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Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements. July 26, 2007 Public Briefing Briefing by: Peter B. Lederman, Committee Chair Rebecca A. Haffenden, Committee Member. Study Origin.

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Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

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  1. Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements July 26, 2007 Public Briefing Briefing by: Peter B. Lederman, Committee Chair Rebecca A. Haffenden, Committee Member Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  2. Study Origin The director of the U.S. Army Chemical Materials Agency asked the NRC to evaluate practices for managing secondary waste at the Army’s Chemical Disposal Facilities (June, 2006). Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  3. Statement of Task The NRC will conduct an examination of the environmental, regulatory and permit requirements that chemical agent disposal facilities (CDFs) are subject to, on a federal and state basis, concerning the treatment, storage, and/or handling and shipping of secondary wastes (chemical agent and non-agent related). The NRC will compare the requirements for CDFs to those which similar facilities in industry that treat, store, and/or handle and ship secondary wastes are subject, with particular emphasis on industrial best practices. The comparison with industry practices includes, but is not limited to the following areas: • the degree of characterization necessary for secondary waste (chemical agent and non-agent) produced during the stockpile disposal and/or storage operations, which is treated on-site or handled and shipped off-site for further treatment or disposal; • the number and types of trial burns/compliance tests for chemical stockpile incineration-based disposal facilities and the neutralization-based disposal facility on both a site-by-site basis and programmatically recognizing that the Resource Conservation and Recovery Act has provisions for using prior data; • feed-rate restrictions to which chemical agent disposal facilities are subject to post trial burns; • the extent and number of health risk assessments deemed necessary; • criteria being considered for shipment of agent contaminated wastes for final treatment/disposal; • facility closure requirements; and • the comparison will address site-specific situations concerning CDFs as well as program-wide considerations of the Chemical Materials Agency with regard to stockpile disposal operations. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  4. Dr. Peter B. Lederman, Chair Director Hazardous Substance Mgmt Research Center, NJIT (retired) (Chem. engr., enviro./ haz. waste mgmt, mechanical engineering) Dr. Robin L. Autenrieth Prof. Civil and Envr. Engr, Texas A&M University (Industrial health and safety; Industrial best practices) Dr. Richard J. Ayen Director of Technology, Waste Management, Inc. (Hazardous waste management and remediation) Mr. John D. Glass U.S. Army Engineer (Ret.) (Envr. regs, haz. waste mgmt. and remediation) Dr. Christine S. Grant Prof. ChE., North Carolina State University (Chemical engineering and environmental restoration) Dr. Gary S. Groenewold Scientist, Idaho National Laboratory (Chemistry) Rebecca A. Haffenden, J.D. Los Alamos National Laboratory (Environmental and Regulatory Law) Dr. Peter Hsu Demil Prgm. Ldr., Lawrence Livermore National Laboratory (Chem. engineering and waste treatment processes) Dr. Loren D. Koller President, Loren Koller & Associates, LLC (Risk assessment and toxicology) Dr. William R. Rhyne ABS Consulting, Inc. (Ret.) (Risk assessment and safety analysis) Dr. Subhas K. Sikdar Associate Director for Science, US EPA (Envir. restoration; haz. waste mgmt and remediation) Dr. Jack Solomon Director of Technology Planning, Praxair, Inc. (retired) (Chemical Industry) Dr. Walter J. Weber, Jr. (NAE) Professor, University of Michigan (Chemical and civil engineering) Membership And Expertise Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  5. Study Approach • Initial meeting with background briefings • Extensive data gathering • Visits to 4 chemical demilitarization sites • Visits to 2 industrial hazardous waste management facilities Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  6. Data Gathering • Site visits at TOCDF, UMCDF, ANCDF and NECDF. Phone discussions with PBCDF • Best practices discussions with industrial leaders • Discussion with Regulatory Officials • Discussions with Citizens’ Advisory Commissions • Discussion with the Confederated Tribes of Umatilla Indian Reservation (Oregon) Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  7. Areas of Specific Interest • Problematic and accumulating wastes • Current and future disposal options and criteria for off-site disposal • Incineration practices, including feed-rate ramp up and high number of required trial burns • Risk assessment requirements • Any perceived issues by regulators or local stakeholders Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  8. Principal Wastes • Spent activated carbon and spent particulate filter media from the pollution abatement system; • Brine solutions or brine salts resulting from evaporation of the brine; • Dunnage, consisting primarily of wooden pallets; • Scrap metal from munitions or ton containers; • Plastics, particularly used demilitarization protective ensemble (DPE) suits and other personal protective equipment (PPE); and • Spent decontamination solution. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  9. Summary Report Messages • Treat secondary waste off-site as much as possible (using proper precautions) • Reduce number of remaining trial burns by using “data-in-lieu-of” • Identify and test alternative to carbon micronization • Off-site treatment of Newport hydrolysate is preferred • Standardize transportation risk assessments • Continue strong local public outreach Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  10. Key Findings and Recommendations Trial Burns • Finding 2-1. An examination of the situation concerning trial burn requirements for incinerators at chemical agent disposal facilities has led to several observations as follows: • Surrogate trial burns provide a demonstration that incinerators at chemical agent disposal facilities can operate safely. The requirement to perform surrogate trial burns at these facilities is consistent with the initial start-up procedures followed at commercial hazardous waste incineration facilities. • In the earlier phases of the Army’s Chemical Stockpile Disposal Program, an agent trial burn conducted for each incinerator with each agent to be processed was an appropriate means by which to develop operational experience and confidence in the performance of incinerators among disposal facility staff and state regulatory staff. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  11. Key Findings and Recommendations Trial Burns – cont’d (Finding 2-1) • As the Chemical Stockpile Disposal Program has matured, there has been only limited use of a “data in lieu of” regulatory mechanism provided for in the Resource Conservation and Recovery Act. This provision, if applied more extensively to chemical agent disposal facilities, could allow data from other similar incinerators at chemical agent disposal facilities to be used in lieu of collecting performance data from conducting additional agent trial burns to meet regulatory permitting requirements. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  12. Key Findings and Recommendations Trial Burns – cont’d • Recommendation 2-1. The Chemical Materials Agency should vigorously pursue the application of the provision in the Resource Conservation and Recovery Act for using trial burn data from other similar chemical agent disposal facility incinerators in lieu of conducting trial burns for additional agents. This is reasonable now that (1) at least one agent trial burn has occurred for each type of agent in each type of incinerator among those located at chemical agent disposal facilities, and (2) a surrogate trial burn and an initial agent trial burn have occurred for each incinerator at all sites. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  13. Key Findings and Recommendations Trial Burns • Finding 2-2.The time required to obtain regulatory approval to proceed to a full feed rate following submission of agent trial burn data for incinerators at chemical agent disposal facilities can be lengthy. This is a consequence of the volume and complexity of the documents filed, as well as limited state regulatory resources to review and analyze them. • Recommendation 2-2.The Chemical Materials Agency should seek to provide funding to state authorities for third-party or other support to facilitate the analysis and disposition of trial burn data submissions as a means of shortening the period of time necessary to obtain approval for incinerators at chemical agent disposal facilities to proceed to a full processing rate. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  14. Key Findings and Recommendations Transportation Risk Assessments • Finding 2-5. The committee’s examination of how transportation risk assessments for agent-contaminated waste materials are conducted at chemical agent disposal facilities indicated that widely differing models and parameters have been used. A specific problem identified by the committee is that the methodology used for general ton-mile data in transportation risk assessments to achieve a Class 6 ton-mile value is not consistent. • Recommendation 2-5. The Chemical Materials Agency should establish consistent and detailed criteria for conducting whatever transportation risk assessments are required to ensure accuracy and uniformity in the expression of results. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  15. Key Findings and Recommendations Waste Characterization • Finding 3-1. In the absence of better techniques for measuring agent concentrations on certain heterogeneous, porous, and permeable materials, indirect measurements leading to conservative classifications of waste materials are being used at chemical agent disposal facilities. • Recommendation 3-1. The Chemical Materials Agency should develop improved analytical techniques for heterogeneous, porous, and permeable materials. Such improved analytical techniques could enable more exact quantification of agent contamination to meet off-site shipping criteria and help reduce waste remaining on-site at the end of munitions destruction operations. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  16. Key Findings and Recommendations On-site Capability and Off-site Shipment Criteria • Finding 3-3. The availability and capacityof equipment for the concurrent treatment of secondary waste during agent disposal operations or changeovers at chemical agent destruction facilities is severely limited in comparison to the capacity available at commercial treatment facilities that could process the waste. • Recommendation 3-3. The committee encourages the CMA to continue the pursuit of off-site shipment and disposal of > 1STL secondary waste. The committee believes this can be done safely in a ramp-up fashion, based on the use of double bag and containerized packing, truck loading restrictions and limitations, designated handling and shipping routes, air monitoring at the receiving TSDF, and restrictions on the disposal technique. Appropriate details, including permit modifications, must be worked out in conjunction with the local regulatory agencies and local stakeholders for the practice to be allowed. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  17. Key Findings and Recommendations Activated Carbon Waste • Finding 3-4. Contaminated activated carbon from the treatment of several different waste streams comprises a major waste disposal problem at all chemical agent disposal facility sites. Previous experience in using micronization pretreatment of activated carbon in preparing it to be destroyed by on-site incineration has shown this to be a highly problematic process option. • Recommendation 3-4. The Chemical Materials Agency should select an alternative method to on-site micronization followed by incineration for decontamination and/or destruction, and ultimate disposal of contaminated activated carbon. Off-site disposal, decontamination, and/or destruction of contaminated activated carbon should be pursued whenever possible. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  18. Key Findings and Recommendations Activated Carbon Waste • Finding 3-5. Some of the mustard agent to be processed at the Tooele Chemical Agent Disposal Facility and the Umatilla Chemical Agent Disposal Facility is mercury contaminated and will result in some of the pollution abatement system activated carbon being also contaminated with mercury. This may result in special treatment being required or additional challenges being involved in disposing of this carbon. • Recommendation 3-5. The Chemical Materials Agency should evaluate and select appropriate methods for the treatment and disposal of mercury-contaminated carbon. Mercury contaminated carbon should not be intermingled with other contaminated carbons during storage. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  19. Key Findings and Recommendations Newport Hydrolysate Disposal • Finding 3-9. As of January 2007, over 500,000 gallons of VX hydrolysate being produced by the neutralization destruction of bulk nerve agent VX at the Newport Chemical Agent Disposal Facility is being stored in more than 140 intermodal storage containers. The final anticipated amount of VX hydrolysate to be produced is 1.5 million gallons. Studies by outside governmental agencies and technical organizations have found that safe, environmentally sound,off-site means of disposal of VX hydrolysate (such as that proposed by DuPont) are technically feasible. • Recommendation 3-9. The Chemical Materials Agency should evaluate and select an appropriate method to dispose of the VX hydrolysate currently being stored at the Newport, Indiana site, with preference for off-site disposal. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  20. Key Findings and Recommendations Concurrent Secondary Waste Disposal Off-Site • Finding 4-1. Closure planning and the time to achieve closure for chemical agent disposal facilities are both very dependent on the extent of waste treatment and disposal that occurs during agent disposal operations, i.e., the degree of concurrent waste minimization that takes place. There is only limited treatment capacity for secondary waste during agent disposal operations and changeovers at chemical agent disposal facilities. • Recommendation 4-1. The Chemical Materials Agency should use off-site disposal concurrent with ongoing agent disposal operations wherever possible, practical, and environmentally sound for all secondary and closure wastes generated during operations. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  21. Report Summary and Conclusions • The Nation’s interests will be best met through the safe and expeditious disposal of the chemical weapons stockpile and its associated secondary wastes. • Off-site disposal of secondary wastes from the chemical agent disposal process should be pursued (with appropriate safety, environmental, regulatory and stakeholder review). • Opportunities exist for potentially speeding the trial burn process at chemical agent disposal facilities, resulting in more expedient stockpile disposal. • The overall regulatory requirements for managing secondary waste from chemical agent disposal are similar to those experienced in industry for chemicals of special concern. A few minor exceptions were noted where CDFs are more stringently regulated. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

  22. Q & A Those of you listening to the live webcast may submit questions via email using a link at the National Academies home page. We ask those in the room to step to the microphone, and please identify yourself by name and affiliation before asking your question. Thank You. Committee on Review Chemical Agent Secondary Waste Disposal and Regulatory Requirements

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