EPA RCRA Hazardous Waste Management
Part 266: Specific hazardous wastes and pharmaceuticals – EPA RCRA Hazardous Waste Management

EPA RCRA Hazardous Waste Management 266.504: § 266.504 Healthcare facilities that are very small quantity generators for both hazardous waste pharmaceuticals and non-pharmaceutical hazardous waste that are not operating under this subpart

A healthcare facility that is a VSQG for all its hazardous waste may send potentially creditable hazardous waste pharmaceuticals to a reverse distributor; may send hazardous waste pharmaceuticals off site to another healthcare facility meeting 266.502(l) and 266.503(b) or to a same-owner LQG meeting 262.17(f) under 262.14(a)(5)(viii); and, if a long-term care facility, may put its hazardous waste pharmaceuticals (excluding contaminated PPE and clean-up materials) into an on-site collection receptacle of a DEA-registered authorized collector handled under DEA rules. A long-term care facility with 20 beds or fewer is presumed to be a VSQG (EPA must show otherwise), while one with more than 20 beds operating as a VSQG must demonstrate that its quantities are within VSQG limits.

Maintained by Gerard Blokdyk

Other controls in Part 266: Specific hazardous wastes and pharmaceuticals – EPA RCRA Hazardous Waste Management

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