EPA Seeks Comments on Potential Changes to the RCRA Definition of Empty Containers and Standards for Managing Used Containers


 

The U.S. Environmental Protection Agency (EPA) is considering and seeking public comment on potentially significant amendments to the hazardous waste regulations concerning the management, recycling, and disposal of drums and other containers that contained hazardous waste – including possible changes to the definition of “empty” containers. The changes under consideration, which were announced in the wake of a detailed report on drum reconditioning last year, could have sweeping consequences for businesses across industries that generate and manage used containers with hazardous waste residues. Comments on EPA’s Advance Notice of Proposed Rulemaking are due by September 25, 2023.

The 2022 Drum Reconditioner Damage Case Report highlights EPA’s concerns that drum reconditioning is a source of environmental contamination and, in some instances, public safety risks. EPA also questions whether the existing regulations that apply to the management of containers with hazardous waste residues are adequate to prevent these impacts, and whether the incidence of non-compliance with existing regulations is contributing to increased environmental releases and safety issues.  The report also raises environmental justice concerns, pointing to a preliminary assessment by EPA that concluded that over 90% of drum reconditioning facilities are in communities that may be burdened by other sources of pollution.

EPA is seeking feedback on a series of options to address the agency’s concerns. The options include amendments to the hazardous waste regulations under Subtitle C of the Resource Conservation and Recovery Act (RCRA) and various non-regulatory actions.

EPA is soliciting comments on:

EPA is also requesting information generally on related state compliance assistance programs and industry initiatives that may facilitate the reduction of non-RCRA “empty” containers, as well as on technological developments that can reduce the environmental and public health risks believed to be associated with drum reconditioning.

Despite EPA’s high-level branding of the proposed rulemaking as a drum reconditioning issue, several of the proposed regulatory changes could have far-reaching consequences for a range of businesses, including industrial facilities and smaller retail operations, as well as waste transporters and treatment, storage, and disposal facilities.

The comment deadline for the Advance Notice of Proposed Rulemaking is September 25, 2023.


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National Law Review, Volume XIII, Number 229