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Request For Public Comment

Request for Public Comment

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5K views102 pages

Request For Public Comment

Request for Public Comment

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KALB DIGITAL
Copyright
© © All Rights Reserved
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PUBLIC NOTICE. LOUISIANA DEPARTMENT OF ENVIRONMENTAL QUALITY (LDEQ) CLEAN HARBORS COLFAX, LLC REQUEST FOR PUBLIC COMMENT ON THE REVISED DRAFT HAZARDOUS WASTE OPERATING PERMIT RENEWAL AND THE INTENT TO DENY THE OPEN BURNING AND OPEN DETONATION (OB/OD) OPERATIONS The LDEQ, Office of Environmental Services, will receive comments on the Revised Draft Hazardous Waste Operating Permit Renewal for Clean Harbors Colfax, LLC, 3763 Highway 471, Colfax, LA 71417 for the hazardous waste storage and thermal treatment unit. The facility is located at 3763 Highway 471, Colfax, Grant Parish, Clean Harbors Colfax, LLC is proposing to renew its hazardous waste operating permit for thermal treatment in aclosed burn chamber and storage of reactive, ignitible, and explosive waste in magazines identified in the peri application A revised working draft of the permit was provided to Clean Harbors Colfax, LLC and the remarks submitted on behalf of Clean Harbors Colfax, LLC and the department's responses thereto, are included in the permit record that is available for public review Clean Harbors Colfax, LLC operates a facility that stores and thermally treats reactive, ignitable, and explosive waste, The facility stores reactive, ignitable, and explosive waste in ten (10) storage magazines which are designed and approved for the storage of these types of waste. ‘The revised draft renewal permit authorizes the facility to treat reactive, ignitable, and explosive waste by thermal treatment in a contained burn chamber system and denies the open burning and open detonation (OB/OD) operations, Under the revised draft permit, OB/OD) thermal treatment operations shall cease 180 days after the notice of the final permit action is received by the Permittee. The Permittee shall submit a notification of closure for the OB/OD thermal treatment unit (including the pad, pans and all associated equipment) within 30 days after cessation of operation of the OB/OD unit ‘Comments and requests for notification of the final decision can be submitted online on the public notice webpage (http://www.deg.louisiana,gov/public-notices), via personal delivery, U.S. mail, or email. Comments must he received by 4:30 pm CST, Monday, May 1, 2023. Delivery may be made to the drop-box at 602 N. Sth Si Baton Rouge, LA 70802. U.S. Mail may be sent to LDEQ, Public Participation Group, P.O. Box 4313, Baton Rouge, LA 70821-4313, and emails may be submitted to DEQ.PUBLIC to receive notice of the final permit action must include a complete mail LA.GOV. Persons wishing when submitting comments, Please see additional instructions for comment submission, hand delivery an submission at http://Awww.de i pation: formation regarding electronic .louisiana.gov/j the-public-pat group or call (225) 219-3276. LDEQ will send notification of the final permit decision to the applicant and to each person who has submitted written comments or a written request for notification of the final decision. ‘The hazardous waste operating permit renewal application, revised permit renewal application, and all related documents are available for review at the LDEQ, Public Records Center, 602 North 5" Street, Baton Rouge. L.A Viewing hours are from 8:00 a.m. to 4:30 p.m., Monday through Friday (except holidays). The available formation can also be accessed electronically on the Electronic Document Management System (EDMS) on the DEQ public website at www.deq.louisiana.gov. Additional copies may be reviewed at the Grant Parish Library, Colfax Branch, 300 Main Street, Collin Louisiana 71417, form 7124 103 0924721 ?)revious notices regarding the permit application have been published May 18, 2017 in The Advocate and The Chronicle, and January 9, 2020 in The Chronicle, The Advocate and KVDP-FM Radio. A request for public comment on a prior draft of the hazardous waste permit renewal was published October 27, 2022 in The Advocate, he Chronicle, and 970 KSYL-AM Radio, and a public hearing was held on December 15, 2022. LDEQ will all comments received on the October 27, 2022 notice and any comments received regarding this revised «raft permit renewal and intent to deny the OB/OD operations prior to taking final action. Inquiries or requests for additional information regarding this permit action should be directed to LDEQ, Waste Permits Division, P.O. Box 4313, Baton Rouge, LA 70821-4313, Customer Service Center at (225) 219-5337. Persons wishing to be included on the LDEQ permit public notice mailing list, wishing to receive the permit public notices via email by subscribing to the LDEQ permits public notice List Server, or for other public participation related questions should contact the Publie Participation Group in writing at LDEQ, P.O. Box 4313, Baton Rouge, LA 70821-4313, by email at DEQ.PUBL }OV or contact the LDEQ Customer Service Center at (225) 219-LDEQ (219-5337). crmit public notices including electronic access to the revised draft permit and associated information can be viewed on the LDEQ permits public webpage at http://www.deq.Jouisiana.gov/publie-notices and general hiormation related tthe public participation in permitting activities can be viewed at. nt,2ov/page/the-public-participation-group. All correspondence should specify Al Number 32096, Permit Number LAD 981 055 791-OP-RN-2, and Activity Number PER20170002. Scheduled Publication Date: hursday, Ma 16,2023 in the Advocate, the Chronicle and Announced on 970 KSYL-AM Radio ion 7124 03 wre Worksheet for Technical Review of Working Draft of Revised Permit Clean Harbors Colfax, LLC Ali: 32096 TEMPO Activity No: _| PER20170002 Clean Harbors Colfax Facility | Remarks Submitted by: Paul Andrews: Permit Writer: Karla Vidrine Permit Writer Emai Karla.Vidrine@la.gov Instructions Permit Reference — Indicate specific portion(s) of the permit to which the remark relates (i.e. "Fact Sheet Section IV’, or ‘Permit Part ll, Paragraph G’, etc.) Remarks — Explain the basis for each remark. Provide regulatory citations where possible. omission in the permit application this must be noted and the revised information must be submitted. Revised informa If the remark is made due to an error or n may be submitted separately from this worksheet. Please be aware that revised information must be submitted in writing and certified by the Please Note: New or additional information not addressed in the original permit application will be addressed on a case-by-case basis. The Department reserves the right to address such changes in a separate permit action. DEQ Response - DO NOT COMPLETE THIS SECTION. This section will be completed by Water Permits Division of DEQ, included in the proposed permit package and made available for public review during any required public comment period Responsible Official. - Additional rows may be added as necessary. - Completed Form shall be emailed to the Permit writer in MS Word compatible format within the deadline specified in the email notification Reference = DO NOT USE THIS FORM TO SUBMIT COMMENTS DURING THE OFFICIAL PUBLIC COMMENT PERIOD. time-frame be revised to at least 180 days to allow sufficient time to complete processing of all waste inventory which is projected to be on- site at the time when the final permit issued. This added time will help alleviate issues associated with hourly processing , down-time due to weather events, and other factors beyond the control of the facility. "| Remarks Waste Permits ion Response (for official use only) | For all references to the 120-day limitation for |The LDEQ acknowledges your comment and ‘ongoing OB/OD, the facility requests that this | concurs. The Permit has been revised to reflect 180 days in order to allow sufficient time to complete processing of all waste inventory which is projected to be onsite at the time when the final permit is issued. Condition I.C.2 The condition requires a Notification of Closure of OB/OD to be submitted within 30 days after cessation of OB/OD. Please clarify that this The current approved closure plan did not include partial closure of the OB/JOD. The Permittee may submit a revised closure plan to include revisions | requirement pertains to partial closure of the | above-ground portions of the unit since the unit | | may be re-purposed in the future (i.e., potential | placement of the contained burn system). for partial closure of the OB/OD unit for review and approval. No change to the Permit. Condition I.C.3- This condition includes a requirement for the submittal of a Request to Perform Initial Inspection (of the CBCS) “commencing two years from the issuance of this permit.” It was the facility's understanding that the timeline for construction of the new unit would not be tied to the issuance of this permit. The facility requests that this condition be deleted. The Waste Permits Division acknowledges your comment and concurs. Permit Condition I.C.3 has been revised. Table 1.C.4.a. (page 4 of 43) The note in this table still does not make it completely clear that if Pans 1 through 3 or Pans 11 through 13 managed less than 100 pounds in an operating hour, then the balance of the hourly limit (up to 410 pounds per hour) would be available for the corresponding pans (4 through 10 or 14 through 20). For example, if 50 pounds of NEW were processed in Pans 1 through 3, then Pans 4 through 10 should still be able to proc: up to 360 pounds of NEW in that same hour (instead of being limited to 310 pounds). The footnote in Table I.C.4.a has been revised for clarification This permit condition requires the quarterly monttorling (reports (to1 si siknltiec! Wisin 20) days from final laboratory analysis. Due to the volume of analytical reports that have to be evaluated to develop the quarterly air monitoring reports, this due date should be at least 90 days from receipt of the final laboratory analytical reports for the monitoring period. The Waste Permits Division acknowledges your | comment and concurs. Permit Condition |.C.4.b.vii has been revised. Condition 1.C.4.b.vii. A provision in this condition requires ambient air monitoring stations to be sampled every 6 days. The voluntary program _|Harbors in late 2018 included _sampli The Waste Permits Division acknowledges your comment but does not concur. The Air permit is initiated by Clean | consistent with the RCRA permit. seca ances cnet ‘approximately every 10 days. Clean Harbors requests that the current sampling frequency be continued (consistent with the Air Permit). However, the facility also requests that this condition be further revised to state that no air monitoring and associated reporting will be required during the time interval between the cessation of the OB/OD operation and the start- up of operation of the contained burn system. _ The Waste Permits concurs that the ambient air monitoring after cessation of the OB/OD operations will not be required during the closure of the OB/OD unit and not during the construction of the CBCS. Permit Condition |.C.4.b.vii has been revised for clarification. This condition should specify that accumulated precipitation from the OB/OD burn pad only should be collected and managed under the terms of the existing LPDES Permit until such time that partial closure of the above-ground portions of the burn pad has been achieved Permit Condition I.C.4.b.vili has been revised for clarification Condition 1.C.4.d.iv. It should be noted that the cool down period is documented on the daily burn logs but is not listed separately from the smoking/smoldering time since it is not plausible to delineate the two phases with that level of specificity (i.e., there is overlap in most cases). ‘The Waste Permits Division acknowledges your comment and concurs. Permit Condition |.C.4.d.iv has been revised for clarification. Condition Le. : It is not clear to the facility what the purpose of this condition is since currently the only treatment unit is the OB/OD unit. Is this condition necessary? |The Waste Permits Division acknowledges your | comment but does not concur. No Change to the Permit | | Condition C.4.e.vi. Condition 1.C.4.f.ii. This condition appears to contradict Condition 1.C.4.e.v. The facility requests that it be remover Permit Condition I.C.4.e.v has been removed and Permit Condition |.C.4.e.vi has been revised for clarification. The requirements of this condition are stated in Condition |.C.2. Please delete this one as it is repetitive. Permit Condition has been revised for clarification. LCA Fi No change to Permit Condition 1.C.4.f.ii. ae Condition 1.C.4.g.viii. This condition limits the number of thermal treatment pans utilized per burn and/or detonation event to eight (8); however, the The Waste Permits Division acknowledges your comment and concurs. Permit Condition .C.4.g.viii has been revised. previous permits have allowed the utilization of as many as ten (10) thermal treatment pans per burn and/or detonation. The facility requests that this limit remain at ten (10). The limit of 10 is also stated in the Air Permit. Table IV.B. (page 21 of 43) Please include a statement that acknowledges the authorization for the facility to re-manifest to other off-site TSDFs for final processing or disposal any wastes terminated by the facility for storage only. No change to Table IV.B. Permit Condition V.C.10.1. has been added for clarification. The LDEQ acknowledges your comment and concurs. The Fact Sheet has been revised to reflect 180 days. Fact Sheet Same as the first comment above. Sections II and | Public Notice ‘Same as the first comment above and the comment pertaining to Condition I.C.2 above. The LDEQ acknowledges your comment and concurs. The Public Notice has been revised to reflect 180 days. oe OPERATING RENEWAL PERMIT Clean Harbors Colfax, LLC Agency Interest # 32096 PER20170002 Grant Parish i i “EPA ID/Permit Number: LAD 981 055 791-OP-RN-2 FACT SHEET FACT SHEET REVISED DRAFT HAZARDOUS WASTE PERMIT OPERATING PERMIT AND INTENT TO DENY THE OPEN BURNING AND OPEN DETONATION (OB/OD) OPERATIONS CLEAN HARBORS COLFAX, LLC Contained Burn Chamber System (CBCS), Storage Magazines and Container Storage Area, and ‘Open Burning /Open Detonation (OB/OD) Operations for 180 days Permit Number: LAD 981 055 791-OP-2 Agency Interest Number: 32096 PER20170002 Colfax, Grant Parish 1. INTRODUCTION This fact sheet has been developed in accordance with the Louisiana Administrative Code (LAC) 33:V.703.D and briefly sets forth principal and significant facts, legal, methodological and policy requirements of the draft hazardous waste operating permit renewal for the above-referenced facility. The Louisiana Department of Environmental Quality (LDEQ) has prepared this proposed revised draft hhazardous waste operating permit renewal, which addresses the requirements of LAC Title 33, Part V, Subpart | and the Federal Resource Conservation and Recovery Act (RCRA) as amended by the 1984 Hazardous and Solid Waste Amendments (HSWA). AA prior draft permit was prepared and public noticed on October 27, 2022. A public hearing was held on December 15, 2022. Public comments were received on the prior draft permit. A public notice requesting public comment on the revised draft permit and notice of intent to deny the OB/OD operations was subsequently published. The Administrative Authority will consider all significant comments received on the prior draft permit and revised draft permit and notice of intent to deny the OB/OD operations prior to ‘making @ decision and taking any final action on this permit Tl. FACILITY DESCRIPTION Clean Harbors Colfax, LLC operates a facility that stores and thermally treats reactive, ignitable, and explosive waste in an open burnVopen detonation (OB/OD) unit. The facility stores reactive, ignitable, and explosive waste in ten (10) storage magazines which are designed and approved for the storage of these types of waste. Clean Harbors Colfax is proposing to construct a contained burn chamber system (CBCS) for thermal treatment of reactive, ignitable, and explosive waste; continued storage in ten (10) magazines, and one (1) container storage area of reactive and explosive hazardous waste; and continued less than 90- day ash residue staging area for containers (roll-off containers). ‘The revised draft renewal permit authorizes the facility to treat reactive, ignitable, and explosive waste by thermal treatment in a CBCS and denies continuation of the OB/OD operations. Under the revised draft permit, OB/OD thermal treatment operations shall cease 180 days after the notice of the final permit action is received by the Permittee, ‘The Permittee shall submit a notification of closure for the OB/OD thermal treatment unit (including the pad, pans and all associated equipment) within 30 days after cessation of operation of the OB/OD unit. In addition, the revised draft permit includes terms and conditions to regulate OBIOD operations during the 180 day period allowed prior to cessation of OB/OD operations. Page | of 8 ‘The facility is located at 3763 Highway 471, Grant Parish, Colfax, Louisiana. The total acreage of the site is 622.85 acres, with 43 acres designated for commercial hazardous waste treatment and storage. The facility is located at Latitude 31° 34' 05" North and Longitude 92° 43" 21" West. In consideration of the Louisiana Comprehensive Master Plan for a Sustainable Coast, as well as consideration of public interest, human health, and the environment, the subject permit has been developed in a manner consistent with the Coastal Master Plan (Comprehensive Master Plan for a Sustainable Coast) and public interest. Additionally, the facility is not located in the Coastal Zone. ‘This draft renewal does not significantly alter the types or characteristics ofthe wastes the facility currently ‘manages. Further, the design, operation, and maintenance of these hazardous waste storage magazines and container storage area proposed for hazardous waste management will comply with all applicable state and federal environmental regulations. The design, operation, and maintenance of the Contained Burn Chamber System (CBCS) and limited operations (180 days) of the open burning and open detonation (OB/OD) for hazardous waste management will comply with all applicable state and federal environmental regulations. II, SUMMARY OF PROPOSED PERMITTING ACTION (Including type and quantity of waste, fluids or pollutants) A. Authorization of Contained Burn Chamber System and Storage Areas. Clean Harbors Colfax proposing to construct a CBCS for thermal treatment of reactive, ignitable, and explosive waste, continued storage in ten (10) magazines, and one (|) container storage area of reactive and explosive hazardous waste, and continued less than 90-day ash residue staging area for containers (roll-off containers). The CBCS will be installed to thermally treat the reactive, ignitable, and explosive waste containing waste codes D001, D002, D003, D004, DO0S, D006, D007, D008, D010, D001 1, DO22, D029, D030, DO32, D034, D036, D038, D039 (hazardous wastes that exhibit the characteristics of ignitibility and/or reactivity), and KO44, KO45, POBI, P12 (hazardous wastes listed for reactivity). The proposed permitting action authorizes construction of the CBCS, authorizes proposed modifications tothe storage areas, and provides operating, testing, monitoring and reporting conditions for operation of the CBCS and storage act ies. The terms and conditions of the permit are developed under the authority of and in accordance with the Louisiana Hazardous Waste Control Law La. R.S. 30:2171 et seq., and the regulations adopted thereunder and under the authority of the 1984 Hazardous and Solid Waste Amendments (HSWA) to the Resource Conservation and Recovery Act (RCRA), including Sections 206, 212, and 224 of the HSWA of 1984, which modify Section 3004 and 3005 of RCRA, and LAC 33:V.Subpart I B. Denial of Continued Open Burn/Open Detonation Unit Operations. Under the revised draft permit, OB/OD thermal treatment operations shall permanently cease no later than 180 days after the notice of the final permit action is received by the Permittee. For 180 days after notice of the final permit is received by the Permittee, the thermal treatment operations by OB/OD shall be limited in capacity as specified in section I.C of this permit and limited to the waste streams identified in LC.4:h, Table A of this permit. In accordance with LAC33:V.703, in conducting its review of the renewal permit application, LDEQ has considered comments received from the public, involved local, parish and state officials, including site specific considerations, as well as the ongoing development of EPA guidance and regulations relating to OB/OD thermal treatment. In addition, LDEQ has considered the ongoing development of alternate treatment technologies for the types of wastes treated by Clean Harbors Page 2 of 8 Colfax. LDEQ has concluded that contained burn treatment systems represent the “state-of-the- art” technology for thermal treatment ofthe types of wastes processed by the Clean Harbors Colfax facility, and that a properly designed and operated CBCS will be capable of treating the majority ‘of waste streams currently received. Based upon these considerations, LDEQ has made a preliminary determination that continued operation of the OB/OD unit at the Clean Harbors Colfax site is not warranted, ‘THERMAL TREATMENT UNIT(S)* NAME OF UNIT Contained Bum Chamber System** SERVICE Ignitable/Reactive Hazardous Waste LOCATION 43 Acte RCRA Fenced ‘Area MAXIMUM DESIGN OR PERMITTED CAPACITY | total of 410 pounds per hour net explosive weight (NEW) not to exceed 561,700 pounds per calendar year ‘Consists ofthe Combustion Unt tll and associated equipment incioding feed systems and ar pollaion contol systems Proposed unit consists a contained bun chamber, deactvabon furace, pollution abetment stem, and thr a oxide, DAYS AFTER RECEIPT OF NOTICE OF FINAL PERMIT ACTION NAME OF UNIT **Thermal Treatment in 5 pans placed in designated areas Pans 4 through 10 or 14 through 20 SERVICE LOCATION Pad MAXIMUM PERMITTED ‘CAPACITY ‘A total of 410 pounds per hour net explosive weight (NEW) for an 8-hour operating da **Thermal Treatment in 3 pans placed in designated areas | through 3 or 11 through 13, Thermal Treatment Pad ‘A total of 100 pounds per hour net explosive weight (NEW) for an 8-hour operating di 7" Thermal eaten conduced i pans Ua are placed in the designated areas of 1 Gough 3 or 11 Gough I, wl havea capacity of no more han TOD nds peur tego wight (NEN) ante pn ed in hough 1014 ough 2 wil eth bln of init ato xed er hou HAZARDOUS WASTE CONTAINER STORAGE AREAS (CSA) CSA NAME/D. CONTAINER TYPE LOCATION MAXIMUM PERMITTED CAPACITY Magazine Storage No. 1 Fence 43-Acre RCRA Fenced es wet (ay sorry Containers (ae So cable ane Magazine Storage No. 2 Menuet, | 43-AcreRCRA Fenced | 11.966 gallons or ey somes) Containers ai 553 cubie yds Magazine Storage No. 3 Menmeand,, | 43-AcreRCRA Fenced | 11.968 gallons or Cees) Containers ue) 353 cube yards Magazine Storage No. 4 wpnimsand | 43-Aere RCRA Fenced Loe Crom) Containers. ay Sp cable jad Magazine Storage No. 5 weird |_| 43-Acre RCRA Fenced LE tees one Containers a 59.3 cubic yards Page 3 of 8 Drums and **Magazine Storage No. 6 Miscellancous | 43-Acre RCRA Fenced eee Sano) Containers ee 353 cabo yards **Magazine Storage No.7 Mecelians | PACTERCRA Fened | [I auRzaliors o eno Containers = 59.3 cubic yards Magazine Storage No. 8 aie 43-Acre RCRA Fenced Le ee or eed — | = epee Magazine Storage No. 9 ae 43-Acre RCRA Fenced ea \etsiocnt®) Containers Area 593 cubic yards it Drums and 11,968 gallons or ee reelseeea 10 Mibsedionnns 43-Acre by Fenced 5000 penis or sie Containers 59.3 cubie yards Rear area of the **L-shaped Container Storage Preparation Building 60 cubic yards or Area + Roll Off Boxes | within the 43-Acre 2,500 gallons RCRA Fenced Area CSA NAMED CONTAINER TYPE LOCATION MARINE EERETTED CAPACITY* Riau sues noe Miscalmeos, | S°A5 eo ‘S00 ance nf (ary storage) ; Containers 59.3 cubie yards Maguine SoregeNo.7 Micelancous [ACR RCRA Fenced | a (ary storage) Containers a 59.3 cubic yards Rear area of the Proposed Addition to the Preparation Building 60 cubie yards or L-shaped Container Storage Area | Drums. Roll OF Boxes | itnin the 43-Acre 2,500 gallons RCRA Fenced Area “Proposed a adiition To the dimensions ofthe Magazines Siaage Now 67, andthe L-shaped Container Storage Area wi no irae the some capacity See Table 9 for dimension of the IV. _ ENVIRONMENTAL JUSTICE CONSIDERATIONS Environmental Justice (FJ) is the fair treatment and meaningful involvement of all people regardless of race, color, national origin, or income with respect to the development, implementation and enforcement of environmental laws, regulations, and policies. Fair treatment means no group of people should bear a disproportionate share of the negative environmental consequences resulting from industrial operations. Meaningful involvement means * People have an opportunity to participate in decisions about act environment and/or health; * The public’s contribution can influence the permitting authority's decision; * Community concems will be considered in the decision making process; and * Decision makers will seek out and facilitate the involvement of those potentially affected. ' ies that may affect their * htpz/www cpa gov/environmentaljustice/Tearn-about-environmental-justce Page 4 of 8 EJSCREEN EJSCREEN is an EJ mapping and screening tool developed by EPA that provides users with a nationally ‘consistent dataset and approach for combining environmental and demographic indicators in the form of EJ indexes. An EJ index is a combination of environmental and demographic information; it combines ‘demographic factors with a single environmental factor.” EPA uses EJSCREEN to “screen for areas that may be candidates for additional consideration, analysis or ‘outreach as EPA develops programs, policies and activities that may affect communities.” EPA cautions that EJSCREEN should not be used: as a means to identify or label an area as an “EJ community”, to quantify specific risk values for a selected area; to measure cumulative impacts of multiple environmental factors; or as a basis for agency decision-making or making a determination regarding the existence or absence of ES concerns.' EPA goes on to state that screening-level results: + donot, by themselves, determine the existence or absence of environmental justice concems in a sziven location; * donot provide a risk assessment; and * have other significant limitations * According to EPA, the EJ index is a product of the environmental indicator, the demographic index for the block group, and the population of the block group.* The EI index does not reflect the percentage of the population that is at les risk based on exposure to a given environmental factor. EJSCREEN is a “living” website that is updated as newer information becomes available. Notice that the underlying data has been updated is not typically provided by EPA. Therefore, LDEQ notes that this analysis was performed on March 2, 2023, and the data reported herein was the current information utilized by EJSCREEN as of that date. LDEQ prepared an EJSCREEN Report (Version 2.1) for the area encompassed by a 3-mile ring centered ‘on the bum pad located at Clean Harbors Colfax, LLC (Clean Harbors) (3 1.573116, -92.712572).” ‘A. Demographic Information ‘The EJSCREEN report includes a demographic index based on the average of the people of color population and the low income population. The demographic index for the evaluated area is 48 percent, which is higher than the state average demographic index of 41 percent. More specifically, the people of color population is less than the state average (27 percent versus 42 percent), while the low income population is greater than the state average (68 percent versus 38 percent). According to EJSCREEN, 36 people live within | mile of the bum pad, a 3.14 square mile area (11.5 persons per square mile); 225 people live within 2 miles of the burn pad, a 12.56 square mile area (17.9 tp hitps://www.epa gov/ejscreen/how-does-epa-use-ejscreen i. 2 hitps:/www.epa gov/ejscreen/environmental-justice-indexes-ejscreen 3 4 5 hups:/www.epa goviejscreen/purposes-and-uses-ejsereen 6 7 hutps://www.epa.gov/ejscreen environmental -justice-indexes-ejscreen ‘The EJSCREEN Repor is attached. Page 5 of 8 persons per square mile); and 721 people live within 3 miles ofthe burn pad, a 28.27 square mile area (25.5 persons pe square mil). By way of eomparison, according to the 2020 US. Census, Louisiana's average population density is 107.8 persons per square ‘Selected Variables Area of Review Value | State Average Demographic Index 48% 41% People of Color 2% 42% Low Income 68% 38% Unemployment Rate 1% ™% Limited English Speaking Households % m% Less Than High Schoo! Education 13% 14% ‘Under Age 5 8% ™% Over age 64 % 15% B. Environmental Indexes For the area encompassed by a 3-mile ring centered on the burn pad, EJSCREEN reports the following EJ index values. Environmental Justice Index State Percentile EJ Index for Particulate Matter 2.5 47 EJ Index for Ozone 51 EJ Index for Diesel Particulate Matter 17 EJ Index for Air Toxics Cancer Risk 52 EJ Index for Air Toxics Respiratory Hazard Index 57 EJ Index for Traffic Proximity NA EJ Index for Lead Paint 4 EJ Index for Superfund Proximity 58 EJ Index for RMP Facility Proximity 4 EJ Index for Hazardous Waste Proxi 54 EJ Index for Underground Storage Tanks 43 EJ Index for Wastewater Discharge or | EPA has indicated that a closer review may be warranted for any environmental indicator with an EJ index greater than or equal to 80.” In the instant case, all indicators have an EJ index below 80. In conducting the screening assessment, it was noted that the PM: EJ Index is slightly above 80 when compared to the US as a whole. PMB sis particulate mater that is 2.5 microns or less in diameter. USEPA has established a primary National Ambient Air Quality Standard (NAAQS) for PM2 of 12.0 ugim’ annual mean, averaged over 3 years, which is designed to protect public health with an ample margin of safety, including sensitive 8 hmps:/vww.census.gov/datatablestime-series/dec’density-data-text html 9 See “Leam about Identifying Communities with Environmental Justice (EJ) Concerns” at ‘ttps://worw.epa.gov/environmentaljustice/learn-about-environmental-justice. Page 6 of 8 individuals. For the area around Clean Harbors Colfax, LLC. the EJ Screen PM; senvironmental indicator value is 9.44 g/m’, which reflects existing conditions. The draft renewal permit requires Clean Harbors to cease OB/OD operations, and to construct and operate a CBCS meeting a destruction efficiency (DRE) of 99.99% and a total PM emission limit of < 0.08 gr/dsef, which should substantially reduce emissions of Particulate matter. Further, all terms of the permit are designed to ensure the protection of human health and the environmental such that no adverse impact should occur. Based on the information provided by the EJ Sereen assessment and the terms and conditions of the permit, LDEQ concludes that issuance of the permit will not result in a disproportionate impact under Title VI of the Civil Rights Act. Further, LDEQ has provided and is providing opportunity forall interested parties to be meaningfully involved in the permitting process. IV. _ DESCRIPTION OF PROCEDURES FOR REACHING A DECISION ON DRAFT PERMIT AND THE PERMITTING PROCESS A Document Submittal and Review Clean Harbors Colfax, LLC submitted a renewal application to operate open burning and open detonation treatment, ten (10) magazines, and one (1) container storage for hazardous waste management on April 27, 2017. A revised renewal application was submitted on August 24, 2020, to include a contained burn chamber system. The application. was determined to be administratively complete on May 16, 2017, and technically complete on October 13, 2022 Public Comment Period and Initial Public Meeting (if applicable) A prior draft permit was prepared and public noticed on October 27, 2022. A public hearing was held on December 15, 2022. in addition, the public is given a minimum of forty-five (45) days to review and comment on the revised draft permit. The ‘Administrative Authority will consider all significant comments on both the previous draft permit and the revised draft permit prior to making a decision or taking any final action on the revised draft permit. ‘The specific dates for the opening and closing of the public comment period for the revised draft permit decision are contained in the public notice that is issued with the revised draft permit decision. Any person interested in commenting on the subject revised draft permit must do so within the allotted comment period. ‘The notice is also posted on the LDEQ Website, found at hiips//deq louisiana gow/public- .. Written comments on the draft permit may be submitted to Public Participation Group, LDEQ-OES, Permit Support Services Division, P.O, Box 4313, Baton Rouge, LA 70821-4313. All comments regarding the permit should specify Agency Interest (AI) No. 32096. Public Hearing Information LDEQ held a public hearing on the draft permit on December 15, 2022 at the Grant — Colfax Civie Center Page 7 of & Location of Available Information ‘The administrative record, including all supporting documents, is on file at the LDEQ Public Records Center, Room 1-127, 602 North $® Street, Baton Rouge, Louisiana. These documents may be inspected and copied (at $0.25 per copy page) at any time between the hours of 8:00 a.m. to 4:30 p.m., Monday through Friday (except holidays). ‘The permit information is also posted on the LDEQ Website, found at https://deg louisiana gow public-notices. In addition, a copy of the revised draft permit, fact sheet, and supporting documents are available for review at the Grant Parish Library, Colfax Branch, 300 Main Street, Colfax, Louisiana 71417. Written Comment Submission Interested persons may submit written comments on the revised draft permit to the Administrative Authority, at the address listed below, no later than 12:30 p.m. on the closing date of the comment period. All eomments should include: 1. The name and address of the commenter; 2. A concise statement of the exact basis for any comment and supporting relevant facts ‘upon which the comment is based: 3. Identification of the facility commented on (the EPA Identification Number and AI number); and 4, Supporting relevant facts upon which the comments are based. Alll comments, requests for a public hearing, further requests for information (including ‘copies of this decision and fact sheet), and any requests by public interest groups or individuals, who would like to be included in the mailing list, should be made in writing to: Ms. Tommie Milam Louisiana Department of Environmental Quality Office of Environmental Services Post Office Box 4313 Baton Rouge, Louisiana 70821-4313 (225) 219-3276 or fax (225) 219-3309 Page 8 of 8 SIGNATURE PAGE REVISED DRAFT PERMIT LOUISIANA DEPARTMENT OF ENVIRONMENTAL QUALITY HAZARDOUS WASTE OPERATING RENEWAL PERMIT PERMITTEE: CLEAN HARBORS COLFAX, LLC, COLFAX FACILITY. PERMIT NUMBER: —_LAD0981055791-OP-RN-2 Agency Interest #32096 Activity #PER20170002 FACILITY LOCATION: 3763 HIGHWAY 471 ‘OLF. This permit is issued by the Louisiana Department of Environmental Quality (LDEQ) under the authority of the Louisiana Hazardous Waste Control Law La, R.S. 30:2171 et seq., and the regulations adopted thereunder and under the authority of the 1984 Hazardous and Solid Waste Amendments (HSWA) to the Resource Conservation and Recovery Act (RCRA) to Clean Harbors Colfax, LLC (hereafter called the Permittee) to treat and store hazardous waste at the facility located in Colfax, Louisiana, at latitude 31° 34' 05" N and longitude 92°34' 21" W. For the purposes of this permit, the "Administrative Authority” shall be the Secretary of the Louisiana Department of Environmental Quality or his/her designee. The Permittee must comply with all terms and conditions of this permit. This permit consists of the conditions contained herein and the applicable regulations contained in the Louisiana Administrative Code, Title 33, Part V, Subpart I (LAC 33:V.Subpart |). Applicable regulations are those which are in effect on the effective date of issuance of this permit. This permit is based on the assumption that the information provided to LDEQ by the Permittee is, accurate. Further, this permit is based in part on the provisions of Sections 206, 212, and 224 of the HSWA of 1984, which modify Section 3004 and 3005 of RCRA. In particular, Section 206 requires corrective action for all releases of hazardous waste or constituents from any solid waste ‘management unit at a treatment, storage, or disposal facility seeking a permit, regardless of the time at which waste was placed in such unit. Section 212 provides authority to review and modify the permit at any time. Any inaccuracies found in the submitted information may be grounds for the termination, modification, revocation, and reissuance of this permit (see LAC 33:V.323) and potential enforcement action. The Permittee must inform the LDEQ of any deviation from or changes in the information in the application which would affect the Permittee's ability to comply with the applicable regulations or permit conditions. This permit shall be effective as of _ DRAFT. , and shall remain in effect until __DRAFT. » unless revoked, reissued, modified or terminated in accordance with LAC 33:V.323 and 705 of the Louisiana Hazardous Waste Regulations. The Administrative Authority may issue any permit for a duration that is less than the maximum term of ten (10) years and the term shall not be extended beyond the maximum duration by modification in accordance with LAC 33:V.315. Provisions of this permit may be appealed in writing pursuant to LA. R.S. 30:2024(A) within 30 days from receipt of the permit. Only those provisions specifically appealed will be suspended by a request for hearing, unless the Secretary elects to suspend other provisions as well. A request for hearing must be sent to the following: Louisiana Department of Environmental Quality Office of the Secretary Attention: Hearings Clerk, Legal Services Division Post Office Box 4302 Baton Rouge, Louisiana 70821-4302 Bliss M. Higgins, Assistant Secretary Date Louisiana Department of Environmental Quality PUBLIC PARTICIPATION i i I i h PUBLIC NOTICE LOUISIANA DEPARTMENT OF ENVIRONMENTAL QUALITY (LDEQ) CLEAN HARBORS COLFAX, LLC REQUEST FOR PUBLIC COMMENT ON THE REVISED DRAFT HAZARDOUS WASTE OPERATING PERMIT RENEWAL AND. THE INTENT TO DENY THE OPEN BURNING AND OPEN DETONATION (OB/OD) OPERATIONS The LDEQ, Office of Environmental Services, will receive comments on the Revised Draft Hazardous Waste Operating Permit Renewal for Clean Harbors Colfax, LLC, 3763 Highway 471, Colfax, LA 71417 for the hazardous waste storage and thermal treatment unit. The facility is located at 3763 Highway 471, Colfax, Grant Parish. Clean Harbors Colfax, LLC is proposing to renew its hazardous waste operating permit for thermal treatment in closed burn chamber and storage of reactive, ignitible, and explosive waste in magazines identified in the permit application. A revised working draft of the permit was provided to Clean Harbors Colfax, LLC and the remarks submitted on behalf of Clean Harbors Colfax, LLC and the department's responses thereto, are included in the permit record that is available for public review. Clean Harbors Colfax, LLC operates a facility that stores and thermally treats reactive, ignitable, and explosive waste. The facility stores reactive, ignitable, and explosive waste in ten (10) storage magazines which are designed and approved for the storage of these types of waste. The revised draft renewal permit authorizes the facility to treat reactive, ignitable, and explosive waste by thermal treatment in a contained burn chamber system and denies the open burning and open detonation (OB/OD) operations. Under the revised draft permit, OB/OD thermal treatment operations shall cease 180 days after the notice of the final permit action is reccived by the Permittee. The Permittee shall submit a notification of closure for the OB/OD thermal treatment unit (including the pad, pans and all associated equipment) within 30 days afier cessation of operation of the OB/OD unit. ‘Comments and requests for notification of the final decision can be submitted online on the public notice webpage itp://www.deg.louisiana.gov/public-notices), via personal delivery, U.S. mail, or email. Comments must be received by 4:30 pm CST, Monday, May 1, 2023. Delivery may be made to the drop-box at 602 N. Sth St., Baton Rouge, LA 70802. U.S. Mail may be sent to LDEQ, Public Participation Group, P.O. Box 4313, Baton Rouge, LA 70821-4313, and emails may be submitted to DEQ PUBLICNOTICES@LA.GOV. Persons wishing to receive notice of the final permit action must include a complete mailing address when submitting comments. Please see additional instructions for comment submission, hand delivery and information regarding electronic submission at http://www .deq.louisiana.gov/page/the-public-participation-group or call (225) 219-3276. LDEQ will send notification of the final permit decision to the applicant and to each person who has submitted written comments or a written request for notification of the final decision. ‘The hazardous waste operating permit renewal application, revised permit renewal application, and all related documents are available for review at the LDEQ, Public Records Center, 602 North 5" Street, Baton Rouge, LA. Viewing hours are from 8:00 am. to 4:30 pim., Monday through Friday (except holidays). The available information can also be accessed electronically on the Electronic Document Management System (EDMS) on the DEQ public website at www.deq.louisiana.gov. Additional copies may be reviewed at the Grant Parish Library, Colfax Branch, 300 Main Street, Colfax, Louisiana 71417, form 7124.03 9421 Previous notices regarding the permit application have been published May 18, 2017 in The Advocate and The Chronicle, and January 9, 2020 in The Chronicle, The Advocate and KVDP-FM Radio. A request for public ‘comment on a prior draft of the hazardous waste permit renewal was published October 27, 2022 in The Advocate, ‘The Chronicle, and 970 KSYL-AM Radio, and a public hearing was held on December 15, 2022. LDEQ will consider all comments received on the October 27, 2022 notice and any comments received regarding this revised draft permit renewal and intent to deny the OB/OD operations prior to taking final action. Inquiries or requests for additional information regarding this permit action should be directed to LDEQ, Waste Permits Division, P.O, Box 4313, Baton Rouge, LA 70821-4313, Customer Service Center at (225) 219-5337. Persons wishing to be included on the LDEQ permit public notice mailing list, wishing to receive the permit public notices via email by subscribing to the LDEQ permits public notice List Server, or for other public participation related questions should contact the Public Participation Group in writing at LDEQ, P.O. Box 4313, Baton Rouge, LA 70821-4313, by email at DEQ.PUBLICNOTICES@LA.GOV or contact the LDEQ Customer Service Center at (225) 219-LDEQ (219-5337), Permit public notices including electronic access to the revised draft permit and associated information can be viewed on the LDEQ permits public webpage at http:/Avww.deq louisiana gov/public-notices and general information related to the public participation in permitting activities can be viewed at http:/Avww.deq to gov/page/the-public-participation-group. All correspondence should specify AI Number 32096, Permit Number LAD 981 055 791-OP-RN-2, and Activity Number PER20170002. Scheduled Publication Date: Thursday, March 16,2023 in the Advocate, tke Chronicle and Announced on 970 KSYL-AM Radio form_7124 103 o9nai21 Joun Bex Epwarps Cuucx Carr Brown, PD. GOVERNOR ‘SECRETARY State of Louisiana DEPARTMENT OF ENVIRONMENTAL QUALITY ENVIRONMENTAL SERVICES 33/2023 Telephone: (225) 388-0128 Email: Jegal ads @theadvocate com Ms. Mattie Singleton Legal Advertising Advoeate P.O. Box $88 Baton Rouge, LA 70821-0588 RE: Request for Public Comments on a Draft Hazardous Waste Permit (Clean Harbors Colfax LUC ‘A132096, PER20170002, Permit Number LAD 981 085 791-RN-OP-2 Colfax, Grant Parish, Louisiana Dear Ms, Singleton: Please publish the attached legal notice regarding the above referenced facility asa regular legal ad in the Advocete once only on Thursday, March 16, 2023._ You will also receive a copy ofthe lezal notice itself via email. Immediately after publication, please fax @ copy of the ad to Ms. Laura Ambeau at (225) 325-8157. State regulations require that we provide notification to the public and allow suicent time for public comments. For this department to be assured that adequate notification is provided, we are requesting that you sign and date the enclosed “Verification by Newspaper and fix ito the attention of Ms. Laura Ambeau at (225) 325-8157 immediately upon publication, Ifthe notice cannot be published on the {ate requested, please call me at (225) 219-3277 or email: laura.ambeaua. gov. Charges for this sevice should be bil: Ts (cxpirstion date 05/24), Tax Exempt No. 1284900001. Please include the following information on the invoice: Laura Ambeau (225) 219-3277 Office of Environmental Services/Permit Support Services Division, Post Office Box 4313 Advocate - LDEQ Account Number: 100168 ‘To assure payments are processed promptly end properly, all charges and correspondences should include Al 32096 and Activity ‘Tracking Number PER20170002. ‘The official proof of publication in the form ofa tear sheet and invoice should be mailed tothe attention of Ms. Leura Ambeau, LDEQ. Permit Support Services Division, P.O. Box 4313, Baton Rouge, LA 70821-4313. We appreciate your assistance in our efforts to serve the public Sincerely, Lanse Ambean Laura Ambeat Environmental Sein, Poli Participation Group LA Attachments Pose Office Box 4313 » Baton Rouge, Louisiana 70821-4313 Phone 225-219-3181 « Fax 225-219-3309 ‘www.deq.louisiana gov VERIFICATION BY NEWSPAPER ‘The undersigned verifies thatthe following public notice was published on the __ (date of publication) edition of The Advocate: ‘Request for Public Comments on a Draft Hazardous Waste Permit Clean Harbors Colfax LLC ‘A132096, PER20170002, Permit Number LAD 981 OSS 791-RN-OP-2 Colfax, Grant Parish, Louisiana By: Date: Please complete and return this form promptly to the address listed below: Laura Ambeau ‘Louisiana Department of Environmental Quality Office of Environmental Services Permit Support Services Division PO Box 4313 Baton Rouge, LA 70821-4313 PHONE (225) 219-3277 FAX (225) 325-8157 Joun Bex Epwanps ‘Cxtuck Carr Brown, Pu.D. GOVERNOR mona State of Louisiana DEPARTMENT OF ENVIRONMENTAL QUALITY ENVIRONMENTAL SERVICES vixen Teletons: 18 67.377 et gin ees Email shronicle!876@yahoo.com iene Webel payers eee Stak ae alae ATT Es epee Pbk Cocneneonsicsk Herrdes Wes ora Gousmeecuue Aisin PERGN NOU: Permit Namter LAD 9188 9L-NLOP2 Coane GnntPole een Dorp es ease publish the atached egal notice regarding the above referenced failty as a regular legal a in the Chronicle once only ou Thursday, March 16.2023. You will also receive a copy of the legal notice itself via email. Immediately afer publication, please fax acory ofthe to Ms. Laura Ambeau at (225) 325-8157. State regulations require that we provide notification tothe public and allow sufficient ime for pubic comments. Fortis department to be assured that adequate notification is provided, we ae requesting that you sign and date the enclosed “Verification by Newspaper. and fax itto the attention of Ms, Laura Ambeau at (225) 325-8157 immediately upon publication. If the notice eannot be published on the ‘ate requested, please call me at (225) 219-3277 or email: laura ambeauG@la gov, ‘Charges for this service shoul! be billed (expiration date 05/24), Tax Exempt No. 1284900001. Please include the following information on the invoiee: ‘Laura Ambeau (225) 219-3277 Office of Environmental ServicesPermit Support Services Division Post Office Box 4313 Baton Rouge, LA 70821-4313 ‘Visa Purchase Chronicle - LDEQ Account Number: 36455 ‘To assure payments are processed promptly and properly, all charges and correspondences should include Al 32096 and Activity ‘Tracking Number PER20170002. ‘The offical proof of publication inthe form ofa tear sheet and invoice shouldbe mailed tothe attention of Ms. Laura Ambeau, LDEQ. Permit Support Services Division, P.O, Box 4313, Baton Rouge, LA 70821-4313. We appreciate your assistance in our efforts to serve the public. Sincerely, Lanse Aimheww Laura Ambeau Environmental Scientist, Pble Participation Group LA ‘Attachments Post Office Box 4313 » Baton Rouge, Louisiana 70821-4313 « Phone 225-219-3181 « Fax 225.219.3309 ‘www. deq louisiana gov VERIFICATION BY NEWSPAPER ‘The undersigned verifies that the following public notice was published on the _ publication) edition of The Chronicle: [Request for Public Comments on a Draft Hazardous Waste Permit (Clean Harbors Colfax LLC .A132096, PER20170002, Permit Number LAD 981 05S 791-RN-OP-2 Colfax, Grant Parish, Louisiana The Chronicle: By: Date: Please complete and return this form promptly to the address listed below: Laura Ambeau Louisiana Department of Environmental Quality Office of Environmental Services ‘Permit Support Services Division PO Box 4313 Baton Rouge, LA 70821-4313 PHONE (225) 219-3277 FAX (225) 325-8157 (date of LDEQ RADIO ANNOUNCEMENT REVISED DRAFT HAZARDOUS WASTE OPERATING PERMIT RENEWAL AND THE INTENT TO DENY THE OPEN BURNING AND OPEN DETONATION (OB/OD) OPERATIONS ‘The LDEQ, Office of Environmental Services, will be accepting written comments on the Revised Draft Hazardous Waste Operating Permit Renewal for Clean Harbors Colfax, LLC, 3763 Highway 471, Colfax, Louisiana 71417. The LDEQ will consider all comments received on the previous draft permit and comments received on this revised draft permit and the intent to deny the OB/OD operations prior to taking final action. A copy of the revised draft hazardous waste permit and related documents are available for review at the Grant Parish Library, Colfax Branch, 300 Main Street, Colfax, Louisiana 71417. The detailed public notice is scheduled for publication in The Advocate and Chronicle Newspapers on Thursday, March 16, 2023. The public comment period will end on Monday, May 1, 2023 at 4:30 p.m. For any inquiries contact LDEQ Customer Service Center at (225) 219-LDEQ, that is (225) 219-5337. Jou Bet. Epwarps Cuvex Carr Brown, Px.D. GOVERNOR mote State of Louisiana DEPARTMENT OF ENVIRONMENTAL QUALITY ENVIRONMENTAL SERVICES March 13,2025 Ms Taya ey eee sisteccoret Alexandria, LA 71301 Telephone: (318) 445-1234/Pax: (318) 473-7231 anya@cenlabroadcasting com RE: Request for Public Comments on a Draft Hazardous Waste Permit ‘Clean Harbors Colfax LLC ‘A132096, PER20170002, Permit Number LAD 981 055 791-RN-OP-2 Colfax, Grant Parish, Louisiana Dear Mr. Ivey: Please broadcast the enclosed public announcement regarding the above referenced facility once only, around 7:00 am on ‘Thursday, March 16, 2023, on 970 KSYL-AM. tara bis seve so: i ETD 09a 928) ax Ent So 1284900001, Plewe inde he following terme tree ‘Laura Ambeau (225) 219-3277 Office of Environmental Services/Permit Support Services Division Post Office Box 4313, Baton Rouge, LA 70821-4313 Visa Purchase We are requesting that you sign and date the enclosed ‘Verification by Radio Station’, and fax itto the attention of Ms. Laura Ambeau at (225) 325-8157, as soon as the announcement has been broadcast. there is any problem with broadcasting this announcement in its entirety, or if you have any further questions, please contact Ms. Laura Ambeau immediately at (225) 219-3277 or via email at Laura Ambeaux@LA.GOV. ‘Thank you for assisting in our effort to serve the public Sincerely, Sawa Abean Laura Ambeau Environmental Scientist II, Public Participation Group LA/Attachment VERIFICATION BY RADIO STATION Post Office Box 4313 » Baton Rouge, Louisiana 70821-4313 » Phone 225-219-3181 « Fax 225-219-3309 ‘wwrw.deq louisiana gov ‘The undersigned verifies that the attached public announcement, associated with the public notice referenced below, was broadcast on 970 KSYL-AM at__(time of day) on the (day) of. (month), 2023 Request for Public Comments on a Draft Hazardous Waste Permit (Clean Harbors Colfax LLC ‘4132096, PER20170002, Permit Number LAD 981 055 791-RN-OP-2 Colfax, Grant Parish, Louisiana 270 KSYL-AM: By: Date Please complete and return this form to the address listed below promptly after broadcast of the public service announcement, or fax it to the attention of Laura Ambeau at (225) 325-8157. Laura Ambeau Louisiana Department of Environmental Quality Office of Environmental Services Permit Support Services Division PO Box 4313 Baton Rouge, LA 70821-4313 PHONE (225) 219-3277 FAX (225) 325-8157 Jou Bet. Epwaros GOVERNOR Crc Carr Brown, Px.D. SECRETARY State of Louisiana DEPARTMENT OF ENVIRONMENTAL QUALITY ENVIRONMENTAL SERVICES Agency Interest #: 32096 Permit / EPA ID #: LAD 981 055 791-OP-RN-2 ‘TEMPO Activity No.: PER20170002 Mr. Paul Andrews Senior Environmental Compliance Manager Clean Harbors Colfax, LLC 13351 Scenic Hwy Baton Rouge, Louisiana 70807 RE: _ Revised Draft Hazardous Waste Operating Renewal Permit Clean Harbors Colfax, LLC, Colfax Facility Grant Parish, Dear Mr. Andrews: Enclosed is your copy of the revised draft hazardous waste operating renewal permit for the above-referenced facility, which incorporates regulatory standards and permit conditions applicable for the hazardous waste management units at the Clean Harbors Colfax Facility. A comment period of 45 days will be allowed in order for the public to review and comment on this revised draft hazardous waste operating renewal permit. The specific dates for the beginning and ending of the public comment period will be contained in the public notice. Prior to taking a final action on the final operating renewal permit, the Administrative Authority will consider all significant comments submitted on this action. Written comments must be received no later than 4:30 p.m. on the final day of the comment period. The issuance of the final permit decision will be in accordance with LAC 33:V.705, Please reference Agency Interest Number (32096), Activity Number (PER20170002), and Permit / EPA Identification Number (LAD 981 055 791-OP-RN-2) on all comespondence pertaining to this matter. If you have any questions, please contact the Waste Permits Division at (225) 219-2470. Sincerely, a M. Higgins. Assistant Secretary Office of Environmental Services Enclosure Post Office Box 4313 + Baton Rouge, Louisiana 70821-4313 « Phone 225-219-3181 « Fax 225-219-3309 ‘www deq louisiana gov VERIFICATION BY FACILITY ‘The undersigned verifies that the Clean Harbors Colfax, LLC has received a copy ofthe draft hazardous waste permit and public notice regarding: Request for Public Comments on a Draft Hazardous Waste Permit Clean Harbors Colfax LLC .A132096, PER20170002, Permit Number LAD 981 085 791-RN-OP-2 Colfax, Grant Parish, Louisiana CLEAN RS COLI Date: Please complete and return this form promptly to the fax number or email address listed below: Ms. Laura Ambeau Louisiana Department of Environmental Quality Office of Environmental Services Environmental Assistance Division PO Box 4313 Baton Rouge, LA 70821-4313 Phone (225) 219-3277 FAX (225) 325-8157 EMAIL: Laura. Ambeau@LA.GOV Joun Bet. Ewarps ‘Cuuck Carr Brown, Pu.D. State of Louisiana DEPARTMENT OF ENVIRONMENTAL QUALITY ENVIRONMENTAL SERVICES smnsa0es Telephone: 318-627-9920 Fax: 318-627-9900 Email: admin ilgr@peican state lib aus Ms. Deidre Fuqua Director Grant Parish Library - Headquarters - Colfax 300 Main Street Colfax, LA 71417-1830 Request for Public Comments on a Draft Hazardous Waste Permit (Clean Harbors Colfax LLC A132096, PER20170002, Permit Number LAD 981 055 791-RN-OP-2 Colfax, Grant Parish, Louisiana Dear Ms. Fuqua: ‘The Louisiana Department of Environmental Quality (LDEQ) requests that the enclosed documents for the permitting action for the above-referenced company/facility be made available for public review upon receipt in the Grant Parish Library - Headquarters - Colfax, {tis imperative that these documents are available for review at all times; therefore, they eannot be checked out by anyone at any time. ‘The documents should be retained for the duration of the permitting process. ‘The documents can be purged after the LDEQ issues a permit decision. You can view the status of the permit application atthe following LDEQ website: https://internet deq oui v/portal/ONLINESERVICES/CHECK-PERMIT-STATU: Please complete the attached ‘Verification by Library’ and mail to Laura Ambeau, LDEQ-OES, Permit Support Services Division, P.O. Box 4313, Baton Rouge, LA 70821-4313, or fax to (225) 325-8157, We appreciate your assistance in our efforts to serve the public. If you have any questions, please call me at (225) 219-3277. Sincerely, Laws Amkeae Laura Ambeau Environmental Scientist, Public Participation Group LA ‘Attachments! Post Office Box 4313 » Baron Rouge, Louisiana 70821-4313 » Phone 225-219-3181 « Fax 225-219-3309 www.deq louisiana gov VERIFICATION BY LIBRARY The undersigned verifies that Grant Parish Library - Headquarters - Colfax, 300 Main Street, Colfax, LA has received a copy of the Draft Hazardous Waste Permit associated with the following public notice: Request for Public Comments on a Draft Hazardous Waste Permit ‘Clean Harbors Colfax LLC A132096, PER20170002, Permit Number LAD 981 055 791-RN-OP-2 Colfax, Grant Parish, Louisiana it Parish Libras By: Date: Please complete and return this form promptly to the address listed below: Laura Ambeau Louisiana Department of Environmental Qu: Office of Environmental Services Permit Support Services Division PO Box 4313 Baton Rouge, LA 70821-4313 PHONE (225) 219-3277 FAX (225) 325-8157 ity Joun Bet Epwarns Cruck Carr Brown, PH.D. con aoa State of Louisiana DEPARTMENT OF ENVIRONMENTAL QUALITY ENVIRONMENTAL SERVICES sn3z02s Telephone: (31) 4475656 Fax: (318) 487-5927, Email: keroadmin@la.gov Ms. Ronda McCormick Acadiana Regional Office Manager-Kisatchie Central Office 2800 S. MacArthur Drive, Suite A Alexandria, LA 71301 RE: Request for Public Comments on a Draft Hazardous Waste Permit ‘Clean Harbors Colfax LLC ‘A132096, PER20170002, Permit Number LAD 981 08S 791-RN-OP-2 Colfax, Grant Parish, Louisiana Dear Ms. MeCormick: We have enclosed a copy of the Draft Hazardous Waste Permit and public notice forthe referenced facility for your reference and for public review. lease complete the attached ‘Verification by Regional Office’ and fax to Laura Ambeau, at (225) 325-8157. We appreciate your assistance in our efforts to serve the public. If you have any questions, please call me at (225) 219-3277. Sincerely, Laer Ambose Laura Ambeau. Environmental Scientist, Public Participation Group La Attachments! Post Office Box 4313 » Baton Rouge, Louisiana 70821-4313 « Phone 225-219-3181 « Fax 225-219-3309 ‘worw.deq louisiana.gov VERIFICATION BY REGIONAL OFFICE ‘The undersigned verifies that Acadiana Regional Office-Kisatchie Central Office, 2800 S. MacArthur Drive, Alexandria, LA has received a copy of the Draft Hazardous Waste Permit associated with the following public notice Request for Public Comments on a Draft Hazardous Waste Permit Clean Harbors Colfax LLC A132096, PER20170002, Permit Number LAD 981 055 791-RN-OP-2 Colfax, Grant Parish, Louisiana .cadiana Regional Office-Kisatchie Central Ot By: Date: Please complete and return this form promptly to the address listed below: ‘Laura Ambeau Louisiana Department of Environmental Quality Office of Environmental Services Permit Support Services Division PO Box 4313 Baton Rouge, LA 70821-4313 PHONE (225) 219-3277 FAX (225) 325-8157 Joy Be Epwarps ‘Cuuck Care Brown, Px.D. ‘SECRETARY State of Louisiana DEPARTMENT OF ENVIRONMENTAL QUALITY 3/13/2023 ENVIRONMENTAL SERVICES Telephone: (318) 627-3157 Fax: G18) 627-3527 Email: cjamison@gppj.org, Mr. Amold Murrell President Grant Parish Police Jury 200 Main Street/Courthouse Bldg, Colfax, LA 71417 RE: Request for Public Comments on a Draft Hazardous Waste Permit ‘Clean Harbors Colfax LLC 132096, PER20170002, Permit Number LAD 981 05S 791-RN-OP-2 Colfax, Grant Parish, Louisiana Dear Mr. Murrell: The Louisiana Department of Environmental Quality (LDEQ) is requesting public comments regarding a permitting action for Clean Harbors Colfax LLC, 3763 Hwy 471, Colfax, LA. For your reference, attached is a copy of the public notice and Draft Hazardous Waste Permit associated with this permit action. ‘The legal notice is scheduled to be published in/or announced on: Chronicle Thursday, March 16, 2023 Advocate Thursday, March 16, 2023 970 KSYL-AM Thursday, March 16, 2023 The notice is also posted on the LDEQ Website, found arwww.deq.louisiana.gov. Written comments on the Draft Hazardous Waste Permit may be submitted to Public Participation Group, LDEQ-OES, Permit Support Services Division, P.O. Box 4313, Baton Rouge, LA 70821-4313. All comments regarding the permit(s) should specify Agency Interest (Al) No. 32096. Should you have any questions, additional permit information may be obtained from Karla Vicrine, LDEQ, Permits Division, P.O. Box 4313, Baton Rouge, LA 70821-4313, telephone (225)219-3181. Should you have any questions regarding the public ‘notice, please contact Laura Ambeau, LDEQ, Permit Support Services Division, Permit Suppoct Section, at (225) 219-3277. Please complete the attached “Verification by Parish Government’ and mail to Laura Ambeau, LDEQ-OES, Permit Support ‘Services Division, PO Box 4313, Baton Rouge, LA 70821-4313, or fax to (225) 325-8157. We appreciate your assistance in our efforts to serve the public. If you have any questions, please call me at (225) 219-3277, Sincerely, Laas Ambeae Laura Ambeau Environmental Scientist, Public Participation Group LA Attachments! Post Office Box 4313 « Baron Rouge, Louisiana 70821-4313 « Phone 225-219-3181 « Fax 225-219-3309 wow deq louisiana gov VERIFICATION BY PARISH GOVERNMENT. ‘The undersigned verifies that Grant Parish Police Jury, 200 Main Street/Courthouse Bldg., Colfax, LA has received a copy of the Draft Hazardous Waste Permit associated with the following publi Request for Public Comments on a Draft Hazardous Waste Permit Clean Harbors Colfax LLC 4132096, PER20170002, Permit Number LAD 981 055 791-RN-OP-2 Colfax, Grant Parish, Louisiana Grant Parish Police Jury: By: Date: Please complete and return this form promptly to the address listed below: Laura Ambeau Louisiana Department of Environmental Quality Office of Environmental Services Permit Support Services Division PO Box 4313 Baton Rouge, LA 70821-4313, PHONE (225) 219-3277 PAX (225) 325-8157 Joun Bei Epwarns Cuuck Carr Brown, Pu.D. GOVERNOR SECRETARY State of Louisiana DEPARTMENT OF ENVIRONMENTAL QUALITY ENVIRONMENTAL SERVICES 3/13/2023 Telephone: (214) 665-6457 Fax: (214) 665-6762 Email: ‘Shah Harry@epa.gov Mr. Harry Shah EPA Region VI 1201 Elm Street, Suite $00 Dallas, TX 75270 RE: Request for Public Comments on a Draft Hazardous Waste Permit (Clean Harbors Colfax LLC A132096, PER20170002, Permit Number LAD 981 055 791-RN-OP-2 Colfax, Grant Parish, Louisiana Dear Mr. Shah: The Louisiana Department of Environmental Quality (LDEQ) is enclosing for your review a copy of the permit and public notice for the above referenced facility. The legal notice is scheduled to be published in/or announced on: Chronicle Thursday, March 16, 2023 Advocate Thursday, March 16, 2023 970 KSYL-AM Thursday, March 16, 2023 ‘The notice is also posted on the LDEQ Website, found at www.deq louisiana gov. Written comments on this permit action may be submitted to Public Participation Group, LDEQ-OES, Permit Support Services Division, P.O. Box 4313, Baton Rouge, LA 70821-4313. All comments regarding the permit(s) should specify Agency Interest (AI) No. 32096, ‘Should you have any questions, addtional permit information may be obtained from Karla Vidrine, LDEQ, Permits Division, P.O, Box 4313, Baton Rouge, LA 70821-4313, telephone (225)219-3181. Should you have any questions regarding the public notice, please contact me at (225) 219-3277. Please complete the attached ‘Verification by EPA’ and mail to Laura Ambeau, LDEQ-OES, Permit Support Services Division, PO Box 4313, Baton Rouge, LA 70821-4313, or fax to (225) 325-8157. We appreciate your assistance in our efforts to serve the public. If you have any questions, please call me at (225) 219-3277, Sincerely, Laue Amheae Laura Ambeau Environmental Scientist, Public Participation Group Post Office Box 4313 « Baton Rouge, Louisiana 70821-4313 « Phone 225-219-3181 « Fax 225-219-3309 vwwrwdeq louisiana gov ‘The undersigned verifies that Region VI, 1201 Elm Street, Suite 500, Dallas, TX has received a copy of the Draft Hazardous Waste Permit associated with the following public notice: Request for Public Comments on a Draft Hazardous Waste Permit Clean Harbors Colfax LLC 4132096, PER20170002, Permit Number LAD 981 055 791-RN-OP-2 Colfax, Grant Parish, Loui EPA Region VI: By: Date: Please complete and return this form promptly to the address listed below: Laura Ambeau Louisiana Department of Environmental Quality Office of Environmental Services Permit Support Services Division PO Box 4313 Baton Rouge, LA 70821-4313 PHONE (225) 219-3277 FAX (225) 325-8157 RCRA PERMIT PARTI: LDEQ/RCRA SITE ID & EPA PART A APPLICATION ? FORMS : ‘ : ‘ # : j ‘ 3 ‘ : : ’ ; t i i ° i ( f ! enownoe [E]®]®[@[e]t [eo [s alfa ‘OMB# 2050-0024; Expires 0513/2029 =) United States Environmental Protection Agency HAZARDOUS WASTE PERMIT PART A FORM 1. Facility Permit Contact, Fonte Fel Eu eae Tk Envionaodal Conplanco Manaer Ear mip ieciren Phone 225-681-0878 Je ~ [Fax aioe ay feat ‘Street Address 13351 Scenic Highway : gee saa ann cou USA cota That 3, Faality Existence Date (mm/dd/yyyy) erzorio8s: 4, Other Environmental Permits A. Permit Type B. Permit Number 7 C. Description P_(4]sf2] of -[ of of of 4] of -| 0] 5 [state airrermit wn {efafol | of 4 9 af 4 LPDES Permit 5, Nature of Business The facility thermally treats explosivelreactive wastes by way of open burn/open detonation. The facility is proposing to add a contained burn chamber which, upon completion of its construction, will manage up to 90% of the current waste throughput. EPA Form 8700-12, 8700-13 NB, 8700-23 Paget ot 3 eeaionumber [LT aT ols [e]a]o[s|s|7 [9] 4 (OMB# 2050-0024; Expires 05/31/2029 (5 Process Codes and Design Capacities tine | AProcess Code |_®-ProsessDesien Capacity | c process Total negee Number Caiman [PLUMES numberof us a [ce sn mcf xt ey ao) 001] Preparation Building Toe 119680] 6 010] Storage Magazines 4{s[e[ 4 ol (001 Preparation Bidg (Rear) s[xfols wold 001| Contained Burn Chamber 7. Description of Hazardous Wastes (Enter codes for ems 7, © and7.0(1)) “Ta envamden [eeimnet |e omer 2. pve nen, | Wamewo. | (2). proces Desctintion me eae (ead ot entered 7.02) [Ts fopolo[ 4} ss0,000) sfo] s[xfof [ofa] o 2{o}olol2] “‘ooo0o) P| sfol 4[xfo] a[ of 0] 0! sfofofols] ser700] p [s]el s[x[o] a[e] ole 4[o[olols Pp [s[olaxfol a[ololo z s|ofolols P sells lelatshels 6 [ol ofols p__[sfol4[x]ols[olole 7[o[ofol7 P_[sfol4{x[el aol ofo 8 [b[olols p[sfola|xlolsfol oo |_| s[ofolato p_ [slo] [xf] sfololo 1/ol[ololata P__|sfola[x[ol aol oo _ 1[olol2[2 P_{sfo]s}xjo|afololo & Map ‘Attach to this application a topographical map, or ober eave map, ofthe sea extending to atleast one mile beyond troperty aod The mop mnt show te cue he aly ee enon ol Sard Re eaete a ee structures, cach oltsharardou watte treatment storage, or spl ace, and eech wel wire inject fds nul found inde al spring rors, and ater surtace wat Goes a ‘this map area. See instructions for precise require ments. 9. Fality Drawing Al isting facies must include a scale drawing ofthe facility. See instructions for more detail 10, Photographs ‘Alesisting facies must include photographs (aca orgroundievel tat arty delineate al existing structures; existing Sorage estan on pon aes Sod stare USER hoe even oy Sano nae See 11. Comments ‘See additional sheet for additional waste codes, comments, and process codes. ltem 6, Line 1: Annual capacity is 861,700 pounds (Net Explosive Weight) or 410 pounds per operating hour. Item 6, Line 2: Line 2is to permit mechanical processing ofthe wate (as needed) in the preparation building EPA Form 8700-12, 8700-13 AY8, 8700-23 Page 2 of $ efi ois iei 71911 [OMB # 2050-0024; Expires 05/31/2020 | ‘Hazardous Wastes (Continued, use additional sheets as necessary) (2) Process Description codes not enterect in 700) [tem 6, Line 3: Each storage magazine can store up to 5,000 pounds (Net Explosive Weight), litem 6, Line &: Line 4s to permit limited storage of waste at the rear of the preparation building. 6, Line 5: Line 5 to permit operation of the contained burn chamber (to be constructed). Item 7: All pounds represent Net Explosive Weight and will fluctuate depending on business conditions. tem 7, Lines 3-22: Process codes X002 and x003 apply to all waste codes. items 8-10, Refer to Figures 1008-108 (Attachment 4). ‘OMB# 2050-0024; Expires 05/31/2029 2, Reason for: | United States Environmental Protection Agency ° RCRA SUBTITLE C SITE IDENTIFICATION FORM ‘Submittal (Select only one.) o | Obtaining or updating an EPA I number for an on-going regulated activity that will continue for a period of time. {includes HSM activity) Submitting asa component of the Harardous Waste Report for (Reporting Year) [[]_Sitewas aTS0 facility and/or generator of 2,000 kx of non-acute haterdous waste, > 1 kg of acute hazardous waste, o> 100 kg of acute hazardous waste spill cleanup in one or more months of the re- porting year (or State equivalent LOG regulations) 2. Site EPA IO Number Notitying that reguiated activity is no longer occurring at this Ste Obtaining or updating an EPA 1D number for conducting Electronic Manifest Broker activities Submitting a new or revised Part A Form [ela [o[s e[s]o[s[s|> sf] 3. Site Name 4. Site Location Address Clean Harbors Colfax, LLC Gty, Town, Street Address » orvillage Colfax 3763 Highway 474 State LA [County Grant [County USA, zip Code 71417. 5. Site Malling Address street Address State Oty, Town, or Village [eam 6. Site Land Type zip Cove 7. North American industry Classification System (NAICS) Code(s) forthe Site (atleast S-digit codes) A. (Primary) [zpvate EJewny Plpswee fesert Peo EJuonapa EJsare 562211 bee cy [EPA Form 8700-12, 8700-13 A/®, 8700-23, erounbe [c]a]o[eTs 1 ‘OMB# 2050-0024; Expires 05/31/2020 O) vcmeitemwas esteereee Fist Name Paul mh lasttame Andrews Tile Sr. Environmental Compliance Manager a ‘Street Address 413351 Scenic Highway City, Town, orVilage Baton Rouge State LA [country USA zip Code 70807 Email andrews.paul@cleanharbors.com a Phone 225-081-0878 ft fe ‘8. Legal Owner and Operator of the Site ‘A. Name of Site's Legal Owner ‘Same as tocation Address Full Name Date Became Owner (mm/éd/yyvy) Clean Harbors Colfax, LLC er7re002 ‘Owner Type Arrvate Cheounty LJoisiner Cpedera) Crvnar CIunicira’ [state other Street Address 3763 Highway 471 Gy, Town, orVilage Colfax [sate LA [country USA Zip Code 71447 a Emall_robertson.donald@cleanharbors.com Phone 225-681-0878 bt Fax Comments B. Name of Site's Legal Operator Same os Location Addcess FallName Date Became Operator (mn/éd/yvv) Clean Harbors Colfax, LLC syri2002 OperatorTipe county — Flower — Fhedecat — Fftrivar }aunicpes [state F)other Street Adres 3763 Highway 471 Gy Town or village Colfax state LA [county USA zipcode 71447 mai robertson donald@cleanharbors.com hone 918-627-9443 ea fax comments EPA Form 8700-32, 8700-13 4/8, 8700-23 eramnumber{ tL] a]o]s[s[+]ols[s|7|9|1 ‘oMB# 2050-0024; Expires 05/31/2020 cr 10, Type of Regulated Waste Activity (at your site) ‘Mark "Yes" oF “No forall current activities (as of the date submiting the Form); complete any additonal boxes as instructed A. Hazardous Waste Activities fee Loe] Sever of acaraous waste Ver mak only neo te ftowing ab ¢ "2 LOG | -Generates, n any calendar month {includes quantities imported by importer site) 3,000 kg/mo (2,200 Ib/mo) or more of non-acute hazardous waste; oF | Generates, in ay calendar month, or accumulates at any time, more than 1 kg/mo (2.2 tb/mo} of acute hazardous waste; or = Generates, in any calendar morth or accumulates at any ime, more than 100 kg/mo (220 Ib/mno} of acute hazardous soll cleanup material. [Jo sas ]200 0 3,000 me (2202,200b/mo) of non seute harardous waste and no more than 11g (2.2 Ib) of acute hazardous waste and no more than 200 kg {220 Ib} of any acute havardous spill leanup material. | Ty |= 6 |i tn resem i) fen anteheri ase 2, Short-Term Generator {generates from a short-term or one-time event and not from or-going processes). If "Yes", provide an explanation in the Comments section. Note: if “Yes you MUST indicate that you are @ Generator of Hazardous Waste in item 30.4.1 above. 3. Treater, Storer or Disposer of Hazardous Waste—-Note: Part @ of a hazardous waste permit is required for these activites. 4, Recelves Hazardous Waste from Offsite 5 Recycler of Hazardous Waste a Reyer who soe porto reang "EL cycler wno does ot report reqcing 6. Exempt Boiler andor industrial Furnace—if "Yes", mark all that apply 2. Small Quantity On-site Burner Exemption b. Smelting, Meting, and Refining Fumace Exemption ‘8, Waste Codes for Federally Regulated Hazardous Wastes. Please [st the waste codes ofthe Federai hazardous wastes, ‘handled at your sit. List them in the order they are presented in the regulations (eg. 000i, 0003, F007, U112). Use an additional page if more spaces are needed. 001 Doo 003 oos Doos 008 007 o08 oto | _ port oz2 D023 peso | ose 034 bose. 0038 038 Koa Koss: Post Prui2 co ) Waste Codes for State Regulated (non-Federal) Hazardous Wastes. lease lst the waste codes of the State hazardous wastes handled at your site. Ust them in the order they are presented in the regulations. Use an additional pageif more spaces are needed. [EPA Form 8700-12, 8700-13 A/B, 8700-23 Page 3 of & emownoe [e[aTo[e[e]iofs[= [7 [= [1] — owezosoonzs expres osar2029 (> 11. adattionat Regulated Waste Activites (NOTE: Refer to your State regulations to determine Ia seperate pert isrequired.) ‘A. other Waste Actives []n |} Wansporer of asatdous waste “Yer, mark al that ppl el ean (1) [> transter Factity (at your site) _[& Underground injection contri 3. United States importer of Hazardous Waste P4 Recogrized Trader "Yes", mark al hat pay = [a importer —| >. Exporter fv Fa)» J lmporerfxporter of Spent vead-Acd Bateries (SAB) under 40 CFR 266 Subpart Gt "Ves", mark al tat app ( |p-tiperter B. Universal Waste Activities 1. Large Quantity Handler of Universal Waste [you accumulate 5,000 vg or more) -IT"Yes" mark all that pr Os Sep hate: eter to your tte reguatlons to etemine whats equsies Diese a Penicies —_—_— ar “a fe. Other (specify) Eee ey

1 hy of acute hazardous waste, or | > 100 kg of acute hazardous waste sl cleanup material in one or more mont ofthe reporting year. C1 submitial ofa new Part A Form NOTE: See signature instructions in Section KK 8 submittal ofa revised Part A Form Amendment to NOTE: See signature instructions in Section XIX. C7 Te provide notification of LQG site Closure for a Central Accumulation Area (CAA) (optional) or Entire Facility (required) NOTE ep for 06, ot be wed poi afestun lego ety oonge ecning ets. oral | woes of regulated west ees the tan a yout nite EQ ug te cesin Ne hoes Waste aciny | (Form 7442) available at httos://wew.dea,tou a.gou/noue/hazordous-waste#Forms NOTE: This HW-1 should not be used to provide notifation for Electronic Manifest Broker activities. Lousiana has not adopted this port of the program. Notification relevant to tls actity must be submitted to EPA. For questions regarding electronic manifests, contact EPA at Powel Sontina EPA SITE ID NUMBER EPAIDNo. 140981055791 i. SITE NAME Legal Name Clean Harbors Colfax, Lic stret ress 3762 Highway a7 Gity, Town, or village Ot Parish Seat State SITE MAILING ADDRESS Bdlsame ast, ste Location/PhysicalAddcess (goto Section Vt) Addrass City, Town, of Village SITE LAND TYPE Private Di county/Parish Dpistriet Likederat Otibat Ci municipal state Dotner Vil. NORTH AMERICAN INDUSTRY CLASSIFCATION SYSTEM (NAICS) CODE(S) FOR SITE NOTE: Use 6-digit codes: see www.naicscom. Attach separate sheet if more codes opply. ‘q, 58221 ie Form_7398 102 State of Loulsione HW-1 Form and instructions 09-11-20 Page Sof 14 EPAIDNo. SITE CONTACT PERSON TECHNICAL FirstName Paul lastName Andrews Phone ezsyesi-0e7a__ Tile Sr. Environmental Compliance Manager 0 | Address 13351 Scenic Hwy ____ Gy, Town,orillage Baton Rouge | state wv Zp 70807 Email_andrews.paul@cleanharbors.com IX. LEGAL OWNER(S) AND LEGAL OPERATOR SEE DEFINITIONS (PAGE 2) ‘A. Legal Owner of Facity Company Name, if applicable Clean Harbors Colfax, LC _ FirstName a Phone __ Date Became Legal Owner 09/07/2002 _(mm/dd/yyyy) ieee Beer wie ity, Town, or Village Colfax ee ‘State wv Tip 71417 Email andrews.paul@cleanharbors.com_ a j onnerrype ElPtate Co county/earisn Dioistret federal Otriat Ci Municipat Oistate Dlother B, Legal Owner of Property Di) same as x A. Legal Owner of Facility (go to item IC) Company Name, if applicable Eee eee eee FirstName Phone ) Date Became Legal Owner __(rnmfed/vevy) Address ‘ty, Town, o Vilage pews State _ Zip is Emait peusterseeanersseer tel ae cee 4 ownertype ClPthate Ci county/Parish istrict CO rederat Crivat Comuricipat Cstate Cothe: © Legal Operator of Facity Bi same as 0A. Legal Owner of Facility (go to Section X) ‘Company Name, i applicable ee eee pe FirstName tast Name eee Date Became Legal Operator mm/dd/vvv) ——— Atty, Town, or Village: nee one SEER CSSerecp eee MSOC seo Di county/Parish Di bistrict DFederat CO Municipat Ostate Dother State of Loulsiona HW-1 Form and Instructions Page6 of 14 x & On 3 Gy On 4 Oy &w s. Ov Bw 6 PAO No, |tA0961055781 \ ‘TYPE OF REGULATED WASTE ACTIVITY FOR CURRENT ACTIVITIES AS OF THE DATE OF THIS FORM AT YOUR SITE Be | A. Hazardous Waste Activities & On 2 Generator of Hazardous Waste If yes, select only one ofthe following categories (ac): BH a. tac: -Generates, in any calendar month (incudes quantities importes by importer site) » 1,000 | ‘kg/mo (2,200 Ibs.) non-acute hazardous waste; or Generates, in any calendar month, or accumulates at any time, > 1 kg/mo (2.2 ths/mo) of acute hazardous waste; or | - Generates, in any calendar month, or accumulates at any time, > 100 kg/mo (220 ibs/mo) of | acute hazardous spill cleanup material \ = Generates, in any calendar month, or accumulates at anytime, > 100 kg/mo (220 lbs/mo} of | acute hazardous spill, | C1 b. 506: Generates, in any calendar month 100 to 1,000 kg/mo (220-2,200 lb/mo} of non-acute hazardous | ‘waste and not > 1 kg (2.2 Ib) of acute hazardous waste and not > 100 kg (220 1b) of any acute hazardous spill Geanup material, Cc vsa6: Generates, in any calendar month < 100 kg/mo (220 Ib/ mo) of non-acute hazardous waste 1m addition, indicate other Generator Activities (select al that apply) (OV BIN 2. Short-Term Generator (generates from a short-term, emergency, or one-time event and not from on-going: [MUST indicate that you are a generator of hazardous woste in Section X.A.1 above. ‘Treater, Storer, or Disposer of Hazardous Waste [at your site) NOTE: Part 8 of « hazardous waste permit is required for these activities. | sh plement sip era erp | Bl a. Permitted | CO b interim status | Ci « Proposed Receives Hazardous Waste from Off-site Recycler of Hazardous Waste (at your site) NOTE: A hazardous waste permit may be requived for this activity. a. Recycler who stores prior to recycling (1b. Recydler who does nat store prior to reeling Exempt Boller and/or industrial Furnace select all that apy) C1 a. smait quantity on-site burner exemption CZ b. Smeiting, melting, and refining furnace exemption |“ p, Waste Codes for Regulated Hazardous Wastes Beginning with top row, lst the codes from left to right in the order presented in threats eg, 01,000, 1, KE) MOTE ous oe note seperate oe nse codes oo [ows [ows [ows [oom ‘(ooo =| ~ [ooo D029 ~|oa0 032 oe poe os frost = ape State of Lovisiona HW-1 Form and instructions Page 7 of 14 ADDITIONAL REGULATED WASTE ACTIVITIES A, Other Waste Activities Cr BIN 2. Transporter of Hazardous Waste (select all that apph)) 1b. Transfer Faity Status (1DE0 approval required prior to startup) NOTE: You must provide details in ‘Comments (Section XVil)). ) | | 1 a transporter of Hazardous Waste | ak cee | [av Cw 3, Unted states importer of Hazardous Waste LD a imponer C1 » exporter Ly Bn 4 Recognized Trader (select all that apply) | Oy Bw s. | Importer/Exporter of Spent Lead-Acid Batteries (SLABs} Under LAC 33:V.4145 (corresponds to 40 CFR 266 Subpart | Ghiselet al that api) | Oa importer 'B. Universal Waste Activities (indicate activity tyne) Cr Bln ange quantity Handler of Universal Waste (Accumulate 2 5000 ke) (The designation is retained for the remainder | ‘ofthe calendar year in which the 5,000 kg limits met or exceeded.) Refer to Louisiana regulations to determine what is regulated (LAC 33:V. Chapter 38). Indicate types of universal waste generated and/or accumulated at your site (select al that app). Generated Accumnulated/Managed | D a. sameries Oo 1, | C1 b. Pesticides o Qo 0c. mercurycontaining equipment a o Ca tamps oO a CO e. Antifreeze oO a Ot. electronics o a IN 2. Destination Facility for Universal Waste NOTE: A hazardous waste permit may be required for this activity. Used Ol Actives (indicate actvty type) (selec allthat app) CY BEN. Used oi transporter 1 a transporter C1 b. Transfer Facility (at your site) (LDEQ approval required prior to start-up) NOTE: You must provide details in Comments (Section XVIN}. Peete eee ee Form_7398. r02 State of Lovisiona HW-1 Form and instructions 09-11-20 Page Bf 18 EPAID No. | LAD961055731_ | Used Ol rocesor and/or Refine (select al that apy) \ Ca. Processor 1b Re refiner (Cy BAIN 3. offspecification Used oi! Burner [oy BAIN 4. Used oil Fuet Marketer C1 a Marketer who directs shipment of off-specification used oil to off specification Used Oi! Burner 1b. Marketer who first daims the used oil meets specifications [Ov Ban 5. Used oitruet Bummer (indicate combustion device) CO a Utility Boiter >. industrial iter CO & Industrial Furnace 1, Pharmaceutical Activities [NOTE: Louisiana has not adopted this pat of te program, Notfications relevant to this activity must be submitted t0 EPA. Xil, ELIGIBLE ACADEMIC ENTITIES WITH LABORATORIES NOTE: Louisiana has not adopted this part ofthe progrom. Notifications relevant to this activity must be submitted to EPA. Nill, _ EPISODIC GENERATION (BQN tthe fatty an S06 oF SOG generating hazardous waste fom a planned or unplanned episodic event, lasting no more than 60 days, which resutsin moving toa higher generator category Pursuant to LAC 33:V Chapter 10, Subchapter C (corresponds to 40 CFR 262 Subpart L) NOTE; If YES, you must complete Addendum 8 - Episodic Generator see poge 13) | XIV. Las: CONSOLIDATION OF VSQG HAZARDOUS WASTE (vB tthe feity an 126 notifying of consolidating VSQG Hazardous Waste Under the Control af the Same Person pursuant toLAC33.V.1015.6 corresponds to 40 CFR 262.1711? NOTE: if YES, you tout complete Addemdem C - LQ6 Consolidation of VSQG Hazardous Waste (see page 14) XV. NOTIFICATION OF LOG SITE CLOSURE FOR A CENTRAL ACCUMULATION AREA (CAA) (OPTIONAL) OR ENTIRE FACILITY (REQUIRED) NOTE: ONLY LOGS may notify of closure using this section. All others must notify the LDEQ using the Certification of No Harardous Waste Activity (Form 7442) ovailable at hips//www.ciea.loulsona.aav/oone hazordous-wastetFors Ey BIN Lac site closure for a Central Accumulation Area (CAA) or Entire Facility NOTE: IF YES, you must attach a cover letter with supplemental information as outlined in LAC 33: V.1015.6.8.b to this Hie For, NOTE: sfmore than one CAA is being closed, address Items &-—D (see below) in supplemental information. ‘A. The closure is (select one): 11 central Accumulation Area (CAA) on — [Jentire Facility |B. Expected closure date(select one). a {mnen/dd/yyyy) or = CINWA |G Requesting new dosuredate(selectone): = (mica) = on WA D. Date Closed (select one}: Qo (rom/adiyryy) on ON/A 1 1. In compliance with the closure performance standards LAC 33: V.1015.8 (corresponds to 40 CFR 262.17[al(8)) | E]_2._notin compliance with the closure performance standards LAC 33: V-1015.8 (corresponds to 40 CFR 262.17) form_7398_102 State of Louisiona Hw-4 Form and instructions 09-11-20 Page 9 of 14 Ov be "NOTIFICATION OF HAZARDOUS SECONDARY MATERIAL (HSM) ACTIVITY Tz Are you notifying in compliance with AC33-V105.0 (corresponds to 40 CFR 26042) that you will begin ‘managing, are managing, or will stop managing hazardous secondary materials under LAC 33:V.105 R.Scii, or 1AC33:V.108.0.1.x; or 2? NOTE: If YES, you must complete Addendum A-Notifcation of Hazardous Secondary ‘Matera (see page 12) XVIl, ELECTRONIC MANIFEST BROKER | NOTE: Louisiana has not adopted this part of the program. Notifications relevant to this activity must be submitted to EPA. For questions regarding electronic manifests, contact EPA at Powell Sontina@EPA guy XVII, COMMENTS INCLUDE SECTION NUMBER RELEVANT TO EACH COMMENT (ATTACH SEPARATE SHEET IF NECESSARY) NOTE: If you have selected “Short-Term Generator” in Section X or “Transfer Faclity” for Hozordous Waste or Used Oi in Section x, You MUST provide a bref description ofthe activities and/or changes at your site. Comments are optional forall other types of hazardous woste actives. Form_7398.r02 State of Louisiona HW-1 Form and instructions 09-11-20 Page 10 of 14 ceato no [taosenss761 XIX, CERTIFICATION STATEMENT NOTE: There are two certification statements below. The certification statement in XIK.A below must be signed for ALL HWw.1 ‘submittals. The certification statement in XX.D should only be signed if applicable. NOTE: This certification must be signed and dated by the generator, owner, or operator of the ste, or the duly authorized representative of one of these persons. As described in LAC 33:V.S09, « person is a duly authorized representative only if: the ‘euthorization is made in writing by 0 person described in LAC 33:V507; and the authorization specifies either on individual or position having responsibilty forthe overall operation ofthe regulated facity or activity, such asthe position of plant manoger, superintendent, or postion of equivalent responsibilty. (A duly authorized representative may thus be either @ named individual or any individual occupying anamed poston. The writen authorization must be submited tothe LOEQ In accordance with LAC 33:1V513.A., 1 certify under penalty of law that this document and allattachments were prepared under ‘my direction or supervision according to a system designed to assure that qualified personnel properly gather and evaluate the information submitted. Based on my inquiry of the person or persons who manage the system, or those persons directly responsible for gathering the information, the information submitted Is, to the best of my knowledge and belief, true, accurate, ‘and complete. 1am aware that there are significant penalties for submitting false information, including the possibility of fine and imprisonment for knowing violations. Lin Ce Mh, we. 9 7992, Tile of Person Signing (select one) a Signaitre Date fmmn/ad/yyw) - mi a 1 egal operator of Facity “James C.Childress__ childress james @cleanharbors.com _ Printed Name (First-Midde iitiahast) mall Legal Operator’s Duly Autherized Representative 8. is this HW form being submitted with a new or revised Part Aapplication? |[K] Yes IF YES, go to XIKC, below. No NO, Certification Statement is complete. Jc. tstheowner the same personas the Legal Operator? Daves 17s, certiiaton statement is complete (ne 170, g00xK0, below. Certification statement for an Owner who Is NOT the Operator (ONLY SIGN THIS STATEMENT IF APPLICABLE) {in accordance with LAC 33:513.8., | certify that | understand that this appilcation is submitted for the purpose of obtaining @ permit to operate a hazardous waste management facility on the property as described. As owner of the property/facilty, ‘understand fully that the facility operator and | are jointly and severally responsible for compliance with both LAC 33:V.Subpart 1 and any permit issued pursuant to those regulations. faucet | rte of Person signing (stet one) ‘Signature “Date imn/aaivw } - 1 Lega ouner of Prepery/fcity Printed Name rst de nt ast me Eee orale The completed HW-1 Form with original signature(s} (NOT A COPY) should be sent to the LOEQ at the address on page 1. Form_7398 _r02 State of Lovisione HW-1 Form and instructions 09-11-20 Page 11of 14 RCRA PERMIT PART II TABLE OF CONTENTS, Clean Harbors Colfax, LLC. - Colfax Facility (LAD 981 055 791-OP-RN-2) mL. Iv. Vi. Vil. Vit. PERMIT PREAMBLE AND GENERAL LEGAL REQUIREMENT: GENERAL PERMIT CONDITION: GENERAL FACILITY CONDITIONS MAXIMUM CAPACITY/INVENTORY FOR CALCULATING CLOUSRE COST ESTIMATES ... 21 FACILITY SPECIFIC ENGINEERING CONDITIONS APPLICABLE TO. THE PERMITTED UNITS GROUNDWATER PROTECTION (RESERVED). CORRECTIVE ACTION, CORRECTIVE ACTION STRATEGY (CAS), AND RECAP USE REVISED DRAFT HAZARDOUS WASTE OPERATING PERMIT Clean Harbors Colfax, LLC Colfax, Grant Parish, Louisiana Permit Number LAD981055791-OP-RN-2 Ageney Interest Number 32096 PER20170002 1 PERMIT PREAMBLE AND GENERAL LEGAL REQUIREMENTS: LA. DEFINITION OF TERMS, SEVERABILITY, TRANSFER OF PERMIT This permit is issued to Clean Harbors Colfax, LLC, hereinafter referred to as the Permittee, by the Louisiana Department of Environmental Quality (LDEQ) under authority of the Louisiana Hazardous Waste Control Law, R.S. 30:2171 et seq., and the regulations adopted thereunder and by the U.S. Environmental Protection Agency (USEPA) under authority of the 1984 Hazardous and Solid Waste Amendments (HSWA) to the Resource Conservation and Recovery Act (RCRA). For permit purposes, “administrative authority” shall mean the Secretary of the Department of Environmental Quality, or his/her designee. For any HSWA provisions for which the State is not authorized, the U.S. Environmental Protection Agency shall be the administrative authority Compliance for purpose of enforcement. Compliance with this permit and LAC 33:V.Subpart | constitutes compliance, for purposes of enforcement, with RCRA Subtitle C of RCRA, HSWA, and Chapter 9 of the Louisiana Environmental Quality ‘Act (Act), except for those requirements not included in the permit which become effective by statute; are promulgated under LAC 33:V.Chapter 22 restricting placement of hazardous wastes in or on the land; or are promulgated under LAC 33:V.Chapter 43.Subchapters Q, R, and V limiting air emissions. This permit is conditioned upon full compliance with all applicable provisions of the Louisiana Hazardous Waste Control Law, RS. 30:2171 et. seq., and the regulations adopted thereunder. However, compliance with the terms of this permit does not constitute a defense to any order issued or any action brought under Section 3013 or Section 7003 of RCRA, or under Section 106 (a) of the Comprehensive Environmental Response, ‘Compensation, and Liability Act of 1980 (CERCLA) {42 U.S.C. 9606 (a)} Definition of terms, All terms contained in this permit shall have meaning as defined in the Louisiana Administrative Code (LAC 33:V.Subpart 1) unless otherwise stated herein, Terms not defined by the LAC 33:V.Subpart I shall have their ‘customary meaning as found in current version of Webster's English dictionary. Off-site Waste Management. ‘The Permittee is authorized to receive, treat, or store hazardous waste from off-site sources. Permittee must inform the generator in writing (except where the Permittee is also the generator) that the Permittee has appropriate permits for, and shall accept the waste to be shipped by the generator. The Permittee must keep a copy of this ‘written notice as part of the operating record as required by LAC 33:V.1S27.E. Accurate Information. This permit is based upon information submitted in the permit application, all subsequent amendments, and the applicant's certification that such information is accurate and that all facilities were or will be constructed and operated as specified in the application. The Permittee’s failure in the application or during the permit issuance process to disclose fully all relevant facts at any time may be cause for termination or modification of this permit in accordance with LAC 33:V.323.B.2 and 3. ded Regulations Si to Permit I All regulation citations are defined as being the regulation in effect on the permit issuance date. New and/or amended regulations are not included as permit requirements until permit ‘modification procedures specified in LAC 33:V.321, 322, and/or 323 are completed. Page 1 of 43 ‘Severability. Permit conditions are severable and, if any permit provision or application of any permit provision to any circumstance is held invalid, the application of such provision to other circumstances and the remainder of this permit shall not be affected thereby Permit Transfers. This permit may be transferred to a new owner or operator only if it is modified or revoked-and-reissued pursuant to LAC 33:V.309.L.4, 321.B, and LAC 33:1.Chapter 19. The Permittee’s failure to notify the new owner or operator of LAC 33:V.Subpart | and LAC 33:1.Chapter 19 requirements in no way relieve the new owner or operator of his obligation to comply with all applicable requirements LB. SUSPENSION, MODIFICATION, REVOCATION-AND-REISSUANCE, AND TERMINATION OF PERMIT In accordance with LAC 33:V.309.P, a request filed by the Permittee for a permit modification, revocation-and-reissuance, termination, or the notification of planned changes or anticipated noncompliance on the part of the Permittee, does not stay the applicability or enforceability of any permit condition. Ifthe administrative authority tentatively decides to modify or revoke-and-reissue a permit under LAC 33:V.321.C. or 323, a draft permit shall be prepared incorporating the proposed changes. The administrative authority may request additional information and, in the ease of a modified permit, may require submission of an updated permit application Failure to comply with any permit condition, including information submittals, constitutes a violation of the permit and may justify enforcement action, permit amendment, termination, revocation, suspension, or denial of a permit renewal application, Falsification of any submitted information may justify termination of this permit (LAC 33:V.323.B.3), Page 2 of 43 LLC. SCHEDULE OF COMPLIANCE Failure to comply with any item in the ‘Schedule of Compliance’ isa violation of the Permit unless a permit modification or \written request for extension is approved by the administrative authority L.C.1. Within 90 days of the issuance of this permit, the Permittee shall submit a plan to establish a comprehensive community ‘outreach program to engage with local communities on permitting activities, operations, alerts and to work with the community on significant and/or sensitive events. The program shall include activities for understanding citizens’ concerns, sharing facility information, and addressing impacts to communities. 1.C.2. Permittee shall permanently cease all Open Burn/Open Detonation (OB/OD) thermal treatment operations no later than 180 days after notice of the final permit is received by the Permittee. For 180 days after notice of the final permit is received by the Permittee, the thermal treatment operations by OB/OD shall be limited in capacity, as specified, and limited to the specific waste streams identified in this permit. Permittee shall submit a notification of closure for the OB/OD thermal ‘treatment unit (including the pad, pans and all associated equipment) within 30 days after cessation of operation of the OB/OD ‘unit. Within one year of the issuance ofthis permit, the Permittee shall submit a revised Part A/1 and applicable revised plans sa permit modification(3), in accordance with LAC 33:V3321.C. 1.C.3. The design and construction of the Contained Burn Chamber System (CBCS) shall be certified by a Louisiana licensed professional engineer, verifying that the construction of the unit was builtin conformity with the conditions of the permit. A Request to Perform Initial Inspection, according to LAC 33:V.703.B.4.b, shall be submitted to the administrative authority ‘The Permittee shall submit monthly construction reports describing the completed and current activities at the site from the ‘beginning of the construction period until the construction certification is submitted to the administrative authority. The reports shall be sut to the Office of Environmental Services and the appropriate LDEQ Regional Office. These reports shall include, at a minimum, the following information: 1. asummary of construction activities to date; the percentage of work completed to date; the current status of the work; ‘details regarding the work scheduled to occur in the next reporting period; details of the work successfully completed since the last report; ‘weather conditions for the reporting period and impacts, if any’ ‘details regarding any quality control or quality assurance problems encountered: and any additional information requested by the administrative authority Page 3 of 43 LC.4, Requirements of the Open Burning/Open Detonation Thermal Treatment. Permittee shall comply with the conditions of this paragraph 1.C.4 for any OB/OD operations conducted prior to cessation of operation of the OB/OD unit, ‘which shall extend no more than 180 Days following Notice of Final Permit Issuance. 1LC4a, THERMAL TREATMENT FOR 180 DAYS AFTER RECEIPT OF NOTICE OF FINAL PERMIT ACTION Tm MAXIMUM PERMITTED NAME OF UNIT SERVICE, LOCATION CAPACITY “Themal Tame nSoas | ateReacive eee through 10 oF 14 through 20 RACcane Waste ees an &-hour “foclindegnaedareet | ltiablReactve Reread through 3 or 11 through 13 Hazardous Waste cen a an S-hour Thermal weatnent conducted a pans that a placed w the Geena weas oF Ovough Sor 11 rough 15 wil havea capacity of no more Han TOO pounds et hour net explosive weight (NEW) and the pans located in 4 though 10 or 14 drough 20 will ave the balance of the hourly imi not wo exceed 410 pounds chou per urn event when etme conducted i Doh areas Page 4 of 43 L.C4.b. General Conditions for Open Burning and Open Detonation (OB/OD) L.C.A.b.i, The conditions related to treatment of hazardous waste shall be limited to the units listed in 1.C.4.a and. the waste listed in Table A. 1LC.A.bai. The Permittee shall maintain the thermal treatment pans and concrete thermal treatment pads according to the design specifications, operational specifications, maintenance requirements, applicable permit conditions, manufacture’s specifications and inspection plan. LC.A.bii. The Permittee must maintain the necessary elevations and slope of the thermal treatment containment area to prevent run-on and run-off. L.C.A.baiv. The Permittee may thermally treat by OB/OD those hazardous wastes listed in the Waste Analysis Plan, and in, Table A for 180 days after notice of the final permit is received by the Permittee. LC.A.b.v. The Permittee is prohibited from treating all non-explosive wastes by OB/OD. 180 days after notice of the final permit is received by the Permittee, those wastes specified in I.C.4., shall be prohibited from being treated by OB/OD. L.C.A.b.vi. The Permittee shall maintain the thermal treatment unit to minimize the possibility of fie, explosion, ‘or any unplanned, sudden or non-sudden releases of hazardous waste constituents to air, sol, or surface water that might threaten human health or the environment in accordance with LAC 33:V.1511.B and Condition I.C.22. L.C.4.b.vii. Three ambient ait monitoring stations shall monitor all thermal treatment units for air emissions during the period the OB/OD unit remains operational. Air monitoring reports shall be submitted to the Office of Environmental Assessment, Air Planning and Assessment Division for review quarterly, and a final report shall ited wit ng period. The three ambient air monitoring stations shall sample every 6 days; the sampling duration is 24 hours. Samples are collected during no buming and during burning for OB/OD. After cessation of the OB/OD operations ambient air monitoring will not be required during the closure of the OB/OD unit and not during the construction of the cBcs. ‘The constituents for air monitoring areas follows: PM2.5 PMI0 Metals PAHs Dioxin/Furans Vvocs L.C.A.b.viii, The Permittee shall manage accumulated precipitation and shall control and contain run-on and run- off in accordance with LAC 33:V.1503.B.2 and LAC 33:V.2111.B.4-6. All run-on and run-off shall be collected. and treated in the on-site wastewater treatment system in accordance with the LPDES Permit. Page 5 of 43 1.C.4.c. OB/OD Operation, Inspection, and Maintenance L.C.4.c4. The Permittee shall at all times properly operate and maintain the thermal treatment pans, conerete thermal treatment pads and thermal treatment slab and associated structures in accordance with all applicable regulations, permit conditions and maintenance schedule. Proper operation and maintenance includes, but is not limited to, effective performance, proper operations, thermal treatment slab area structure, protection of human health and the environment, adequate operator staffing and training, and adequate laboratory and process controls, including appropriate quality assurance/quality control procedures in accordance with LAC 33:V.308.E.1, 1511.B, 3203 and 3205. L.C.4.c.ii, The Permittee shall operate and maintain the thermal treatment area to minimize air emissions and adverse effects on human health and the environment in accordance with LAC 33:V.3203 L.C.4.cili, The Permittee shall operate and maintain a precipitation cover for the thermal treatment pans and concrete thermal treatment pads when precipitation is imminent and at the end of the operational day. L.C.4.e.iv. The Permittee shall inspect the thermal treatment unit in accordance with the Inspection Plan referenced in Table I of this permit. The Permittee shall complete the following as part of these inspections: L.C.4.exv. The Permittee shall thoroughly inspect the thermal treatment unit (which includes the 20 thermal ‘treatment pans and concrete thermal treatment pads) and associated equipment and/or structures for leaks and/or spills. The leak and/or spills shall be cleaned immediately upon discovery. L.C.4.c.i. The Permittee shall inspect the thermal treatment unit's concrete slab each operating day and shall repair any cracks, chips, broken concrete, and damage, accordingly: 1) Small cracks shall be monitored and repaired no less than quarterly; 2) Breaks and cracks deeper than the surface (ie. up to three inches in depth) ‘shall be repaired within 48 hours; and 3) Significant damage to the slab area that could potentially impact the soil, or has the potential to further result in a threat to the environment shall be taken out of service until repairs are made. The thermal treatment pans and conerete pads shall be inspected before each thermal treatment or burn/detonation event. .C.4.e.vii, Thermal treatment units that are damaged and must be replaced shall be decontaminated prior to isposal. The thermal treatment units sent for repair shall be decontaminated prior to repair. 1.C.4.e.vii. The inspection schedules and maintenance and repair records shall become part of the operating record and shall be made available at all reasonable times to the administrative authority in accordance with Condition ILC.11 1.C.4.¢.ix. Visual inspections are to be conducted after each thermal treatment to ensure no releases or spills of untreated wastes are outside of the containment areas or treatment process areas have occurred. LC4.e-x. The Permittee shall keep a record of all repairs and/or replacements to the unit(s) and associated equipment. The repair and/or replacement record shall be completed within one working day ofthe date the unit was placed back into service. This record shall be part of the operating record for this Permit and available at the facility at all times for review and inspection by the administrative authority and in accordance with Conditions I.C.11 and {113. Ata minimum, the record shall include the following information: L.C.4.¢-x.(a) The date the damage was discovered: LC.4.c.x.(b) The pans, pad and/or slab of associated equipment (c.2., thermal treatment pad, cover, etc.) that is repaired or replaced, including any other appropriate descriptive identities: Page 6 of 43 L.C.4.c-x.(6) The type of maintenance or repair (small, moderate or significant) see Condition L.C.4.¢.x.(d) The date the unit, area and/or equipment, was taken out of service; 1.C.4.e.x.(¢) The date maintenance, repair or replacement was completed; L.C.4.c.x (f) The name of person(s) conducting the maintenance, repair or replacement; 1.C.4.¢.1(g) Any other pertinent information associated with the maintenance, repair or replacement; LC.4.c.x.(h) The date the unit(s) was placed back into service; and L.C.4.c.1(i) Photographs of the damage and repairs shall be included in the operating record, 1LC.A.e.xi, The thermal treatment area shall be inspected each operating day for leak, spills, cracks, and for any ejected material and/or untreated waste. All ejected untreated waste shall be re-treated and ejected material shall be collected for proper disposal. L.C.4.e.xii. The Permittee shall visually inspect residues remaining after treatment in order to ensure no untreated ‘waste remains. All ash residue shall be managed in accordance with this permit and in accordance with the Ash Management Plan in the approved WAP in Table | of this permit. Page 7 of 43, LCA.d. Specific Operating Conditions for OB/OD LC.4.d4i, The Permittee must observe the movement of the plume created by a detonation/burn event. The ‘observer shall be positioned so that they are able to observe when the plume is moving toward the South, in the direction of the local community. L.C.A.dii. If the observer determines that the plume has crossed the property fence line, the observer shall immediately contact the Operational Supervisor or the Supervisor's alternate, The Permittee shall not commence another detonation/burn event until the plume has dissipated and until meteorological conditions are met. 1L.C.4.d.ii. Thermal treatment operations shall be limited to daylight hours only between 8 a.m. and 5 p.m., which includes the treatment and inspection after the cool-down period. The physical preparation and transportation of ‘wastes to the thermal treatment unit may occur earlier in preparations for the thermal treatment. .C.4.d.iv. The Permittee shall allow sufficient cool-down periods (including smoldering duration) following each thermal treatment to allow the ash to be handled safely. The cool-down period shall be documented on the daily burn logs. LC.4.d.v. Characteristic hazardous wastes must no longer exhibit reactive and explosive properties prior to removal of residuals from the thermal treatment pans. All hazardous wastes that may have been ejected or did ‘not detonate/bum in the initial treatment shall be re-treated. L.C.4.d.vi. The Permittee shall operate and maintain the precipitation coversietractable roofs in a manner that will minimize the accumulation of precipitation within each thermal treatment pan and respective concrete pad. Precipitation covers/retractable roofs shall be placed over each thermal treatment unit when precipitation is anticipated and at the end of the operational day. L.C.4.d.vii. The Permittee shall maintain a record of all waste thermally treated in the operating record. L.CAd.viii, Ash and/or residues from the thermal treatment units shall be managed in accordance Ash Management Plan in the approved WAP, Table I of this permit L.C.4.d.ix. The Permittee shall operate the thermal treatment units in accordance with LAC 33:V.3203 and 3205, and the following requirements: L.C4.d.ix(a). The Permittee shall not dispose of or treat any liquid hazardous waste on or in the ground, L.C.4.d.ix.(b) All activities related to open burning shall be performed only in the designated areas. 1.C.4.d.ix.(c) Waste may be placed in the thermal treatment unit(s) only when a thermal treatment event is planned within the next four hours or by the end of the operating day, whichever is less. Page 8 of 43 LC.4.e. Meteorological Restrictions for OB/OD. ‘The Permittee shall not initiate open detonation or open burning when the following meteorological conditions exists, or is forecasted by the local weather station, to occur during the period of operations: 1.C.4.e4. Surface wind speeds at the thermal treatment area are not greater than ten miles per hour based on the on-site meteorological station, LC.A.e4i. Prevailing winds are blowing toward the South at greater than ten miles per hour, inthe direction of the local community as indicated on the on-site meteorological station. LC.A.edii, Electrical storms are present within a three-mile radius of the facility LC.A.e.iv. Precipitation and/or immediate probability of precipitation in the area, as indicated on local radar, moving toward the facility at the time of the detonation/burn event. L.C.4.exv. Heavy, dense cloud cover and fog within one quarter mile of the f 1.C.4e.vi. Flooding conditions exist that may cause roads and bridges approaching the facility to be submerged and prevent vehicles from traveling through. LCA£. Thermal Treatment Feed Limitations for OB/OD The Permittee shall thermally treat only quantities of waste to the thermal treatment unit(s) that do not exceed the waste feed limitations given below: L.C.4.6i, The Permittee shall not thermally treat more than 561.700 pounds per year (net explosive weight) or 410 Pounds per hour of hazardous waste per an eight-hour day. 1.C.4.64i. 180 days after notice of the final permit is received by the Permittee, the Permittee shall cease all OB/OD activities. Permittee shall submit a notification of closure for the OB/OD unit (including the pad, pans and associated equipment) within 30 days after cessation of operation of the OB/OD unit. Page 9 of 43,

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