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View ICR - OIRA Conclusion



2040-0042 198710-2040-004
Historical Inactive 198705-2040-001
EPA/OW
UNDERGROUND INJECTION CONTROL PROGRAM INFORMATION
Revision of a currently approved collection   No
Regular
Disapproved and continue 12/22/1987
Retrieve Notice of Action (NOA) 10/27/1987
This ICR is for the proposed Hazardous Waste Injection Disposal Restriction. OMB is disapproving this ICR until EPA does the following Demonstrate more fully that items with no burden or cost estimates (ie Waste Analysis Plan, Class I notification, and closure) are in fact currently being done as part of "customary and usual" business practic or other existing regulatory requirements. Disaggregate the burden an cost estimate for Mechanical Integrity Testing into pressure test, rad active tracer survey, and bottom hole pressure test and also justify t sampling and reporting interval selected (annual or five years). Do conditions change so rapidaly that annual tests are necessary? What about 3 years? The ICR package mentions quarterly reporting but there doesn't appear to be any unless they are hidden in the Waste Analysis Plan. Please clarify. Justify more completely the ambient monitoring sampling interval and the burden of the rejected mechanical integrity tests. How frequent is the post-closure monitoring and why? Discuss how the inventory will assist in evaluating solvent exempt Explain why burden was calculated indirectly from cost a In general, the ICR doesn't adequately demonstrate the prac of the information. 7/87 terms of clearance are still relevan addendum including the expiration date for the main ICR (7/88 If the timing is right this addendum should be incorporated into main ICR. Any questions on these remarks should be directed t
  Inventory as of this Action Requested Previously Approved
07/31/1988 07/31/1988 07/31/1988
42,294 0 42,294
328,801 0 328,801
0 0 0