EPA has a new tracking system for importing and exporting hazardous waste
Hazardous waste information is contained in the EPA’s online application known as the Resource Conservation and Recovery Act Information (RCRAInfo), a national inventory system and management program pertaining to hazardous waste handlers. For U.S. waste handlers that import or export their hazardous waste with other countries (mainly Canada and Mexico), a new system must be used.
The Waste Import and Export Tracking System, also known as WIETS, is a module within the RCRAInfo Industry Application. This new system will enable U.S. exporters and U.S. importers to create notices and submit them to EPA. The WIETS module provides the essential requirements for international movement of hazardous waste that mandate the following:
- The waste must be a hazardous waste under RCRA; and
- The waste must be subject to Federal RCRA manifesting procedures or to Federal (or State equivalent) universal waste management standards under Part 273.
This transition to the WIETS system was expected to take place in January 2022, but due to a significant security vulnerability, the launch was delayed. Final phase testing of the system took place in February and March. By May 2022, EPA began fully exchanging import and export notice data with Canada. It wasn’t until August 2022 that the EPA was able to begin full exchange of data with Mexico. This import and export data exchange is being continually monitored to resolve any further disruptions.
The United States federal government belongs to multiple international agreements that create international trade rules regarding the movement of hazardous wastes. These international agreements are regulated by the Environmental Protection Agency (EPA). This allows the EPA to examine export notifications and forwards them to the importing and transit countries. The EPA also provides U.S. consent or objection to proposed hazardous waste imports.
U.S. importers of hazardous waste must comply with all applicable domestic laws and regulations. These include regulations contained in 40 CFR Part 262, Subpart A-D and H. In cases where the country of export does not regulate the proposed shipment as an export of hazardous waste requiring an export notice, U.S. importers are required to submit an import notice requesting authorization to import the shipment(s) directly to EPA.
U.S. exporters of hazardous waste must comply with all applicable domestic laws and regulations (federal and/or state), which include regulations under RCRA, contained in the Code of Federal Regulations. This includes submitting to EPA a notification of intent to export. While a shipment is in transit, additional documents must accompany each shipment. The exporter must also file an Annual Report with EPA.
Key to remember: Importers and exporters of hazardous waste must use RCRAInfo WIETS to track shipments.