Subscribe to our e-Manifest & Regulatory Newsletters
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Sep 30 2021As evidenced below, Industry participation in the USEPAโs Electronic Hazardous Waste Program (e-Manifest) continues to be dismal. The reasons continue to be the same โ no regulatory driver to force participation; confusion over intent and
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Sep 27 2021“Super Vibrant” โThe halls are super vibrant, a true sense of renewal.โ The principal, Mr. Pitek, of our middle school greeted us at the start of this school year. I had to look it up.
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Sep 27 2021In this installment of our โGetting to Know Usโ series, James Lotterer tells us about his background, professional career at WTS, Inc. and how he helps enhance the sustainability of our stakeholders.
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Sep 27 2021Extended Producer Responsibility (EPR) is an approach to circularity and recycling that makes producers responsible (financially and/or physically) for their end-of-life products and packaging. Some brands have made EPR part of their business model, but
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Sep 27 2021Recycling Electronic Scrap is one of the many ways we work to power a more circular economy and enhance the sustainability of our stakeholders. There are many environmental benefits of recycling E-Waste. One of the
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Sep 27 2021As a follow up to last monthโs article on PFAS Regulatory Updates, note that on September 9, 2001 USEPA released a Preliminary Effluent Guidelines Program Plan 15 (Preliminary Plan 15), which identifies three new rulemakings to
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Aug 30 2021Managing Through Uncertainty I wanted to title this stakeholders communication Thriving through uncertainty. Confronting reality, it is truly an accomplishment to be managing through the many uncertainties we face today. This has led us all
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Aug 30 2021PFAS (Per- and polyfluoroalkyl substances) are a class of synthetic organic chemicals that were created starting back in the 1940โs. They contain an alkyl group where all or most of the hydrogen atoms have been
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Aug 30 2021As a result of the 2016 Hazardous Waste Generators Improvements Rule , Small Quantity Generators of Hazardous Waste are required to re-notify the EPA of their hazardous waste activities every four years. SQGs are categorized
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Aug 30 2021WTS noted with interest that USEPA issued a memorandum regarding the Incineration Market backlog on August 10, 2021. We have attached the same for your viewing here. Please note the followingย highlights: USEPA: โEPA is issuing
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Aug 02 2021Safety at the Center, Sustainability In Focus โResponsible Careยฎ has long been the manifestation of the chemical industryโs commitment to environment, health, and safety,โ this is the opening line of a recent article published in
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Aug 02 2021In the eighth installment of our โGetting to Know Usโ series, Tom Stanczyk tells us about his background, professional career at WTS, Inc. and how he helps create a more circular economy in the industry.
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Sep 30 2021As evidenced below, Industry participation in the USEPAโs Electronic Hazardous Waste Program (e-Manifest) continues to be dismal. The reasons continue to be the same โ no regulatory driver to force participation; confusion over intent and
-
Sep 27 2021“Super Vibrant” โThe halls are super vibrant, a true sense of renewal.โ The principal, Mr. Pitek, of our middle school greeted us at the start of this school year. I had to look it up.
-
Sep 27 2021In this installment of our โGetting to Know Usโ series, James Lotterer tells us about his background, professional career at WTS, Inc. and how he helps enhance the sustainability of our stakeholders.
-
Sep 27 2021Extended Producer Responsibility (EPR) is an approach to circularity and recycling that makes producers responsible (financially and/or physically) for their end-of-life products and packaging. Some brands have made EPR part of their business model, but
-
Sep 27 2021Recycling Electronic Scrap is one of the many ways we work to power a more circular economy and enhance the sustainability of our stakeholders. There are many environmental benefits of recycling E-Waste. One of the
-
Sep 27 2021As a follow up to last monthโs article on PFAS Regulatory Updates, note that on September 9, 2001 USEPA released a Preliminary Effluent Guidelines Program Plan 15 (Preliminary Plan 15), which identifies three new rulemakings to
-
Aug 30 2021Managing Through Uncertainty I wanted to title this stakeholders communication Thriving through uncertainty. Confronting reality, it is truly an accomplishment to be managing through the many uncertainties we face today. This has led us all
-
Aug 30 2021PFAS (Per- and polyfluoroalkyl substances) are a class of synthetic organic chemicals that were created starting back in the 1940โs. They contain an alkyl group where all or most of the hydrogen atoms have been
-
Aug 30 2021As a result of the 2016 Hazardous Waste Generators Improvements Rule , Small Quantity Generators of Hazardous Waste are required to re-notify the EPA of their hazardous waste activities every four years. SQGs are categorized
-
Aug 30 2021WTS noted with interest that USEPA issued a memorandum regarding the Incineration Market backlog on August 10, 2021. We have attached the same for your viewing here. Please note the followingย highlights: USEPA: โEPA is issuing
-
Aug 02 2021Safety at the Center, Sustainability In Focus โResponsible Careยฎ has long been the manifestation of the chemical industryโs commitment to environment, health, and safety,โ this is the opening line of a recent article published in
-
Aug 02 2021In the eighth installment of our โGetting to Know Usโ series, Tom Stanczyk tells us about his background, professional career at WTS, Inc. and how he helps create a more circular economy in the industry.






