As a generator of hazardous chemical waste, you are responsible for ensuring that you and your employees follow regulatory requirements and University guidelines concerning management and disposal of hazardous waste within your laboratory, shop or work area.
The following summary outlines the steps to take to comply with the University’s rules on managing hazardous chemical waste. They are presented to give you a better understanding of how to manage your chemical wastes. A detailed description of each step can be found by following the appropriate link. Fact sheets providing additional information can be found at the Minnesota Pollution Control web site at http://www.pca.state.mn.us/waste/pubs/business.html.
Questions about hazardous waste management at BSU should be directed to Environmental Health and Safety at 755-3988 or send e-mail to: ehs@bemidjistate.edu.
Step 1: Comply with information and training requirements in accordance with regulations.
Step 2: Inventory wastes generated and determine if they are hazardous.
Step 3: Collect wastes in sturdy, leak-proof containers.
Step 4: Complete and attach a label to each waste container.
Step 5: Store waste containers with secondary containment such as on a tray or in a tub.
Step 6: Contact EHS to have waste containers removed by calling 755-3988 or send e-mail to: ehs@bemidjistate.edu.
Training requirements related to handling hazardous wastes may be found in the following regulations:
Bemidji State University is a very small quantity hazardous waste generator (VSQG), according to the definitions in the state hazardous waste regulations found in Minnesota Rules, Chapter 7045. VSQGs have no specific training requirements under the hazardous waste rules. However, any employees working with chemicals or chemical products must be provided training and information according to the requirements of the Minnesota Occupational Safety and Health Agency (MnOSHA) Employee Right-to-Know standard, Minnesota standard, chapter 5206.
Laboratory workers are not covered by the State’s Right-to-Know standard, but must be provided similar training and information in accordance with the Federal Occupational Safety and Health Administration (OSHA) standard 29CFR1910.1450, Occupational Exposure to Chemicals in Laboratories.
Student workers, graduate assistants, paid interns and student mentors, and all others receiving compensation through the University's payroll system, are considered employees and are subject to the training requirements. It is highly recommended to also train students and other non-employees who may be working with any chemicals or chemical wastes. Employee training must be documented in writing and be available for review by regulatory agencies.
Departments generating hazardous waste also need to establish procedures for dealing with chemical spills and include those procedures in their department’s emergency plans. Federal OSHA regulations require that employees be provided information and training on their responsibilities and expected actions in emergency situations. When planning for the possibility of a chemical spill, you will need to determine what size and type of spill can be handled routinely and what size and type of spill becomes an emergency. Workers should be trained in spill cleanup procedures for routine chemical spills. If an emergency size/type of chemical spill occurs, specially trained spill-response workers must handle the emergency. For these kinds of spills the department emergency plans will likely involve evacuating workers from the spill area and calling for outside chemical spill-response assistance. However, individuals who are likely to witness or discover a spill must be trained at least to an awareness level, which includes knowing how to recognize associated hazards, how to initiate an emergency response according to the department’s plan, and what actions to take, if any, until a spill response team arrives.
Contact EHS for more information and assistance in complying with these requirements.
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Minnesota hazardous waste regulations require waste generators to evaluate each waste generated, to determine if it is hazardous. Wastes are classified as hazardous waste if they are listed as such in the regulations or if they exhibit any hazardous characteristics as defined in the regulations. There is no quantity exemption. That is, the quantity of the waste is not a factor in determining if it must be managed as a hazardous waste. A waste is hazardous if it includes:
“F” Listed Wastes - These wastes are typical of those generated in chemical laboratories. They include spent or used solvents and solvent mixtures.
“P” Listed Wastes - These wastes are discarded commercial chemical products, off specification chemicals, containers with residual, and spill residues containing any of the listed substances. The listed compound must be 100 percent of the waste or be the sole active ingredient to be considered a "P" list hazardous waste.
“U” Listed Wastes - These wastes are listed due primarily to their toxicity, but are less toxic than those listed on the "P" list. They may have additional hazard characteristics, as well. Included as wastes are discarded commercial chemical products, off specification chemicals, containers with residual, and spill residues containing any of the listed substances. The listed compound must be 100 percent of the waste or be the sole active ingredient to be considered a "U" list hazardous waste.
This information can usually be found on Material Safety Data Sheets (MSDS) supplied by the manufacturer. All the chemicals listed on the "F" and "P" lists in the appendix meet the characteristics for lethality.
It is the individual generators' responsibility to insure accurate identification of wastes. Anticipated waste products should be identified before waste generating activities begin. Instructors are responsible for identifying wastes generated by students' class activities and other assigned projects. "Unknown" wastes will require analysis, which will be conducted at the generating department's or college's expense.
It is advisable to maintain a waste container log, in cases where a single waste container is used to collect wastes generated by different individuals or where wastes vary in make-up. The log should include the amount of waste being added and the percentage of each component in the waste.
To complete Step 2, carefully review all departmental activities that generate waste materials. List those materials and determine if they are hazardous wastes. There are a number of resources that can help make that determination.
Material Safety Data Sheets (MSDS) provide information on the chemical and physical characteristics of products and safety and waste handling procedures. Manufacturers are required to provide MSDSs to all customers. Employers whose employee’s use chemical products are required to have MSDSs for those products readily accessible at the work site. The MSDSs must be included in the training and information requirements discussed in Step 1. Many manufacturers have MSDSs and other useful information available on the Internet.
Product labels my also provide useful information, though it is usually less extensive than that in MSDSs.
The BSU EHS office will also provide advice and assistance in developing your hazardous waste inventory.
A decision guide for determining if a waste is hazardous or not is available by clicking on the link below.
Hazardous Waste Decision Guide
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Hazardous waste must be stored safely and in appropriate containers. Containers should have the following characteristics:
Containers holding hazardous waste must be kept closed except when waste is actually being added or removed. Containers may be left open during a work period if doing so does not present an exposure hazard from evaporating vapors. The container must be closed at the end of the period.
It is recommended that transparent or semi-transparent containers be used, when possible, to help prevent overfilling. This is especially a concern when several people are using the same container. Overfilling can also be controlled by limiting access to the container and allowing only the instructor or some other designated individual to add waste. Waste containers must also be placed on a tray, in a tub, or have some other secondary containment in use.
Do not fill liquid waste containers completely to the top. Leave a small amount of headspace to allow for expansion of the liquid due to temperature changes.
Leaking containers will not be accepted. The waste should be placed in a different container or the leaking container and its contents may be placed in an appropriate over-pack. Contact EHS for assistance in handling leaking containers.
The exterior of the container must be clean and free of spilled waste material.
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Each hazardous waste container must be labeled in one of the two following ways:
The following procedures should be followed to ensure proper labeling:
Bemidji State University Hazardous Waste Label
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Label Continuation for Additional Components
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Review the properly completed example label below, or contact ehs@bemidjistate.edu if you have questions about how to label hazardous waste containers.
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State regulation requires wastes to be transported to a hazardous waste facility within 270 days of being generated. Under allowances for satellite accumulation, waste containers may be stored in the immediate area where they are generated, until filled, before the generation start date begins. To qualify for this allowance, the following requirements must be met:
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Hazardous waste will be removed by EHS and be stored at the University's central waste storage site, until it is transported to a hazardous waste facility. Please note that only wastes that are properly identified and labeled and in appropriate containers can be accepted. Contact EHS at 3988 or send e-mail to: ehs@bemidjistate.edu to make arrangements for waste pick up.
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