Polychlorinated Biphenyls (PCBs)

Managing Remediation Waste From Polychlorinated Biphenyls (PCBs) Cleanups

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What is PCB Remediation Waste?

PCB remediation waste is waste containing PCBs from a spill, release or other unauthorized disposal of PCBs, depending on the concentration of the source of PCBs, the date of release, the current PCB concentration in the materials, and whether the original source was authorized for use. The complete definition of PCB remediation waste can be found in 40 CFR 761.3. PCB remediation waste can include the following: ​

  • Soil
  • Gravel
  • Concrete
  • Buildings
  • Other man-made structures

What are the Cleanup and Disposal Options for PCB Remediation Waste?

The PCB regulations include three options for management of PCB remediation waste. They can be found in 40 CFR part 761.

  1. Self-implementing cleanup and disposal (40 CFR 761.61(a))

The self-implementing option links cleanup levels with the expected occupancy rates of the area or building where the contaminated materials are present.

Along with some other factors, the disposal requirements for the self-implementing regulatory option vary based on the type of contaminated material and concentration of PCBs in the materials. You must notify EPA if you intend to utilize the self-implementing option.

The Agency recommends that you review this checklist prior to submitting your notification to reduce delays in the review process:

For sampling porous surfaces, the Standard Operatinv Procedure linked below describes how to sample both hard and soft porous surfaces:

  1. Performance-based disposal (40 CFR 761.61(b))

Through this option, facilities:

  • Dispose of contaminated non-liquid materials in a Toxic Substance Control Act (TSCA) chemical waste landfill,
  • Dispose of contaminated non-liquid materials in a TSCA incinerator,
  • Dispose of contaminated non-liquid materials in a TSCA-approved alternate disposal method,
  • Decontaminate non-liquid contaminated material under a TSCA-regulated decontamination procedures, or
  • Dispose of non-liquid contaminated materials in a in a facility with a coordinated approval issued under TSCA

Section 761.61(b) only addresses disposal of PCB remediation waste. EPA notification and approval is not required under this option, however, it is encouraged to contact you Regional PCB Coordinator with questions. Facilities are required to follow any manifesting, transportation and storage requirements that may apply. Performance based disposal may be used for sites of any size.

If someone were to avail themselves of performance based disposal under 761.61(b), but leave materials on-site > 1 ppm, they would still have TSCA obligations for those remaining materials.

  1. Risk-based cleanup and disposal (40 CFR 761.61(c))

The risk-based option allows for a site-specific approval to sample, cleanup, or dispose of PCB remediation waste in a manner other than the self-implementing or the performance-based disposal options.

This option requires you to obtain an approval from EPA based on a finding that the proposal will not present an unreasonable risk of injury to health or the environment.

If your site is excluded from the self-implementing regulations and you are not following the performance-based guidelines, you may apply for a risk-based cleanup and disposal. Consider the following checklist with preparing an application for a risk-based approval under 40 CFR 761.61(c):

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PCB Spill Cleanup Policy Guidance Manuals

The PCB Spill Cleanup Policy is intended for fresh spills of liquid PCBs. The Policy is referenced in 40 CFR 761 Subpart G. The PCB Spill Cleanup Policy is an enforcement policy, not a regulation.

In addition to other applicability limitations found in 40 CFR 761.120, this policy only applies to spills less than 72 hours old. The use of the methods in this guidance manuals is an option, not a requirement.

If the reader has any questions about the interpretation or applicability of the Policy like the use of these guidance manuals or any variations or waivers provided in the Policy, the reader should contact the Regional PCB Coordinator in the EPA Region where the spill occurred.

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