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Item 3: Ordinance Adopting Hazardous Substance Tracking Instructions
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Item 3: Ordinance Adopting Hazardous Substance Tracking Instructions
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11/26/2012
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Attachment B. <br />lead would be reportable because it is removed from the manufactured article (light bulb) <br />during manufacturing. <br />13. QUESTION: <br />Our business manufactures a product from raw metal containing a <br />percentage of reportable metals. What should we report? <br />ANSWER: <br /> If the raw metal is an article, report hazardous substances contained in <br />fumes, dusts, and grindings that result from the manufacturing process. The portion of <br />the raw metal that is not converted to fumes, dusts, and grindings, and that remains solid <br />throughout the manufacturing process, is not reportable. <br />In estimating the amount of a hazardous substance to report, a business may consider the <br />range of percentages of that substance that are contained in articles that it receives during <br />the year, and choose an average value within the range. For example, if the stainless steel <br />that a business uses for manufacturing contains chromium among other substances, and <br />the business generated 900 pounds of fumes, dusts, and grindings from such articles, and <br />the chromium content ranged from 6-8%, the business could choose 7% or another <br />percentage they feel is more justifiable. An input of 63 pounds of chromium, and an <br />equal amount in the appropriate output category(ies), would be reported. <br />14.QUESTION: <br />My company buys partially cured rubber in slabs. We complete the <br />polymerization process when we mold the rubber into parts using heat and pressure. The <br />scraps (of both uncured and cured rubber) are a non-regulated substance and go directly <br />to a sanitary landfill or to a rubber recycler. Is this material an article? <br />ANSWER: <br />No. The article exemption does not apply because chemical changes are <br />occurring. However, the rubber itself and any non-listed components are not reportable. <br />Listed hazardous components of the rubber, if any, should be reported. <br />15. QUESTION: <br />My company manufactures circuit boards and other electronic devices <br />requiring solder. Is this a reportable material? <br />ANSWER: <br />Yes, to the extent that it contains reportable substances, such as lead. <br />16. QUESTION: <br /> I am a metal fabricator. I laser-cut small parts from large pieces of sheet <br />metal. From the way I interpret the instructions, the only portion of that metal that I must <br />track is the kerf(the portion vaporized). Is this a correct interpretation? <br />ANSWER: <br />Yes, as long as no filings, dusts, or grindings are produced. The rest of the <br />sheet metal (product and waste) is an article because it remains solid throughout the <br />manufacturing process, and is not reportable. The kerf (portion vaporized) would be <br />reported as output type 5 (quantity emitted to the air). <br />17. QUESTION: <br />We bring in raw sheets of 99% pure copper, a reportable substance. We <br />have the sheets water-cut by an outside business, and then use them as a part of our <br />- 57- <br />
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