    *     *     *                               designed to safely puncture aerosol cans              revising paragraph (b)(4) to read as
                                                    (b) Does not mean:                                   and effectively contain the residual                  follows:
                                                    (1) A person who treats (except under                contents and any emissions thereof;
                                                                                                            (ii) Establish a written procedure                 § 273.32   Notification.
                                                 the provisions of 40 CFR 273.13(a) or                                                                         *     *     *      *     *
                                                 (c), or 40 CFR 273.33(a) or (c)), disposes              detailing how to safely puncture and
                                                                                                         drain universal waste aerosol can                       (b) * * *
                                                 of, or recycles (except under the                                                                               (4) A list of all the types of universal
                                                 provisions of 40 CFR 273.13(e) or 40                    (including proper assembly, operation
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                                                                                                         and maintenance of the unit; segregation              waste managed by the handler (e.g.,
                                                 CFR 273.33(e)) universal waste; or                                                                            batteries, pesticides, mercury-containing
                                                                                                         of incompatible wastes; and proper
                                                 *      *    *     *     *                               waste management practices to prevent                 equipment, lamps, and aerosol cans);
                                                                                                         fires or releases), maintain a copy of the            and
                                                 Subpart B—Standards for Small                                                                                   * * *
                                                 Quantity Handlers of Universal Waste                    manufacturer’s specification and
                                                                                                         instruction onsite, and ensure                        *     *     *      *     *
                                                 ■ 17. Section 273.13 is amended by                      employees operating the device are                    ■ 20. Section 273.33 is amended by
                                                 revising paragraphs (c)(2)(iii) and (iv)                trained in the proper procedures;                     revising paragraphs (c)(2)(iii) and (iv)


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                                                                           Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                          11667

                                                 and adding paragraph (e) to read as                        (iii) Ensure that puncturing of the can            DEPARTMENT OF HOMELAND
                                                 follows:                                                is in a manner designed to prevent fires              SECURITY
                                                                                                         and to prevent the release of any
                                                 § 273.33   Waste management.                                                                                  Transportation Security Administration
                                                                                                         component of universal waste to the
                                                 *       *    *     *     *                              environment. This includes, but is not
                                                    (c) * * *                                            limited to, locating the equipment on a               49 CFR Parts 1515, 1520, 1522, 1540,
                                                    (2) * * *                                            solid, flat surface in a well ventilated              1542, 1544, and 1550
                                                    (iii) Ensures that a mercury clean-up                area;                                                 [Docket No. TSA–2008–0021]
                                                 system is readily available to
                                                 immediately transfer any mercury                           (iv) Immediately transfer the contents             RIN 1652–AA53
                                                 resulting from spills or leaks of broken                from the waste aerosol can, or
                                                 ampules from that containment device                    puncturing device if applicable, to a                 Large Aircraft Security Program, Other
                                                 to a container that meets the                           container or tank that meets the                      Aircraft Operator Security Program,
                                                 requirements of 40 CFR 262.16 or                        applicable requirements of § 262.14, 15,              and Airport Operator Security
                                                 262.17, as applicable.                                  16, or 17;                                            Program; Withdrawal
                                                    (iv) Immediately transfers any                          (v) Conduct a hazardous waste                      AGENCY: Transportation Security
                                                 mercury resulting from spills or leaks                  determination on the emptied aerosol                  Administration, DHS.
                                                 from broken ampules from the                            can and its contents per 40 CFR 262.11.
                                                 containment device to a container that                                                                        ACTION: Notice of proposed rulemaking;
                                                                                                         Any hazardous waste generated as a                    withdrawal.
                                                 meets the requirements of 40 CFR                        result of puncturing and draining the
                                                 262.16 or 262.17, as applicable.                        aerosol can is subject to all applicable              SUMMARY:   The Transportation Security
                                                 *       *    *     *     *                              requirements of 40 CFR parts 260                      Administration (TSA) is withdrawing its
                                                    (e) Aerosol cans. A large quantity                   through 272. The handler is considered                rulemaking concerning the proposed
                                                 handler of universal waste must manage                  the generator of the hazardous waste                  establishment of a large aircraft security
                                                 universal waste aerosol cans in a way                   and is subject to 40 CFR part 262;                    program (LASP). TSA published a
                                                 that prevents releases of any universal                                                                       notice of proposed rulemaking (NPRM)
                                                 waste or component of a universal waste                    (vi) If the contents are determined not
                                                                                                                                                               for LASP on October 30, 2008. In the
                                                 to the environment, as follows:                         to be hazardous, the handler may
                                                                                                                                                               NPRM, TSA proposed that certain
                                                    (1) Universal waste aerosol cans must                manage the waste in any way that is in                private and corporate aircraft operations
                                                 be accumulated in a container that is                   compliance with applicable federal,                   should adopt security standards similar
                                                 structurally sound, compatible with the                 state or local solid waste regulations;               to those of commercial aircraft
                                                 contents of the aerosol cans, and lacks                 and                                                   operations, including the use of security
                                                 evidence of leakage, spillage, or damage                   (vii) A written procedure must be in               programs, crew vetting, and passenger
                                                 that could cause leakage under                          place in the event of a spill or release              watchlist matching. The NPRM also
                                                 reasonably foreseeable conditions;                      and a spill clean-up kit must be                      proposed new requirements for airports
                                                    (2) A large quantity handler of                      provided. All spills or leaks of the                  that serve the private and corporate
                                                 universal waste may conduct the                         contents of the aerosol cans must be                  operations. TSA held a series of public
                                                 following activities as long as each                    cleaned up promptly.                                  meetings and reviewed more than 7,000
                                                 individual aerosol can is not breached                                                                        public comments submitted in response
                                                 and remains intact:                                     ■ 21. Section 273.34 is amended by
                                                                                                                                                               to the NPRM. Based on all of the
                                                    (i) Sorting aerosol cans by type; and                adding paragraph (f) to read as follows:              information received and a re-
                                                    (ii) Mixing intact cans in one                       § 273.34    Labeling/marking.                         evaluation of the proposal in light of
                                                 container; and (iii) Removing actuators                                                                       risk-based principles, TSA has decided
                                                 to reduce the risk of accidental release;               *     *     *    *      *
                                                                                                                                                               not to pursue this rulemaking at this
                                                    (3) A large quantity handler of                        (f) Universal waste aerosol cans (i.e.,             time.
                                                 universal waste who punctures and                       each aerosol can), or a container in
                                                                                                                                                               DATES: TSA is withdrawing the
                                                 drains their aerosol cans must recycle                  which the aerosol cans are contained,
                                                                                                                                                               proposed rule published in Part III of
                                                 the empty punctured aerosol cans and                    must be labeled or marked clearly with                the Federal Register on October 30,
                                                 meet the following requirements while                   any of the following phrases: ‘‘Universal             2008 (73 FR 64789) as of March 16,
                                                 puncturing and draining hazardous                       Waste—Aerosol Can(s)’’, ‘‘Waste                       2018.
                                                 waste aerosol cans:                                     Aerosol Can(s)’’, or ‘‘Used Aerosol
                                                    (i) Conduct puncturing and draining                  Can(s)’’.                                             FOR FURTHER INFORMATION CONTACT:
                                                 activities using a device specifically                                                                        Alan Paterno, Office of Security Policy
                                                                                                         [FR Doc. 2018–05282 Filed 3–15–18; 8:45 am]
                                                 designed to safely puncture aerosol cans                                                                      and Engagement, TSA–28,
                                                                                                         BILLING CODE 6560–50–P                                Transportation Security Administration,
                                                 and effectively contain the residual
                                                 contents and any emissions thereof;                                                                           601 South 12th Street, Arlington, VA
                                                    (ii) Establish a written procedure                                                                         20598–6028; telephone (571) 227–5698;
                                                 detailing how to safely puncture and                                                                          facsimile (571) 227–2928; email
                                                 drain universal waste aerosol can                                                                             alan.paterno@tsa.dhs.gov.
                                                 (including proper assembly, operation                                                                         SUPPLEMENTARY INFORMATION:
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                                                 and maintenance of the unit; segregation
                                                 of incompatible wastes; and proper                                                                            I. Overview of the NPRM
                                                 waste management practices to prevent                                                                           TSA administers an extensive range of
                                                 fires or releases), maintain a copy of the                                                                    regulatory programs that address
                                                 manufacturer’s specification and                                                                              security for scheduled and charter
                                                 instruction onsite, and ensure                                                                                commercial aviation operations. See 49
                                                 employees operating the device are                                                                            CFR parts 1544, 1546, 1548, 1550, 1560,
                                                 trained in the proper procedures;                                                                             and 1562. In the LASP NPRM, TSA


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Document Created: 2018-03-16 01:12:13
Document Modified: 2018-03-16 01:12:13
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesComments must be received on or before May 15, 2018. Under the Paperwork Reduction Act (PRA), comments on the information collection provisions are best assured of consideration if the Office of Management and Budget (OMB) receives a copy of your comments on or before April 16, 2018.
ContactTracy Atagi, Office of Land and Emergency Management (5304P), Environmental Protection Agency, 1200 Pennsylvania Avenue NW, Washington, DC 20460; telephone number: 703-
FR Citation83 FR 11654 
RIN Number2050-AG92
CFR Citation40 CFR 260
40 CFR 261
40 CFR 264
40 CFR 265
40 CFR 268
40 CFR 270
40 CFR 273
CFR AssociatedEnvironmental Protection; Administrative Practice and Procedure; Hazardous Waste; Recycling; Packaging and Containers; Reporting and Recordkeeping Requirements and Hazardous Materials Transportation

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