| Clarification Note: |
The application was considered by the competent authority and observed as under:
As per the application of form the industry has applied for for Authorization under the Hazardous and Other Wastes (Management and Trans-boundary Movement) Rules, 2016 for handling/processing of Hazardous waste of Category 5.1 (Used or spent Oil) @ 2100 KL/year (used engine oil, lubricant oil, used DG set oil, hydraulic oil and used spent oil), Category 5.1 (Used or spent Oil) @ 1200 KL/year (transformer oil), Category 5.2 (Waste/ residue containing oil) @ 1200 KL/year and handling/generation of hazardous waste of Category 4.1 (-Oil sludge or emulsion) @ 78 TPA and Category 4.5 (Spent clay containing oil) @ 78 TPA..........................however, the industry has been granted consent for utilization of raw material as USED INSULATED OIL(TRANSFORMER OIL) @ 7000 Liter/day, USED OIL/USED ENGINE OIL/LUBRICANTS OIL/USED D.G SET OIL/USED SPENT OIL/WASTE OIL/HYRDOULIC OIL( CATEGORY WISE 5.1) @ 4000 Liter/day, WASTE OR RESIDUES CONTAINING OIL ( CATEGORY WISE 5.2) @ 4000 Liter/day & NATURAL FULLER EARTH(CLAY) @ 240 Kgs/day...................... Thus, there is mismatch in the quantity of raw material to be processed by the industry in the consent granted and the authorization applied for
Please reply to above observation within 1 day. |