Disposal Procedures Clause Samples
Disposal Procedures. If the Disposal Agent is required to arrange the sale of the Disposal Assets and/or the Issuer Aggregate STP Claim, the Disposal Agent shall use its reasonable endeavours to arrange the sale of the Disposal Assets and/or the Issuer Aggregate STP Claim (as applicable) in accordance with the procedures set out in the Base Conditions.
Disposal Procedures. A. Each lab pack must be inspected by a site supervisor experienced in waste identification and categorization before it is sealed.
B. Each sealed drum must be labeled as to hazard class (according to CFR 40 and 49).
C. Hazardous waste cannot accumulate for more than 90 days, otherwise we must secure a permit.
D. Obtain an EPA ID# from the CUPA/California EPA.
E. Manifest must be prepared if wastes are to be transported.
1. Manifest forms are available from the CUPA.
2. Prepare five copies: Transfer Station keeps two (2). One (1) copy to hazardous waste transporter. Legible copy to California EPA within 30 days of each shipment.
3. Within 35 days of shipment, Facility must receive copies of manifest signed by the operator of the disposal facility. If not, Facility must contact the facility (if not received within 45 days, an exception report of the pertinent manifest and cover letter describing efforts made to locate shipment, must be submitted to the Authority).
4. The Facility will keep copies of manifests for three (3) years at a minimum.
5. Transporter - Only EPA-permitted facilities can transport hazardous wastes. I. Training Personnel
A. Pickers: Only those trained in the use of personal protective equipment, emergency response, identification of hazardous materials and proper handling and procedures are allowed to sort refuse.
B. Training is required at the time of the employee's INITIAL ASSIGNMENT AND WHENEVER A NEW HAZARD IS INTRODUCED into the work place.
C. Supervisors will train regarding specific aspects of the load checking program.
D. Training is to be reinforced once a year.
Disposal Procedures. Sub grantees and contractors must dispose of office and field equipment when obsolete in a responsible manner. Seek out county and local government programs that recycle computer and electronic equipment containing hazardous components. Also, any debris removed from a client's house, especially materials used to weatherize and which contain hazardous chemicals must be disposed of properly, in accordance with State and Federal EPA rules.
Disposal Procedures. Contractor(s) will be responsible for proper disposal for all removed space heaters.
Disposal Procedures. Any materials removed as a result of correcting hazardous conditions must be properly disposed of.
Disposal Procedures. The contractor shall provide for code compliant disposal in their contract with the sub grantee. All materials must be removed from the site and properly disposed of by the contractor. Concur with WPN11-6 Temporary removal and replacement of siding is allowed to perform energy conservation measures. All precautions must be taken not to damage siding. Asbestos siding should never be cut or drilled. Recommended, where possible, to insulate through home interior when suspected asbestos siding is present.
Disposal Procedures. Disposal of rubbish will be in trenches dug parallel to the southern boundary fence and commencing approximately 3 metres distant from that fence. The Company proposes to dig trenches approximately 200 m long. The vehicle bringing rubbish to the disposal area would back along the trench and tip the material into the base of the trench. A bulldozer (blade machine) would then blade the windrow back over the material in the trench so that a minimum depth of fill, 0.7 metres, was provided, over the rubbish. Allowing for settlement, it is anticipated that the finished level of the filled areas will be approximately 1 metre higher than the present general level. Any short fall in filling material necessary to provide the appropriate depth of over-burden will be made available from the material in the low mounds within the disposal area.
Disposal Procedures. All friable asbestos-containing material that is greater than 1 percent must be handled as hazardous waste. All non-friable asbestos waste must be handled according to applicable regulations. The project manager is responsible for secure storage of the asbestos waste at the judicial branch facility until disposal can be arranged and shall coordinate the storage with the JCC staff assigned to that facility. On-site storage shall not exceed 90 days. All asbestos waste requires a temporary EPA ID number for hazardous waste disposal. The Environmental Health and Safety unit manages the generation and distribution of the temporary EPA ID numbers. The abatement contractor will arrange for transport of the asbestos waste to a disposal facility. The JCC staff assigned to that facility is responsible for signing the transport manifest. By signing the manifest, JCC staff ensures the waste is properly characterized and labeled for transport. The process for obtaining a temporary EPA ID number is included in Appendix D.
Disposal Procedures. Disposal of asbestos containing materials shall be included in the contract with the AHERA certified contractor. All asbestos containing materials must be disposed of in accordance with federal and state regulations. Concur with WPN11-6 Removal of conditions that may lead to or promote biological concerns and unsanitary conditions is allowed. Removal of condition is defined as repairing the condition that creates the biological contamination such as repairing leaking or broken waste lines. Addressing or testing for bacteria and viruses is not an allowable cost. Deferral may be necessary in cases where a known agent is present in the home that may create a serious risk to occupants or weatherization workers. Also, see Mold and Moisture guidance below.
Disposal Procedures. Any material wastes created by weatherization agencies must be properly disposed of. A mold/moisture assessment must be performed in all homes and signed by the auditor and kept in the client file. Photographs of preexisting moisture damage and/or suspected mold should be dated and included in the client file with notes regarding if the moisture condition has been or will be corrected. Post weatherization photographs should also be included. Most homes have mold spores and many have conditions that can lead to mold growth. Minor moisture and suspected mold conditions will be addressed through adequate ventilation. Suspected mold cleaning is not allowed with WAP H&S funds; however, small areas of surface preparation can be included in the costs of the measure as ancillary costs for the direct installation of a material, such as cleaning a window sill in preparation of caulking. Moisture damaged areas can be corrected as an incidental repair or H&S repair depending on their purpose and how they are justified in the client file. See Ventilation policy below.