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Ordinance No. 20518
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2013 No. 20504 - 20519
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Ordinance No. 20518
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Last modified
10/31/2013 11:12:20 AM
Creation date
10/31/2013 11:10:24 AM
Metadata
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Template:
Council Ordinances
CMO_Document_Number
20518
Document_Title
Toxics updates
Adopted_Date
10/28/2013
Approved Date
10/30/2013
CMO_Effective_Date
11/30/2013
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D. MANUFACTURING vs. MAINTENANCE USES <br />General guidelines: Hazardous substances at a facility that are not directly used in <br />manufacturing are not reportable. Hazardous substances at a facility that are related to research <br />and development are also not reportable. This area is subject to considerable interpretation, <br />mostly concerning maintenance and operation of equipment. In general, the Toxics Board has <br />drawn a distinction between substances used for cosmetic purposes (not reportable) and those <br />used for necessary maintenance (reportable); and between the maintenance of actual <br />manufacturing equipment (reportable) and equipment with non - manufacturing purposes (not <br />reportable). The Toxics Board has also drawn a distinction between materials used to maintain <br />and operate motorized vehicles (e.g., forklifts) and those used to operate and maintain non - <br />motorized vehicles (e.g., carts). Materials in the former category are not reportable, while those <br />in the latter are. <br />27. QUESTION: A listed toxic chemical is used to clean a process - related tower at a <br />manufacturing facility. Is the use of the chemical exempt from threshold and materials <br />accounting calculations under the routine janitorial and facility grounds maintenance <br />exemption? <br />ANSWER: No. Materials used to maintain process - related equipment at a facility (e.g., <br />cleaners and lubricants) are not exempt. Because the tower is process - related, the <br />exemption does not apply. This exemption only applies to the use of products that are <br />specifically used for routine janitorial, facility grounds maintenance, building <br />maintenance, and office supplies. <br />28. QUESTION: Would lubrication of bearings on product mixing machines (assuming the <br />lubricants had a reportable chemical) be considered part of the manufacturing process and <br />therefore reportable? <br />ANSWER: Yes. <br />29. QUESTION: We paint and sometimes don't paint our equipment. It is not necessary to <br />the functioning or maintenance of the machine, but is more cosmetic in purpose. Would <br />the paint used be reportable or would that come under facility maintenance? <br />ANSWER: Substances not used in the manufacturing process, or to perpetuate the <br />manufacturing process, are not reportable. Therefore paints used for cosmetic purposes, <br />even on manufacturing equipment, are not reportable. <br />30. QUESTION: Would lubricating the wheel bearings on transport racks that carry the <br />finished product to another part of the facility for shipping be reportable? What about <br />lubrication of bearings on racks that do not contain finished product, such as proofing <br />racks? <br />-63 - <br />
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