MassDEP Sewer Connection Permit Renewals

February 22, 2012

The Massachusetts Department of Environmental Protection (MassDEP) promulgated new sewer system extension and connection regulations (314 CMR 7.00) in 2007.  These regulations required industrial facilities with wastewater discharges above certain thresholds to apply for a permit, submit a self-certification, or be considered “Permit by Rule” which does not require a submittal. The following thresholds determine what actions must be taken:

  • You discharge to an EPA approved industrial pretreatment program (IPP) and your combined discharge (industrial and sanitary) is greater than 50,000 gallons per day (gpd) – Apply for Permit
  • You discharge to an EPA approved IPP and your combined discharge (industrial and sanitary) is less than 50,000 gpd – Permit by Rule
  • You discharge to a non approved IPP and your combined discharge (industrial and sanitary) is greater than 25,000 gpd – Apply for Permit
  • You discharge to a non approved IPP and your combined discharge (industrial and sanitary) is less than 25,000 gpd – Submit a Compliance Certification

Both the permit and the self-certification are valid for 5 years.  With the majority of the final permits and certifications being issued and approved in early 2008 many industries will be required to renew their permits or certifications towards the end of this year.

The permit renewal process is the same as the process completed to obtain the original permit. Permit renewal applications (BWP IW 38 or 39) must be submitted 90 days prior to the expiration of the existing permit and companies will again be required to complete the public notification process. Self-certifications must be submitted before the existing certification expires and do not require any public notification.

If you have any questions about the MassDEP Sewer Connection regulations or the renewal process contact Bill Potochniak at wpotochniak@capaccio.com or 508.970.0033 ext. 134.


Massachusetts Department of Fire Services Promulgates New Hazardous Material Processing Regulations

February 22, 2012

On February 3, 2012 the new Massachusetts Department of Fire Services (DFS) Hazardous Materials Processing regulation (527 CMR 33) came into effect.  DFS developed this regulation to help prevent the occurrence of incidents like the explosion in Leominster in 2005, the fire and explosion in Danvers in 2006, and the fire and explosion in Middleton in 2011 – all involving processes using hazardous materials.

The new regulation categorizes new or existing processes involving hazardous materials (haz mat) into one of five categories (five being the category with the most requirements) according to the following criteria:

  • The size of the process vessel containing the haz mat(s)
  • The NFPA 704 Rating for the chemicals involved or produced
  • Whether the haz mat process is in an area of the facility that is classified as an H Occupancy under the Massachusetts State Building Code, and
  • Whether the haz mat process is subject to the Occupational Safety and Health Administration’s (OSHA’s) Process Safety Management Standard (PSM) or the Environmental Protection Agency’s (EPA’s) Risk Management Program (RMP) requirements.

There are exceptions for certain processes and haz mats which are listed in section 33.01(3) of the regulation.

The compliance schedule is as follows:

  • Facilities with Category 5 processes must comply by January 1, 2013
  • Facilities with Category 4 processes must comply by June 1, 2013
  • Facilities with Category 2 and 3 processes must comply by January 1, 2014
  • Facilities with Category 1 processes should already be in compliance (For these facilities compliance involves requirements that the facility is likely already subject to due to other OSHA standards and state fire codes.)

 The specific requirements for each category are called out below:

Process Category Size of Vessel
(containing a haz mat with
NFPA 704 rating 3 or 4)
Requirements
Category 1 < 2.5 gallons
  • Haz Com Program
  • Chemical Hygiene Program
  • Flammable Storage Permit/License
  • Emergency Response Planning
Category 2 >2.5 gallons but <60 gallons
  • Haz Com Program
  • Chemical Hygiene Program
  • Flammable Storage Permit/License
  • Emergency Response Planning
  • Haz Mat Processing Permit
Category 3 >60 gallons but <300 gallonsOr a process area classified as a H Occupancy under the Massachusetts State Building Code
  • Haz Com Program
  • Chemical Hygiene Program
  • Flammable Storage Permit/License
  • Emergency Response Planning
  • Haz Mat Processing Permit
  • Category 3 Process Hazard Analysis
Category 4 >300 gallons and is not a vessel with a capacity that is not in excess of threshold quantities for OSHA’s Process Safety Management Standard or EPA’s Risk Management Program
  • Haz Com Program
  • Chemical Hygiene Program
  • Flammable Storage Permit/License
  • Emergency Response Planning
  • Haz Mat Processing Permit
  • Category 3 Process Hazard Analysis
  • Category 4 Limited Process Safety Program
Category 5 A vessel with a capacity that is in excess of threshold quantities for OSHA’s Process Safety Management Standard (PSM) or EPA’s Risk Management Program (RMP)
  • PSM or RMP Program
  • Haz Mat Processing Permit
  • Emergency Response Planning

 

Categories 2  through 5 require the submittal of an application for a  Permit to Process Hazardous Materials  to your local fire department (LFD).  The LFD will perform an inspection to see that the requirements are fulfilled and issue the Haz Mat Processing Permit.  The LFD may also request a third party review of process operations and associated hazard analyses for clarification that requirements are being met. Verify that your programs are in place and up to date to facilitate readiness for the permit inspection by the LFD.

The LFD also needs to be notified prior to engaging in any new or modified hazardous materials process activity which results in a change to the highest process category authorized by the current permit.  This involves the submission of a new permit application to the LFD.

As with any new regulation both the regulators and the regulated community need to learn about the regulation and how it needs to be administered.  The DFS is planning on conducting training sessions both for the fire service (LFDs) and the regulated community.  Keep an eye out for announcements about this training on the DFS website http://www.mass.gov/eopss/agencies/dfs/ and the DFS Facebook page (http://www.facebook.com/pages/Massachusetts-Department-of-Fire-Services/178022955562314).

Application forms and inspection checklists are currently being developed by the DFS.

While you wait, CAPACCIO suggests that you look at your process operations, and the hazardous materials involved or produced by them, to be ready when the training and permit forms are available.   In preparation, answer the following questions for each process:

  • Does the process use a haz mat in a vessel?
  • Is the activity or process exempt from the requirements of 527 CMR 33?
  • What is the size of the process vessel ?
  • What is the NFPA 704 rating of the haz mat involved/produced?
  • Is the process in an H Occupancy area?
  • Is the process already subject to PSM or RMP requirements?

Remember that the majority of the requirements for Category 1 to 3 processes are ones that facilities are already subject to, and to which facilities should already be in compliance.  These regulations include:

  • Hazard Communication (29 CFR 1910.1200)
  • Occupational exposure to hazardous chemicals in laboratories (Chemical Hygiene) (29 CFR 1910.1450 )
  • Flammable and combustible Liquids (29 CFR 1910.106)
  • Flammable Storage Permitting and Licensing (527 CMR 14)
  • Emergency Response Planning
    • Emergency Planning (Evacuation) (29 CFR 1910.38)
    • Hazardous Waste Operations and Emergency Response (HAZWOPER) (29 CFR 1910.120)
    • Hazardous Waste Contingency Planning (310 CMR 30.341(b))

It is also noted that Category 5 facilities should already be in compliance with PSM and/or RMP requirements (29 CFR 1910. 119 or 49 CFR 68 respectively).

Please contact Linda Swift at (508)970-0033 extension 119 or via email at lswift@capaccio.com with any questions you may have about this new regulation or assistance you may need in assessing how the regulation applies to your processes or in bringing the programs mentioned above up to date.


EPA Construction General Permit Issued

February 22, 2012

On February 16, 2012, EPA issued the final 2012 Construction General Permit (CGP). For more information, refer to the following: FR Notice (PDF) (43 pp, 201K) . The 2012 CGP replaces the 2008 CGP (which expired on February 15, 2012), and will provide coverage for eligible new and existing construction projects for a period of five years.

To read more about the CGP: http://cfpub.epa.gov/npdes/stormwater/cgp.cfm

If you have any questions about the Construction General Permit contact Lucy Servidio at lservidio@capaccio.com or 508.970.0033 ext. 114.


2012 Compliance Calendar Updated

February 21, 2012

CAPACCIO provides a free annual compliance calendar to highlight the year’s deadlines for meeting regulatory requirements required by the MassDEP, the EPA and OSHA. Each item is explained in full detail and provides backup information to better understand what the requirement might entail.

The calendar was updated in February with the following changes:

  • Carbon Disclosure Project
    Three new reporting dates have been added to the compliance calendar. These dates are for the Carbon Disclosure Project’s (CDP) carbon, water, and supply chain reporting. If your company participates in the CDP, you may want to re-download the calendar to have these dates on your calendar.
  • Massachusetts Mandatory Greenhouse Gas Reporting
    The language related to Massachusetts Mandatory Greenhouse Gas Reporting has been modified. The original language stated that “If reporting year 2012 CO2e emissions were 10,000 pounds or greater, then reporting year 2011 emissions must be verified by December 31, 2012.” We have changed this language to: “If reporting year 2012 CO2e emissions were greater than 10,000 tons, then reporting year 2011 emissions must be verified by December 31, 2012.” Please re-download the calendar to capture this change or make a note of it.

CAPACCIO’s comprehensive compliance calendar is available in a Adobe PDF format which includes brief summaries of the various health and safety requirements mandated by OSHA in their General Industry Standards and any corresponding timelines. Or in a Microsoft Outlook (PST) format that can be imported into your existing Outlook calendar.

Download the Calendar Today:
http://www.capaccio.com/Resources/DLoads/AnnCal/dload_anncal.html


Massachusetts UST Operator Certification Exams Now Available Online

February 21, 2012

By August 8, 2012, each underground storage tank (UST) system operated in the Commonwealth of Massachusetts must have at least one MassDEP- certified Class A, B and C Operator.

UST Operator certification exams are now available online and you must pass to qualify as a Class A, B or A/B UST Operator (there is no exam required to qualify for Class C Operator certification).

The exam, as well as links to reference materials which can be referenced while taking the exam (i.e. open book examination), are available at the MassDEP website. The fee to take the exam is $75.

For access to the exam and additional information, please visit: http://www.mass.gov/dep/toxics/ust/operator.htm

Questions?  Contact Christopher Walton at 508.970.0033 ext. 139 or cwalton@capaccio.com.


Changes to Aboveground Storage Tank Annual Inspection Program

February 16, 2012

The Commonwealth of Massachusetts’ Office of the State Fire Marshal (OSFM) recently announced some proposed changes to the program for annual inspections of aboveground storage tanks (ASTs) greater than 10,000 gallons containing fluids other than water (502 CMR 5). The changes are part of the Commonwealth’s effort to move to electronic permitting and licensing programs.

In one significant change to the program, OSFM will be mailing renewal notices three months prior to the expiration date of each AST use permit to the person in charge of the tanks. These renewal notices must be submitted along with the completed inspection forms, so remember to give them to the inspector. In another program change, the completed inspection forms must now be submitted to the OSFM at least 30 days prior to the use permit expiration date. These and other changes are designed to streamline the inspection process prior to the move to electronic filing.

Finally, remember the OSFM considers tanks containing any fluid (including gases, such as propane or nitrogen) subject to the annual inspection program.

If you have any questions about the Commonwealth’s program for annual inspection of ASTs, please contact Christopher Walton at cwalton@capaccio.com or 508.970.0033 ext. 139.


Carbon Disclosure Project – Reporting Dates Released

February 2, 2012

The Carbon Disclosure Project (CDP) is an independent, not-for-profit organization which works to drive greenhouse gas emissions reduction and sustainable water use by business and cities. For those that participate, the CDP has posted its guidelines and dates for carbon, water, and supply chain reporting. The CDP will also be posting information on how to access the Online Response System (ORS) for each of these programs. CAPACCIO will continue to track the CDP for updates and will send along the ORS information as soon as it becomes available.

Carbon Reporting

-          Guidelines available                        January 2012

-          ORS instructions to be sent         early February 2012

-          Reports due                                    May 31, 2012

Water Reporting

-          Guidelines available                       January 2012

-          ORS instructions to be sent         February 2012

-          Reports due                                    June 30, 2012

Supply Chain Reporting

-          Guidelines available                       January 2012

-          ORS instructions to be sent         early April 2012

-          Reports due                                    July 31, 2012

Additional reporting information on each program, as well as past reports, are available on the CDP website: https://www.cdproject.net/

For more information or assistance in preparing reports, please contact Wayne Bates, PhD, PE, at 508.970.0033 ext. 121 or wbates@capaccio.com.


Tier 2 Reporting Update

February 2, 2012

Tier 2 reports for reporting year 2011 are due by March 1, 2012.  Facilities covered by Emergency Planning and Community Right-to-Know Act Section 312 Hazardous Chemical Inventory Reporting (i.e., Tier 2 reporting) must submit a Tier 2 form to the Local Emergency Planning Committee (LEPC), the State Emergency Response Commission (SERC), and the local fire department annually. 

Facility site plans are not required in Massachusetts, but are encouraged by the state and local agencies.  Site plans are required to be submitted with the Tier 2 form in New Hampshire and Rhode Island. 

Transportation information including carrier name, the carrier’s emergency contact phone number, as well as routes and frequency of shipment were required on Tier 2 report in Massachusetts starting for reporting year 2010.  The SERC (the Massachusetts Emergency Management Agency) recently released guidance for 2011 Tier 2 reporting.  The guidance clarifies that transportation information is only required for Extremely Hazardous Substances.  http://www.mass.gov/eopss/home-sec-emerg-resp/emergency-info/haz-mat/serc/guidance-to-massachusetts-tier-ii-reporting-entities.pdf

Environmental Protection Agency (EPA) staff in the Spill Prevention Control and Countermeasures (SPCC) program will be reviewing Tier 2 reports.  If a facility has reported oil on the Tier 2 report in an amount that exceeds the threshold required for SPCC, the EPA will be inspecting your facility to ensure that there is an SPCC Plan in place, if it’s required.   

Facilities should prepare the 2011 Tier 2 report using the Tier2Submit2011 software.  The zip file should be emailed to the SERC. The SERC urges facilities to properly name their t2s or zip file.  For example, the tier 2 file for Capaccio Environmental Engineering would be labeled CapaccioEnvironmentalEngineering2011Tier2.t2s.  If the facility has multiple locations within the state, name each file name with the facility’s city.  For example, CapaccioEnvironmental-Marlborough2011Tier2.t2s 

 Contact your LEPC and local fire department to determine whether to submit the 2011 Tier 2 report via email or CD, or paper. As always, early reporting is encouraged.  The majority of submissions are received during the last two weeks of February.  In past years, the SERC has had issues with processing last minute submissions due to the large volume of submissions at the last minute.  CAPACCIO recommends that facilities submit before the last week of February to ensure submissions are processed on time.

Please contact Linda Swift at 508.970.0033 ext. 119 or  lswift@capaccio.com with any questions you may have regarding Tier 2 reporting.


Oh Snow, Where Art Thou? SPCC Winter Update

February 1, 2012

While the local cross country ski enthusiasts and snowshoers may be a little disappointed at the lack of white stuff this year, I’ll bet the majority of us are wiping our brows in relief.  As I type, I can see the sun’s rays bouncing off the cars in the parking lot giving a glimmer of hope that spring is soon on its way.  But, being a New Englander all my life, I know that winter is likely to rear its ugly head a few times before we see the crocuses make their first appearance. 

During these winter storms, the top priority should be getting walkways and parking areas clean to ensure the safety of employees and visitors. This often puts other important areas like secondary containment for oil tanks at the back of the list, but, in accordance with the Oil Spill Prevention Control and Countermeasures (SPCC) regulations (40 CFR 112), structures used for secondary containment of oil must be kept clean and free of debris including snow and ice.  On several occasions, we have inspected secondary containment structures only to find them full of ice and snow. To prevent this from happening at your facility, secondary containment areas should be cleaned of snow before it has the chance to ice up and become a “drain freeze” during an oil spill.

For more information on SPCC Plans and SPCC compliance, contact Josh Fawson at 508-970-0033 ext. 120 or jfawson@capaccio.com.


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