Nebraska Department of
Environmental
Quality

Guidance Documents

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Nebraska Department
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05-181
12/2005
Aerosol Can Waste
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This Environmental Guidance Document provides general and specific technical waste management guidance on aerosol can wastes. The discussion focuses on “empty” aerosol containers. Empty aerosol cans that are household waste are not considered hazardous waste.
  1. What is an empty container?
  2. Is the “RCRA empty” aerosol can a hazardous waste?
  3. Who is affected?
  4. What can you put in the trash?
  5. What about aerosol can puncturing?
  6. More aerosol can puncturing considerations.
  7. 7. Waste codes.
  8. Note that CESQGs are not required to meet hazardous waste storage requirements if the total facility accumulated CESQG hazardous waste is less than 2,200 pounds. However, as a best management practice, the department recommends CESQGs routinely manage their hazardous waste as close to SQG requirements as practical. In addition to safer management of hazardous materials, this practice also serves to keep the generator in compliance if it becomes an episodic SQG.




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Produced by: Nebraska Department of Environmental Quality, 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 www.deq.state.ne.us. This Material is intended for guidance purposes only. It is not meant to substitute for the regulations found in Title 128 – Nebraska Hazardous Waste Regulations or other applicable Nebraska environmental regulations. This replaces Environmental Guidance Document #00-067of the same name.

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Nebraska Department of Environmental Quality
1200 "N" Street, Suite 400
P.O. Box 98922
Lincoln, Nebraska 68509
(402) 471-2186