By July 1, 2017, each Large Quantity Toxics User of chemicals in the state of Massachusetts was required to file an annual toxics use report that included a Massachusetts Form S for each TURA listed chemical they manufactured, processed or otherwise used above applicable thresholds during 2016.
Companies subject to this reporting are required to pay annual toxics use fees. A fee worksheet/invoice was generated as part of your eDEP TURA report. This worksheet/invoice serves as your first notice of payment due. The fee must be paid in full by September 1, 2017.
In order to avoid late fees, don’t forget to print your worksheet/invoice, and send a copy with your check to:
PO Box 4062
Boston, MA 02211
Please note that if payment is not received by September 1st, a second invoice including a $1,000 late fee, will be sent.
If you have any questions about these programs and updates, please contact Alexis Dallaportas at 508-970-0033 x142 or by cell at 508-380-6716.
The Environmental Protection Agency’s (EPA) Resource Conservation and Recovery Act’s (RCRA) hazardous waste generator regulatory program was originally promulgated in 1980. Since that time, the EPA has become aware of the need for more clarity, consistency, and flexibility within the program. EPA’s final rule, which was promulgated on May 30, 2017, revises the hazardous waste generator regulations making them easier to understand, and providing greater flexibility in how hazardous waste is managed.
Some key provisions where EPA is finalizing flexibility are:
- Allowing a hazardous waste generator to avoid increased burden of a higher generator status when generating episodic waste provided the episodic waste is properly managed, and
- Allowing a very small quantity generator (VSQG) (previously called conditionally exempt small quantity generators) to send its hazardous waste to a large quantity generator under control of the same person.
This program update is also implementing some Improvements to environmental protection and, therefore, several of the revisions to the hazardous waste generator regulations are more stringent than those in the previous version. One such revision requires Small Quantity Generators (SQGs) to periodically re-notify the EPA regarding their generator status every four years (SQGs needed to only notify once under the previous system).
You may Click Here for additional information on the RCRA Program Updates. Please note that though the Federal regulations are currently in effect, the Massachusetts Department of Environmental Protection (MassDEP) has indicated they will not be adopting these updates until 2018.
We can help! Capaccio has RCRA experts that can assist you with the reporting and planning challenges associated with Federal and state hazardous waste programs. If you have any questions about these programs and updates, please contact Alexis Dallaportas at 508-970-0033 ext. 142 or firstname.lastname@example.org.
Recently, many facilities received an email from the Massachusetts Department of Environmental Protection (MassDEP) regarding the upcoming Source Registration (SR) and Greenhouse Gas (GHG) reporting deadlines and requirements. This e-mail states that the MassDEP is suspending the April 15, 2017 deadline for both SR and GHG reporting while they continue to work on combining these two reports into one web based platform. During this process, the current reporting platforms will not be available. It is currently not known when the system will be up and reports will be due. When the reporting platform is ready, the MassDEP will be sending out letters with reporting deadlines to facilities. In the meantime, CAPACCIO recommends that facilities continue to compile their 2016 data and complete required calculations.
Let us know if you need assistance.
If you have any questions, please contact Lynn Sheridan at (508) 970-0033 ext. 122 or email@example.com.