HWMA/RCRA Closure Plan for the CPP-602 Laboratory Lines | |
Idaho Cleanup Project | |
关键词: ADMINISTRATIVE PROCEDURES; BASEMENTS; CLOSURES; COMPLIANCE; CONTAMINATION; LIQUID WASTES; MANAGEMENT; REGULATIONS; REMOVAL; STAINLESS STEELS; TANKS; US SUPERFUND; WASTE MANAGEMENT; WASTES Hazardous Waste Management Act/Resource Conservation and Recovery Act Closure; | |
DOI : 10.2172/965784 RP-ID : DOE-ID-11406 PID : OSTI ID: 965784 Others : TRN: US200922%%513 |
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学科分类:材料科学(综合) | |
美国|英语 | |
来源: SciTech Connect | |
【 摘 要 】
This Hazardous Waste Management Act/Resource Conservation and Recovery Act Closure (HWMA/RCRA) Plan for the CPP-602 laboratory lines was developed to meet the tank system closure requirements of the Idaho Administrative Procedures Act 58.01.05.008 and 40 Code of Federal Regulations 264, Subpart G. CPP-602 is located at the Idaho Nuclear Technology and Engineering Center at the Idaho National Laboratory Site. The lines in CPP-602 were part of a liquid hazardous waste collection system included in the Idaho Nuclear Technology and Engineering Center Liquid Waste Management System Permit. The laboratory lines discharged to the Deep Tanks System in CPP-601 that is currently being closed under a separate closure plan. This closure plan presents the closure performance standards and the methods for achieving those standards. The closure approach for the CPP-602 laboratory lines is to remove the lines, components, and contaminants to the extent practicable. Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA) Site CPP-117 includes the CPP-602 waste trench and the area beneath the basement floor where waste lines are direct-buried. Upon completion of rinsing or mopping to remove contamination to the extent practicable from the waste trench and rinsing the intact buried lines (i.e., stainless steel sections), these areas will be managed as part of CERCLA Site CPP-117 and will not be subject to further HWMA/RCRA closure activities. The CPP-602 building is being decontaminated and decommissioned under CERCLA as a non-time critical removal action in accordance with the Federal Facility Agreement/Consent Order. As such, all waste generated by this CERCLA action, including closure-generated waste, will be managed in coordination with that CERCLA action in substantive compliance with HWMA/RCRA regulations. All waste will be subject to a hazardous waste determination for the purpose of supporting appropriate management and will be managed in accordance with this plan. ii
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