SWANA and NWRA are jointly releasing documents recommending a major shift in the process states use to determine when closed municipal solid waste (MSW) landfills are ready to end post-closure care (PCC). “NWRA and SWANA worked hard to develop this document together. We believe that a one-size-fits-all approach to post-closure care is too prescriptive and does not account for the differences among landfills,” said Darrell Smith, NWRA President and CEO. “A performance-based standard offers wider applicability to achieve the same environmental protection goals.”

RCRA Federal Subtitle D established a post-closure care period of 30 years but allowed individual states to adjust the actual length of time up or down as it thought necessary to protect human health and the environment.  The federal standard did not specify the data or methodology required to be used.  The United States EPA addressed a similar lack of specificity regarding post-closure care for hazardous waste landfills in 2016.

Both public and private landfill operators want to close facilities and complete post-closure care in ways that protect human health the environment.   In practice, many state regulations don’t establish what needs to be measured and what measurement results will demonstrate the required level of protection for a closed landfill.  This leads to a lot of uncertainty in when post-closure care requirements can be terminated and what is considered a stable condition.

“We want to encourage our association members to work with the state regulatory agencies to establish regional performance-based evaluation processes,” said Jeffrey S. Murray, SWANA International Board Past President.  “Holding owners and operators to the same science-based standard of performance will instill more confidence in how potential risks have been mitigated through facility closure and lead to smoother transitions to custodial or long-term management and potential re-use.”

Both NWRA and SWANA call for the length of required post-closure care to be determined on a site-specific basis, rather than set by regulation at a single pre-determined number of years for all closed MSW landfills in all 50 states.

Both organizations also advocate for the development of consistent data collection requirements and an agreed-upon approach to the technical evaluation.  The NWRA and SWANA documents both include examples of multiple state PCC period termination programs, all of which include recognitions that landfills should demonstrate stability in four areas: groundwater monitoring, landfill gas, leachate, and stability and cover integrity.

SWANA’s technical policy and NWRA’s position statement are very similar and reflect the collaboration between the members of the two associations on this topic.  Both clearly  emphasize the need for supporting data and protection of human health and the environment through the process of evaluating a landfill’s stability and readiness for the termination of post-closure care.

For more information, visit www.swana.org.

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