Future Environment Designs Training Center specializes in asbestos, indoor air quality, industrial hygiene, and occupational safety training programs. We offer New York State asbestos and mold certification courses. We design, develop, and maintain the various indoor air quality, asbestos, and safety programs that are Keeping Your Employees Safe.

Post: Different Regulations for Different States on Asbestos-Cement Pipe

One of our regular clients, during a class, provided us with a copy of the article linked to the title above. The title of the article is “End of the Line” by Kent Von Aspern, P.E. Public Works magazine published this article in March 2009. One of the first things we need to note about the article is that the author works in Northern California and we should not take this article as the requirements for every state. Each state may and can handle asbestos in their state differently. For example, the New York State Department of Labor under Industrial Code Rule 56 regulates asbestos cement or transite pipe. Under this regulation, only licensed companies (even a sewage or water district or Department of Public Works are required to be licensed to handle asbestos) can handle any quantity of asbestos containing material (ACM). In addition, only workers/employees certified by NYSDOL as operations and maintenance, handlers, or supervisors can handle ACM. The size projects handled by the workers would dictate which certificate the workers are required to have. NYSDOL does not stop at just licensing and certification requirements it also dictates the work procedures. Under the Guidance Document version 2.0, question 237 indicates the work procedures for cement/transite pipe. It indicates that abandoned asbestos containing cement/transite pipe cannot remain in the trench. According to ICR56 buried asbestos cement or transite pipe must be removed and disposed of in accordance with the Environmental Protection Agency’s (EPA) National Emission Standards for Hazardous Air Pollutants (NESHAPS) regulation as Category II nonfriable asbestos containing material and under New York State Department of Environmental Conservation’s (NYS DEC) asbestos waste regulations. Remember when you read information on the internet or in national magazines or industry publications it is difficult for one author to know all the requirements in each state. Many times the author is writing specifically of experiences they have in their state. That experience many times may not apply in a different state or states.
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Angelo Garcia, III, CIEC, CEOP, Principal-Industrial Hygienist

Welcome to my blog (I really don’t like that word). This is where I will post items of interest and discussions. I am the Principal- Industrial Hygienist (owner, cook, and bottle washer) of Future Environment Designs, Inc. Hope you enjoy this site as much as I do.

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