These amendments to 6 CCR 1007-3, Part 261 Appendix IX are made pursuant to the authority granted to the Hazardous Waste Commission in § 25-15-302(2), C.R.S.
Amendment of Part 261 Appendix IX to Conditionally Delist Reconstructed Cell Leachate Generated at the Denver Arapahoe Chemical Waste Processing Facility ("DACWPF")
The purpose of this amendment to Appendix IX of Part 261 of the Colorado Hazardous Waste Regulations is to grant the petitioner a conditional delisting of its leachate collected from the primary and secondary leachate collection sumps of a reconstructed waste disposal cell at the Denver Arapahoe Chemical Waste Processing Facility ("DACWPF") in Aurora, Colorado. Granting this petition will enable Waste Management of Colorado Inc. (WMC) to use the collected leachate for dust suppression at Subtitle D solid waste disposal facilities.
DELISTING PETITION REVIEW - EXECUTIVE SUMMARY
PETITIONER: Waste Management of Colorado Inc. (WMC)
SUBMITTAL DATE: June 17, 1998
DESCRIPTION OF WASTE: The waste stream identified in this petition is leachate collected from the primary and secondary sumps of a closed hazardous waste landfill. The landfill is the closed commercial hazardous waste landfill at the Denver Arapahoe Chemical Waste Processing Facility (DACWPF) located at 27500 East Yale Avenue, Aurora Colorado. The leachate generated by the landfill is classified as an F039 hazardous waste.
CONTENT OF THE PETITION: The Hazardous Materials and Waste Management Division has determined that WMC's June 16, 1998 Delisting Petition meets the requirements of 6 CCR 1007-3, Section 260.20, with some qualifications.
PURPOSE OF THE PETITION: WMC is asking for the conditional delisting of a waste stream generated at the closed DACWPF commercial hazardous waste landfill. The petition specifically requests the delisting of the leachate collected in the primary and secondary leachate collection sumps which is currently managed as an F039 hazardous waste. The delisting petition requests that the leachate be permitted to be used for dust suppression at Subtitle D solid waste disposal facilities. WMC believes that use of the leachate as a dust suppressant at Subtitle D solid waste disposal facilities is justified based upon their risk assessment which indicates that the leachate poses no hazards to human health or the environment if managed in this manner.
CONDITIONS OF THE DELISTING:
Statement of Basis and Purpose - Rulemaking Hearing of April 20, 1999
6 CCR 1007-3-8.37