Plastic Pollution and Water Quality Impacts

 
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Plastic generated at organic chemical manufacturing facilities, packaged
and transported to processors for molding into plastic products.
 
Preproduction plastic resin (pellets, powder, and flakes) and 
not
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consumer refuse such as plastic bottles, straws, or bags.
 
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Physical impacts to aquatic species –
abrasive injuries,
clogging gills and respiratory passages, and
obstructing the digestive system
Impacts to aquatic habitat and ecosystems-
Suspended plastics increase the turbidity
of the water, reduce light penetration, and
impair the photosynthetic activity of
aquatic plants
Settleable plastics degrade benthic
organism habitat
Plastic pollution reduces the recreational use
and aesthetic value
 
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There are approximately 155 plastic pellet manufacturers and
molders/formers with individual TPDES permits
 
TPDES permits 
do not 
authorize any amount of plastic pellets to be
discharged into receiving waters
 
TCEQ Actions To Clarify Prohibition:
update the Industrial Wastewater Permit Application (TCEQ-
10055);
update 30 TAC Chapter 307 to explicitly prohibit the
discharge of plastics; and
update individual permits and the Multi-Sector General
Permit to clarify prohibition of the discharge of plastics and
require BMPs
Investigator Guidance for consistency across TCEQ Regions
 
 
 
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TCEQ requesting stakeholder input on the
appropriate terms and definitions
Example: Plastics means all forms of 
visible
plastic produced, received or handled at the
permittee’s facility, including but not limited to:
pellets, powder and flakes.
Plastics - Microplastics - Plastic Materials -
Preproduction Plastics
Pellets: Polypropylene, PVC, HDPE
Powder, Flakes, Fluff, etc.
 
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SWP3 activities implemented to ensure that
areas of the facility that can contribute plastic
pollutants to stormwater discharges are
maintained. Good housekeeping measures must
prevent exposure of plastics and other plastic
pre-production materials to precipitation or
runoff prior to their use in further processing or
disposal. Facilities that handle pre-production
plastic must implement BMPs to eliminate
discharges of plastic in stormwater through the
implementation of control measures such as the
following, where determined feasible:
minimizing spills, cleaning up spills promptly
and thoroughly, sweeping thoroughly, and pellet
capturing.
 
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Outfall and receiving water
inspection
Notification of spills and
unauthorized discharges to
Regional Office
Recovery of released materials
from receiving waters
 
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Clarification that the point of
compliance for the prohibition on
the discharge of plastics is the final
outfall.
If the discharge enters a water in the
State prior to exiting the property,
the point of compliance must be
located prior to entering a water in
the State.
Treatment units such as settling
ponds are not considered water in
the State.
 
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TCEQ is requesting stakeholder input regarding additional time
to comply with a no discharge requirement.
TSWQS allow up to a three-year compliance period.
Request must justify the need for additional time including
a construction schedule to install new control structures or
retrofitting existing systems to achieve compliance.
If approved, the compliance period will include submission
of quarterly progress reports.
 
TCEQ may reopen permits during the current permit term to
include additional requirements under the staff-initiated minor
amendment process.
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Plastic pollution from manufacturing facilities and improper disposal practices has detrimental effects on water quality and aquatic life. Plastics not only harm aquatic species but also disrupt habitats and ecosystems. Initiatives such as plastic prohibition and best management practices are essential to curb plastic pollution and protect water quality.

  • Plastic Pollution
  • Water Quality
  • Aquatic Species
  • Environmental Impact
  • Pollution Control

Uploaded on Jul 18, 2024 | 0 Views


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  1. Plastics Plastics Plastic generated at organic chemical manufacturing facilities, packaged and transported to processors for molding into plastic products. Preproduction plastic resin (pellets, powder, and flakes) and not post- consumer refuse such as plastic bottles, straws, or bags.

  2. Water Quality Water Quality Impacts Impacts Physical impacts to aquatic species abrasive injuries, clogging gills and respiratory passages, and obstructing the digestive system Impacts to aquatic habitat and ecosystems- Suspended plastics increase the turbidity of the water, reduce light penetration, and impair the photosynthetic activity of aquatic plants Settleable plastics degrade benthic organism habitat Plastic pollution reduces the recreational use and aesthetic value

  3. Plastics Prohibition Plastics Prohibition There are approximately 155 plastic pellet manufacturers and molders/formers with individual TPDES permits TPDES permits do not authorize any amount of plastic pellets to be discharged into receiving waters TCEQ Actions To Clarify Prohibition: update the Industrial Wastewater Permit Application (TCEQ- 10055); update 30 TAC Chapter 307 to explicitly prohibit the discharge of plastics; and update individual permits and the Multi-Sector General Permit to clarify prohibition of the discharge of plastics and require BMPs Investigator Guidance for consistency across TCEQ Regions

  4. Plastics Plastics - - Definitions Definitions TCEQ requesting stakeholder input on the appropriate terms and definitions Example: Plastics means all forms of visible plastic produced, received or handled at the permittee s facility, including but not limited to: pellets, powder and flakes. Plastics - Microplastics - Plastic Materials - Preproduction Plastics Pellets: Polypropylene, PVC, HDPE Powder, Flakes, Fluff, etc.

  5. Plastics Plastics Best Management Practices Management Practices Best SWP3 activities implemented to ensure that areas of the facility that can contribute plastic pollutants to stormwater discharges are maintained. Good housekeeping measures must prevent exposure of plastics and other plastic pre-production materials to precipitation or runoff prior to their use in further processing or disposal. Facilities that handle pre-production plastic must implement BMPs to eliminate discharges of plastic in stormwater through the implementation of control measures such as the following, where determined feasible: minimizing spills, cleaning up spills promptly and thoroughly, sweeping thoroughly, and pellet capturing.

  6. Plastics Plastics Other Requirements Requirements Other Outfall and receiving water inspection Notification of spills and unauthorized discharges to Regional Office Recovery of released materials from receiving waters

  7. Plastics Plastics Other Requirements Requirements Other Clarification that the point of compliance for the prohibition on the discharge of plastics is the final outfall. If the discharge enters a water in the State prior to exiting the property, the point of compliance must be located prior to entering a water in the State. Treatment units such as settling ponds are not considered water in the State.

  8. Plastics Plastics Compliance Period Compliance Period TCEQ is requesting stakeholder input regarding additional time to comply with a no discharge requirement. TSWQS allow up to a three-year compliance period. Request must justify the need for additional time including a construction schedule to install new control structures or retrofitting existing systems to achieve compliance. If approved, the compliance period will include submission of quarterly progress reports. TCEQ may reopen permits during the current permit term to include additional requirements under the staff-initiated minor amendment process.

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