Hazardous waste manifest errors? Follow RCRA’s correction process
Hazardous waste manifests are like travel logs. They track the entire journey of regulated hazardous waste, from the starting point (the generator’s facility) to the final destination (the off-site waste management facility). Like travel logs, a manifest is only as accurate as the information provided. Thankfully, you can correct manifest errors.
The Environmental Protection Agency (EPA) finalized the Third Rule under the Resource Conservation and Recovery Act (RCRA), which took effect in January 2025. It made noteworthy changes to the manifest corrections process. Here’s what hazardous waste generators, transporters, and treatment, storage, and disposal facilities (TSDFs) need to know.
Who’s impacted?
The Third Rule impacts entities subject to RCRA’s manifest regulations. This article focuses on the manifest correction rules that apply to these waste handlers:
- Small and large quantity generators,
- Transporters, and
- TSDFs.
Note that the final rule amends post-manifest correction regulations for other entities, such as exporters, that are beyond the scope of this article.
What are the Third Rule changes?
EPA’s final rule maintains most of the post-receipt manifest data corrections process.
What’s the same?
Specifically:
- Any waste handler named on the manifest may voluntarily submit data corrections at any time,
- Waste handlers can make an unlimited number of voluntary corrections,
- Corrections may be applied to an individual record or batch of them, and
- Submissions must include a signature compliant with the Cross-Media Electronic Reporting Rule (CROMERR).
What’s different?
Previously, when EPA or a state regulatory agency requested corrections to data on a manifest, waste handlers weren’t required to make them. The Third Rule now mandates that waste handlers:
- Correct errors on the manifest within 30 days of a corrections request from EPA or a state agency, and
- Make data correction submissions electronically for paper or electronic manifest records.
Post-receipt corrections are made via the Hazardous Waste Electronic Manifest System (e-Manifest) on the RCRA Information (RCRAInfo) system.
The Third Rule also clarifies that receiving facilities (TSDFs) can make corrections only after the manifest is completed (i.e., signed and submitted to the e-Manifest system).
What’s the post-receipt manifest correction process?
Waste handlers submitting voluntary or mandatory post-receipt corrections to hazardous waste manifests must follow the process established at 40 CFR 264.71(l).
Follow this general process on the e-Manifest System:
- Certify the manifest is complete. It must have the status “Signed-Completed."
- Determine how to submit the corrected data to the e-Manifest system. You can enter the data directly into e-Manifest or upload a file with data corrections to the system.
- Include for each correction submission:
- The Manifest Tracking Number and date received by the facility associated with the data being corrected,
- The Item Number(s) of the affected data fields on the manifest form (EPA Form 8700-22), and
- The previously entered and corrected data.
- Save your corrections. The manifest’s status will change to “Under Correction."
- Re-sign the manifest to certify the corrections. The manifest’s status will change to “Corrected."
Manifest correction FAQs
Check out some top questions and answers about post-receipt manifest corrections.
What manifest information can I correct?
The type of waste handler your facility is determines which items on the manifest you can change for voluntary corrections or must change for mandatory corrections. Typically:
- Generators correct data in Items 1–15;
- Transporters correct data in Items 6–7, 14, and 17; and
- TSDFs correct data in Items 14 and 18–20.
What user role do I need on RCRAInfo to submit manifest corrections?
You must be registered in RCRAInfo as a user with the e-Manifest Certifier or Site Manager role for the facility’s site to submit manifest corrections.
What’s the CROMERR certification?
EPA requires manifest correction submitters to use a CROMERR-compliant electronic signature, which requires a higher level of identity proofing than the Quick Sign signature.
Can I revert to a previous manifest version?
Once the corrected manifest has been signed, you can’t revert it to a previous version. The e-Manifest system does, however, let you view all versions of the manifest.
Can brokers sign corrected manifests?
Although brokers can initiate a manifest correction for generators, they may not sign a corrected manifest unless they (a) operate at the generator’s facility and (b) can sign the manifest as an offeror of the waste shipment.
Key to remember: EPA’s Third Rule updates the process for making data corrections to RCRA hazardous waste manifests.