Small quantity generators: Ready for RCRA re-notifications?
You’ve likely never thought of “staying in touch” as a legal obligation, but that’s exactly what it is for facilities that generate small quantities of hazardous waste. The Environmental Protection Agency (EPA) mandates that small quantity generators (SQGs) give updates on their hazardous waste activities every four years. The next re-notification is right around the corner; it’s due by September 1, 2025.
Here's what SQGs need to know to stay in touch — and in compliance — with EPA.
What’s the re-notification requirement?
The Resource Conservation and Recovery Act (RCRA) enables EPA to control hazardous waste from generation to disposal. The agency keeps tabs on SQGs through the re-notification regulation at 40 CFR 262.18(d). It requires SQGs to re-notify EPA or the state environmental agency of their generator status and activities every four years by submitting the:
- Notification of RCRA Subtitle C Activities, also known as the Site Identification (ID) Form (EPA Form 8700-12), or
- State-equivalent form.
How do SQGs re-notify?
Regulated SQGs must submit the Site ID Form. EPA and many states use the myRCRAid module on RCRA Information (RCRAInfo) for re-notifications.
Here’s how to submit the Site ID Form on myRCRAid:
- Log in to RCRAInfo.
- Click “Create New Submission” on the myRCRAid tab.
- Select the reason for submittal as “Obtaining or updating an EPA ID number for on-going regulated activities (Items 10–17) that will continue for a period of time."
- Review and update the information about your site as needed, including the facility’s:
- EPA ID number,
- Name and location address,
- Mailing address,
- Land type,
- North American Industry Classification System (or NAICS) code,
- Site contact information,
- Legal owner/operator information,
- Type of regulated waste activity,
- Additional regulated waste activities, and
- Status as:
- An academic entity with laboratories,
- An episodic generator,
- A large quantity generator (LQG) consolidating very small quantity generator hazardous waste,
- An LQG site closing a Central Accumulation Area or facility,
- A secondary hazardous material manager, and
- A contractor of an electronic manifest broker.
- Include any additional information in the comments section (Item 18).
- Click “Review.” Make any needed corrections to the information. Once this is complete, myRCRAid will display the Review Source Record page.
- Submit the re-notification:
- If you don’t have Certifier permission, click “Mark Ready for Signature.” The application will save the form in the “In Progress” section on myRCRAid and notify individuals at your facility with Certifier and Site Manager permissions. The status will display “Ready for Signature."
- If you have Certifier permission, confirm that the data is correct and click “Sign & Submit” to electronically sign the submission.
Once you submit the Site ID Form, its status on myRCRAid will display “Pending.” EPA or the state regulator will approve or reject the re-notification submission.
Re-notification recommendations
Consider these tips when preparing your SQG re-notification:
- Most RCRA programs are implemented at the state level. Confirm the re-notification regulations with your state environmental agency. It may not use myRCRAid and may require more frequent submissions.
- Ensure you have the necessary RCRAInfo permissions to submit the SQG re-notification. A Preparer can enter information into the Site ID form, but only a Certifier or Site Manager may sign and submit it.
- EPA accepts submission of the Site ID form at any time within the four years before the next re-notification deadline, so you can submit the re-notification before September 1. Verify with your state whether the same allowance applies.
Submitting the SQG re-notification properly keeps EPA updated and your facility compliant.
Key to remember: Small quantity generators of hazardous waste must re-notify EPA or the state agency by September 1, 2025.