[Date Prev][Date Next][Thread Prev][Thread Next][Date Index][Thread Index]

Crushing LSC Vials




	I have read with interest the discussions regarding crushing of LSC
vials.  Can anyone give me a reference which makes crushing LSC vials to 
separate the LSC fluid from the vials a "process".  I am not that familar
with the RECRA (sp?) rules and regulations.

	Please put holes in the following arguement:

	All vials that are crushed at this facility have either H-3 or C-14
with specific activities less than 0.05 uCi/cc.  Therefore the waste is not
a mixed waste since the NRC does not require us to handle it as RAM for the
purposes of disposal.  If this is true, then collection of the LSC fluid
... which is a hazardous waste ... is the issue.

	If crushing the vials is not acceptable.  Is uncapping the vials and
pouring the contents into a flask acceptable?  Or is this a "process" as well?

	We have an EHO on staff who has worked at EPA.  He tells me that his
reading of the EPA rules does not make crushing of the LSC vials a process.  If
this is a correct intrepretation, then are we dealing with a local and/or regional inspector who has placed his/her own spin on the regs?

	It would be very nice to have a common position on this issue.  If
QUADREX keeps its prices in line with the current price list, then we may
just want to keep sending our vials down there rather than go through the
effort to crush them and separate the LSC.

	Please let me know how you handle LSC at your institutions and what
your own and/or EPA regulators positions are on this issue.

JERRY THOAM

S