1
2
Introduction
Kelly Dale Taylor
Environmental Compliance Manager
Safety-Kleen Systems, Inc.
Phone: 608.298.6420
Email: [email protected]
3
Managing Waste……………
4
Is It
5
Or Is It
6
Why Does it Matter????
Hazardous Waste must be managed
differently from “non-hazardous”
wastes
It must be sent to a properly licensed
facility for disposal
It cannot be put in with “normal” trash
7
What Agencies Decide??
The U.S. Environmental Protection Agency (EPA or sometimes USEPA)
is an agency of the federal government charged with protecting human
health and the environment
o Wisconsin is “Authorized” by the Federal EPA to enforce their regulations
(WI Dept of Natural Resources – WI DNR)
o States may adopt the federal regulations
o States may make their own laws
o These may be more stringent, but at no time can the laws be more lenient
than the federal law
8
http://www.ecfr.gov/cgi-bin/text-idx?tpl=/ecfrbrowse/Title40/40tab_02.tpl
http://legis.wisconsin.gov/rsb/code.htm
9
10
Environmental Legislation
Cradle to Grave
The generator is responsible for all
waste – from the point of generation
to final disposal
Regardless of who has the waste..
Remember –
Compliance
Liability
11
Why Does Compliance Matter?
Minimizes the possibility of spills
Minimizes the possibility of
regulatory fines and violations when
your friendly regulatory shows up
Public perception; good citizen
Cost
12
Liability
• Minimize cleanup liability. If hazardous and non-
hazardous wastes are disposed improperly,
generators must share the costs of remediating
sites (“Superfund” sites).
• A company having good records of proper
hazardous waste management can reduce or
eliminate the amount of money it has to pay.
13
Environmental Legislation
Resource Conservation and
Recovery Act (RCRA) - 1976, 1984
This law focuses on the management of
hazardous waste from the point of generation
to the point of disposal ~ Cradle to Grave
14
Solid Waste is any material -- liquid, solid, or gas
–- that is ready to be discarded by the generator
The material can no longer be used for its
originally intended purpose, maybe because it
has become contaminated or has been used in
some process, it’s off-spec, out-of-date, or you
just don’t need it anymore
15
16
What is Hazardous Waste?
Waste that has a Characteristic
OR
Waste that is on a List
17
RCRA Characteristic Codes
Defines the chemical properties of
the waste.
Ignitability
Corrosivity
Reactivity
Toxicity
18
A liquid with a flash point less than
140°F
Examples: gasoline, benzene,
alcohols, acetone, paint thinner
Is ignitable waste generated in your work area?
D001
FLASH POINT: The minimum
temperature at which a
liquid gives off a vapor in
sufficient concentration to
ignite if an ignition source
is present
19
Ignitable Solid
To exhibit the characteristic the waste must meet both parts of the defnition:
1. Cause fire thru friction etc.; and
2. Burn vigorously & persistently
Example - magnesium tape, and other thermally unstable solids that spontaneously ignite (includes some paint booth filters)
D001
19
20
Chemical/Material Flash Point
(Typical) in ◦F
Gasoline -45
Paint /Lacquer Thinner 20 (or less)
Acetone (Nail Polish Remover) -20
Mineral Spirits (Petroleum Naphtha) 105 – 150
Diesel Fuel 126
Kerosene 100 - 162
Ethanol 62
Jet Fuel 140
21
A liquid with a pH less than or equal to 2.0
or greater than or equal to 12.5
A liquid that corrodes steel at a rate greater
than 0.25” per year
D002
22
23
Examples of corrosive wastes:
Hydrochloric acid, nitric acid, sulfuric acid; ammonium hydroxide, sodium hydroxide
Wastes are corrosive because they are either highly acidic or highly basic.
D002
24
The reactivity characteristic (D003) applies to
the following waste
Normally unstable and readily undergoes violent
change without detonating
–Reacts violently or forms potentially explosive
mixtures with water
–Releases toxic gases when mixed with water
25
The toxicity characteristic (TC) is
based on the potential of a waste to
contaminate groundwater as it
leaches through a landfill
26
TCLP Metals Regulatory
Level TCLP Volatiles Regulatory
Level TCLP Semi-Volatiles Regulatory
Level
D004 Arsenic 5 D018 Benzene 0.05 D023 O-Cresol 200
D005 Barium 100 D019 Carbon tetrachloride 0.5 D024 m-Cresol 200
D006 Cadmium 1 D021 Chlorobenzene 100 D025 p-Cresol 200
D007 Chromium 5 D022 Chloroform 6 D026 Cresol 200
D008 Lead 5 D028 1,2-Dichloroethane 0.3 D027 1,4-Dichlorobenzene 7.5
D009 Mercury 0.2 D029 1,1-Dichloroethene 0.7 D030 2,4-Dinitrotoluene 0.13
D010 Selenium 1 D035 Methyl ethyl ketone 200 D032 Hexachlorobenzene 0.13
D011 Silver 5 D039 Tetrachloroethene 37 D033 Hexachlorobutadiene 0.5
TCLP Pesticides D040 Trichloroethene
0.5 D034 Hexachloroethane
3
D020 Chlordane 0.03 D043 Vinyl chloride 0.2 D036 Nitrobenzene 2
D012 Endrin 0.02 D037 Pentachlorophenol 100
D031 Heptachlor 0.008 TCLP Herbicides D038 Pyridine 5
D013 Lindane 0.4 D016 2,4-D 10 D041 2,4,5-Trichlorophenol 400
D014 Methoxychlor 10 D017 2,4,5-TP (Silvex) 1 D042 2,4,6-Trichlorophenol 2
D015 Toxaphene 0.5
27
Listed Wastes
Waste Type Regulatory
Citation
Description
Non-
Specific
Sources
40 CFR 261.31
(F-List)
These are generic wastes,
commonly produced by
manufacturing and industrial
processes. Wastes on this list
include spent halogenated
solvents, wastewater sludge
from electroplating, and
treatment residues. Common F-wastes: paint
thinners, halogenated degreasers,
1-1 triclor, perc, tetracloroethylene
28
Industry and
EPA
hazardous
waste No.
Hazardous Waste Hazard
Code
F001
The following spent halogenated solvents used in degreasing: Tetrachloroethylene, trichloroethylene,
methylene chloride, 1,1,1-trichloroethane, carbon tetrachloride, and chlorinated fluorocarbons; all spent
solvent mixtures/blends used in degreasing containing, before use, a total of ten percent or more (by
volume) of one or more of the above halogenated solvents or those solvents listed in F002, F004, and
F005; and still bottoms from the recovery of these spent solvents and spent solvent mixtures
(T)
F002
The following spent halogenated solvents: Tetrachloroethylene, methylene chloride, trichloroethylene,
1,1,1-trichloroethane, chlorobenzene, 1,1,2-trichloro-1,2,2-trifluoroethane, ortho-dichlorobenzene,
trichlorofluoromethane, and 1,1,2-trichloroethane; all spent solvent mixtures/blends containing, before
use, a total of ten percent or more (by volume) of one or more of the above halogenated solvents or those
listed in F001, F004, or F005; and still bottoms from the recovery of these spent solvents and spent
solvent mixtures
(T)
F003
The following spent non-halogenated solvents: Xylene, acetone, ethyl acetate, ethyl benzene, ethyl ether,
methyl isobutyl ketone, n-butyl alcohol, cyclohexanone, and methanol; all spent solvent mixtures/blends
containing, before use, only the above spent non-halogenated solvents; and all spent solvent
mixtures/blends containing, before use, one or more of the above non-halogenated solvents, and, a total of
ten percent or more (by volume) of one or more of those solvents listed in F001, F002, F004, and F005;
and still bottoms from the recovery of these spent solvents and spent solvent mixtures
(I)*
F004
The following spent non-halogenated solvents: Cresols and cresylic acid, and nitrobenzene; all spent
solvent mixtures/blends containing, before use, a total of ten percent or more (by volume) of one or more
of the above non-halogenated solvents or those solvents listed in F001, F002, and F005; and still bottoms
from the recovery of these spent solvents and spent solvent mixtures
(T)
F005
The following spent non-halogenated solvents: Toluene, methyl ethyl ketone, carbon disulfide, isobutanol,
pyridine, benzene, 2-ethoxyethanol, and 2-nitropropane; all spent solvent mixtures/blends containing,
before use, a total of ten percent or more (by volume) of one or more of the above non-halogenated
solvents or those solvents listed in F001, F002, or F004; and still bottoms from the recovery of these
spent solvents and spent solvent mixtures
(I,T)
29
Listed Wastes
Waste Type Regulatory
Citation
Description
Specific
Sources
40 CFR
261.32
(K-List)
This list consists of wastes from
specifically-identified industries,
such as wood-preserving,
petroleum refining, and
chemical manufacturing. These
wastes usually include sludges,
wastewaters, spent catalysts,
and pigment residues.
30
Listed Wastes
Waste Type Regulatory
Citation
Description
Commercial
Chemical
Products
40 CFR
261.33
(P, U-Lists)
These are specific chemical
products used in agriculture,
laboratories, and other
commercial operations. This list
includes chloroform, DDT, and
sodium cyanide.
31
A single waste stream can
appear on more than one list, as
well as exhibit one or more of the
hazardous characteristics.
Generators must identify all
applicable hazardous EPA waste
codes.
32
33
34
Universal Waste Rule
A waste must be a hazardous waste
before it can be a universal waste.
The Universal Waste Rules (UWR) are
intended to promote recycling as well
as proper disposal by easing certain
regulatory requirements.
35
Universal Wastes
Waste is still hazardous but classified as “universal waste” as industry and EPA are better equipped to manage the waste
Provides regulatory relief
»Usually paperwork-related (i.e. manifesting)
»Don’t have to count towards generator status
»Don’t have to pay fee for UW generated
37
Universal Waste-Bulbs
State hazardous waste regulations
prohibit businesses and institutions
from disposing of waste bulbs in
landfills if the bulbs contain heavy
metals that exceed hazardous
waste regulatory limits.
38
Universal Waste-Bulbs
Safe Handling and Storage
Place waste bulbs in the box in which replacement
bulbs arrived or in cartons provided by a bulb
handler or recycler.
Label cartons and boxes with the words "Universal
Waste Lamps”, “Waste Lamps” or “Used Lamps”.
Store bulbs in a safe place
to prevent breakage and
mark the storage area appropriately.
39
Universal Waste-Bulbs
“Green” bulbs may be non-hazardous, but they
still contain mercury. Mercury, even at very low
levels, can become air-borne and be deposited
into the environment, such as lakes and other
water bodies
Green fluorescent bulbs should not be disposed
as a general solid waste unless the generator can
document that the waste is non-hazardous and
contains no mercury
40
Universal Waste-Bulbs
Bulbs broken incidental to handling (accidently)
can still be managed as UW
Lamps that are intentionally crushed can NOT
be managed as UW – this is considered
treatment in most states (plus there may be
serious safety issues)
All crushed bulbs must be managed as
hazardous waste
41
Good, bad, or ugly????
42
Good, bad, or ugly????
44
45
Properly Packaged?
Photo courtesy of
Interstate Batteries
46
Universal Waste Rule
–There is no relief from required DOT
labeling/placarding
–All wastes must be packaged per DOT
requirements
46
47
Universal Waste Rule
Mercury-Containing Equipment – Mercury-containing equipment consists of devices,
items, or articles (excluding batteries and lamps) that contain varying amounts of elemental mercury that is integral to their functions.
– Some commonly recognized devices are:
» thermostats, barometers, manometers, temperature and pressure gauges, and mercury switches, such as light switches in automobiles.
48
Universal Waste Rule
Accumulation time
–Accumulate UW for no more than one year from
the date you generated or received the UW at
your site.
–Mark the UW with the generated or received
date or keep records to verify how long you
have accumulated it.
–Must be safely stored in a closed container
49
Basic Waste Requirements
WI DNR uses enforcement discretion and has reduced
regulations for:
– Used Antifreeze
» Must go for legitimate reclamation / reuse
– Scrap Electronics
» State law prohibits businesses or institutions from disposing of any
electronics that contain hazardous materials in municipal solid
waste landfills or incinerators.
» If businesses and institutions do not recycle electronic equipment,
they are subject to state solid and hazardous waste management
rules and may require licenses from the DNR for transportation
and treatment, storage or disposal of the equipment.
50
Electronics to recycle
The following electronics can no longer be put in the trash in Wisconsin, or sent to Wisconsin landfills and incinerators. These items should be reused, donated or recycled.
Televisions
Computers (desktop, laptop, netbook and tablet computers)
Desktop printers (including those that scan, fax and/or copy)
Computer monitors
Other computer accessories (including mice, keyboards and speakers)
51
Electronics to recycle
Continued list…..
DVD players, VCRs and DVRs
Fax machines
Cell phones
Major appliances, including air conditioners, clothes washers
and dryers, dishwashers, refrigerators, freezers, stoves,
ovens, dehumidifiers, furnaces, boilers, water heaters and
microwave ovens
52
Liability - Regardless
53
54
55
REMEMBER
CRADLE TO GRAVE
56
57
58
Basic Waste Requirements
Used Oil Exempt from hazardous waste rules IF the waste is
reused/reclaimed
Used oil includes: motor oils, greases,
emulsions, machine shop coolants, heating media,
brake fluids, transmission fluids, other hydraulic
fluids, electrical insulating oils, metalworking fluids,
and refrigeration oils.
59
Basic Waste Requirements
Used oil does not include: fuel product
storage tank bottoms, fuel product spill cleanup
material, other waste that results from oil that has not
been used, animal and vegetable oils and greases,
antifreeze, and materials used as cleaning agents or
only for their solvent properties.
60
Basic Waste Requirements
Do NOT mix other wastes in with
your used oil If used oil is mixed with hazardous waste, the entire
mixture may be regulated as hazardous waste.
Used oil containing more than 1,000 parts per million
(ppm) total halogens is presumed to be a hazardous
waste because it has been mixed with listed
halogenated hazardous waste.
61
Basic Waste Requirements
Do NOT mix other wastes in with
your used oil, such as: –Gasoline
–Paint Thinner
–Antifreeze
–Chlorinated Solvents
–Engine Degreasers
62
Basic Waste Requirements
Do NOT mix other wastes in with
your used oil
Even if the waste is non-hazardous,
mixing it with your used oil may make it
unacceptable for your used oil hauler
This could cost you lots of $$
63
64
65
Used Oil Filters
Wisconsin statute (s. 287.08(4m) bans
ALL “automotive engine oil” filters from
landfill disposal.
Includes any vehicle propelled by an
internal combustion engine
Example: cars, trucks, bus, motorcycle,
snowmobile, boats, planes, ATVs
Ban includes households
66
Used Oil Filters
Used Oil Filters from other sources such
as a hydraulic system are not covered
under the statute, but it’s recommended
they also be recycled.
WHY are these not included in the ban??????
67
Used Oil Absorbents
Wisconsin statute (s. 287.08(4m) bans
ALL oil absorbent materials that contain
free-flowing oil or that may be hazardous
waste
Includes absorbent materials containing
petroleum-derived or synthetic oil from
machines and equipment used in
manufacturing and industrial operations, or
unused oil spills
68
Used Oil Absorbents
There is an EXEMPTION from the ban
IF:
The oil has been drained so that no visible signs
of free-flowing oil remain in or on the absorbent
materials, AND
The oil absorbents materials are not haz waste
69
http://dnr.wi.gov/files/pdf/pubs/wa/wa1503.pdf
Can an oil filter or absorbent material be
processed or recycled to the point that it
is no longer subject to the landfill ban?
The statute prohibits any disposal of used oil filters in a solid waste
disposal facility, including drained or shredded filters.
Absorbent materials that have been drained so that no visible signs of
free-flowing oil remain in or on the oil absorbent materials and that are
not hazardous waste are not subject to the ban.
Absorbents that have been laundered or cleaned to remove oils are also
allowed to be disposed of in a landfill.
70
http://dnr.wi.gov/files/pdf/pubs/wa/wa1503.pdf
How can used oil filters be recycled or
managed?
Used oil filters may be drained by hot draining, crushing, or puncturing
the filters at the generator site.
The resulting oil drained from the filters has to be managed according to
the requirements in ch. NR 679, Wis. Adm. Code.
The metal filters can then be sent to a metal recycler or reclaimer. The
paper portion of the filters can be burned for energy recovery at an
approved facility.
71
http://dnr.wi.gov/files/pdf/pubs/wa/wa1503.pdf
How can absorbent materials be recycled
or managed?
Some companies that supply clean absorbents pick up used oil
absorbents for cleaning and reuse.
– Used oil recovered from absorbents must be re-refined or burned for energy
recovery according to the requirements in ch. NR 679.
Granular absorbents may be recycled or burned for energy recovery at an
approved facility.
Cloth absorbent should be reused (after laundering) as long as possible
and may also be burned for energy recovery.
Absorbents may also be treated in DNR approved bio-piles.
72
http://dnr.wi.gov/files/pdf/pubs/wa/wa1503.pdf
Would absorbent material used to contain
or clean up a spill of gasoline or diesel
fuel be subject to s. 287.07(4m)?
Absorbent material used to clean up gasoline or
diesel fuel is not subject to s. 287.07(4m) since the
landfill ban is only for absorbent materials
containing free-flowing oil.
A waste determination must be made
73
http://dnr.wi.gov/files/pdf/pubs/wa/wa1503.pdf
Does the NR 679.81 prohibition on landfill
disposal of materials containing free-
flowing oil apply?
Yes. 2011 Wisconsin Act 152 allows for landfill
disposal of materials containing used oil as long as
the used oil has been properly drained or removed
so that no visible signs of free-flowing oil remain and
the absorbent materials are not hazardous. This is
consistent with NR 679.81(2)(b).
74
75
76
You Must Store the Wastes Properly
RCRA and OSHA require that all containers used to store
waste be properly marked and labeled as soon as ANY
waste is placed in the container
– Containers must be compatible with contents and meet applicable DOT
Packaging Standards
– Containers must be marked with the words “Hazardous Waste”
– Containers must be marked with the date waste was first added to
the container
– Containers must be inspected regularly to ensure there is no leaking
or damage
– The container must be closed except when adding/removing waste
77
You Must Store the Wastes Properly
– If storing in Bulk Containers (over 110 gl) –
specific secondary containment requirements
must be met
–May be subject to: » Spill Prevention Control & Countermeasure (SPCC) Plan ~ US
EPA Clean Water Act
» Storm Water Pollution Prevention Plan ~ US EPA Clean Water Act
» Wisconsin Dept. of Agriculture, Trade and Consumer Protection:
Bureau of Weights and Measures: Storage Tank Regulation
78
78
SPCC Plan
Required if a facility has the capacity to store any
petroleum product exceeding the following quantities
1320 gallons in aboveground storage containers –
(containers less than 55 gl. capacity do not count
towards threshold)
OR
An underground storage capacity
greater than 42,000 gallons
79
79
Storm Water Pollution
Prevention Plan
Prevents chemical discharges from entering the lakes and oceans from stormwater drains
Each facility must have its own plan
Severe fines and penalties if a discharge enters the stormwater drain.
Requirement based on SIC/NAICS code
Required by Clean Water Act
SWPPP
80
You Must Store the Wastes Properly
Wisconsin does not require secondary containment for your waste drums.
Use good container management practices
81
You Must Store the Wastes Properly
Keep incompatible wastes separate and on impermeable surfaces
Do not keep containers of incompatible wastes near each other. Ensure that they are labeled properly to avoid any accidental mixing.
» Do not keep containers of liquid hazardous waste on a surface that has a floor drain
» Keep hazardous wastes indoors if at all possible
» If you must keep hazardous waste outside, secure the area with a locked fence or putting it inside a locked shed. Store on containment pallets if possible
» Keep ignitable waste out of direct sunlight as well as away from the property line.
82
To Tie It All Up
You must know if the waste you generate is regulated
(hazardous) under RCRA
You must segregate (keep separate) your waste streams
You must store all wastes properly (both haz and non-haz)
You must know what wastes cannot be put into the normal
trash
– Haz Waste
– Scrap Electronics
– Used Oil Filters and Oil-Containing Absorbents
– Scrap/Used bulbs and batteries
83
What are typical hazardous wastes at marinas?
Leftover paint
Cleaners such as spent degreasers and aqueous
detergents
Used oil
Used antifreeze
Test tank water (if it's been tested as hazardous)
Bilge wastewater
84
How can we reduce the amount of waste
generated at our facility?
Separate your hazardous and solid wastes. This will
eliminate excess volumes of hazardous material generated,
by distinguishing those that can be discarded as solid waste.
Do not mix your waste oil and gasoline.
Do not mix your cloth wipes with your hazardous waste.
Keep used Speedi-Dri separate from hazardous wastes.
Train your employees on the proper process techniques to
reduce needless spills.
Purchase only the amount of product needed.
Reuse test tank water.
85
Spill Prevention
Use only containers (drums and tanks) of good
integrity
Make sure contents are compatible with the
containers
If possible, store on or in containment structures
Use good container management (keeping drums
closed at all times, keep out of way of traffic)
Employee training
86
Leaks and Spills
–When a spill occurs, the
response action required to
mitigate varies depending on
whether the spill is on land or on
water
87
Where Will to Spilled Material Go?
88
Containment and Follow Up – Attempt to stop the release at its source
– Contain material released to the environment
– Recover or clean up the spilled material
– Clean up the spill area
– Restock Spill Kit Supplies
– Arrange for proper disposal of waste materials
– Emergency coordinator makes notifications and reports to outside agencies
– Review Emergency Response Plans to evaluate and improve response
Spill On Land Response:
89
90
“It” Happens
91
92
93
94
When spills reach the water, mechanical containment and recovery equipment used to collect spilled material
– Booms - contain and absorb the spilled material
– Barriers – prevent the movement and dispersing of spilled materials
– Skimmers – collect the spilled materials from the top of the surface water
– Chemical and Biological methods are federally regulated and are most often not used in fresh water environments
Spill On Water Response:
96
97
98
99
100
101
So “It” Happened – What Else?
Wisconsin’s spill reporting regulations are located in
Wisconsin Administrative Code NR 706. The WI DNR
website contains numerous guidance documents that contain
valuable information about complying with spill reporting
requirements.
http://dnr.wi.gov/files/PDF/pubs/rr/RR558.pdf
http://dnr.wi.gov/topic/Spills/documents/coordinators.pdf
http://dnr.wi.gov/topic/Spills/Define.html
102
What is a spill?
Spill are discharges of hazardous
substances that adversely impact, or
threaten to adversely impact, human
health, welfare or the environment
and require an immediate response.
103
Do I have to report my spill?
Your spill is reportable to the DNR if:
you have not immediately cleaned up the spill;
Note: Has it evaporated or been cleaned up in accordance with NR700-
726?
there is an impact to human health;
Note: An evacuation is considered a threat to human health.
there is an impact to the environment;
Note: Water of the state includes a threat or spill into a sanitary sewer,
storm sewer, and/or surface water.
there is a fire, explosion or safety hazard;
Note: A slippery road condition is considered a safety hazard.
104
Do I have to report my spill?
the spill was NOT released to Secondary Containment; and
Note: Secondary containment means a containment structure that is
impervious to the material released.
the spill was more than the reportable quantities listed below.
Reportable quantities (Federal CERCLA; Hazardous Substances)
105
Do I have to report my spill?
If your spill is more than the amounts listed below,
you must report it to the DNR.
–Petroleum compounds
» Petroleum product completely contained on an
impervious surface
» Less than 1 gallon of gasoline or light grade petroleum
product onto a pervious surface or runs off an
impervious surface.
» Less than 5 gallons of medium or heavy grade
petroleum products onto a pervious surface or runs off
an impervious surface.
106
Do I have to report my spill?
Remember, reporting a spill is always in your
best interest – it can minimize potential legal
consequences, protect you from future false
accusations, and establish a record on your
follow-up activities cleaning up the spill.
107
Do I have to report my spill?
Not reporting spills is where problems start. If
you have general questions about spill
reporting, call your regional DNR office and
ask for the spill coordinator. They can assist
you in your spill-related questions.
108
For Information
http://dnr.wi.gov http://dnr.wi.gov/files/pdf/pubs/wa/wa1503.pdf
http://dnr.wi.gov/files/pdf/pubs/wa/wa420.pdf
http://dnr.wi.gov/topic/recycling/bulbs.html
http://dnr.wi.gov/files/PDF/pubs/wa/WA653.pdf
http://dnr.wi.gov/files/PDF/pubs/wa/WA195.pdf
109
SAFETY-KLEEN LEGACY
For 50 years, Safety-Kleen’s entire business
model has revolved around keeping North
American companies Green
Safety-Kleen is the Green Enabler by
providing its customers with sustainable oil,
waste and solvent closed-loop recycling
solutions
• Recycle valuable renewable resources
• Protect valuable water resources
• Lower greenhouse gas emissions
• Cost-savings realized from recycled
products rather than virgin products
110
NORTH AMERICA’S LARGEST INFRASTRUCTURE
2 Oil Re-Refineries
20 Oil Terminals
158 Branches
9 Recycling Centers
2,900 Vehicles
1,000 Railcars
4,300+ Employees
Over 50 EH&S
Professionals
Consistent, effective solutions across the United States, Canada & Puerto
Rico through Safety-Kleen’s vast network of resources
111
Madison, WI
3715 Lexington Ave
608.221.0714
Kaukauna, WI
2100 Badger Road
920.766.4266
Waukesha, WI
2200 S. West Avenue
262.549.3011
112
LARGEST BASE OIL
RE-REFINER IN THE WORLD
Operated under robust technical
services and quality control
– Approximately 75% of
re-refining capacity in
North America
– Primary products are base and
blended lubricants
– Direct terminal sales of up to 51
million gallons to local fuel markets
113
PARTS CLEANING
Placement, maintenance and service of
parts washers and associated cleaning fluids
– Service representatives collect used solvent
and aqueous solutions and replenish
machines at regular service intervals
– Safety-Kleen is the largest collector and
recycler of used solvent in North America
– Service more than 217,000 parts washers on
a recurring basis
– More than 755,000 parts cleaning
services annually
– On-going new product innovations with
4-in-1 aqueous technology (Q3)
114
CONTAINERIZED WASTE SERVICES
Customers contract for removal of
containerized waste
– Containerized liquid and solid
materials including a variety of
hazardous and industrial wastes
– Service includes flexible collection
schedules, paperwork preparation,
container inspection and loading
– Waste is either recycled or disposed
of in accordance with regulations
applicable to the waste type
– More than 80% of all containerized
waste streams are recycled
115
OTHER SERVICES
Allied Products
– Sales of complementary products to
Company’s existing customer base
– Cleaner/degreasers, glass cleaners, hand
cleaners, absorbents, mats and spill kits
– Windshield washer fluid
– Recycled antifreeze
– Penetrant & Lubricant
Other Services
– Bulk shipping
– Tolling
– Metals recovery
– Imaging
– Dry cleaning
– Sales from recovered chemicals
116
Questions?
Top Related