Making Science Green™

April 19, 2011

Honeywell Pleads Guilty in Illinois to Illegal Storage of Hazardous Waste / Corporation sentenced to pay $11.8 million criminal fine

Filed under: Regulations (OSHA and EPA) — Admin @ 10:42 am

Release date: 03/11/2011

WASHINGTON – Honeywell International Inc. pleaded guilty today in federal district court in Benton, Ill., to one felony offense for knowingly storing hazardous waste without a permit in violation of the Resource Conservation and Recovery Act (RCRA). Honeywell was also sentenced today to pay a criminal fine in the amount of $11.8 million.

“The defendant’s illegal storage practices put employees at risk of exposure to radioactive and hazardous materials,” said Cynthia Giles, assistant administrator for EPA’s Office of Enforcement and Compliance Assurance. “Today’s plea agreement and sentencing shows that those who try to circumvent the law and place people’s health and the environment at risk will be vigorously prosecuted.”

“Today, Honeywell must account for its knowing violation of a federal law that protects the public from exposure to hazardous waste containing radioactive material,” said Ignacia S. Moreno, assistant attorney general for the Environment and Natural Resources Division of the Department of Justice. “All companies who generate hazardous waste must have a permit to store the waste and, when granted a permit under RCRA, must fully comply with its requirements or they will be prosecuted.”

Honeywell, a Delaware corporation with corporate headquarters in Morristown, N.J., owns and operates a uranium hexafluoride (UF6) conversion facility in Massac County, Ill., near the city of Metropolis and the Ohio River. Honeywell is licensed by the U.S. Nuclear Regulatory Commission to possess and otherwise manage natural uranium, which it converts into UF6 for nuclear fuel. The Metropolis facility is the only facility in the United States to convert natural uranium into UF6.

At the Metropolis facility, air emissions from the UF6 conversion process are scrubbed with potassium hydroxide (KOH) prior to discharge. As a result of this process, KOH scrubbers and associated equipment accumulate uranium compounds that settle out of the liquid and are pumped as a slurry into 55-gallon drums. The drummed material, called “KOH mud” and consisting of uranium and KOH, has a pH greater than or equal to 12.5.

In November 2002, Honeywell shut down part of the wet reclamation process it used to reclaim the uranium from the KOH mud, knowing that previously accumulated drums of KOH mud and any additional drums of KOH mud generated thereafter would have to be stored onsite until such time as the wet reclamation process was restarted. Honeywell also knew that, because the pH of KOH mud generated at the facility was greater than or equal to 12.5, it is classified as corrosive hazardous waste under regulations issued pursuant to RCRA. Therefore, Honeywell needed, but did not have, a RCRA permit to store any drums of KOH mud at its facility longer than 90 days.

In July 2007 Honeywell requested a modification of its RCRA permit from the Illinois Environmental Protection Agency (IEPA) so that it could store drums of KOH mud. IEPA issued Honeywell a modified permit in July 2008, allowing Honeywell to store drums containing KOH mud only in a KOH container storage area designed to contain any spills, leaks, or precipitation that accumulates in the drum storage area. By September 2008 Honeywell had accumulated more than 7,000 drums of KOH mud. In April 2009, EPA special agents conducted a search warrant and found nearly 7,500 illegally stored drums containing waste that was both radioactive and hazardous. Honeywell began storing the KOH mud drums in compliance with the terms of its RCRA permit in approximately March 2010.

In accordance with the terms of the criminal plea agreement, Honeywell will serve a five-year term of probation. As a condition of probation, Honeywell must comply with the terms of the interim consent order entered into with the Illinois Attorney General’s Office and the Illinois Environmental Protection Agency, filed on April 21, 2010, and any subsequent revisions, which imposes a schedule for the processing of KOH mud. As a further condition of probation, Honeywell must implement a community service project in the community surrounding the Metropolis facility, whereby Honeywell will develop, fund, and implement a household hazardous waste collection program and arrange for proper treatment, transportation, and disposal of this waste collected during at least eight collection events over a two year period, at a cost of approximately $200,000.

http://yosemite.epa.gov/opa/admpress.nsf/2467feca60368729852573590040443d/def2f68123e736b38525785000721a93!OpenDocument

Contact Information: Stacy Kika, kika.stacy@epa.gov, 202-564-0906, 202-564-4355

For more information on EPA’s criminal enforcement program:
http://www.epa.gov/compliance/criminal/index.html

September 24, 2009

Quick-Disconnect Safety Cans

Filed under: Chemical Handling,Regulations (OSHA and EPA) — Admin @ 2:22 pm

quick disconnect centura safety cansQuick-Disconnect Safety Disposal Cans are one of the safest ways to collect liquid HPLC waste because they do not allow the waste to evaporate into the air and pollute the workplace like open waste containers. These safety cans have a “quick-disconnect” mechanism that allows the user to disconnect from the HPLC line without having to disengage tubing already connected to the machine. Adapters are valved to prevent vapor release or solvent leakage.

OSHA 29 CFR 1910.106(a)(29) states that: “Safety can shall mean an approved container, of not more than 5 gallons capacity, having a spring-closing lid and spout cover and so designed that it will safely relieve internal pressure when subjected to fire exposure.”

August 4, 2009

Break the Fire Triangle with ECO Funnel

Filed under: Regulations (OSHA and EPA) — Admin @ 8:53 am

breaking the fire triangle BE SAFE! PREVENT FIRES IN YOUR LAB!

DO NOT LEAVE WASTE CONTAINERS OPEN

How a lab fire typically starts:
You need three components to start a fire: Oxygen, Fuel, and Heat. The potential for lab fires a very real problem facing lab managers and chemists today; the only way to prevent the possibility of fire is to remove one or more components from the cycle.

Since one cannot remove oxygen from a lab, and sparks are accidental and therefore hard to predict, the simplest solution would be to remove the “fuel” component by preventing flammable chemical fumes from evaporating into the surrounding environment.

open waste container with open funnelHow? Avoid leaving waste containers open — don’t leave them open on a bench top, don’t leave them open in a fume hood!. ALWAYS cap and close a waste container except when you are pouring in waste.

OSHA and EPA regulations prohibit open waste containers, but even if you aren’t subject to regulation, the health and safety of lab personnel is at stake if you do not take this risk seriously. Chemical fumes can be both dangerous to the health of workers and highly flammable, a huge safety risk that can –and has — caused serious explosions and lab fires.

July 1, 2009

Compliant Disposal of Biohazard Waste

Filed under: Regulations (OSHA and EPA) — Admin @ 5:52 pm

Sample Biohazard SymbolBiohazard and infectious wastes are regulated and must be contained and disposed of properly under OSHA regulations. Regulated Waste under OSHA 29 CFR 1910.1030 is defined as:

liquid or semi-liquid blood or other potentially infectious materials; contaminated items that would release blood or other potentially infectious materials in a liquid or semi-liquid state if compressed; items that are caked with dried blood or other potentially infectious materials and are capable of releasing these materials during handling; contaminated sharps; and pathological and microbiological wastes containing blood or other potentially infectious materials.“*

If your facility works with regulated biohazard waste items, you need to provide appropriate containment that meets OSHA requirements. Containers must be leakproof, closable, and labeled or color coded1, as well as meet other standards laid out in the regulations of Toxic and Hazardous Substances2. Fortunately, there are a variety of safety disposal products available today that provide ready-made, compliant temporary storage of contaminated biological waste.

biohazard waste can justriteJustrite™ White Biohazard Waste Cans: Steel cans feature leakproof construction with foot operated self-closing lid. These 6 or 10 gallon metal cans may be used to store regulated waste (but are not to be used for sharps) and meet OSHA 29 CFR 1910.1030 for the segregation of infectious waste.biohazard waste can EAGLE

Eagle™ HDPE Biohazardous Waste Cans advise workers of potential biohazards by their red color. They also feature a self closing lid with foot lever. These 6, 10 and 14 gallon poly waste cans meet OSHA 29 CFR 1910.1030 for exposures to blood borne pathogens.


red plastic sharps containerSharps Disposal Containers must meet a more stringent set of requirements3 than regular hazardous waste cans, and they have to be puncture resistant as well safe for biohazard waste.

sharps disposal pouchPlastic Sharps Containers with rotating Top Entry chambers are designed to safely deposit sharps into the puncture resistant container.Most of these containers can be mounted to a wall or placed on a bench top. A disposable option includes cardboard disposal pouches, ideal for collection and disposal of small quantities of contaminated waste.


1Sources for Regulations and Product Compliance:

www.OSHA.gov

www.justrite-mfg.com

www.eagle-mfg.com

2[Biohazard Container] Labels: 1910.1030(g)(1)(i)

1910.1030(g)(1)(i)(A)

Warning labels shall be affixed to containers of regulated waste, refrigerators and freezers containing blood or other potentially infectious material; and other containers used to store, transport or ship blood or other potentially infectious materials, except as provided in paragraph (g)(1)(i)(E), (F) and (G).

Sample Biohazard Symbol1910.1030(g)(1)(i)(B)

Labels required by this section shall include the following legend:

1910.1030(g)(1)(i)(C)

These labels shall be fluorescent orange or orange-red or predominantly so, with lettering and symbols in a contrasting color.

1910.1030(g)(1)(i)(D)

Labels shall be affixed as close as feasible to the container by string, wire, adhesive, or other method that prevents their loss or unintentional removal.

1910.1030(g)(1)(i)(E)

Red bags or red containers may be substituted for labels.

3Contaminated Sharps Discarding and Containment: OSHA 1910.1030(d)(4)(iii)(A)

1910.1030(d)(4)(iii)(A)(1)

Contaminated sharps shall be discarded immediately or as soon as feasible in containers that are:

1910.1030(d)(4)(iii)(A)(1)(i)

Closable;

1910.1030(d)(4)(iii)(A)(1)(ii)

Puncture resistant;

1910.1030(d)(4)(iii)(A)(1)(iii)

Leakproof on sides and bottom; and

1910.1030(d)(4)(iii)(A)(1)(iv)

Labeled or color-coded in accordance with paragraph (g)(1)(i) of this standard.


Read the complete OSHA regulation 29 CFR 1910.1030 on Toxic and Hazardous Substances – blood borne pathogens.

June 2, 2009

Some States Require Self Closing Cabinets

Filed under: Regulations (OSHA and EPA) — Admin @ 9:03 pm

flammable safety cabinet justrite 891520Self-closing safety cabinets for flammable liquids are required by certain individual states and counties that follow an adopted Fire Code (such as the International Fire Code (IFC), NFPA 1, or Uniform Fire Code.) The following states have at least some areas that are required to use safety cabinets with self closing doors when storing flammable liquids. Make sure you are in compliance with your local requirements both by referencing the lists below and by contacting your local jurisdiction or Fire Marshall office.

  • California
  • Alaska
  • Idaho
  • Oregon,
  • Montana
  • Utah
  • Hawaii
  • Nevada
  • Washington

fusible link

A self-close cabinet shuts and latches automatically when a special fusible link melts under fire conditions (165°F / 74°C), thus minimizing the risk of ignition of its contents.Self Closing Cabinets Required Statewide: If you purchase a safety cabinet for for these locations, you MUST purchase a self-closing model to comply with safety regulations.

Self Closing Cabinets Selectively Required: Depending on your county, you MAY HAVE TO purchase a self-closing model to comply with safety regulations*.

  • Arizona
  • Indiana
  • Iowa
  • Minnesota
  • New Mexico
  • South Dakota
  • Colorado
  • Missouri
  • North Dakota
  • Texas
  • Illinois
  • Kansas
  • Nebraska
  • Oklahoma
  • Wyoming

*This list is not all inclusive and more current information may be available. Contact your local jurisdiction for the most recent local requirements.


eagle self close conversion kitWhat to do if your Safety Cabinets are out of Compliance:

You have a couple of options to stay compliant if you currently do not use self closing cabinets and you are required to do so. You can either buy all new cabinets, or you can convert the ones you have. Self-closing conversion kits are available for both Justrite® or Eagle® models that allow you to convert your manual close safety cabinets into self-closing cabinets.

For more information on flammable cabinet rules and regulations, visit these resources:

OSHA Regulations for Flammable Liquid Storage

Safety Cabinet Regulations, Approvals, Codes and Listings

California Department of Transportation Laboratory Safety Manual (April 2005)

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