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Inspector General Questions EPA鈥檚 Support for Beneficial Use of Fly Ash

The Inspector General (IG) of the U.S. Environmental Protection Agency (EPA) has just published a report recommending that the agency evaluate the risks involved in putting coal combustion residuals (CCRs), such as fly ash, to beneficial use before providing any further encouragement for the use of the material聽 in construction or other applications, such as agriculture. 麻豆视频 has welcomed EPA鈥檚 past support for the beneficial use of these materials, particularly to improve the performance of concrete and hot-mix asphalt, and 麻豆视频 is therefore finds the IG鈥檚 report to be troubling.聽 The report does not, however, make any specific criticism of the聽 beneficial use of such material, and states: 鈥淓PA efforts to seek reuse opportunities and establish reuse goals for a very large waste stream such as CCRs are an important and necessary part of its environmental protection mission.鈥 EPA is still reviewing the more than 450,000 public comments that it has received on its recently on the disposal of coal combustion residuals.聽 麻豆视频 doubts that EPA will manage to finalize that rule in 2011 and some speculate that EPA will not announce a final rule before the 2012 elections.聽 In any case, the proposed rule gives EPA two broad options: characterize these materials as hazardous under subtitle C of the Resource Conservation and Recovery Act (RCRA) or non-hazardous under subtitle D of the same statute.聽 Both options would allow certain beneficial uses to continue but 麻豆视频 is deeply concerned that characterizing this material as hazardous would have the practical effect of ending its use in construction. In its proposed rule, EPA states it would like to safeguard the beneficial use of CCR products.聽 At the same time, the agency explains that some large-scale fill uses may be more aptly defined as 鈥渄isposal鈥 (rather than beneficial reuse) and likely would be treated as such in the future.聽 In addition, the agency announces its plans to evaluate all beneficial uses to determine which ones should be allowed to continue in the future.聽 All in all, the proposed rule is very ambiguous about the future of beneficial use, other than to point out that those uses identified in EPA鈥檚 May 2000 Regulatory Determination would likely be acceptable moving forward.聽 These uses include many construction applications such as use in cement, concrete, brick and concrete products, road bed, structural fill, blasting grit, wall board, insulation, and roofing materials. In its comment letter to EPA, 麻豆视频 urged the agency to make a non-hazardous waste designation for coal combustion residuals, thereby ensuring the continued beneficial use of those materials.聽 Indeed, in its proposed rule, EPA admitted that the requirements under subtitle D (non-hazardous waste) are sufficient to protect human health and the environment. Inspector General Reports The inspector general report, , recommends that EPA define and implement risk evaluation practices (1) to determine the safety of CCR beneficial uses EPA promotes, and (2) to determine if further action is warranted to address historical CCR structural fill applications.聽 The report does not identify any new damage cases鈥攄ocumented cases in which danger to human health or the environment has been proved鈥攁ssociated with beneficial use.聽 It does mention seven cases associated with large-scale fill that EPA previously identified in its proposed rule and proposed to treat as disposal not beneficial use. An earlier inspector general report, , found that EPA violated its ethics policies and communications guidelines by appearing to endorse commercial products on its Web pages devoted to its Coal Combustion Products Partnership (C2P2) program.聽 The report also criticized EPA for not making readily available on the C2P2 Web pages the seven damage cases associated with large-scale fill or disposal (mentioned above).聽 Partly in response to this report and due to the CCR disposal rulemaking in progress, EPA closed the C2P2 program, removed the information from its website and ceased actively promoting the beneficial use of CCRs. Damage Cases As 麻豆视频 mentioned in its comments to EPA on the proposed rule, and EPA itself has clearly stated, there is no evidence of damages from the beneficial uses of CCRs.聽 To date, 麻豆视频 is not aware of any damages or injuries that have resulted from the beneficial use of these materials in construction.聽 These materials have been successfully used in construction for more than 60 years.聽 The estimated use of fly ash in concrete, concrete products and grout was 14,015,616 tons in 2008.聽 Another 8,533,732 tons were used in gypsum panel products and 1,802,025 tons as road base and sub-base that same year.聽 (Source: Office of Inspector General analysis of C2P2 data, March 2011 inspector general report, page 6.)聽 The seven damage cases the agency did report on in its proposed rule involved the large-scale placement of fly ash and bottom ash in sand and gravel quarries and one involved the use of 1.5 million yards of fly ash to contour a golf course鈥攚hich it stated is akin to disposal.聽 Furthermore, EPA acknowledged that these large-scale 鈥渄isposal鈥 uses are not typical of the construction industry鈥檚 beneficial use of CCRs either encapsulated such as in concrete or unencapsulated. Future Outlook 麻豆视频 expects EPA to re-open the rulemaking record on the on the proposal to regulate the disposal of CCRs at some point this year, providing the association with an opportunity to respond to the inspector general and other information EPA has obtained since it published the proposal in June 2010.聽 麻豆视频 also will inform members of any new EPA risk assessments on beneficial use as a result of the inspector general reports. See, , 麻豆视频鈥檚 November 2010 to EPA and the for more details. For more information, please contact Melinda Tomaino at tomainom@agc.org or (703) 837-5415.