Auto Body Repair Facilities
Best Management Practices For
Hazardous Materials/Waste Handling
(Updated 09/21/06)
Best Management Practices (BMPs) should be thought of as “good
housekeeping” practices. In the auto body repair industry, you may have some
waste streams regulated as hazardous waste by Federal & State laws. Listed
below are typical waste streams along with procedures and ideas to help you
comply with these regulations and help reduce the liabilities associated with
non-compliance.
To the right of the waste heading you will find references to
the respective federal and state law. Federal laws for waste management can be
found in the Resource
Conservation and Recovery Act (RCRA) - 40 Code of Federal Regulations (CFR)
260-266, 268, 270-273, 279, 280-282, and 148. State laws for waste management
can be found in
Florida
Administrative Code (FAC) 62-730 and various
Florida Statutes (F.S.). State laws on waste management are typical more
stringent than federal laws.
Types of Regulated Waste Streams:
1. Paint Thinners: [40
CFR 261 &
40 CFR 262 |
FAC 62-730.030 |
F.S. 403.721]
This waste stream is regulated under Federal & State regulations. You must
capture any thinner waste from cleaning spray guns and equipment, and place it
into an approved container for disposal or recycling. If you choose to recycle
this waste, it must be calculated into your waste stream totals before it is
recycled. The benefits of recycling will save you money in purchasing new
product, and the disposal of excess Hazardous Waste. The problem with recycling
is the initial cost to buy the equipment, and the documentation showing the
recycling process. The initial cost of the distillation unit can be recouped
fairly rapidly depending on the amount of paint waste that is generated monthly.
For Small Quantity Generators (<220lbs monthly) distillation units can reduce
your generator status, and save you time and money in compliance costs. The
“still bottoms” generated from the recycling process will need to have a waste
determination performed on them before the disposal method can be determined.
Avoid paints that have heavy metal flakes in them. Manufactures’ have made
products utilizing metallic elements without regulated metals. Check MSDS’s for
these heavy metals in order to avoid them (cadmium, lead, chromium). Here are
several steps that can be followed that will save you money on new product and
disposal costs. (1) Any thinner waste from gun or measuring stick cleaning
should be put into a closed container and allowed to settle. (2) Once the sludge
has settled, gently pour off the clear liquid in to another container. The clear
product can be reused for gun cleaning. (3) Pour only sludge that cannot be
reused into your distillation unit or drum. This practice is challenging to
implement, but it can save you hundreds of dollars if you are successful.
2. Paint Waste: [40
CFR 261 &
40 CFR 262 |
FAC 62-730.030 |
F.S. 403.721]
This type of waste stream can be reduced, by ordering the least amount of
material needed to perform the job. When you have left over paint from this
industry, it will probably be Hazardous Waste due to the reducers, thinners,
hardeners, and heavy metals (metallic paint) contained in the material. Using
the excess paint for primer on non-essential parts can reduce the amount of
waste for disposal.
3. Paint Booth Filters: [40
CFR 261 &
40 CFR 262
|
FAC 62-730.030 |
F.S. 403.721]
This is a tricky type of waste that may be regulated depending on the
materials and the procedures utilized. Do not clean paint guns by filling with
thinner and “blowing out” the waste from the gun cleaning process into the paint
booth filters for absorption. If you utilize this process you are
generating more hazardous waste than necessary. This will add to the cost of
disposal and could place the facility into a higher classification of generator.
You must determine if this waste is hazardous waste or not (Toxicity
Characteristic Leaching Procedure test required). Material Safety Data Sheets on
the materials that are used can help you to make a waste determination. The
Pollution Prevention Program can also help you to make this determination.
If it is not a hazardous waste you may dispose of this waste into your normal
garbage for disposal at the Waste To Energy Facility. Document in writing from
your garbage hauler, that they are hauling your waste to this facility.
4. Absorbent Material: [40
CFR 261 &
40 CFR 262
|
FAC 62-730.030 |
F.S. 403.721]
Absorbent materials are needed when spills occur. The types, and
amounts of spilled material, will determine how you need to dispose of the
absorbent material used. As a general rule: use absorbent materials for oil
spills only, or for emergency situations where nothing else is available.
Heat-treated peat moss is the preferred absorbent if this material is going to
the county incinerator WTE. Do not use absorbents for spills involving
gasoline, diesel, antifreeze, battery acid etc. For small spills, drips and/or
dribbles, use rags provided by your rag service. Absorbents will not
change the fact that a spilled hazardous substance is a hazardous waste, and
must be disposed of accordingly. Heat-treated peat moss and other
absorbents should be used for large spills and/or emergency spills. The
substance being absorbed will dictate disposal requirements. If you have
further questions about this waste, please call to verify proper disposal.
5. Parts Cleaning Machines: [40
CFR 261 &
40 CFR 262
|
FAC 62-730.030 |
F.S. 403.721]
These machines come in all types and sizes. There are many options in using
the various types of parts washers on the market. The most regulated systems are
those that utilize low flash point or chlorinated chemicals. Do not use these
types of systems. There are less regulated systems available that will allow you
to manage the system without relying on a company to haul the waste away
monthly. This will reduce the amount of Hazardous Waste hauled off every month,
which could drop you into a less regulated classification as a generator.
6. Lead Acid Batteries: [40
CFR 273.13 |
FAC 62-730.185 |
F.S. 403.8055]
Batteries need to be stored on an impervious surface, in an area shielded
from the weather. Best Management Practices dictate storage of batteries,
indoors, on a wooden pallet over acid-resistant material. If any cores are
missing caps or are cracked, place them in an acid-resistant plastic container,
along with neutralizing material for leak absorption. Prevent acid from
reaching soil and surface waters. This will reduce cost for contamination
clean up and limit potential penalties. If you currently use your battery
supplier to dispose of spent batteries, be sure that the supplier documents the
number of cores removed on your receipt. If you are not using your battery
supplier to recycle batteries, you may take your used cores to a scrap metal
dealer. Again, secure a receipt noting the number of cores that were
recycled. Keep receipts ON SITE for a minimum of three years.
When your batteries are recycled, they are not counted towards your facility’s
hazardous waste totals.
7. Used Oil: [40
CFR 279 |
FAC 62-710 |
F.S.
403.7545]
To ease the burden of managing too many storage containers, used oil should
be stored in one above ground storage tank (AST), if possible. If it is
necessary for you to use 55-gallon drums as storage containers, they must be in
good condition. 40 CFR 279.22(b) states: containers and aboveground
storage tanks used to store used oil at generator facilities must be in good
condition (no severe rusting, apparent structural defects or deterioration) and
not leaking (no visible leaks). Drums must also be Department of
Transportation (DOT) approved. Used oil containers that are not double walled
must be placed within a secondary containment system. The secondary containment
system must have the capacity to hold 110% of the volume of the largest
container within the containment system. Your used oil containment area should
have a sealed oil-resistant coating and be under cover. This will prevent
rain from entering the storage area, mixing with oil and, subsequently, becoming
contaminated. Make sure that all containers are capped when you are not
transferring used oil from temporary containers. This provides additional
assurance that water will not enter the container and contaminate the oil. The
storage container and any fill pipes to the storage container must be labeled
“Used Oil”. The “Used Oil” signage must be visible from all approaches on
the container (i.e. on each side). If you are using drums, each individual
drum must be labeled. Receipts from the used oil hauler must be kept on
site for a minimum of three years. When selecting a used oil hauler, be
sure to check with the Florida Department of Environmental Protection about the
company’s record of compliance.
8. Used Oil Filters: [40
CFR 279 |
FAC 62-710 |
F.S.
403.7545]
There are limited options available for disposing of this type of waste. You
can no longer dispose of used oil filters into the solid waste stream. All
filters should be completely drained of any free flowing oil (crushed
preferably) and placed into a marked container with a secure lid. You can
dispose of these filters in two basic ways; (1) After containerizing the filters
they can be hauled to the Waste to Energy facility or (2) You can contract with
a hauler to have them haul the filters to the WTE. The recommended BMP for
draining and crushing filters is to “hot drain” the filter for 24 hours. Hot
draining filters will minimize the volume of used oil inside the filter, and
crushing them will reduce the amount of space used in the container. This
can save you quite a bit of money if you are having a private hauler take them.
(Check with your filter hauler before crushing). Do not crush filters by driving
a vehicle over them! Label all drums “Used Oil Filters” and keep all
receipts from the hauler a minimum of three years to show proof of proper
disposal. Store the drum with lid closed inside a containment area to eliminate
contamination from rain.
9. Waste/Used Anti-Freeze: [40
CFR 261 &
40 CFR 262
|
FAC 62-730.030 |
F.S. 403.721]
Waste antifreeze must be stored in separate waste containers and properly
labeled. These containers should be marked “used antifreeze” for recycled
antifreeze or “waste antifreeze” for antifreeze that is hauled as hazardous
waste. Before disposal as waste antifreeze, a waste determination must be
performed. This will require testing utilizing TCLP for heavy metals.
Depending on the test result, it may be hazardous waste and will require you to
have the appropriate hauler remove this waste with proper documentation
(manifesting). Keep the receipt showing proper disposal for a minimum of
three years. Recycling anti-freeze on site is the preferred management practice.
Recycling on site reduces your monthly hazardous waste totals and can minimize
the regulations that you are required to comply with by reducing your generator
status. Recycling on site is done three different ways depending on the
quality of the antifreeze and the amount generated. (1) Antifreeze should be put
back into the vehicle that it was taken out of whenever possible. (2) Recycling
this waste on site with a machine owned by the facility is another option. If
you own your own antifreeze-recycling machine you will have filters that will
need to be changed occasionally. These filters build up heavy metals over time
and should have a waste determination preformed on them before disposal, or
simply be handled as a hazardous waste and manifested as such. A logbook should
be kept with the amount of antifreeze recycled and the date, which should be
kept for a minimum of three years. (3) There are several contractors that will
come to your site to recycle your antifreeze. This service works well for all
types of facilities, from Large Quantity Generators to Conditionally Exempt
Small Quantity Generators. Even if you decide that you don’t want the recycled
product you can have the recycling contractor haul it for cheaper than it would
cost to have it hauled by a hazardous waste hauler. Make sure that
anti-freeze is not stored in a container that cannot be completely emptied
because any sludge will sink to the bottom of the container. Once in the
container, the sludge may not be able to be removed if it is a large tank. A
container with a wide opening is preferred (55gal. drum with an open top that
clamps on and meets DOT standards).
Receipts from the recycler or the hazardous waste hauler should be kept for a
three-year minimum. For facilities that recycle their own anti-freeze
documentation needs to be kept in the form of a logbook with date, and amounts
recycled.
10. Air Conditioning Repair: [40
CFR 82 |
FAC 62-281 |
F.S. 403.061]
The procedure for this type of operation depends on the type of machine you
have. A system that captures, recycles, and places the freon back into the
system being serviced is preferable to a system that merely catches freon and
places it into a container for shipment off site. A logbook should be kept on
amounts of freon reclaimed and used to charge machines. A total accounting of
all freon bought, charged into systems, and reclaimed should be a part of your
everyday best management practices. Do not discharge freon to the atmosphere. If
your current system is being upgraded be sure to recycle any mercury thermostats
that are replaced. Make sure your equipment is registered with the Florida
Department of Environmental Protection (FDEP) and the employee has the proper
training to perform the work (ASE Certified). All associated paperwork for
this operation must be kept on site. Any records pertaining to reclamation and
disposal need to be kept on site for a minimum of three years.
11. Shop Rags: [40
CFR 261 &
40 CFR 262
|
FAC 62-730.030 |
F.S. 403.721]
Do not use disposable shop rags in certain processes at your facility. If you
do use disposable rags and they are contaminated, they must be hauled as
hazardous waste. To avoid this problem contracting with a uniform service
may be a better option for limiting your liability. Contracting with a
company that will supply you with clean rags on a regular basis may be
expensive, but it could save you money in fines for improper disposal of
hazardous waste. These contractors are permitted by state and local agencies to
wash the rags, which are considered recyclable items. Used rags should be
placed into a closed-lid container, which is properly labeled for the rag
service. They will then pick up and launder the rags. Make sure that you receive
receipts, which will serve as your documentation. Keep all receipts for a
minimum of three years. Use shop rags instead of absorbent for small drips and
dribbles. Do not mix rags together with different waste into the same storage
container, they may be reactive to one another and become a fire hazard.
12. Aerosol Cleaners: [40
CFR 261 &
40 CFR 262
|
FAC 62-730.030 |
F.S. 403.721]
There are many different kinds of aerosol cleaners that promise that they are
“environmentally friendly”. Read the label and consult the Material Safety
Data Sheet for the listing of active ingredients. If any of the
ingredients contain the word “chlor”, the aerosol contains chlorinated solvents.
Chlorinated solvents are one of the main regulated ingredients in aerosol
cleaners. Avoid using chlorinated cleaners. They can cross-contaminate
other waste streams. There are other regulated ingredients in products, so read
labels and MSDS carefully.
Once an aerosol can is “empty”, by federal definition, it can be dispose of
in your normal trash. The definition of “empty” is the point at which the
atmospheric pressure inside the can is the same as the pressure outside the can,
with all material dispersed. If the container cannot be emptied, it must
be treated as hazardous waste if any regulated material remains inside.
You may want to look at purchasing cleaners in bulk that use reusable
containers. These reusable containers can be pressurized with your own air
compressor. This will save cost in purchase of materials and reduce the
number of disposed containers.
13. Fluorescent Bulbs: [40
CFR 273.13 |
FAC 62-737 |
F.S. 403.7186]
Fluorescent bulbs/devices are considered hazardous waste because they contain
the element Mercury. However, if you recycle your Fluorescent
bulbs/devices, they do not qualify as hazardous. Please call the SQG
program for a list of fluorescent bulb recyclers and handling instructions.
Caution: if a supplier tells you that their bulbs are environmentally safe
remember that they are trying to sell you a product, and that they may not be
familiar with the State and Local regulations that pertain to the proper
recycling or disposal of these mercury-containing bulbs. Lamps or devices with
any mercury must be recycled.
Additional Fluorescent Tube Information
*Material Safety Data Sheets are a good start to determine if your waste
stream will be hazardous waste. They do have their limitations if they are
too vague. They do not take into account what process or system the
product may be used in, or what your management practices are for preventing
cross contamination. MSDS’s are free for use and can be received from your
supplier of the product. Before purchasing any product, request the MSDS
to see what is in it to help avoid cost associated with the purchase/use of the
product.
Do Not’s
· Do not use any chlorinated
solvents.
· Do not use one container as
the “catch all” for all fluid draining procedures. This can cause cross
contamination of waste.
· Do not store any
materials/waste near storm drains, ditches, creeks, rivers, canals or any bodies
of water that would be contaminated if a spill occurs.
· Do not throw away or send
receipts to a bookkeeper that shows your disposal of waste materials. They
are required to remain on site for a minimum of three years. This includes
contracts with hazardous waste haulers.
· Do not take the word of any
sales person who will not supply MSDSs for the product he/she is selling.
Some will say that the material is biodegradable or environmentally friendly,
but the process that you use the material in may contaminate the product and
cause it all to be regulated (i.e. equipment degreasing and rinsing).
· Do not mix any waste with
another waste. This will increase your cost for disposal. The most
common mistake is to mix the wrong materials together into the used oil.
Check with your used oil hauler for what is acceptable to mix together into the
bulk used oil container. Get this in writing from your hauler!
· Do not dispose of any
material into your septic system, sanitary sewer, or storm sewer. If you
want to do this you must have written permission from the Regulatory agency that
permits that particular system. Septic System-Department of Health and
Rehabilitative Services, Sanitary Sewers-what ever utility district you are in,
Storm Sewer-Department of Environmental Protection.
· Do not store hazardous
waste out of containment areas. Make sure all containers are labeled
properly (include dates where necessary).
· Do not hesitate asking any
questions when it comes to managing your hazardous waste stream. There are
no dumb questions except for the ones you don’t ask.
If you have any questions, please call the Division of Natural Resources
Management, SQG Program at (239) 652-6126. The SQG Program is here to
serve your interest in the proper management of hazardous waste.