Notice of Data Availability on the Disposal of Coal Combustion Wastes in Landfills and Surface Impoundments, 49714-49719 [E7-17138]
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Federal Register / Vol. 72, No. 167 / Wednesday, August 29, 2007 / Notices
specific data under section 4(g)(2)(B)
and any necessary changes to the
registration and labeling (either to
address any concerns identified in the
RED or as a result of product specific
data), EPA will make a final
reregistration decision under section
4(g)(2)(C) for products containing
sodium carbonate; weak mineral bases.
EPA is applying the principles of
public participation to all pesticides
undergoing reregistration and tolerance
reassessment. The Agency’s Pesticide
Tolerance Reassessment and
Reregistration; Public Participation
Process, published in the Federal
Register on May 14, 2004, (69 FR 26819)
(FRL–7357–9) explains that in
conducting these programs, the Agency
is tailoring its public participation
process to be commensurate with the
level of risk, extent of use, complexity
of issues, and degree of public concern
associated with each pesticide. EPA can
expeditiously reach decisions for
pesticides like sodium carbonate; weak
mineral bases, which pose no risk
concerns, have low use, affect few if any
stakeholders, and require no risk
mitigation. Once EPA assesses uses and
risks for such low risk pesticides, the
Agency may go directly to a decision
and prepare a document summarizing
its findings, such as the sodium
carbonate; weak mineral bases RED.
The reregistration program is being
conducted under Congressionally
mandated time frames, and EPA
recognizes the need both to make timely
decisions and to involve the public in
finding ways to effectively mitigate
pesticide risks. Sodium carbonate; weak
mineral bases, however, poses no risks
that require mitigation. The Agency
therefore is issuing the sodium
carbonate; weak mineral bases RED, its
risk assessments, and related support
materials simultaneously for public
comment. The comment period is
intended to provide an opportunity for
public input and a mechanism for
initiating any necessary amendments to
the RED. All comments should be
submitted using the methods in
ADDRESSES, and must be received by
EPA on or before the closing date. These
comments will become part of the
Agency Docket for sodium carbonate;
weak mineral bases. Comments received
after the close of the comment period
will be marked ‘‘late.’’ EPA is not
required to consider these late
comments.
EPA will carefully consider all
comments received by the closing date
and will provide a Response to
Comments Memorandum in the Docket
and regulations.gov. If any comment
significantly affects the document, EPA
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also will publish an amendment to the
RED in the Federal Register. In the
absence of substantive comments
requiring changes, the sodium
carbonate; weak mineral bases RED will
be implemented as it is now presented.
B. What is the Agency’s Authority for
Taking this Action?
Section 4(g)(2) of FIFRA as amended
directs that, after submission of all data
concerning a pesticide active ingredient,
‘‘the Administrator shall determine
whether pesticides containing such
active ingredient are eligible for
reregistration,’’ before calling in product
specific data on individual end-use
products and either reregistering
products or taking other ‘‘appropriate
regulatory action.’’
List of Subjects
Environmental protection, Pesticides
and pests, sodium carbonate; weak
mineral bases.
Dated: August 9, 2007.
Frank Sanders,
Director, Antimicrobials Division, Office of
Pesticide Programs.
[FR Doc. E7–16806 Filed 8–28–07; 8:45 am]
BILLING CODE 6560–50–S
ENVIRONMENTAL PROTECTION
AGENCY
[EPA–HQ–RCRA–2006–0796; FRL–8462–2]
RIN 2050–AE81
Notice of Data Availability on the
Disposal of Coal Combustion Wastes
in Landfills and Surface
Impoundments
Environmental Protection
Agency (EPA).
ACTION: Notice of Data Availability.
AGENCY:
SUMMARY: This notice announces the
availability of new information and data
contained in three documents that the
Agency is requesting public comments
on concerning the management of coal
combustion wastes (CCW) in landfills
and surface impoundments. The Agency
is seeking public comments on how, if
at all, this additional information
should affect the Agency’s decisions as
it continues to follow-up on its
Regulatory Determination for CCW
disposed of in landfills and surface
impoundments. The three documents
that the Agency is requesting comment
on include: a joint U.S. Department of
Energy (DOE) and EPA report entitled,
Coal Combustion Waste Management at
Landfills and Surface Impoundments,
1994–2004; a draft risk assessment
conducted by EPA on the management
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of CCW in landfills and surface
impoundments; and EPA’s damage case
assessment. The Agency solicits
comments on the extent to which the
damage case information, the results of
the risk assessment, and the new liner
and ground water monitoring
information from the DOE/EPA report
should affect the Agency’s decisions.
EPA is also requesting direct comment
on the draft risk assessment document
to help inform a planned peer review.
In addition, the Agency has included in
the Docket to this Notice of Data
Availability (NODA) a rulemaking
petition submitted by a number of
citizens’ groups and several approaches,
one prepared by the electric utility
industry and the other prepared by a
number of citizens’ groups, regarding
the management of CCW. The Agency
will consider all the information
provided through this notice, the
comments and new information
submitted on this notice, as well as the
results of a subsequent peer review of
the risk assessment as it continues to
follow-up on its Regulatory
Determination for CCW disposed of in
landfills and surface impoundments.
DATES: Submit comments on or before
November 27, 2007.
ADDRESSES: Submit your comments,
identified by Docket ID No. EPA–HQ–
RCRA–2006–0796, by one of the
following methods:
• www.regulations.gov: Follow the
on-line instructions for submitting
comments.
• E-mail: Comments may be sent by
electronic mail (e-mail) to rcradocket@epa.gov, Attention Docket ID
No. EPA–HQ–RCRA–2006–0796. In
contrast to EPA’s electronic public
docket, EPA’s e-mail system is not an
‘‘anonymous access’’ system. If you
send an e-mail comment directly to the
Docket without going through EPA’s
electronic public docket, EPA’s e-mail
system automatically captures your email address. E-mail addresses that are
automatically captured by EPA’s e-mail
system are included as part of the
comment that is placed in the official
public docket, and made available in
EPA’s electronic public docket.
• Fax: Comments may be faxed to
202–566–0272. Attention Docket ID No.
EPA–HQ–RCRA–2006–0796.
• Mail: Send two copies of your
comments to Notice of Data Availability
on the Disposal of Coal Combustion
Wastes in Landfills and Surface
Impoundments, Environmental
Protection Agency, Mailcode: 5305T,
1200 Pennsylvania Ave., NW.,
Washington, DC 20460. Attention
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Federal Register / Vol. 72, No. 167 / Wednesday, August 29, 2007 / Notices
Docket ID No. EPA–HQ–RCRA–2006–
0796.
• Hand Delivery: Deliver two copies
of your comments to the Notice of Data
Availability on the Disposal of Coal
Combustion Wastes in Landfills and
Surface Impoundments Docket, EPA/
DC, EPA West, Room 3334, 1301
Constitution Ave., NW., Washington,
DC 20460. Attention Docket ID No.
EPA–HQ–RCRA–2006–0796. Such
deliveries are only accepted during the
Docket’s normal hours of operation, and
special arrangements should be made
for deliveries of boxed information.
Instructions: Direct your comments to
Docket ID No. EPA–HQ–RCRA–2006–
0796. EPA’s policy is that all comments
received will be included in the public
docket without change and may be
made available online at https://
www.regulations.gov, including any
personal information provided, unless
the comment includes information
claimed to be Confidential Business
Information (CBI) or other information
whose disclosure is restricted by statute.
Do not submit information that you
consider to be CBI or otherwise
protected through www.regulations.gov
or e-mail. The www.regulations.gov Web
site is an ‘‘anonymous access’’ system,
which means EPA will not know your
identity or contact information unless
you provide it in the body of your
comment. If you send an e-mail
comment directly to EPA without going
through www.regulations.gov, your email address will be automatically
captured and included as part of the
comment that is placed in the public
docket and made available on the
Internet. If you submit an electronic
comment, EPA recommends that you
include your name and other contact
information in the body of your
comment and with any disk or CD–ROM
you submit. If EPA cannot read your
comment due to technical difficulties
and cannot contact you for clarification,
EPA may not be able to consider your
comment. Electronic files should avoid
the use of special characters, any form
of encryption, and be free of any defects
or viruses. For additional information
about EPA’s public docket, visit the EPA
Docket Center homepage at https://
www.epa.gov/epahome/dockets.htm.
For additional instructions on
submitting comments, go to the
SUPPLEMENTARY INFORMATION section of
this document.
Docket: All documents in the docket
are listed in the www.regulations.gov
index. Although listed in the index,
some information is not publicly
available, e.g., CBI or other information
whose disclosure is restricted by statute.
Certain other material, such as
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copyrighted material, will be publicly
available only in hard copy. Publicly
available docket materials are available
either electronically in
www.regulations.gov or in hard copy at
the Notice of Data Availability on the
Disposal of Coal Combustion Wastes in
Landfills and Surface Impoundments
Docket, EPA/DC, EPA West, Room 3334,
1301 Constitution Ave., NW.,
Washington, DC. This Docket Facility is
open from 8:30 a.m. to 4:30 p.m.,
Monday through Friday, excluding legal
holidays. The Docket telephone number
is (202) 566–0270. The Public Reading
Room is open from 8:30 a.m. to 4:30
p.m., Monday through Friday, excluding
legal holidays. The telephone number
for the Public Reading Room is (202)
566–1744.
FOR FURTHER INFORMATION CONTACT:
Alexander Livnat, Office of Solid Waste
(5306P), U.S. Environmental Protection
Agency, Ariel Rios Building, 1200
Pennsylvania Avenue, NW.,
Washington, DC 20460–0002, telephone
(703) 308–7251, e-mail address
livnat.alexander@epa.gov. For more
information on this rulemaking, please
visit https://www.epa.gov/epaoswer/
other/fossil/index.htm/.
SUPPLEMENTARY INFORMATION:
I. What Should I Consider as I Prepare
My Comments for EPA?
1. Tips for Preparing Your Comments.
When submitting comments, remember
to:
• Identify the rulemaking by docket
number and other identifying
information (subject heading, Federal
Register date and page number).
• Follow directions—The agency may
ask you to respond to specific questions
or organize comments by referencing a
Code of Federal Regulations (CFR) part
or section number.
• Explain why you agree or disagree;
suggest alternatives and substitute
language for your requested changes.
• Describe any assumptions and
provide any technical information and/
or data that you used.
• If you estimate potential costs or
burdens, explain how you arrived at
your estimate in sufficient detail to
allow for it to be reproduced.
• Provide specific examples to
illustrate your concerns, and suggest
alternatives.
• Explain your views as clearly as
possible.
• Make sure to submit your
comments by the comment period
deadline identified.
2. Docket Copying Costs. The first
100-copied pages are free. Thereafter,
the charge for making copies of Docket
materials is 15 cents per page.
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II. How Should I Submit CBI to the
Agency?
Do not submit information that you
consider to be CBI electronically
through https://www.regulations.gov or
by e-mail. Send or deliver information
identified as CBI only to the following
address: RCRA CBI Document Control
Officer, Office of Solid Waste (5305W),
U.S. EPA, 1200 Pennsylvania Avenue,
NW., Washington, DC 20460, Attention
Docket ID No. EPA–HQ–RCRA–2006–
0796. You may claim information that
you submit to EPA as CBI by marking
any part or all of that information as CBI
(if you submit CBI on disk or CD ROM,
mark the outside of the disk or CD ROM
as CBI and then identify electronically
within the disk or CD ROM the specific
information that is CBI). Information so
marked will not be disclosed, except in
accordance with procedures set forth in
40 CFR Part 2.
In addition to one complete version of
the comment that includes any
information claimed as CBI, a copy of
the comment that does not contain the
information claimed as CBI must be
submitted for inclusion in the public
docket and EPA’s electronic public
docket. If you submit the copy that does
not contain CBI on disk or CD ROM,
mark the outside of the disk or CD ROM
clearly that it does not contain CBI.
Information not marked as CBI will be
included in the public docket and EPA’s
electronic public docket without prior
notice. If you have any questions about
CBI or the procedures for claiming CBI,
please contact: LaShan Haynes, Office of
Solid Waste (5305W), U.S.
Environmental Protection Agency, Ariel
Rios Building, 1200 Pennsylvania
Avenue, NW., Washington, DC 20460–
0002, telephone (703) 605–0516, e-mail
address haynes.lashan@epa.gov.
III. Disposal of CCW in Landfills and
Surface Impoundments
A. Background
In May 2000, EPA published its Final
Regulatory Determination on Wastes
From the Combustion of Fossil Fuels (65
FR 32214). The Agency concluded that
these wastes do not warrant regulation
under Subtitle C of RCRA and,
therefore, retained the hazardous waste
exemption of RCRA section
3001(b)(3)(C). We also determined,
however, that national regulations
under Subtitle D of RCRA were
appropriate for coal combustion wastes
(referred to as CCW throughout this
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notice) when disposed of in landfills or
surface impoundments.1
Specifically, EPA’s determination to
develop regulations under Subtitle D of
RCRA was based on a factual record
developed prior to 1995 which led to
the following considerations: (i) The
constituents present in these wastes
include metals, such as arsenic,
cadmium, chromium, lead and mercury,
that could present a danger to human
health and the environment under
certain conditions; (ii) while testing of
the CCW using the toxicity
characteristic leaching procedure
(TCLP) rarely exceeds the hazardous
waste toxicity characteristic (or TC), the
Agency identified eleven documented
cases of proven damages 2 to human
health and/or the environment by
improper management of these wastes
in landfills and surface impoundments;
(iii) at the time the Regulatory
Determination was made, between 40
and 70 percent of CCW disposal sites
lacked controls, such as liners and/or
ground water-monitoring; and (iv) while
there had been substantive
improvements in state regulatory
programs, the Agency also identified
gaps in state oversight. In deciding to
pursue Subtitle D in lieu of Subtitle C
regulation, the decisive factors which
guided the Agency’s thinking at that
time included the improving trends in
disposal and utilization practices, and
the current and potential utilization of
1 In addition, EPA determined that regulations
under Subtitle D of RCRA and/or modifications to
the existing regulations established under authority
of the Surface Mining Control and Reclamation Act
(SMCRA) were appropriate when these wastes are
used to fill surface or underground coal mines. As
recommended in a recent National Academy of
Sciences Report entitled, ‘‘Managing Coal
Combustion Residues in Mines,’’ National Research
Council of the National Academies, 2006, EPA will
be collaborating with the U.S. Department of
Interior, Office of Surface Mining (OSM) to develop
national standards for the placement of CCW in coal
mines. A separate notice was issued by OSM
regarding this effort (see 72 FR 12026, March 14,
2007; available at https://a257.g.akamaitech.net/7/
257/2422/01jan20071800/edocket.access.gpo.gov/
2007/pdf/E7-4669.pdf).
2 Per the May 2000 Regulatory Determination, 65
FR 32224 and Section 1.4.4 of the 1999 Report to
Congress, proven damage cases are those with (i)
documented exceedances of primary MCLs or other
health-based standards measured in ground water at
sufficient distance from the waste management unit
to indicate that hazardous constituents have
migrated to the extent that they could cause human
health concerns, and/or (ii) where a scientific study
demonstrates there is documented evidence of
another type of damage to human health or the
environment (e.g., ecological damage), and/or (iii)
where there has been an administrative ruling or
court decision with an explicit finding of specific
damage to human health or the environment. In
cases of co-management of CCWs with other
industrial waste types, CCWs must be clearly
implicated in the reported damage.
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the wastes, which the Agency believes
it should encourage.
B. Additional Information on
Management of CCW in Landfills and
Surface Impoundments
Since EPA issued the 2000 Regulatory
Determination, which was based on
information collected prior to 1995,
additional information and data have
become available that we believe should
be considered as part of the Agency’s
evaluation regarding the development of
regulations under Subtitle D of RCRA
for CCW. Therefore, today’s Notice of
Data Availability (NODA) is soliciting
public comment on how, if at all, the
following additional information and
data should affect the Agency’s
decisions as it continues to follow-up on
its Regulatory Determination for CCW
disposed of in landfills and surface
impoundments: (1) A joint U.S.
Department of Energy (DOE) and EPA
report entitled, Coal Combustion Waste
Management at Landfills and Surface
Impoundments, 1994–2004; (2) a draft
risk assessment conducted by EPA on
the management of CCW in landfills and
surface impoundments; and (3) EPA’s
recently completed damage case
assessment. EPA is also seeking direct
comment on the draft risk assessment
document to help inform a planned peer
review. In addition, the Agency is also
including in the docket to today’s
NODA a February 2004 Petition for
Rulemaking submitted by the Clean Air
Task Force and the Hoosier
Environmental Council, jointly with a
number of citizens’ groups to Prohibit
the Placement or Disposal of CCW into
Groundwater and Surface Water; and
two suggested approaches for managing
CCW in landfills and surface
impoundments. One approach is a
Voluntary Action Plan that was
formulated by the electric utility
industry through their trade association,
the Utility Solid Waste Activities Group
(USWAG).3 The second approach is a
proposed framework prepared by a
number of citizens’ groups 4 for federal
3 USWAG
members include approximately 80
utility companies, the Edison Electric Institute
(EEI), the Natural Rural Electric Association
(NRECA), the American Public Power Association
(APPA), and the American Gas Association (AGA)
and represent more than 85% of total U.S. electric
generating capacity.
4 The proposed framework was jointly prepared
by Earthjustice, Clean Air Task Force,
Environmental Integrity Project, Sierra Club,
Natural Resources Defense Council, Waterkeeper
Alliance, Hoosier Environmental Council, Public
Citizen, Jefferson Action Group, Dine CARE, Army
for a Clean Environment, Plains Justice,
Appalachian Center for the Economy and the
Environment, People in Need of Environmental
Safety, Valley Watch, West Virginia Highlands
Conservancy, Montana Environmental Information
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regulation of CCW disposed of in
landfills and surface impoundments
under Subtitle D of RCRA generated by
U.S. coal-fired power plants. The
Agency is making these documents
available in the Docket to allow all
interested parties to be aware of the
various documents that EPA will
consider as it continues to follow up on
its Regulatory Determination for CCW
disposed of in landfills and surface
impoundments.5
These documents are available for
review and downloading through the
docket for today’s action (see the
ADDRESSES section above for
instructions on accessing this
information from the docket). The
remainder of this notice briefly
describes the various documents that
are being made available for review and/
or comment.
1. DOE/EPA Report
In reaching its determination in May
2000 to develop national Subtitle D
regulations under RCRA for the
management of CCW in landfills and
surface impoundments, the Agency
generally relied on information and data
on industry practices that were available
prior to 1995. For information on
industry practices, the Agency based its
Regulatory Determination on
information contained in a report
prepared by the Electric Power Research
Institute (EPRI) 6 addressing waste
management units that were constructed
between 1985 and 1995. The Agency,
however, recognized that the electric
utility industry was changing its
management practices. Therefore, in
2005, DOE and EPA conducted a joint
study to collect more recent information
on CCW management practices by the
electric power industry. Specifically,
this report presents information and
data on CCW disposal practices and
state regulatory requirements at landfills
and surface impoundments that were
permitted, built, or laterally expanded
between January 1, 1994, and December
Center, San Juan Citizens Alliance, Clean
Wisconsin, Residents Against the Power Plant, Ohio
Valley Environmental Coalition, Neighbors for
Neighbors, Delaware Riverkeeper Network,
Healthlink, Wenham Lake Watershed Association,
Coal River Mountain Watch, Dakota Resource
Council and Save Us From Future Environmental
Risks.
5 In addition, the Agency is also placing in the
docket to today’s NODA comments that the Clean
Air Task Force and the Hoosier Environmental
Council submitted to EPA as Attachment 1 to a July
12, 2005 letter to Thomas P. Dunne, then Acting
Assistant Administrator for the Office of Solid
Waste and Emergency Response (OSWER) on the
electric utility industry’s Voluntary Action Plan.
6 Coal Combustion By-Products and Low-Volume
Wastes Co-management Survey, Draft Report, EPRI,
June 1997.
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31, 2004.7 The scope of the study
excluded waste units that manage CCW
in active or abandoned coal mines.
Data in the report on recent and
current disposal practices were derived
from a survey conducted by USWAG of
its members. In addition, EPA
supplemented and checked the accuracy
of this information by directly
contacting state agencies, as well as a
limited number of individual electric
utilities.
In summary, the report shows an
increase in the number of CCW disposal
units with respect to liner design and
ground water monitoring since 1994.
Based on 100% member-response to
USWAG’s survey, plus EPA’s factfinding efforts, the report identified 56
new CCW management units, of which
38 are landfills, and 18 are surface
impoundments. This number, however,
does not reflect the total number of new
CCW disposal units that were permitted,
built or laterally expanded between
1994 and 2004. The study utilized proxy
data to derive an estimate of the total
number of new units. The first proxy
was the tonnage of CCW available for
disposal in States that have coal-fired
power plant capacity, and the second
was the coal-fired generating capacity of
electric utilities owning the identified
disposal units. The estimated net
disposable CCW 8 in the 19 states where
new units were identified was then
compared with the total net disposable
CCW in all states with coal-fired electric
generating capacity. Using this
approach, it was estimated that the
number of identified new CCW
management units represents between
64% and 71%, respectively, of the total
number of new units established
between 1994 and 2004.
The report identified that the use of
liners and ground water monitoring at
new landfills and surface
impoundments built since 1994 has
increased with 98% having liners and
91% having ground water monitoring.
This compares with liners installed in
75% of landfills and 60% of surface
impoundments built between 1985 and
1995; and with ground water monitoring
installed at 88% of landfills and 65% of
surface impoundments that were
established between 1985 and 1995. In
7 A draft of this report was peer reviewed by the
Association of State and Territorial Solid Waste
Management Officials (ASTSWMO), the Utility
Water Act Group (UWAG), and the Clean Air Task
Force (CATF). Comments received on the draft
report, which are included in the docket to today’s
NODA, have been considered and addressed by
DOE and EPA in the final report entitled, Coal
Combustion Waste Management at Landfills and
Surface Impoundments, 1994–2004.
8 Net disposable CCW is the total CCW generated
minus CCW beneficially used.
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addition, the frequency of dry handling
in landfills appears to have increased,
compared to wet handling in surface
impoundments; approximately twothirds of the new units are landfills,
while the other one-third are surface
impoundments. The Agency solicits
comments and information on the
amount or percentage of CCW that is
expected to be managed in the future in
landfills as opposed to surface
impoundments. The percentage of
composite liners has also increased for
landfills from about 10%, as reported in
the 1999 Report to Congress (RTC) 9 to
53% for new units constructed between
1994 and 2004, and for surface
impoundments, from 2% as reported in
the 1999 RTC to 50% for new units
constructed between 1994 and 2004.
The number of unlined units currently
in operation in the U.S. is not known.
The DOE/EPA 2006 Report also
provides information from a review of
eleven States’ CCW programs, including
the regulatory designation of CCW for
disposal, permitting requirements, liner
requirements, ground water-monitoring
requirements, and leachate collection
requirements.
The Agency requests comments with
supporting data on how the findings of
the DOE/EPA report should affect the
Agency’s decision regarding the
regulation of CCW in landfills and
surface impoundments under RCRA
Subtitle D.
2. EPA’s Risk Analysis Data
As part of the rulemaking process for
making the May 2000 Regulatory
Determination for CCW, EPA prepared a
draft quantitative risk assessment.
However, because time constraints
precluded the Agency from addressing
public comments on the draft study,
EPA did not use the draft risk
assessment in making its Regulatory
Determination; rather it relied on the
damage cases identified. Between 2000
and 2006, EPA addressed pubic
comments and updated the risk
assessment for the management of CCW
in landfills and surface impoundments.
The purpose of the risk assessment is
to identify CCW constituents, waste
types, liner type, receptors, and
exposure pathways with potential risks
and to provide information that EPA can
use as it continues to follow-up on its
Regulatory Determination for CCW
disposed of in landfills and surface
impoundments. The risk assessment
was designed to develop national
9 Wastes
from the Combustion of Fossil Fuels,
Volume 2: Methods, Findings and
Recommendations, EPA–R–99–010, 1999 available
at https://www.epa.gov/epaoswer/other/fossil/
volume_2.pdf.
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human and ecological risk estimates
that are representative of onsite CCW
management settings throughout the
United States.10
To assess the risks posed by the onsite
management of CCW, this risk
assessment estimates the release of CCW
constituents from landfills and surface
impoundments, estimates the
concentrations of these contaminants in
environmental media surrounding coalfired utility power plants, and estimates
the risks that these concentrations pose
to human and ecological receptors. The
risk assessment does not address risks
that may be due to direct discharges of
CCW pollutants to surface waters,
which are covered under the National
Pollutant Discharge Elimination System
(NPDES) program.
The risk analysis includes a full-scale
Monte Carlo analysis; however,
constituent screening results also are
presented as part of the problem
formulation discussion, along with a
summary of the screening methodology.
The full-scale analysis is designed to
characterize five waste management
scenarios that are defined by two waste
management options (CCW disposal at
power plant sites in landfills and
surface impoundments) and three waste
types, as follows:
• Conventional CCW, including fly
ash, bottom ash, boiler slag, and flue gas
desulfurization (FGD) sludge, which are
typically co-disposed in landfills and
surface impoundments;
• CCW co-disposed with coal refuse
in landfills and surface impoundments,
which can result in more acidic disposal
conditions than conventional CCW
monofills; and,
• Fluidized-bed combustion (FBC)
wastes, including fly ash and bed ash.
FBC wastes differ from conventional
wastes because the limestone mixed
during fluidized bed combustion tends
to make the FBC waste more alkaline.
FBC wastes are only disposed of in
landfills in the United States and
therefore, the Agency did not model the
management of FBC wastes in surface
impoundments.
These three waste types provide a
good representation of waste disposal
practices and the waste chemical
conditions that impact the release of
CCW constituents from landfills and
surface impoundments.
To identify the CCW constituents and
exposure pathways to be addressed in
this risk analysis, the Agency relied on
10 Because the main technical aspects of the CCW
risk assessment were completed in calendar year
2003, the newly collected information from the
DOE/EPA report on the 56 new waste management
units has not been incorporated into the database
utilized for the risk assessment.
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49718
Federal Register / Vol. 72, No. 167 / Wednesday, August 29, 2007 / Notices
a 2003 CCW database assembled over
several years to characterize whole
waste and waste leachate from CCW
disposal sites across the country. The
2003 CCW constituent database
includes all of the CCW characterization
data used by EPA in its previous risk
assessments supplemented with
additional data collected from public
comments, data from EPA regions and
state regulatory agencies, industry
submittals, and literature searches.
Also, as noted in footnote 10, because
the main technical aspects of the CCW
risk assessment were completed in
2003, the newly collected information
from the more recent DOE/EPA report
on the 56 new waste units established
between 1994 and 2004 was not part of
the database used in characterizing the
CCW landfills and surface
impoundments modeled in the risk
assessment. The risk assessment
reflected management of CCW in both
lined and unlined units as part of a
Monte Carlo probabilistic risk analysis.
Information on lined and unlined units
was derived from facility data from a
1995 industry survey.
Specific findings of the risk
assessment, from the Monte Carlo
analyses of both lined and unlined
units, include:
• The 90th and 50th percentile risks
for those units (both landfill and surface
impoundments) that had a composite
liner were below a cancer risk of 10–5
and an HQ of 1 for all constituents,
waste management scenarios, and
exposure pathways modeled in the CCW
risk assessment.
• For humans exposed via the ground
water to drinking water pathway,
arsenic and thallium show risks to
human health above the risk criteria for
unlined and clay-lined CCW landfills.
Arsenic poses a 90th percentile cancer
risk of 5 × 10 minus;4≤ for unlined
units and 2 × 10 minus;4 for clay-lined
units (The 90th percentile arsenic
cancer risk from this risk assessment of
landfilled CCW falls within the range
that EPA established for the arsenic
MCL (i.e., 1 to 6 excess cancers in a
population of 10,000 individuals)).
Thallium shows a 90th percentile
noncancer HQ of 3 for unlined units
only. The 50th percentile results for this
pathway are at or below the risk criteria
for all constituents. 11 Other landfill
constituents did not show a noncancer
risk above an HQ of 1 or risk level of
1 chance in 100,000 excess cancer risk.
• Risks are higher for surface
impoundments for the groundwater-to11 The risk analysis presents the correspnding
50th percentile results from the Monte Carlo
analyses.
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16:04 Aug 28, 2007
Jkt 211001
drinking-water pathway, with a 90th
percentile arsenic cancer risk of 9×10¥3
for unlined units and 3×10¥3 for claylined units. For unlined units, five
additional constituents have noncancer
HQs ranging from 3 to 5 for the 90th
percentile, including boron, lead,
cadmium, cobalt, and molybdenum.
Two constituents (boron (2) and
molybdenum (3)) have HQs greater than
1 for clay-lined surface impoundments.
The 50th percentile cancer risk results
for arsenic are 3×10¥4 in unlined units
and 9×10¥5 in clay lined surface
impoundments.
• For arsenic, arrival times of the
peak concentrations at a receptor well
are relatively long for CCW landfills,
with travel times ranging from hundreds
to thousands of years. Arrival times are
much shorter for surface
impoundments, with time to peak
concentrations being less than 100 years
for most of the model runs.
• For humans exposed via the
groundwater-to-surface-water (fish
consumption) pathway, selenium (HQ =
2) and arsenic (cancer risk = 2×10¥5)
show 90th percentile risks for unlined
surface impoundments above the risk
criteria. All other waste management
scenarios and all 50th percentile results
show risks at or below the risk criteria
for the fish consumption pathway.
• Liners appear to reduce risks from
all constituents for landfills and surface
impoundments. The risks from claylined units (as modeled in the risk
assessment) were reduced by about half
when compared to unlined units.
Composite liners appear to be effective
in mitigating CCW risks from landfills
and surface impoundments.
• For ecological receptors exposed via
surface water, the 90th percentile risks
for unlined and clay-lined landfills
exceed an HQ of 1 for boron (200) and
lead (4). For surface impoundments,
90th percentile risks for six
constituents: boron (2000), lead (20),
arsenic (10), selenium (10), cobalt (5),
and barium (2) exceed an HQ of 1. The
only exceedance from the 50th
percentile risk results is HQ of 4 for
boron in surface impoundments.
• For ecological receptors exposed via
sediment, 90th percentile risks for lead,
arsenic, and cadmium exceeded an HQ
of 1 for both landfills (HQs from 2 to 20)
and surface impoundments (HQs from
20 to 200). All 50th percentile results
show ecological risks at or below the
risk criteria for the sediment pathway.
The Agency is making the risk
analysis document available in the
Docket to allow interested parties to
submit comments on the analytical
methodology, data, and assumptions
used in the analysis and to submit
PO 00000
Frm 00026
Fmt 4703
Sfmt 4703
additional information for the Agency to
consider. In addition, the risk
assessment will undergo independent
scientific peer review by experts outside
of the EPA following closure of the
public comment period. Public
comments will be made available to the
peer reviewers for their consideration
during the review process. The peer
review will focus on technical aspects of
the analysis, including the construct
and implementation of the Monte Carlo
analysis, the selection of models to
estimate the release of constituents
found in CCW from landfills and surface
impoundments, and their subsequent
fate and transport in the environment,
and the characterization of risks
resulting from potential exposures to
human and ecological receptors.
3. EPA Damage Case Assessment
For the May 2000 Regulatory
Determination, the Agency determined
there were approximately 300 CCW
landfills and 300 CCW surface
impoundments used by 440 coal-fired
utilities. EPA recently completed an
assessment of possible environmental
damages from CCW landfills and surface
impoundments. Under the Bevill
Amendment for the ‘‘special waste’’
categories, EPA was statutorily required
to examine ‘‘documented cases in which
danger to human health or the
environment has been proved.’’ The
criteria used to determine whether
danger to human health and the
environment has been proved are briefly
described in footnote 2 to this NODA
and more fully explained in the May
2000 Regulatory Determination at 65 FR
32224.
EPA has gathered or received
information on 135 possible damage
cases. Sixteen of these were submitted
since publication of the 2000 Regulatory
Determination. EPA re-evaluated the old
damage cases and evaluated the new
cases, and they are available in the
docket to today’s action and subject to
comment as part of the NODA. After
reviewing these 135 damage cases, EPA
identified 24 proven damage cases.
Sixteen were determined to be proven
damages to ground water and eight were
determined to be proven damages to
surface water and covered by the
National Pollutant Discharge
Elimination System (NPDES) under the
Clean Water Act.12 The overwhelming
majority of the damage cases reflect
management in unlined units—that is,
all but one of the 24 proven damage
cases involved unlined CCW
12 Of the 24 damage cases, 11 were presented and
discussed in the May 2000 Regulatory
Determination.
E:\FR\FM\29AUN1.SGM
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Federal Register / Vol. 72, No. 167 / Wednesday, August 29, 2007 / Notices
management units,13 including six cases
involving disposal of CCW in unlined
sand and gravel pits. Additionally, 43
cases were determined to be potential
damages to ground water or surface
water.14 Four of the potential damage
cases were attributable to oil
combustion wastes.
Six of the alleged damage cases were
minefills which, while under the scope
of the 2000 Regulatory Determination,
are outside the scope of this NODA that
deals exclusively with surface
disposal.15 The remaining 62 alleged
damage cases subject to detailed
assessment were not considered damage
cases due to either (1) lack of any
evidence of damage, or (2) lack of
evidence that damages were uniquely
associated with CCW.
Of the 16 proven cases of damages to
ground water, the Agency has been able
to confirm that corrective actions have
been completed in six cases and are
ongoing in nine cases. The Agency has
not received information regarding the
one remaining case. Corrective action
measures at these CCW management
units vary depending on site specific
circumstances and include formal
closure of the unit, capping, the
installation of new liners, ground water
treatment, ground water monitoring,
and combinations of these measures.
For a more detailed description, see
the document
CCW_Damage_Case_Assessments.pdf in
the docket to today’s action. Detailed
information on many of these sites is
also available in the docket for the 1999
Report to Congress, Docket ID # EPA–
HQ–RCRA–1999–0022. The Agency
solicits comments and supporting
information on the extent to which the
damage case information should affect
the Agency’s decisions regarding the
regulation of CCW in landfills and
surface impoundments under RCRA
Subtitle D.
jlentini on PROD1PC65 with NOTICES
4. Additional Documents
In addition to the reports identified
under (1) to (3) above, the Agency is
also including in the docket to today’s
NODA a February 2004 Petition for
Rulemaking submitted by the Clean Air
Task Force and the Hoosier
Environmental Council, jointly with a
number of citizens’ groups to Prohibit
13 The lone damage case from a lined unit was the
result of a liner failure in a surface impoundment.
14 Per the May 2000 Regulatory Determination, 65
FR 32224, potential damage cases are those with (1)
documented exceedances of primary MCLs or other
health-based standards only directly beneath or in
very close proximity to the waste source, and/or (2)
documented exceedances of secondary MCLs or
other non-health-based standards on-site or off-site.
15 See Footnote 1 regarding OSM’s ANPR (72 FR
12026).
VerDate Aug<31>2005
16:04 Aug 28, 2007
Jkt 211001
the Placement or Disposal of CCW into
Groundwater and Surface Water; and
two suggested approaches for managing
CCW in landfills and surface
impoundments. One approach is a
Voluntary Action Plan that was
formulated by the electric utility
industry through their trade association,
USWAG, regarding the management of
CCW. The second approach is a
proposed framework prepared by a
number of citizens’ groups for federal
regulation of CCW disposed of in
landfills and surface impoundments
under Subtitle D of RCRA generated by
U.S. coal-fired power plants.
C. Conclusion
The Agency solicits comments on the
extent to which the damage case
information, the results of the risk
assessment, and the new liner and
ground water monitoring information
should affect the Agency’s decisions.
The Agency will consider all the
information provided through today’s
notice, the comments and new
information submitted on this notice, as
well as the results of the peer review of
the risk assessment as it continues to
follow-up on its Regulatory
Determination for CCW disposed of in
landfills and surface impoundments.
Dated: August 23, 2007.
Susan Parker Bodine,
Assistant Administrator, Office of Solid Waste
and Emergency Response.
[FR Doc. E7–17138 Filed 8–28–07; 8:45 am]
BILLING CODE 6560–50–P
FEDERAL COMMUNICATIONS
COMMISSION
Radio Broadcasting Services; AM or
FM Proposals To Change the
Community of License
Federal Communications
Commission.
ACTION: Notice.
AGENCY:
SUMMARY: The following applicants filed
AM or FM proposals to change the
community of license: ABLE RADIO
CORPORATION, Station NEW, Facility
ID 170953, BNPH–20070403ACO, From
AGUILA, AZ, To TONOPAH, AZ;
ADVANCE ACQUISITION, INC., Station
KQJZ, Facility ID 160700, BMP–
20070725ALN, From KALISPELL, MT,
To EVERGREEN, MT; AMERICAN
EDUCATIONAL BROADCASTING,
INC., Station KLKA, Facility ID 82692,
BMPED–20070803ACY, From GLOBE,
AZ, To CASA GRANDE, AZ; CANYON
MEDIA CORPORATION, Station KONY,
Facility ID 18140, BPH–20070726AHL,
From ST. GEORGE, UT, To
PO 00000
Frm 00027
Fmt 4703
Sfmt 4703
49719
HURRICANE, UT; CAPSTAR TX
LIMITED PARTNERSHIP, Station KIYS,
Facility ID 51855, BPH–20070726ADN,
From JONESBORO, AR, To
CRAWFORDSVILLE, AR; CAPSTAR TX
LIMITED PARTNERSHIP, Station
KTEX, Facility ID 64631, BPH–
20070803ACV, From BROWNSVILLE,
TX, To MERCEDES, TX; CHEHALIS
VALLEY EDUCATIONAL
FOUNDATION, Station KACS, Facility
ID 10685, BPED–20070813AAF, From
CHEHALIS, WA, To RANIER, WA;
CLEAR CHANNEL BROADCASTING
LICENSES, INC., Station KHKZ, Facility
ID 36166, BPH–20070803ACP, From
MERCEDES, TX, To SAN BENITO, TX;
COLLEGE CREEK MEDIA, LLC, Station
KCLS, Facility ID 55461, BPH–
20070803ADM, From ELY, NV, To
PIOCHE, NV; CSN INTERNATIONAL,
Station KGSF, Facility ID 92987,
BMPED–20070430AEP, From
ANDERSON, MO, To GREEN FOREST,
AR; CSN INTERNATIONAL, Station
KJCC, Facility ID 122517, BPED–
20070719AAU, From CARNEGIE, OK,
To HINTON, OK; CSN
INTERNATIONAL, Station WUJC,
Facility ID 122209, BMPED–
20070806AEW, From ST. MARKS, FL,
To TALLAHASSEE, FL; CSN
INTERNATIONAL, Station KWYC,
Facility ID 87267, BMPED–
20070808ACK, From ORCHARD
VALLEY, WY, To CHEYENNE, WY;
CSN INTERNATIONAL, Station KJCC,
Facility ID 122517, BMPED–
20070814AAW, From CARNEGIE, OK,
To HINTON, OK; EDUCATIONAL
MEDIA FOUNDATION, Station KAIS,
Facility ID 88397, BMPED–
20070720ABV, From REDWOOD
VALLEY, CA, To HOPLAND, CA;
EDUCATIONAL MEDIA
FOUNDATION, Station KVLK, Facility
ID 122812, BPED–20070724ACV, From
SOCORRO, NM, To MILAN, NM;
EDUCATIONAL MEDIA
FOUNDATION, Station KAIA, Facility
ID 76841, BPED–20070730ACS, From
BLYTHEVILLE, AR, To BLOOMFIELD,
MO; EDUCATIONAL MEDIA
FOUNDATION, Station KAIC, Facility
ID 78758, BPED–20070803ACO, From
TUCSON, AZ, To MAMMOTH, AZ;
EXPONENT BROADCASTING, INC.,
Station WXJO, Facility ID 25386, BMP–
20070725ACM, From GORDON, GA, To
DOUGLASVILLE, GA; GEORGIA
EAGLE BROADCASTING, INC., Station
WMCD, Facility ID 65607, BPH–
20070705AAA, From CLAXTON, GA,
To SULLIVAN’S ISLAND, SC; KEILY
MILLER, Station NEW, Facility ID
165946, BMPH–20070727ABV, From
BEATTY, NV, To CRYSTAL, NV;
NAPLES EDUCATIONAL
E:\FR\FM\29AUN1.SGM
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Agencies
[Federal Register Volume 72, Number 167 (Wednesday, August 29, 2007)]
[Notices]
[Pages 49714-49719]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: E7-17138]
-----------------------------------------------------------------------
ENVIRONMENTAL PROTECTION AGENCY
[EPA-HQ-RCRA-2006-0796; FRL-8462-2]
RIN 2050-AE81
Notice of Data Availability on the Disposal of Coal Combustion
Wastes in Landfills and Surface Impoundments
AGENCY: Environmental Protection Agency (EPA).
ACTION: Notice of Data Availability.
-----------------------------------------------------------------------
SUMMARY: This notice announces the availability of new information and
data contained in three documents that the Agency is requesting public
comments on concerning the management of coal combustion wastes (CCW)
in landfills and surface impoundments. The Agency is seeking public
comments on how, if at all, this additional information should affect
the Agency's decisions as it continues to follow-up on its Regulatory
Determination for CCW disposed of in landfills and surface
impoundments. The three documents that the Agency is requesting comment
on include: a joint U.S. Department of Energy (DOE) and EPA report
entitled, Coal Combustion Waste Management at Landfills and Surface
Impoundments, 1994-2004; a draft risk assessment conducted by EPA on
the management of CCW in landfills and surface impoundments; and EPA's
damage case assessment. The Agency solicits comments on the extent to
which the damage case information, the results of the risk assessment,
and the new liner and ground water monitoring information from the DOE/
EPA report should affect the Agency's decisions. EPA is also requesting
direct comment on the draft risk assessment document to help inform a
planned peer review. In addition, the Agency has included in the Docket
to this Notice of Data Availability (NODA) a rulemaking petition
submitted by a number of citizens' groups and several approaches, one
prepared by the electric utility industry and the other prepared by a
number of citizens' groups, regarding the management of CCW. The Agency
will consider all the information provided through this notice, the
comments and new information submitted on this notice, as well as the
results of a subsequent peer review of the risk assessment as it
continues to follow-up on its Regulatory Determination for CCW disposed
of in landfills and surface impoundments.
DATES: Submit comments on or before November 27, 2007.
ADDRESSES: Submit your comments, identified by Docket ID No. EPA-HQ-
RCRA-2006-0796, by one of the following methods:
www.regulations.gov: Follow the on-line instructions for
submitting comments.
E-mail: Comments may be sent by electronic mail (e-mail)
to rcra-docket@epa.gov, Attention Docket ID No. EPA-HQ-RCRA-2006-0796.
In contrast to EPA's electronic public docket, EPA's e-mail system is
not an ``anonymous access'' system. If you send an e-mail comment
directly to the Docket without going through EPA's electronic public
docket, EPA's e-mail system automatically captures your e-mail address.
E-mail addresses that are automatically captured by EPA's e-mail system
are included as part of the comment that is placed in the official
public docket, and made available in EPA's electronic public docket.
Fax: Comments may be faxed to 202-566-0272. Attention
Docket ID No. EPA-HQ-RCRA-2006-0796.
Mail: Send two copies of your comments to Notice of Data
Availability on the Disposal of Coal Combustion Wastes in Landfills and
Surface Impoundments, Environmental Protection Agency, Mailcode: 5305T,
1200 Pennsylvania Ave., NW., Washington, DC 20460. Attention
[[Page 49715]]
Docket ID No. EPA-HQ-RCRA-2006-0796.
Hand Delivery: Deliver two copies of your comments to the
Notice of Data Availability on the Disposal of Coal Combustion Wastes
in Landfills and Surface Impoundments Docket, EPA/DC, EPA West, Room
3334, 1301 Constitution Ave., NW., Washington, DC 20460. Attention
Docket ID No. EPA-HQ-RCRA-2006-0796. Such deliveries are only accepted
during the Docket's normal hours of operation, and special arrangements
should be made for deliveries of boxed information.
Instructions: Direct your comments to Docket ID No. EPA-HQ-RCRA-
2006-0796. EPA's policy is that all comments received will be included
in the public docket without change and may be made available online at
https://www.regulations.gov, including any personal information
provided, unless the comment includes information claimed to be
Confidential Business Information (CBI) or other information whose
disclosure is restricted by statute. Do not submit information that you
consider to be CBI or otherwise protected through www.regulations.gov
or e-mail. The www.regulations.gov Web site is an ``anonymous access''
system, which means EPA will not know your identity or contact
information unless you provide it in the body of your comment. If you
send an e-mail comment directly to EPA without going through
www.regulations.gov, your e-mail address will be automatically captured
and included as part of the comment that is placed in the public docket
and made available on the Internet. If you submit an electronic
comment, EPA recommends that you include your name and other contact
information in the body of your comment and with any disk or CD-ROM you
submit. If EPA cannot read your comment due to technical difficulties
and cannot contact you for clarification, EPA may not be able to
consider your comment. Electronic files should avoid the use of special
characters, any form of encryption, and be free of any defects or
viruses. For additional information about EPA's public docket, visit
the EPA Docket Center homepage at https://www.epa.gov/epahome/
dockets.htm. For additional instructions on submitting comments, go to
the SUPPLEMENTARY INFORMATION section of this document.
Docket: All documents in the docket are listed in the
www.regulations.gov index. Although listed in the index, some
information is not publicly available, e.g., CBI or other information
whose disclosure is restricted by statute. Certain other material, such
as copyrighted material, will be publicly available only in hard copy.
Publicly available docket materials are available either electronically
in www.regulations.gov or in hard copy at the Notice of Data
Availability on the Disposal of Coal Combustion Wastes in Landfills and
Surface Impoundments Docket, EPA/DC, EPA West, Room 3334, 1301
Constitution Ave., NW., Washington, DC. This Docket Facility is open
from 8:30 a.m. to 4:30 p.m., Monday through Friday, excluding legal
holidays. The Docket telephone number is (202) 566-0270. The Public
Reading Room is open from 8:30 a.m. to 4:30 p.m., Monday through
Friday, excluding legal holidays. The telephone number for the Public
Reading Room is (202) 566-1744.
FOR FURTHER INFORMATION CONTACT: Alexander Livnat, Office of Solid
Waste (5306P), U.S. Environmental Protection Agency, Ariel Rios
Building, 1200 Pennsylvania Avenue, NW., Washington, DC 20460-0002,
telephone (703) 308-7251, e-mail address livnat.alexander@epa.gov. For
more information on this rulemaking, please visit https://www.epa.gov/
epaoswer/other/fossil/index.htm/.
SUPPLEMENTARY INFORMATION:
I. What Should I Consider as I Prepare My Comments for EPA?
1. Tips for Preparing Your Comments. When submitting comments,
remember to:
Identify the rulemaking by docket number and other
identifying information (subject heading, Federal Register date and
page number).
Follow directions--The agency may ask you to respond to
specific questions or organize comments by referencing a Code of
Federal Regulations (CFR) part or section number.
Explain why you agree or disagree; suggest alternatives
and substitute language for your requested changes.
Describe any assumptions and provide any technical
information and/or data that you used.
If you estimate potential costs or burdens, explain how
you arrived at your estimate in sufficient detail to allow for it to be
reproduced.
Provide specific examples to illustrate your concerns, and
suggest alternatives.
Explain your views as clearly as possible.
Make sure to submit your comments by the comment period
deadline identified.
2. Docket Copying Costs. The first 100-copied pages are free.
Thereafter, the charge for making copies of Docket materials is 15
cents per page.
II. How Should I Submit CBI to the Agency?
Do not submit information that you consider to be CBI
electronically through https://www.regulations.gov or by e-mail. Send or
deliver information identified as CBI only to the following address:
RCRA CBI Document Control Officer, Office of Solid Waste (5305W), U.S.
EPA, 1200 Pennsylvania Avenue, NW., Washington, DC 20460, Attention
Docket ID No. EPA-HQ-RCRA-2006-0796. You may claim information that you
submit to EPA as CBI by marking any part or all of that information as
CBI (if you submit CBI on disk or CD ROM, mark the outside of the disk
or CD ROM as CBI and then identify electronically within the disk or CD
ROM the specific information that is CBI). Information so marked will
not be disclosed, except in accordance with procedures set forth in 40
CFR Part 2.
In addition to one complete version of the comment that includes
any information claimed as CBI, a copy of the comment that does not
contain the information claimed as CBI must be submitted for inclusion
in the public docket and EPA's electronic public docket. If you submit
the copy that does not contain CBI on disk or CD ROM, mark the outside
of the disk or CD ROM clearly that it does not contain CBI. Information
not marked as CBI will be included in the public docket and EPA's
electronic public docket without prior notice. If you have any
questions about CBI or the procedures for claiming CBI, please contact:
LaShan Haynes, Office of Solid Waste (5305W), U.S. Environmental
Protection Agency, Ariel Rios Building, 1200 Pennsylvania Avenue, NW.,
Washington, DC 20460-0002, telephone (703) 605-0516, e-mail address
haynes.lashan@epa.gov.
III. Disposal of CCW in Landfills and Surface Impoundments
A. Background
In May 2000, EPA published its Final Regulatory Determination on
Wastes From the Combustion of Fossil Fuels (65 FR 32214). The Agency
concluded that these wastes do not warrant regulation under Subtitle C
of RCRA and, therefore, retained the hazardous waste exemption of RCRA
section 3001(b)(3)(C). We also determined, however, that national
regulations under Subtitle D of RCRA were appropriate for coal
combustion wastes (referred to as CCW throughout this
[[Page 49716]]
notice) when disposed of in landfills or surface impoundments.\1\
---------------------------------------------------------------------------
\1\ In addition, EPA determined that regulations under Subtitle
D of RCRA and/or modifications to the existing regulations
established under authority of the Surface Mining Control and
Reclamation Act (SMCRA) were appropriate when these wastes are used
to fill surface or underground coal mines. As recommended in a
recent National Academy of Sciences Report entitled, ``Managing Coal
Combustion Residues in Mines,'' National Research Council of the
National Academies, 2006, EPA will be collaborating with the U.S.
Department of Interior, Office of Surface Mining (OSM) to develop
national standards for the placement of CCW in coal mines. A
separate notice was issued by OSM regarding this effort (see 72 FR
12026, March 14, 2007; available at https://a257.g.akamaitech.net/7/
257/2422/01jan20071800/edocket.access.gpo.gov/2007/pdf/E7-4669.pdf).
---------------------------------------------------------------------------
Specifically, EPA's determination to develop regulations under
Subtitle D of RCRA was based on a factual record developed prior to
1995 which led to the following considerations: (i) The constituents
present in these wastes include metals, such as arsenic, cadmium,
chromium, lead and mercury, that could present a danger to human health
and the environment under certain conditions; (ii) while testing of the
CCW using the toxicity characteristic leaching procedure (TCLP) rarely
exceeds the hazardous waste toxicity characteristic (or TC), the Agency
identified eleven documented cases of proven damages \2\ to human
health and/or the environment by improper management of these wastes in
landfills and surface impoundments; (iii) at the time the Regulatory
Determination was made, between 40 and 70 percent of CCW disposal sites
lacked controls, such as liners and/or ground water-monitoring; and
(iv) while there had been substantive improvements in state regulatory
programs, the Agency also identified gaps in state oversight. In
deciding to pursue Subtitle D in lieu of Subtitle C regulation, the
decisive factors which guided the Agency's thinking at that time
included the improving trends in disposal and utilization practices,
and the current and potential utilization of the wastes, which the
Agency believes it should encourage.
---------------------------------------------------------------------------
\2\ Per the May 2000 Regulatory Determination, 65 FR 32224 and
Section 1.4.4 of the 1999 Report to Congress, proven damage cases
are those with (i) documented exceedances of primary MCLs or other
health-based standards measured in ground water at sufficient
distance from the waste management unit to indicate that hazardous
constituents have migrated to the extent that they could cause human
health concerns, and/or (ii) where a scientific study demonstrates
there is documented evidence of another type of damage to human
health or the environment (e.g., ecological damage), and/or (iii)
where there has been an administrative ruling or court decision with
an explicit finding of specific damage to human health or the
environment. In cases of co-management of CCWs with other industrial
waste types, CCWs must be clearly implicated in the reported damage.
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B. Additional Information on Management of CCW in Landfills and Surface
Impoundments
Since EPA issued the 2000 Regulatory Determination, which was based
on information collected prior to 1995, additional information and data
have become available that we believe should be considered as part of
the Agency's evaluation regarding the development of regulations under
Subtitle D of RCRA for CCW. Therefore, today's Notice of Data
Availability (NODA) is soliciting public comment on how, if at all, the
following additional information and data should affect the Agency's
decisions as it continues to follow-up on its Regulatory Determination
for CCW disposed of in landfills and surface impoundments: (1) A joint
U.S. Department of Energy (DOE) and EPA report entitled, Coal
Combustion Waste Management at Landfills and Surface Impoundments,
1994-2004; (2) a draft risk assessment conducted by EPA on the
management of CCW in landfills and surface impoundments; and (3) EPA's
recently completed damage case assessment. EPA is also seeking direct
comment on the draft risk assessment document to help inform a planned
peer review. In addition, the Agency is also including in the docket to
today's NODA a February 2004 Petition for Rulemaking submitted by the
Clean Air Task Force and the Hoosier Environmental Council, jointly
with a number of citizens' groups to Prohibit the Placement or Disposal
of CCW into Groundwater and Surface Water; and two suggested approaches
for managing CCW in landfills and surface impoundments. One approach is
a Voluntary Action Plan that was formulated by the electric utility
industry through their trade association, the Utility Solid Waste
Activities Group (USWAG).\3\ The second approach is a proposed
framework prepared by a number of citizens' groups \4\ for federal
regulation of CCW disposed of in landfills and surface impoundments
under Subtitle D of RCRA generated by U.S. coal-fired power plants. The
Agency is making these documents available in the Docket to allow all
interested parties to be aware of the various documents that EPA will
consider as it continues to follow up on its Regulatory Determination
for CCW disposed of in landfills and surface impoundments.\5\
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\3\ USWAG members include approximately 80 utility companies,
the Edison Electric Institute (EEI), the Natural Rural Electric
Association (NRECA), the American Public Power Association (APPA),
and the American Gas Association (AGA) and represent more than 85%
of total U.S. electric generating capacity.
\4\ The proposed framework was jointly prepared by Earthjustice,
Clean Air Task Force, Environmental Integrity Project, Sierra Club,
Natural Resources Defense Council, Waterkeeper Alliance, Hoosier
Environmental Council, Public Citizen, Jefferson Action Group, Dine
CARE, Army for a Clean Environment, Plains Justice, Appalachian
Center for the Economy and the Environment, People in Need of
Environmental Safety, Valley Watch, West Virginia Highlands
Conservancy, Montana Environmental Information Center, San Juan
Citizens Alliance, Clean Wisconsin, Residents Against the Power
Plant, Ohio Valley Environmental Coalition, Neighbors for Neighbors,
Delaware Riverkeeper Network, Healthlink, Wenham Lake Watershed
Association, Coal River Mountain Watch, Dakota Resource Council and
Save Us From Future Environmental Risks.
\5\ In addition, the Agency is also placing in the docket to
today's NODA comments that the Clean Air Task Force and the Hoosier
Environmental Council submitted to EPA as Attachment 1 to a July 12,
2005 letter to Thomas P. Dunne, then Acting Assistant Administrator
for the Office of Solid Waste and Emergency Response (OSWER) on the
electric utility industry's Voluntary Action Plan.
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These documents are available for review and downloading through
the docket for today's action (see the ADDRESSES section above for
instructions on accessing this information from the docket). The
remainder of this notice briefly describes the various documents that
are being made available for review and/or comment.
1. DOE/EPA Report
In reaching its determination in May 2000 to develop national
Subtitle D regulations under RCRA for the management of CCW in
landfills and surface impoundments, the Agency generally relied on
information and data on industry practices that were available prior to
1995. For information on industry practices, the Agency based its
Regulatory Determination on information contained in a report prepared
by the Electric Power Research Institute (EPRI) \6\ addressing waste
management units that were constructed between 1985 and 1995. The
Agency, however, recognized that the electric utility industry was
changing its management practices. Therefore, in 2005, DOE and EPA
conducted a joint study to collect more recent information on CCW
management practices by the electric power industry. Specifically, this
report presents information and data on CCW disposal practices and
state regulatory requirements at landfills and surface impoundments
that were permitted, built, or laterally expanded between January 1,
1994, and December
[[Page 49717]]
31, 2004.\7\ The scope of the study excluded waste units that manage
CCW in active or abandoned coal mines.
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\6\ Coal Combustion By-Products and Low-Volume Wastes Co-
management Survey, Draft Report, EPRI, June 1997.
\7\ A draft of this report was peer reviewed by the Association
of State and Territorial Solid Waste Management Officials (ASTSWMO),
the Utility Water Act Group (UWAG), and the Clean Air Task Force
(CATF). Comments received on the draft report, which are included in
the docket to today's NODA, have been considered and addressed by
DOE and EPA in the final report entitled, Coal Combustion Waste
Management at Landfills and Surface Impoundments, 1994-2004.
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Data in the report on recent and current disposal practices were
derived from a survey conducted by USWAG of its members. In addition,
EPA supplemented and checked the accuracy of this information by
directly contacting state agencies, as well as a limited number of
individual electric utilities.
In summary, the report shows an increase in the number of CCW
disposal units with respect to liner design and ground water monitoring
since 1994. Based on 100% member-response to USWAG's survey, plus EPA's
fact-finding efforts, the report identified 56 new CCW management
units, of which 38 are landfills, and 18 are surface impoundments. This
number, however, does not reflect the total number of new CCW disposal
units that were permitted, built or laterally expanded between 1994 and
2004. The study utilized proxy data to derive an estimate of the total
number of new units. The first proxy was the tonnage of CCW available
for disposal in States that have coal-fired power plant capacity, and
the second was the coal-fired generating capacity of electric utilities
owning the identified disposal units. The estimated net disposable CCW
\8\ in the 19 states where new units were identified was then compared
with the total net disposable CCW in all states with coal-fired
electric generating capacity. Using this approach, it was estimated
that the number of identified new CCW management units represents
between 64% and 71%, respectively, of the total number of new units
established between 1994 and 2004.
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\8\ Net disposable CCW is the total CCW generated minus CCW
beneficially used.
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The report identified that the use of liners and ground water
monitoring at new landfills and surface impoundments built since 1994
has increased with 98% having liners and 91% having ground water
monitoring. This compares with liners installed in 75% of landfills and
60% of surface impoundments built between 1985 and 1995; and with
ground water monitoring installed at 88% of landfills and 65% of
surface impoundments that were established between 1985 and 1995. In
addition, the frequency of dry handling in landfills appears to have
increased, compared to wet handling in surface impoundments;
approximately two-thirds of the new units are landfills, while the
other one-third are surface impoundments. The Agency solicits comments
and information on the amount or percentage of CCW that is expected to
be managed in the future in landfills as opposed to surface
impoundments. The percentage of composite liners has also increased for
landfills from about 10%, as reported in the 1999 Report to Congress
(RTC) \9\ to 53% for new units constructed between 1994 and 2004, and
for surface impoundments, from 2% as reported in the 1999 RTC to 50%
for new units constructed between 1994 and 2004. The number of unlined
units currently in operation in the U.S. is not known. The DOE/EPA 2006
Report also provides information from a review of eleven States' CCW
programs, including the regulatory designation of CCW for disposal,
permitting requirements, liner requirements, ground water-monitoring
requirements, and leachate collection requirements.
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\9\ Wastes from the Combustion of Fossil Fuels, Volume 2:
Methods, Findings and Recommendations, EPA-R-99-010, 1999 available
at https://www.epa.gov/epaoswer/other/fossil/volume_2.pdf.
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The Agency requests comments with supporting data on how the
findings of the DOE/EPA report should affect the Agency's decision
regarding the regulation of CCW in landfills and surface impoundments
under RCRA Subtitle D.
2. EPA's Risk Analysis Data
As part of the rulemaking process for making the May 2000
Regulatory Determination for CCW, EPA prepared a draft quantitative
risk assessment. However, because time constraints precluded the Agency
from addressing public comments on the draft study, EPA did not use the
draft risk assessment in making its Regulatory Determination; rather it
relied on the damage cases identified. Between 2000 and 2006, EPA
addressed pubic comments and updated the risk assessment for the
management of CCW in landfills and surface impoundments.
The purpose of the risk assessment is to identify CCW constituents,
waste types, liner type, receptors, and exposure pathways with
potential risks and to provide information that EPA can use as it
continues to follow-up on its Regulatory Determination for CCW disposed
of in landfills and surface impoundments. The risk assessment was
designed to develop national human and ecological risk estimates that
are representative of onsite CCW management settings throughout the
United States.\10\
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\10\ Because the main technical aspects of the CCW risk
assessment were completed in calendar year 2003, the newly collected
information from the DOE/EPA report on the 56 new waste management
units has not been incorporated into the database utilized for the
risk assessment.
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To assess the risks posed by the onsite management of CCW, this
risk assessment estimates the release of CCW constituents from
landfills and surface impoundments, estimates the concentrations of
these contaminants in environmental media surrounding coal-fired
utility power plants, and estimates the risks that these concentrations
pose to human and ecological receptors. The risk assessment does not
address risks that may be due to direct discharges of CCW pollutants to
surface waters, which are covered under the National Pollutant
Discharge Elimination System (NPDES) program.
The risk analysis includes a full-scale Monte Carlo analysis;
however, constituent screening results also are presented as part of
the problem formulation discussion, along with a summary of the
screening methodology. The full-scale analysis is designed to
characterize five waste management scenarios that are defined by two
waste management options (CCW disposal at power plant sites in
landfills and surface impoundments) and three waste types, as follows:
Conventional CCW, including fly ash, bottom ash, boiler
slag, and flue gas desulfurization (FGD) sludge, which are typically
co-disposed in landfills and surface impoundments;
CCW co-disposed with coal refuse in landfills and surface
impoundments, which can result in more acidic disposal conditions than
conventional CCW monofills; and,
Fluidized-bed combustion (FBC) wastes, including fly ash
and bed ash. FBC wastes differ from conventional wastes because the
limestone mixed during fluidized bed combustion tends to make the FBC
waste more alkaline. FBC wastes are only disposed of in landfills in
the United States and therefore, the Agency did not model the
management of FBC wastes in surface impoundments.
These three waste types provide a good representation of waste
disposal practices and the waste chemical conditions that impact the
release of CCW constituents from landfills and surface impoundments.
To identify the CCW constituents and exposure pathways to be
addressed in this risk analysis, the Agency relied on
[[Page 49718]]
a 2003 CCW database assembled over several years to characterize whole
waste and waste leachate from CCW disposal sites across the country.
The 2003 CCW constituent database includes all of the CCW
characterization data used by EPA in its previous risk assessments
supplemented with additional data collected from public comments, data
from EPA regions and state regulatory agencies, industry submittals,
and literature searches.
Also, as noted in footnote 10, because the main technical aspects
of the CCW risk assessment were completed in 2003, the newly collected
information from the more recent DOE/EPA report on the 56 new waste
units established between 1994 and 2004 was not part of the database
used in characterizing the CCW landfills and surface impoundments
modeled in the risk assessment. The risk assessment reflected
management of CCW in both lined and unlined units as part of a Monte
Carlo probabilistic risk analysis. Information on lined and unlined
units was derived from facility data from a 1995 industry survey.
Specific findings of the risk assessment, from the Monte Carlo
analyses of both lined and unlined units, include:
The 90th and 50th percentile risks for those units (both
landfill and surface impoundments) that had a composite liner were
below a cancer risk of 10-\5\ and an HQ of 1 for all constituents,
waste management scenarios, and exposure pathways modeled in the CCW
risk assessment.
For humans exposed via the ground water to drinking water
pathway, arsenic and thallium show risks to human health above the risk
criteria for unlined and clay-lined CCW landfills. Arsenic poses a 90th
percentile cancer risk of 5 x 10\-4\> for unlined units and 2 x \10-4\
for clay-lined units (The 90th percentile arsenic cancer risk from this
risk assessment of landfilled CCW falls within the range that EPA
established for the arsenic MCL (i.e., 1 to 6 excess cancers in a
population of 10,000 individuals)). Thallium shows a 90th percentile
noncancer HQ of 3 for unlined units only. The 50th percentile results
for this pathway are at or below the risk criteria for all
constituents. \11\ Other landfill constituents did not show a noncancer
risk above an HQ of 1 or risk level of 1 chance in 100,000 excess
cancer risk.
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\11\ The risk analysis presents the correspnding 50th percentile
results from the Monte Carlo analyses.
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Risks are higher for surface impoundments for the
groundwater-to-drinking-water pathway, with a 90th percentile arsenic
cancer risk of 9x10-3 for unlined units and 3x10-
3 for clay-lined units. For unlined units, five additional
constituents have noncancer HQs ranging from 3 to 5 for the 90th
percentile, including boron, lead, cadmium, cobalt, and molybdenum. Two
constituents (boron (2) and molybdenum (3)) have HQs greater than 1 for
clay-lined surface impoundments. The 50th percentile cancer risk
results for arsenic are 3x10-4 in unlined units and 9x10-
5 in clay lined surface impoundments.
For arsenic, arrival times of the peak concentrations at a
receptor well are relatively long for CCW landfills, with travel times
ranging from hundreds to thousands of years. Arrival times are much
shorter for surface impoundments, with time to peak concentrations
being less than 100 years for most of the model runs.
For humans exposed via the groundwater-to-surface-water
(fish consumption) pathway, selenium (HQ = 2) and arsenic (cancer risk
= 2x10-5) show 90th percentile risks for unlined surface
impoundments above the risk criteria. All other waste management
scenarios and all 50th percentile results show risks at or below the
risk criteria for the fish consumption pathway.
Liners appear to reduce risks from all constituents for
landfills and surface impoundments. The risks from clay-lined units (as
modeled in the risk assessment) were reduced by about half when
compared to unlined units. Composite liners appear to be effective in
mitigating CCW risks from landfills and surface impoundments.
For ecological receptors exposed via surface water, the
90th percentile risks for unlined and clay-lined landfills exceed an HQ
of 1 for boron (200) and lead (4). For surface impoundments, 90th
percentile risks for six constituents: boron (2000), lead (20), arsenic
(10), selenium (10), cobalt (5), and barium (2) exceed an HQ of 1. The
only exceedance from the 50th percentile risk results is HQ of 4 for
boron in surface impoundments.
For ecological receptors exposed via sediment, 90th
percentile risks for lead, arsenic, and cadmium exceeded an HQ of 1 for
both landfills (HQs from 2 to 20) and surface impoundments (HQs from 20
to 200). All 50th percentile results show ecological risks at or below
the risk criteria for the sediment pathway.
The Agency is making the risk analysis document available in the
Docket to allow interested parties to submit comments on the analytical
methodology, data, and assumptions used in the analysis and to submit
additional information for the Agency to consider. In addition, the
risk assessment will undergo independent scientific peer review by
experts outside of the EPA following closure of the public comment
period. Public comments will be made available to the peer reviewers
for their consideration during the review process. The peer review will
focus on technical aspects of the analysis, including the construct and
implementation of the Monte Carlo analysis, the selection of models to
estimate the release of constituents found in CCW from landfills and
surface impoundments, and their subsequent fate and transport in the
environment, and the characterization of risks resulting from potential
exposures to human and ecological receptors.
3. EPA Damage Case Assessment
For the May 2000 Regulatory Determination, the Agency determined
there were approximately 300 CCW landfills and 300 CCW surface
impoundments used by 440 coal-fired utilities. EPA recently completed
an assessment of possible environmental damages from CCW landfills and
surface impoundments. Under the Bevill Amendment for the ``special
waste'' categories, EPA was statutorily required to examine
``documented cases in which danger to human health or the environment
has been proved.'' The criteria used to determine whether danger to
human health and the environment has been proved are briefly described
in footnote 2 to this NODA and more fully explained in the May 2000
Regulatory Determination at 65 FR 32224.
EPA has gathered or received information on 135 possible damage
cases. Sixteen of these were submitted since publication of the 2000
Regulatory Determination. EPA re-evaluated the old damage cases and
evaluated the new cases, and they are available in the docket to
today's action and subject to comment as part of the NODA. After
reviewing these 135 damage cases, EPA identified 24 proven damage
cases. Sixteen were determined to be proven damages to ground water and
eight were determined to be proven damages to surface water and covered
by the National Pollutant Discharge Elimination System (NPDES) under
the Clean Water Act.\12\ The overwhelming majority of the damage cases
reflect management in unlined units--that is, all but one of the 24
proven damage cases involved unlined CCW
[[Page 49719]]
management units,\13\ including six cases involving disposal of CCW in
unlined sand and gravel pits. Additionally, 43 cases were determined to
be potential damages to ground water or surface water.\14\ Four of the
potential damage cases were attributable to oil combustion wastes.
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\12\ Of the 24 damage cases, 11 were presented and discussed in
the May 2000 Regulatory Determination.
\13\ The lone damage case from a lined unit was the result of a
liner failure in a surface impoundment.
\14\ Per the May 2000 Regulatory Determination, 65 FR 32224,
potential damage cases are those with (1) documented exceedances of
primary MCLs or other health-based standards only directly beneath
or in very close proximity to the waste source, and/or (2)
documented exceedances of secondary MCLs or other non-health-based
standards on-site or off-site.
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Six of the alleged damage cases were minefills which, while under
the scope of the 2000 Regulatory Determination, are outside the scope
of this NODA that deals exclusively with surface disposal.\15\ The
remaining 62 alleged damage cases subject to detailed assessment were
not considered damage cases due to either (1) lack of any evidence of
damage, or (2) lack of evidence that damages were uniquely associated
with CCW.
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\15\ See Footnote 1 regarding OSM's ANPR (72 FR 12026).
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Of the 16 proven cases of damages to ground water, the Agency has
been able to confirm that corrective actions have been completed in six
cases and are ongoing in nine cases. The Agency has not received
information regarding the one remaining case. Corrective action
measures at these CCW management units vary depending on site specific
circumstances and include formal closure of the unit, capping, the
installation of new liners, ground water treatment, ground water
monitoring, and combinations of these measures.
For a more detailed description, see the document CCW--Damage--
Case--Assessments.pdf in the docket to today's action. Detailed
information on many of these sites is also available in the docket for
the 1999 Report to Congress, Docket ID EPA-HQ-RCRA-1999-0022.
The Agency solicits comments and supporting information on the extent
to which the damage case information should affect the Agency's
decisions regarding the regulation of CCW in landfills and surface
impoundments under RCRA Subtitle D.
4. Additional Documents
In addition to the reports identified under (1) to (3) above, the
Agency is also including in the docket to today's NODA a February 2004
Petition for Rulemaking submitted by the Clean Air Task Force and the
Hoosier Environmental Council, jointly with a number of citizens'
groups to Prohibit the Placement or Disposal of CCW into Groundwater
and Surface Water; and two suggested approaches for managing CCW in
landfills and surface impoundments. One approach is a Voluntary Action
Plan that was formulated by the electric utility industry through their
trade association, USWAG, regarding the management of CCW. The second
approach is a proposed framework prepared by a number of citizens'
groups for federal regulation of CCW disposed of in landfills and
surface impoundments under Subtitle D of RCRA generated by U.S. coal-
fired power plants.
C. Conclusion
The Agency solicits comments on the extent to which the damage case
information, the results of the risk assessment, and the new liner and
ground water monitoring information should affect the Agency's
decisions. The Agency will consider all the information provided
through today's notice, the comments and new information submitted on
this notice, as well as the results of the peer review of the risk
assessment as it continues to follow-up on its Regulatory Determination
for CCW disposed of in landfills and surface impoundments.
Dated: August 23, 2007.
Susan Parker Bodine,
Assistant Administrator, Office of Solid Waste and Emergency Response.
[FR Doc. E7-17138 Filed 8-28-07; 8:45 am]
BILLING CODE 6560-50-P