Management of Petroleum-Contaminated Materials
This guidance document is advisory in nature but is binding on an agency until amended by such agency. A guidance document does not include internal procedural documents that only affect the internal operations of the agency and does not impose additional requirements or penalties on regulated parties or include confidential information or rules and regulations made in accordance with the Administrative Procedure Act. If you believe that this guidance document imposes additional requirements or penalties on regulated parties, you may request a review of the document.

Form #: 06-205 Guidance Documents Revised: 1/13/23


Management of Petroleum-Contaminated Materials

The purpose of this guidance document is to explain the requirements for managing petroleum-contaminated materials. This will include disposal methods, alternative treatment, and disposal in landfills. The most common example of an alternative treatment and disposal method is a one-time land application of petroleum contaminated soils, also known as “land farming”. If there is an immediate response to an emergency (e.g. spill) this guidance document will only apply after the immediate response has ended. During an immediate response, alternative management procedures not addressed in this guidance document will take precedence.
  1. Hazardous Waste Determinations:
All solid wastes except household wastes are required to have a hazardous waste determination. Petroleum contaminated materials are solid wastes when actively managed as wastes (e.g. excavated for treatment and disposal).

Sampling and Analysis:

The type of analysis conducted and the sampling procedures used are dependent upon the matrix (e.g. soil, water) and type of contaminant involved. For assistance on making a hazardous waste determination, please refer to Title 128 – Nebraska Hazardous Waste Regulations, Chapter 3 & 4 and the guidance document Waste Determinations and Hazardous Waste Testing available on the NDEE website.

Common materials that may routinely be contaminated with petroleum include media (e.g. water, soil, sand, gravel) and debris (e.g. trees, concrete). Media and debris from an underground storage tank (UST) subject to corrective action under 40 CFR Part 280 that fail the test for the toxicity characteristic (hazardous waste codes D018 through D043) are not a hazardous waste (Title 128, Chapter 2, §009.10). This exemption does not apply to the contents of an UST. The Nebraska State Fire Marshal handles registration of USTs and regulates their upkeep and removal.

The Nebraska Department of Environment and Energy (NDEE) will not routinely ask for gasoline-contaminated media and debris to be analyzed for lead. NDEE has not seen any evidence that media and debris contaminated with gasoline will ever contain enough lead to become a hazardous waste.

The following examples and Table 1 are based on media and debris contaminated with petroleum ONLY. Knowledge of past practices and procedures is critical in determining what additional contaminants would reasonably be expected to be present. In many cases past practices and procedures (e.g. industrial areas) would require additional sampling of potential contaminants that are not identified in the following examples or Table 1.

Examples:
  1. Media and debris contaminated with gasoline or diesel only: If the material is from an UST and subject to corrective action; the media and debris can be taken to a Municipal Solid Waste Landfill (MSW Landfill) permitted to dispose waste pursuant to Title 132 – Integrated Solid Waste Management Regulations for disposal without sampling and analysis. Note: While NDEE does allow this, there may be sampling and analysis requirements specific to and mandated by individual MSW Landfills.
  2. Media and debris contaminated with gasoline only: If the material is not from an UST and subject to corrective action; media and debris must have a waste determination for benzene.
  3. Media and debris contaminated with gasoline only: Whether the material is from an UST subject to corrective action or not, media and debris must have a waste determination for benzene if it is to be land applied.
  4. Media and debris contaminated with used oil only: Whether the material is from an UST subject to corrective action or not, media and debris must have a waste determination for the RCRA-8 toxicity characteristic metals (arsenic, barium, cadmium, chromium, lead, mercury, selenium, and silver) found in Title 128, Chapter 3, § 010, Table 3.

Table 1 provides a summary of the sampling actions required by the Department. The requirements are dependent on the petroleum contaminant, source of the contaminant, and ultimate disposal method.


TABLE 1: Minimum Sampling Requirements for Landfill Disposal and One-time Land Application



DISPOSAL SITE
CONTAMINANT
SOURCE
BENZENE ONLY
LEAD ONLY
RCRA METALS1
LANDFILL
Gasoline2
UST
NA
NA
NA
NON-UST
YES
NA
NA
Other Petroleum3
UST
NA
NA
NA
NON-UST
NA
NA
NA
Used Oil4
UST
NA
See ->
YES
NON-UST
NA
See ->
YES
LANDFARM
Gasoline2
UST
YES
NA
NA
NON-UST
YES
NA
NA
Other Petroleum3
UST
NA
NA
NA
NON-UST
NA
NA
NA

NA = Not applicable

1 RCRA metals include arsenic, barium, cadmium, chromium, lead, mercury, selenium, and silver

2Gasoline includes aviation fuel

3Other petroleum includes diesel, kerosene, mineral oil (no PCBs), heating oils, fuel oils, and bunker oils

4Used oil whether it is subject to UST corrective action or not.



The contents of an UST are subject to full RCRA regulation under Title 128. The D018 through D043 exemption does not apply to the contents. For further hazardous waste determination assistance, please contact the Waste Management Section Environmental Assistance Coordinator at (402) 471-8308.


2. Fill:


Fill shall mean solid waste that consists only of one or more of the following: sand, gravel, stone, soil, rock, brick, concrete rubble, asphalt rubble or similar material. Fill that is not a hazardous waste may be used for the purpose of erosion control, erosion repair, channel stabilization, landscaping, roadbed preparation, or other land improvement provided the wastes used in these activities are not mixed with other solid wastes and do not, as a result of handling or disposal, have the potential to cause contamination that may threaten human health or the environment.

3. Petroleum-Contaminated Materials:


This section discusses treatment and disposal requirements for different types of petroleum contaminated materials. For the purpose of this guidance document the materials will be categorized as Hazardous Waste Materials, Underground Storage Tank (UST) Contaminated Materials, and Petroleum-Contaminated Materials from Sources other than an UST.

A. Hazardous Waste Materials:

Regardless of its source, a petroleum contaminated material that is also contaminated with a listed waste, fails its TCLP analysis, or is characteristic as a Hazardous Waste must be handled as such. If a hazardous waste generator is a Conditionally Exempt Small Quantity generator it may dispose of hazardous waste at an MSW Landfill. If a generator is a Conditionally Exempt Small Quantity Generator (CESQG) then refer to the section of this guidance document dealing with requirements for disposal in landfills below. If the generator’s status is unknown or the hazardous waste generator is a Small Quantity Generator (SQG) or a Large Quantity Generator (LQG), contact the Waste Management Section Compliance Assistance Specialist at (402) 471-8308 for proper disposal information.

The NDEE will not allow hazardous waste to be land applied. To inquire about alternative treatment and disposal methods of hazardous waste, contact the Waste Management Section Compliance Assistance Specialist at (402) 471-8308.

B. UST Contaminated Media and Debris:

This sub-section discusses the requirements and options for treatment and disposal of petroleum-contaminated media and debris associated with an Underground Storage Tank system.

Treatment and Disposal:

1. For disposal at a MSW Landfill, refer to Requirements for Disposal in a Landfill below.
2. For land application, refer to Requirements for Alternative Treatment and Disposal by Land Application below.
3. For alternative treatment and disposal, refer to Requirements for Alternative Treatment and Disposal by Other Methods near the end of this document.

Stockpiling:


Contaminated media that has been determined to contain hazardous waste should be immediately containerized upon excavation whenever possible to avoid potential RCRA permitting and closure requirements that may result from stockpiling. NDEE also recommends containerization when a hazardous waste determination has not yet been completed (e.g. awaiting analytical results), though in most cases it is our experience that contaminated soil resulting from a petroleum release does not fail a TCLP analysis. Under an emergency situation where excavation and stockpiling contaminated media is necessary to prevent imminent and substantial endangerment to human life, health, property or the environment, contaminated media may be stockpiled if there are no other practical alternatives. An emergency permit may be required if the contaminated media contains hazardous waste; one can be obtained on short notice by contacting the Department.

If you find it necessary to stockpile contaminated media and debris it must be done in a manner that will prevent additional hazards or contamination of the land, air or waters of the State. The following procedures must be applied:
  1. The stockpile is to be placed in a safe and secure location to minimize exposure to human health and the environment.
  2. Media and debris must be placed on and covered with an impermeable membrane.
  3. Procedures should be implemented to limit access to the stockpile.
  4. Implement storm water run-on and run-off controls.

C. Petroleum-Contaminated Materials from Sources Other than an UST:


Contaminated material that is not associated with an UST system and has been determined not to be a hazardous waste may be treated in a similar manner to UST contaminated media and debris. Refer to the sections on Treatment and Disposal and Stockpiling immediately above.




4. Requirements for Disposal in a Landfill:


Each MSW Landfill in Nebraska may have its own sampling, analysis and disposal requirements. These requirements may be in addition to NDEE requirements discussed above under the heading Hazardous Waste Determinations. Each MSW Landfill has the right to reject any disposal request. The NDEE recommends that the generator contact the MSW Landfill prior to delivering contaminated material to that landfill. A CESQG can dispose of only 19.5 kg (43 lbs) of hazardous waste per day at an MSW Landfill (Title 132, Chapter 1, §113) and a total of only 100kg (220 lbs) per calendar month. The contaminated media must not contain free liquids. The NDEE may require verification by a paint filter test.

5. Requirements for Alternative Treatment and Disposal by Land Application:


This section discusses the requirements for treatment and disposal of materials by land application. Land application areas are categorized as either one-time land application sites or permitted land application facilities.

A. One-Time Land Application Site:

This section describes the site selection criteria, soil treatment procedures, and monitoring requirements for one-time land application sites. A one-time land application site is defined as a site that is used for the controlled application of material, from a single source, to the surface of the land for the purposes of treatment and disposal. Materials contaminated with “used” oil are not allowed to be land applied. All one-time land applications must have prior approval by the NDEE. (NE Title 132, Chpt. 13)

Characteristics for the Selection of One-time Land Application Sites:


All of the items listed below must be addressed in writing and submitted to NDEE with a Special Waste Characterization Request Form found at http://dee.ne.gov/.

  1. The site should be large enough to enable contaminated material to be spread in a lift no thicker than four inches. (For reference, one cubic yard of soil spread to 4 inches in depth will cover an area approximately 27 feet long by 3 feet wide, or 81 square feet.)

  2. The site should be located at least 1000 feet from inhabited residences, businesses, or facilities/lands frequented by the public.

  3. The site should be located at least 1000 feet from any man-made or natural structures that may collect vapors. Examples of this type of structure are basements, outbuildings, pump houses, sewer lines or other utility corridors, or drain tile systems.

  4. The site should be located at least 1000 feet from drinking water wells (municipal, domestic, etc.).

  5. The site should be located at least 100 feet from other types of wells (livestock, irrigation, etc.).

  6. The site should be located at least 1000 feet from any surface water features (ponds, lakes, streams, etc.).

  7. The site must not be located within a designated wellhead protection area, or other Title 118 - Ground Water Quality Standards and Use Classification “Class GA” areas.

  8. Sites with highly permeable soils (e.g. sand and/or gravel) should be avoided.

  9. The site should not be located within a 100-year floodplain.

  10. The site should not be located within areas designated as wetlands. Verification may be required by the NDEE.

  11. There should be a minimum separation of 25 feet between the land surface and the water table. The NDEE may require greater separation in some cases.

  12. The site should not be located in a quarry, gravel pit, or mine, unless as part of an approved reclamation project.

  13. The site should not be located on any land with slopes greater than six percent.


B. Treatment Procedures:

The goal of the following treatment procedures is to provide conditions which are conducive to biodegradation as well as volatilization of the target petroleum contaminants. It is the site operator's responsibility to assure the treated materials meet the cleanup goal specified below. The following procedures are minimum requirements. It may be necessary to perform these procedures at a greater frequency or modify them in order to meet the cleanup goal.
  1. All materials should be free of debris such as piping, tubing, concrete, electrical wiring and conduit, plastic tarp, etc. upon delivery to the site. All debris removed from the contaminated material must be properly recycled or disposed in a landfill permitted in accordance with NE Title 132.

  2. For maximum effectiveness, land application of contaminated material should be limited to March 1st through November 30th. Treatment procedures should continue until all contaminated materials meet the cleanup goal or until site conditions, such as a frozen ground, prevent further treatment.

  3. If materials are stockpiled, land application should begin within 48 hours after NDEE approval is given. If the materials cannot be applied within 48 hours, an alternative plan should be submitted for review and approval by NDEE.

  4. Lifts of material should be no greater than four inches thick.

  5. Material which is land applied should be incorporated (mixed) with the upper 4 to 6 inches of native soil within 48 hours after application. If soil amendments are used to enhance hydrocarbon breakdown, they should be added just before or just after material spreading, but prior to mixing with the upper 4 to 6 inches of native soil.

  6. Soil amendment application rates should not exceed standard rates for crop production. The local University of Nebraska - Extension Service, the local Natural Resources District, or the Natural Resource Conservation Service may be able to provide this information.

  7. Material should be turned at least once per month, or as frequently as necessary, to the depth of original incorporation. This is to enhance hydrocarbon breakdown and to prevent materials from remaining saturated after precipitation events.

  8. The boundaries of the area of contaminated material should be flagged or staked to differentiate it from uncontaminated, native soils. The stakes must remain in place until the treatment of the material is complete.

  9. Petroleum contaminated materials should be treated until the benzene level is less than 3.63 mg/kg and total extractable hydrocarbons (TEH) as diesel is less than 9520 mg/kg.

Saturated Soils:

Soils that are saturated with petroleum may be land-applied provided the soil does not contain any free liquids (paint filter test). The soil should be turned once per week for a month and then the normal treatment procedures described above may be initiated (unless otherwise directed by the NDEE).

Reuse of Soils:


If soil is to be reused after treatment has been completed, the department should be notified prior to the reuse.

C. Permitted Land Application Facilities:

For the purposes of this guidance document a permitted land application facility is defined as a site where contaminated materials are repeatedly land applied onto the same plot(s) of land or incorporated into the soil surface for agricultural purposes or for treatment and disposal. Any land application facility which proposes to accept, treat and dispose of soils in a manner which does not meet the definition of a one-time land application site must apply for and receive a permit from NDEE prior to accepting contaminated soils. Sites such as this are considered to be disposal areas under Title 132 – Integrated Solid Waste Management Regulations and therefore must meet the siting, construction, operation, reporting, and monitoring requirements as outlined in Title 132.


6. Requirements for Alternative Treatment and Disposal by other methods:


Proposals for treatment and disposal methods other than land application or landfill disposal must be submitted to NDEE. (e.g. low temperature thermal desorption, incineration, asphalt batching, soil washing, etc.) Reviews are performed on a case-by-case basis by the appropriate NDEE section or program.

Prior to initiating any alternative treatments and disposal, the Alternative Petroleum-Contaminated Soil Treatment and Disposal Form must be completed and submitted to the Waste Management Section of the NDEE. Upon review of this form, the NDEE may require additional information (e.g. work plans, design plans, etc.) to be submitted in order for the treatment and disposal proposal to be evaluated.


RESOURCES:

Useful Website:
NDEE Publications*:
Contacts:
  • NDEE Hazardous Waste Compliance Assistance (402) 471-8308
  • NDEE Waste Management Section (402) 471-4210
  • NDEE Toll Free Number (877) 253-2603

*These are available on the NDEE website or by calling the NDEE Waste Management Section.

Attachment:
  • Alternative Petroleum-Contaminated Soil Treatment and Disposal Form



Produced by: Nebraska Department of Environment and Energy, P.O. Box 98922, Lincoln, NE 68509-8922; phone (402) 471-2186. To view this, and other information related to our agency, visit our web site at http://dee.ne.gov.