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Government Links
Prior to 2006
Joint Letter from the SPCC Industy Coalition to EPA Requesting an Extention of the SPCC Rule Compliance Dates (Oct. 6, 2005)
AGA Comments on EPA's Proposed One Year SPCC Extension (July 7, 2004)
USWAG Comments on 2004 Draft report to Congress on the Costs and Benefits of Federal Regulation (May 20, 2004)
AGA Letter Response to EPA Data Request to Support Natural Gas Transportation Equipment & SPCC Transportation Exemption (Feb. 27, 2004)
AGA Letter to EPA Requesting Natural Gas Transportation Equipment & SPCC Transportation Exemption (Jan. 19, 2004)
AGA Letter to EPA Regarding NPDES General Permit for Storm Water Discharges from Construction Activities (Nov. 19, 2003)
AGA Comments on OPS Best Management Practices for Pipeline Repairs (Sept. 29, 2003)
AGA Comments on Proposed NPDES General Permit for Storm Water Discharges from Large and Small Construction Activities (Feb. 3, 2003)
AGA Comments on EPA's Proposal to Withdraw Final Water Quality Rule Published in July 2000 (Jan. 27, 2003)
AGA Comments on EPA Proposed Storm Water Standards for Large and Small Construction Projects (Dec. 23, 2002)
AGA Comments on Impact of Draft PCB Mega Rule Revisions (Sept. 5, 2002)
USWAG Letter to EPA Requesting Interpretation of PCB Storage for Reuse Rules (Feb. 20, 2001)
USWAG/AGA Comments on DOT Companion Proposed Manifest Reform Rule (Oct. 4, 2001)
USWAG/AGA Comments on EPA Proposed Manifest Reform Rule (Oct. 4, 2001)
AGA Comments on EPA's Proposed TRIC Reporting Modifications (Feb. 4, 2005)

 USWAG/AGA Comments on EPA Proposed Manifest Reform Rule (Oct. 4, 2001) 

On October 4, 2001 Utility Solid Waste Activities Group (USWAG) submitted comments comments to EPA in response to EPA’s Proposed Rulemaking to modify the Hazardous Waste Manifest System. USWAG commended EPA for proposing regulations that could provide significant regulatory relief to many members of the regulated community.  USWAG urged EPA to work with DOT to ensure that the interrelated hazardous waste manifest and hazardous material shipping  paper requirements function harmoniously with each other.  USWAG also recommended a two-year delayed compliance date for using the revised Uniform Manifest and meeting those requirements directly related to using the form.  USWAG supported EPA's efforts to create an electronic manifest filing and recordkeeping system, but cautioned that a successful rule must be simple and cost-effective.
 

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