3 Wrong Ways to Place RCRA Satellite Areas
The RCRA regulations specify that a hazardous waste satellite area may be located “at or near” any point-of-generation (POG) where wastes initially accumulate. Unlike some terms and phrases that US EPA defines explicitly and in detail within its rules, the term “at or near” is not defined anywhere in the RCRA regulations.
In the absence of an explicit definition for “at or near,” hazardous waste generators must interpret the regulations for themselves. Left to their own devices—generators got creative.
Below are three figurative “methods” for answering the question: “How far can a satellite area be from the point-of-generation?” All of them are imperfect for their own reasons, and we’ll discuss why. Lastly, we’ll fill you in on what inspectors actually look for when assessing satellite areas.
Here are three “wrong” ways to determine where you may place your hazardous waste storage container in relation to where the waste is generated to comply with the satellite area accumulation regulations.
The satellite rules in 40 CFR 262.15 require that waste containers in satellite areas remain “under the control of the operator.” While an operator may be able to see a container located far away on the shop floor, he or she may not be able to “control” the container (More on that in a moment).
Conversely, s/he may have total control over a container located two feet away but something (e.g., stored product, shelving, a screen, another piece of equipment, etc.) may block his view.
Throwing a frisbee (or anything else) around hazardous waste containers is a bad idea on its face. It's also true that some people can throw a frisbee very far, as evidenced below by professional Disc Golf player Garret Guthrie on this YouTube channel:
566 feet! It might be difficult to convince an inspector that the landing spot of that frisbee is best place for a hazardous waste satellite area.
According to Guinness World Records, Budimir Šobat earned the world record for holding his breath for 24 minutes and 37.36 seconds, in Sisak, Croatia, on 27 March 2021. If Budimir came to work at your site, he could set off from the POG and get all the way back to town in that time.
We don’t need to tell you why holding your breath and speed-walking around the shop floor is a bad idea.
Regardless, this figurative method won't help you determine how far a satellite area can be from your point of generation.
In conjunction with the concept of “at or near,” inspectors look for operator control over the hazardous waste storage devices in satellite areas. While constant operator surveillance is not required under the satellite regulations, the operator must ensure the containers are secure.
When inspecting satellite areas, inspectors will seek to determine if the operator controls the waste. They will want to see that facility personnel:
In the absence of an explicit definition for “at or near,” hazardous waste generators must interpret the regulations for themselves. Left to their own devices—generators got creative.
Below are three figurative “methods” for answering the question: “How far can a satellite area be from the point-of-generation?” All of them are imperfect for their own reasons, and we’ll discuss why. Lastly, we’ll fill you in on what inspectors actually look for when assessing satellite areas.
Here are three “wrong” ways to determine where you may place your hazardous waste storage container in relation to where the waste is generated to comply with the satellite area accumulation regulations.
Wrong Way #1: The Line-of-Sight Method
This one might be the best of the bunch, but it’s still imperfect. The “line of sight” method posits that if you can see the satellite container from the point of generation, then the two are close enough together. That seems reasonable enough at first glance, so why might this be a problem?The satellite rules in 40 CFR 262.15 require that waste containers in satellite areas remain “under the control of the operator.” While an operator may be able to see a container located far away on the shop floor, he or she may not be able to “control” the container (More on that in a moment).
Conversely, s/he may have total control over a container located two feet away but something (e.g., stored product, shelving, a screen, another piece of equipment, etc.) may block his view.
Wrong Way #2: The Frisbee Toss
How far can you throw a frisbee? If you can throw a frisbee from the point of generation to the satellite container, the thinking goes, it’s close enough. Now that’s some creative thinking!Throwing a frisbee (or anything else) around hazardous waste containers is a bad idea on its face. It's also true that some people can throw a frisbee very far, as evidenced below by professional Disc Golf player Garret Guthrie on this YouTube channel:
566 feet! It might be difficult to convince an inspector that the landing spot of that frisbee is best place for a hazardous waste satellite area.
Wrong Way #3: Hold Your Breath
This “wrong” method posits that if you can make it from the point of generation to the satellite area without breathing, then they are close enough together.According to Guinness World Records, Budimir Šobat earned the world record for holding his breath for 24 minutes and 37.36 seconds, in Sisak, Croatia, on 27 March 2021. If Budimir came to work at your site, he could set off from the POG and get all the way back to town in that time.
We don’t need to tell you why holding your breath and speed-walking around the shop floor is a bad idea.
Regardless, this figurative method won't help you determine how far a satellite area can be from your point of generation.
What Inspectors Really Look For
So, what do inspectors really look for when it comes to satellite areas compliance?In conjunction with the concept of “at or near,” inspectors look for operator control over the hazardous waste storage devices in satellite areas. While constant operator surveillance is not required under the satellite regulations, the operator must ensure the containers are secure.
When inspecting satellite areas, inspectors will seek to determine if the operator controls the waste. They will want to see that facility personnel:
- Observe the container regularly
- Properly mark the container
- Maintain the container in good condition and keeping it closed
- Monitor quantities
- Locate the container in a low-traffic area
- Restrict unauthorized access to prevent others from adding unknown or incompatible wastes
- Protect the container from potential damage (e.g., from forklift accidents or knock-overs)
- Control when and where the container is moved
Find a Post
Recent Posts
Compliance Archives
Download Our Latest Whitepaper
Ace hazmat inspections. Protect personnel. Defend against civil and criminal penalties. How? See the self-audit "best practices" for hazardous materials shippers.
By submitting your phone number, you agree to receive recurring marketing and training text messages. Consent to receive text messages is not required for any purchases. Text STOP at any time to cancel. Message and data rates may apply. View our Terms & Conditions and Privacy Policy.