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Emergency Planning and Community Right to Know Carter Hanson / Patrick Cudahy 2011

Emergency Planning and Community Right to Know Carter Hanson / Patrick Cudahy 2011. What the point of SARA reporting:.

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Emergency Planning and Community Right to Know Carter Hanson / Patrick Cudahy 2011

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  1. Emergency Planning and Community Right to Know Carter Hanson / Patrick Cudahy2011

  2. What the point of SARA reporting: • To increase community awareness of chemical hazards and to facilitate emergency planning. This section applies to any facility that is required by the Occupational Safety and Health Administration (OSHA) under its Hazard Communication Standard to prepare or have available a Material Safety Data Sheet (MSDS) for a hazardous chemical or that has on-site, for any one day in a calendar year, an amount of a hazardous chemical equal to or greater than the following threshold limits: • 10,000 pounds (4,500 kg) for hazardous chemicals; or • lesser of 500 pounds (230 kg) or the threshold planning quantity (TPQ) for extremely hazardous substances. • If a facility is subject to reporting under these sections, it must submit information to the SERC, the LEPC and the local fire department with jurisdiction over the facility under two categories: MSDS reporting and inventory reporting.

  3. SARA 311 • MSDS reporting requirements specifically provide information to the local community about mixtures and chemicals present at a facility and their associated hazards. For all substances whose on-site quantities exceed the above threshold limits, the facility must submit the following: • initially a copy of the MSDS for each above-threshold chemical on-site or a list of the chemicals grouped into categories; and • send out reports within three months of any change, an MSDS or list for additional chemicals which meet the reporting criteria.

  4. SARA 312 (Tier Two) Inventory reporting is designed to provide information on the amounts, location and storage conditions of hazardous chemicals and mixtures containing hazardous chemicals present at facilities. The inventory report has two forms. The Tier One form, the simpler of the two, contains aggregate information for applicable hazard categories and must be submitted yearly by March 1. The Tier Two form contains more detailed information, including the specific names of each chemical. This form is submitted upon request of any of the agencies authorized to receive the Tier One form. It can also be submitted yearly in lieu of the Tier One Form. See forms at: http://www.epa.gov/oem/content/epcra/tier2.htm#inst

  5. SARA 313 (Part 1 of 2) • The data gathered will assist in research and development of regulations, guidelines, and standards. Under this section, The EPA is required to establish the ToxicsRelease Inventory (TRI), an inventory of routine toxic chemical emissions from certain facilities. The original data requirements for the TRI, specified in SARA Title III, have been greatly expanded by the Pollution Prevention Act of 1990. The TRI must now also include information on source reduction, recycling and treatment. • To obtain this data, EPCRA requires each affected facility to submit a Toxic Chemical Release Inventory Form (Form R or Form A) to the EPA and designated state officials each year on July 1.

  6. SARA 313 (Part 2 of 2) • A facility must file a Form R (or Form A) if it: • has 10 or more full-time employees; • is in a specified Standard Industrial Classification Code; and • manufactures more than 25,000 lb/year of a listed toxic chemical; or • processes more than 25,000 lb/year of a listed toxic chemical; or • otherwise uses more than 10,000 lb/year of a listed toxic chemical; or • manufactures, processes or otherwise uses a listed persistent bioaccumaltive toxic (PBT) chemical above the respective PBT's reporting threshold. PBT reporting thresholds can vary anywhere from 0.1 grams for dioxin compounds to 100 pounds (45 kg) for lead.

  7. KEY POINTS ON SARA • Its not a perfect world, so yes you have to count mixtures. 2% here and 13% there all add up to something. Usually, you can go off your MSDS for this information and then add up the totals. MSDS software is great for helping with this. Create a spreadsheet to do the math for you if nothing else. • Check you state regulations on EPCRA to make sure you are using the right forms, submission protocols, etc…

  8. Questions? 414-918-3226 carterhanson@patrickcudahy.com

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