An LQG may accumulate on site without a permit for no more than 90 days (case-by-case extension of up to 30 days) if it meets these conditions. Containers: the air emission rules of Part 265 Subparts AA, BB and CC; immediate transfer from leaking containers; compatibility; closed except to add or remove and never handled so as to rupture; weekly inspection of central accumulation areas; ignitable or reactive waste at least 15 metres (50 feet) from the property line unless the fire code authority approves in writing (record kept), protected from ignition sources with "No Smoking" signs; incompatible wastes kept apart and separated. Tanks: Part 265 Subpart J (except 265.197(c) and 265.200) and Subparts AA to CC. Drip pads: Part 265 Subpart W, all waste removed at least every 90 days, written procedures and removal records. Containment buildings: Subpart DD, labelling, PE certification before operation and 90-day records. Marking: containers show "Hazardous Waste", the hazards and the accumulation start date; tanks show the words and hazards with inventory logs demonstrating emptying within 90 days. Emergency procedures: Subpart M. Personnel training: classroom, online or on-the-job instruction by a person trained in hazardous waste management, relevant to each position and including contingency plan implementation, emergency equipment and systems, waste feed cut-offs, alarms, fire, explosion and ground-water response and shutdown (OSHA 1910.120 emergency response training may count); completed within six months of employment or assignment and before unsupervised work; annual review; records of job titles and names, written job descriptions, the type and amount of introductory and continuing training, and completion records, kept until closure for current staff and three years for former staff. Closure: when closing a unit, a notice in the operating record within 30 days or closure to the performance standard with notice; when closing the facility, Form 8700-12 at least 30 days before and within 90 days after closure confirming clean closure (or that it will close as a landfill under 265.310, or under 265.445(b) for drip pads), with a request for more time within 75 days; clean closure removes or decontaminates equipment, structures, soils and residues and manages closure wastes as hazardous waste. The LQG must comply with Part 268. F006 electroplating sludge may be held up to 180 days (270 days beyond 200 miles) and up to 20,000 kg with pollution prevention, legitimate metals recovery and the container, tank or containment building conditions. An LQG may consolidate waste from VSQGs under the control of the same person after notifying EPA on Form 8700-12 at least 30 days before the first shipment, keeping three-year records of each receipt and dating containers with the earliest receipt date. Rejected loads returned may be accumulated with the manifest signed.
This control maps to 2 controls across 2 other frameworks. If you already hold one of them, the evidence you collected for it is the starting point here rather than new work.
Every mapping shown was judged rather than inferred from wording similarity, and the ones that failed review are published too. See the coverage reports and what was rejected.
The graph holds this control, the 2 it maps to, and the evidence behind each claim, over MCP and REST.