Subscribe to our e-Manifest and Regulatory Newsletters
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Oct 19 2020At the outset of the COVID-19 Pandemic, I changed my email signature to “Together”. Now seven months later, what does that mean, what I have I experienced in working Together with our WTS Stakeholders? A
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Oct 19 2020If signing paper manifests is not reasonably practical, EPA encourages use of the e-Manifest system. If e-Manifest system is not an option: (source: EPA Memorandum Dated August 20, 2020) The transporter should write the name
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Oct 19 2020One of the three major types of hazardous waste “manifest discrepancies” listed in 40 CFR § 265.72 is rejected wastes, which is defined as a full or partial shipment of hazardous waste that the designated
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Oct 19 2020As an Affiliate member of the Society of Chemical Manufacturer’s and Affiliates (SOCMA), WTS is empowered with the latest industry knowledge. In many respects the story of 2020 is written. While we can only act
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Oct 19 2020Through the inspiration and drive of WTS, Inc. founder and current Chairman Gary Hall, the Redbone at Large Lower Niagara Sport Fishing Challenge has raised over $1 MM in just 10 years. This year the
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Oct 12 2020There are many businesses that either produce or consume containerized products, and in doing so these businesses may find themselves with empty containers. Depending on the material that was last inside that container, that empty
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Oct 09 2020According to Section 262.27 of the Code of Federal Regulations, Waste Minimization Certification, a generator who initiates a shipment of hazardous waste must certify to one of the following statements on the Uniform Hazardous Waste
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Sep 28 2020The requirements for accumulation (storage) in a central Accumulation area can be found in 40CFR 262.17: Conditions for exemption for a large quantity generator that accumulates hazardous waste. There are requirements listed for ignitable and
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Sep 21 2020Powering Circular Economy: Western US Expansion: Logistics Excellence I have three new WTS teammates to introduce: James Lotterer, Brian D’Souza and Sara Kumpf. They join WTS in support of our vision and strategic direction to
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Sep 21 2020“It’s not bragging if you can back it up” – Muhammad Ali As a Responsible Care® Partner Company, WTS has once again passed our third party certification audit with Zero Major or Minor Non-Conformances. During this
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Sep 16 2020Federal regulations require large and small quantity generators of hazardous waste to obtain an EPA Identification (EPA ID) number using EPA Form 8700-12 and to submit the completed form to the authorized state agency or EPA regional office
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Sep 16 2020RCRA training helps to protect employees, prevent spills, and avoid costly EPA penalties as they carry out tasks involving hazardous waste. This training informs employees of EPA standards (found in 40 CFR Part 262) that
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Oct 19 2020At the outset of the COVID-19 Pandemic, I changed my email signature to “Together”. Now seven months later, what does that mean, what I have I experienced in working Together with our WTS Stakeholders? A
-
Oct 19 2020If signing paper manifests is not reasonably practical, EPA encourages use of the e-Manifest system. If e-Manifest system is not an option: (source: EPA Memorandum Dated August 20, 2020) The transporter should write the name
-
Oct 19 2020One of the three major types of hazardous waste “manifest discrepancies” listed in 40 CFR § 265.72 is rejected wastes, which is defined as a full or partial shipment of hazardous waste that the designated
-
Oct 19 2020As an Affiliate member of the Society of Chemical Manufacturer’s and Affiliates (SOCMA), WTS is empowered with the latest industry knowledge. In many respects the story of 2020 is written. While we can only act
-
Oct 19 2020Through the inspiration and drive of WTS, Inc. founder and current Chairman Gary Hall, the Redbone at Large Lower Niagara Sport Fishing Challenge has raised over $1 MM in just 10 years. This year the
-
Oct 12 2020There are many businesses that either produce or consume containerized products, and in doing so these businesses may find themselves with empty containers. Depending on the material that was last inside that container, that empty
-
Oct 09 2020According to Section 262.27 of the Code of Federal Regulations, Waste Minimization Certification, a generator who initiates a shipment of hazardous waste must certify to one of the following statements on the Uniform Hazardous Waste
-
Sep 28 2020The requirements for accumulation (storage) in a central Accumulation area can be found in 40CFR 262.17: Conditions for exemption for a large quantity generator that accumulates hazardous waste. There are requirements listed for ignitable and
-
Sep 21 2020Powering Circular Economy: Western US Expansion: Logistics Excellence I have three new WTS teammates to introduce: James Lotterer, Brian D’Souza and Sara Kumpf. They join WTS in support of our vision and strategic direction to
-
Sep 21 2020“It’s not bragging if you can back it up” – Muhammad Ali As a Responsible Care® Partner Company, WTS has once again passed our third party certification audit with Zero Major or Minor Non-Conformances. During this
-
Sep 16 2020Federal regulations require large and small quantity generators of hazardous waste to obtain an EPA Identification (EPA ID) number using EPA Form 8700-12 and to submit the completed form to the authorized state agency or EPA regional office
-
Sep 16 2020RCRA training helps to protect employees, prevent spills, and avoid costly EPA penalties as they carry out tasks involving hazardous waste. This training informs employees of EPA standards (found in 40 CFR Part 262) that