Waste Tips for Biodiesel Fuel Plants
This Guidance Document has been created to aid operators of Biodiesel Fuel Plants in the State of Nebraska with recognizing potential Hazardous Waste streams generated by their activities. All waste generators are required to determine if their waste streams are a hazardous waste. See Title 128 – Nebraska Hazardous Waste Regulations, Chapter 4. The NDEE has also developed an Environmental Guidance Document titled Waste Determinations & Hazardous Waste Testing as further aid. You can view these documents at the NDEE website, http://dee.ne.gov.
Consideration should be given not only to streams of generated waste, but also to storage of both wastes and products. A storage capacity of over 1,320 gallons of oils subjects the facility to federal Oil Pollution Act – Spill Prevention Control & Countermeasure Planning (SPCCP) as per 40 CFR Part 112.
The following are waste streams that should be considered potential hazardous waste and require a hazardous waste determination per Title 128, Chapter 4, §002.
- Raw glycerin production with a significant amount of methanol and the glycerin not being reclaimed (Title 128, Chapter 2, §003.03C).
- Raw glycerin is usually found to exhibit the hazardous waste characteristic of ignitability – flash point at or <140°F.
- If considered a characteristic by-product going off for reclamation, it’s not a solid waste under Nebraska’s hazardous waste regulations. So even if the material were ignitable, if recycled as a by-product it would not come under any Nebraska hazardous waste regulation (Title 128, Chapter 2, Table 1). Note that a by-product burned for energy recovery is still a solid waste under Nebraska hazardous waste regulations (Title 128, Chapter 2, Table 1).
- The use of a waste which is contaminated with dioxin or other hazardous waste (other than a waste identified as hazardous solely on the basis of ignitability) is prohibited from use as a dust suppressant (Title 128, Chapter 7, §007.04B).
- Strong acids or bases (Unused excess, off-specification material, secondary materials such as by-products or spent materials from process activities). Actual co-products are not considered to be solid wastes.
- Water–Wash wastes not managed in a Clean Water Act system
- Methanol waste that does not meet the comparable/syngas fuel exclusion (Title 128, Chapter 3, §018), is not a byproduct exhibiting a hazardous waste characteristic being reclaimed (Title 128, Chapter 2, §003.03C), or is not a co-product.
- Spent Filter Media that is not dry can be a Hazardous Waste as it can contain biodiesel, glycerin and/or methanol. Saturated filter media is capable of spontaneous combustion and it burns vigorously and consistently when lit.
- Secondary materials from transesterification process
- Fluorescent light tubes
- Sludges from floor drains, sand pits, oil/water separators, etc.
- High Intensity Discharge lamps
- Parts washer solvent, sludges, or filters
- Empty aerosol cans
- Paint wastes including spent paint solvents
- Plant maintenance
- Rags and wipers not managed under a rag laundering contract
- Computer monitors
- Cleaning products
- Wastewater treatment sludges
- Spent oils not managed as used oil as provided for under Title 128, Chapter 7
- Line and vessel cleaning wastes
This is not an all-inclusive list, keep an open mind and open eyes for other potential waste streams.
- Hazardous waste to be land disposed must not contain free liquid and must meet Title 128, Chapter 20 Land Disposal Restrictions (LDR).
- Only Conditionally Exempt Small Quantity Generator (CESQG) hazardous waste or properly treated characteristic Small Quantity Generator (SQG) and Large Quantity Generator (LQG) hazardous waste may be disposed at a municipal solid waste landfill.
- Some municipal solid waste landfills either cannot or will not accept any hazardous waste or properly and fully treated hazardous waste materials. Call the landfill first.
- Ignitable wastes must be treated using only the designated technology-based standards found at Title 128, Chapter 20, Tables 9 & 10. (may include waste filter media)
- Treatment must address Underlying Hazardous Constituents if applicable (Title 128, Chapter 20, §006.01).
- Waste which is contaminated with dioxin or other hazardous waste (other than a waste identified as hazardous solely on the basis of ignitability) is prohibited from use as a dust suppressant (Title 128, Chapter 7, §007.04B).
- Land application of non-hazardous process waste requires:
- An approved special waste request (Title 132, Chapter 13, §001) or
- A valid determination the material is being legitimately used for non-waste purposes (for example, agronomic rate application as a soil conditioner or “approval” from the Nebraska Department of Agriculture that the waste is acceptable as a soil amendment) and not a hazardous waste or a treated hazardous waste that did not meet the LDR.
*NDEE does not endorse any private business or entity, links are provided for information only.
Titles can be found on the NDEE Website under “Laws & Regulations”
Guidance Documents can be found on the NDEE Website under “Publications & Forms”
- NDEE Fact Sheet – Comparison of Hazardous Waste Generator Requirements
- NDEE Guidance Document – Waste Determinations & Hazardous Waste Testing
- NDEE Main Line (402) 471-2186
- NDEE Toll Free Number (877) 253-2603
- NDEE Hazardous & Solid Waste Compliance Assistance (402) 471-8308
- EPA Region 7 SPCCP (913) 551-7050
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.