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1 Healthcare Environmental Compliance Pitfalls December 6, 2007
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2 Healthcare Compliance? In the business to promote health Hospitals already fall under several regulatory standards Environmental compliance refers to: Hazardous waste or RCRA Air quality or air permits requirements Waste water discharges
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3 Healthcare compliance Regional assistance programs try to educate and help facilities identify compliance gaps and pollution prevention opportunities. East coast EPA compliance initiative in 2006 Compliance pitfalls identified on east coast, probably mirror the compliance gaps we have in Midwest
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4 Healthcare compliance Our region, Region 7, has begun inspecting hospitals State tables in vendor area 2006 Region 2 (east coast) audit finding
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Adapted from Region 2 August 2006 5 Results EPA Region II: Compliance Monitoring & Incentives Programs Hospitals Universe 480 Inspections 49 Enforcement Actions 36 Formal Enforcement Actions 11 ($1,523,613) Settlements 9 ($642,612) Audit Agreements 41 Voluntary Disclosures 156 covering 581 facilities ($29,947,688 for 143 resolved) Violations Corrected 3223
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Adapted from Region 2 August 2006 presentation 6 Healthcare Violations – All R2
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Adapted from Region 2 August 2006 presentation 7 Healthcare CAA Violations – All R2
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8 Air Compliance Issues Failure to use properly trained and accredited asbestos personnel. Failure to notify EPA of asbestos removal projects and keep required documentation/recordkeeping. Failure to properly dispose of asbestos debris. Failure to close lids on parts washers when not in use. Failure to properly handle CFCs and records. Failure to include ETO sterilizer, spray paint booth, and parts degreaser in air permit.
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Adapted from Region 2 August 2006 presentation 9 Healthcare CWA Violations – All R2
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10 Water Compliance Issues No permit for wastewater discharges Not complying with permit conditions No/inadequate secondary containment of storage tanks/containers No SPCC plan Floor drains
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Adapted from Region 2 August 2006 presentation 11 Healthcare RCRA Violations – All R2
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What to Expect When EPA Shows UP Routine RCRA Inspections, Common Violations, and Enforcement Follow-up Dedriel Newsome - RCRA Inspector Environmental Field Compliance Branch, USEPA WK # (913) 551-7049 or (e-mail) – Newsome.Dedriel@EPA.gov
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13 Goals of Enforcement Environmental Protection Correction of Violations - Return to compliance Deterrence Fairness - level playing field
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14 Purpose of RCRA Inspection Determine generator status Determine if the facility is in compliance with the applicable RCRA regulations based on their generator status
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RCRA Inspection Conduct desktop file review Conduct drive-by surveillance of facility Initial facility entry Conduct initial interview (general facility information)
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RCRA Inspection Collect facility process information Collect facility waste stream information Conduct visual inspection – hazardous waste storage areas and satellite accumulation areas Conduct records review Conduct exit briefing
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17 Typical Hospital Wastes / Areas Visually Inspected Clinical Labs (spent solvents - distillation) Research Labs (spent solvents, corrosives, off-spec chemicals, unwanted chemicals) Facilities - Maintenance, Painting, Grounds, etc. (spent solvents, waste paints, used oil, parts washer solvents, rags, waste pesticides, batteries, mercury wastes, fluorescent lamps, aerosols) Pharmacies (off-spec drugs, investigatives) Operating Room (breathing machine spent media)
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18 Typical Hospital Wastes / Areas Visually Inspected Housekeeping (Autoclave indicator tape) Printing (spent solvents, waste inks) Biomedical (batteries, soldering wastes) IT (batteries, soldering wastes, solvent rags) Radiology (lead aprons, film developing wastes) Chemical Storage Areas (Off-spec and unwanted chemicals)
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19 Common Violations Hazardous Waste Determinations What we find… Mischaracterized or uncharacterized wastes; or Materials that are unused and pending disposal not characterized Changes in processes!!!
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20 Common Violations Satellite Accumulation Container Management What we find… Unlabeled satellite containers (In MO, also undated satellite containers and >1yr in area; in KS not having the words “Hazardous Waste”) Open satellite containers Containers not at or near the point of generation and under the control of the operator Containers not moved in 3 days of filling (In KS and MO, one container per waste stream)
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21 Common Violations Storage Container Management What we find… Unmarked/unlabeled storage containers Undated storage containers Open storage containers Incompatibles stored without proper separation
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22 Common Violations Illegal Treatment, Storage, and Disposal Offering Hazardous Waste Without a Permit What we find… Evaporation of hazardous wastes Disposal of hazardous waste with non-hazardous waste (i.e. general trash or biomedical waste)
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Following the RCRA Inspection Following RCRA Inspection, what should the facility do? Achieve compliance with RCRA ASAP!!!!!!! Provide a response to EPA for the Notice of Violation (NOV) n Response is required even if compliance not achieved! n Follow-up response should be provided when compliance is achieved
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Following the RCRA Inspection (cont.) EPA RCRA Inspection Report Provided to a compliance officer for review to determine enforcement response Typically provided to the facility after it is completed
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25 Estimated Hospital RCRA Inspections and Completed Enforcement Actions in the Past 5 Years EPA conducted about 30 inspections States conducted about 26 inspections EPA Informal Orders – 28 completed EPA Formal Orders – 4 completed State Informal Orders – 11 completed State Formal Orders – 1 completed (These numbers do not include pending orders)
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26 Informal Enforcement Notice of Violation (NOV) Issued by inspector following inspection or Sent via letter Letter of Warning Sent via letter and/or May include information request (Section 3007)
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27 Formal Civil Enforcement RCRA Section 3008(a) Order Includes penalty May include compliance measures May include sampling RCRA Section 3008(h) RCRA Corrective Action Order Usually includes sampling and monitoring Does not include penalty RCRA Section 3013 Order Hazardous waste may present a “substantial” hazard to human health or the environment Includes monitoring, analysis, and testing Does not include penalty
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28 Formal Civil Enforcement (cont.) RCRA Section 7003 Order Solid waste and/or hazardous waste may present a “imminent and substantial” hazard to human health or the environment Usually “fast track” response Does not include penalty Referral to Department of Justice (DOJ) Referred if negotiations have stalled Referred if facility not complying with Order May be referred if multiple facilities are included in the enforcement proceedings
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29 Criminal Enforcement Inspection information may be turned over to criminal investigation team if violations appear to be “intentional” Criminal and Civil Enforcement may proceed at the same time Violator may go to prison
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COMPLIANCE ASSISTANCE STATE WEB PAGES Kansas Department of Health and Environment (KDHE) http://www.kdhe.state.ks.us/environment/index.html http://www.kdhe.state.ks.us/environment/index.html Missouri Department of Natural Resources (MDNR) http://www.dnr.mo.gov/ Nebraska Department of Environmental Quality (NDEQ) http://www.deq.state.ne.us Iowa Department of Natural Resources (IDNR) http://www.iowadnr.com/ http://www.iowadnr.com/
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COMPLIANCE ASSISTANCE EPA WEB PAGES EPA HQ Web Page www.epa.gov EPA Region 7 Web Page www.epa.gov/region07/ EPA Region 7 RCRA Web Page www.epa.gov/region7/waste/index.htm
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32 What Can My Facility Do Prior to the RCRA Inspection?
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33 What Can My Facility Do Prior to the RCRA Inspection? Obtain the federal and state regulations and become familiar with them Keep your facility in compliance – Characterize all waste streams!!!! Schedule and maintain employee training Contact EPA or State with questions Access and use various “tools” from State and EPA websites
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34 What Can My Facility Do Prior to the RCRA Inspection? Conduct a self-audit and disclose the violations found to the EPA EPA’s Self-Audit Policy (a.k.a. Self- Disclosure) See: http://www.epa.gov/compliance/incentive s/auditing/auditpolicy.html Contact Becky Dolph, EPA R7 CNSL at 913- 551-7281 or at dolph.becky@epa.gov
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35 Questions
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