The plan must describe the actions personnel take in response to fires, explosions or releases under 264.51 and 264.56; an existing SPCC or other emergency plan may be amended to cover hazardous waste, one integrated plan (EPA recommends the National Response Team's "One Plan") may meet all requirements, and changes to its non-RCRA provisions do not trigger a permit modification. It must describe the arrangements agreed with police, fire departments, hospitals, contractors and state and local response teams under 264.37; list the names, addresses and office and home phone numbers of everyone qualified to act as emergency coordinator, kept current, with a primary and ordered alternates (for new facilities supplied at certification); list all required emergency equipment, kept current, with each item's location, physical description and capabilities; and include an evacuation plan with signals, routes and alternate routes where evacuation could be needed.
This control maps to 2 controls across 1 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.