Loading...
HomeMy WebLinkAboutNCS000594_HWS Inspection_20160112HAZARDOUS WASTE SECTION - COMPLIANCE BRANCH FILE TRANSMITTAL & DATA ENTRY FORM Your Name: WILLIAM HUNNEKE Farility ID Numher7 NCn9961 R9071l Facility Name: SEPRO CORPOKAI ION RLSLARCH CAMPUS Document Group: Inspection/Investigation (1) Document Type: I - Compliance Evaluation Inspection (CEI) File Description/Comments: Laboratory Focused follow-up to 10/15/15 Inspection. No violations. Date of Document: 1/12/2f),16 Author(s) of Document: William Hunneke Inspector ID #: NC060 Suborganization: Eastern Region County (if not on report): NASH STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENTAL QUALITY DIVISION OF WASTE MANAGEMENT HAZARDOUS WASTE SECTION FOCUSED COMPLIANCE EVALUATION INSPECTION REPORT FACILITY INFORMATION: Facility Name: EPA ID Number: Type of Facility: Facility Location/ Mailing Address: Telephone Number: Property Owner: Property Owner Address: Legal Owner of Business: FACILITY CONTACT: Phone Number: Email Address: PARTICIPANTS: Representing facility: Representing NCDEQ: DATE OF SITE VISIT: SEPRO CORPORATION RESEARCH CAMPUS NCD986189074 Conditionally Exempt Small Quantity Generator (CESQG) 16013 Watson Seed Road, Whitakers, NC 27891 Nash County 252-391-8373 Sepro Development Company, LLC 11550 North Meridian Street, Carmel, IN 46032 Sepro Corporation Bill Whitford, Director of Manufacturing & Logistics 252-391-8373 billw@sepro.com Bill Whitford, Hamid Ullah, Sophia Ullah (chemistry area), Ben Willis (plant culture area) William Hunneke & Harvi Cooper January 12, 2016 onsite: 1000 hrs. offsite: 1145 hrs. PURPOSE OF SITE VISIT: Initially response to an anonymous complaint posted on the Environmental Protection Agency's website alleging improper disposal of pesticide/herbicide laboratory waste coupled with an unannounced Compliance Evaluation Inspection to determine compliance with 40 CFR 261, 262, 265 273, 279 and 268. A compliance evaluation inspection was performed at the site on October 15, 2015 however field laboratory personnel were not available that day. Consequently, the focus of this investigation is exclusively on the field laboratory. FACILITY DESCRIPTION: The Field Laboratory/Formulations Laboratory sits adjacent to the company's aquatic test impoundments and is used to grow out customer aquatic plant sample species in preparation for planting in the test impoundments. Additionally, the wet chemistry section of the field lab performs side by side testing of competitor products against company formulations to gather efficacy and concentration data. Very small amounts of waste are generated which are customarily placed down a sink that drains to a six -hundred - gallon underground tank that is pumped out several times per year and according to Mr. Whitford, currently managed as hazardous waste. Small amounts of acetone used to final wash the cleaned glassware go down the sink. Larger, but still relatively small amounts (several gallons at most) of wet SePro Corporation Research Campus NCD986189074 Focused Compliance Evaluation Inspection Report Page 2 of 2 January 12, 2016 chemistry waste are brought back to the facility's inanufacturing/blending building for reuse in manufacturing and are not considered hazardous waste. AREAS OF REVIEW AND INSPECTION: Emergency preparedness, manifests, and inspection records were all covered in the previous CEI report of October 15, 2015 and are not discussed in this report. On the day of the inspection, interviews with laboratory personnel were conducted in the field lab to ascertain common practice and expressly identify any hazardous wastes generated. The aquaculture and plant testing (referred to as the cylinder) rooms do not typically generate hazardous waste as most everything is either decontaminated in an autoclave or moved outside to the test impoundments. As mentioned above, the wet chemistry lab generates acetone in minute amounts which is then managed as hazardous waste. CONCLUSIONS: I here do not appear to be any hazardous waste violations at the field/formulations lab. the facility must ensure any hazardous waste is containerized and that the contents of the underground collection tank is managed appropriately. Additionally, a waste determination must be completed on any sludge dredged from the ponds or wastewater removed from the ponds. The facility may not transfer waste water of any kind into surface impoundments without a discharge permit. William Hunneke Environmental Senior Specialist, NCDEQ Copy of report provided to facility contact February 5, 2016 Date