(A) Tank bottoms and other wastes from the storage
of crude oil (whether foreign or domestic) before it enters the refinery
are under the jurisdiction of the RRC. In addition, waste resulting
from storage of crude oil at refineries is subject to the jurisdiction
of the TCEQ.
(B) Wastes generated from storage tanks that are part
of the refinery and wastes resulting from the wholesale and retail
marketing of refined products are subject to the jurisdiction of the
TCEQ.
(4) Underground hydrocarbon storage. The disposal of
wastes, including saltwater, resulting from the construction, creation,
operation, maintenance, closure, or abandonment of an "underground
hydrocarbon storage facility" is subject to the jurisdiction of the
RRC, provided the terms "hydrocarbons" and "underground hydrocarbon
storage facility" have the meanings set out in Texas Natural Resources
Code, §91.201.
(5) Underground natural gas storage. The disposal of
wastes resulting from the construction, operation, or abandonment
of an "underground natural gas storage facility" is subject to the
jurisdiction of the RRC, provided that the terms "natural gas" and
"storage facility" have the meanings set out in Texas Natural Resources
Code, §91.173.
(6) Transportation of crude oil or natural gas.
(A) Jurisdiction over pipeline-related activities.
The RRC has jurisdiction over matters related to pipeline safety for
pipelines in Texas, as referenced in §8.1 of this title (relating
to General Applicability and Standards) pursuant to Chapter 121 of
the Texas Utilities Code and Chapter 117 of the Texas Natural Resources
Code. The RRC has jurisdiction over spill response and remediation
of releases from pipelines transporting crude oil, natural gas, and
condensate that originate from exploration and production facilities
to the refinery gate. The RRC has jurisdiction over waste generated
by construction and operation of pipelines used to transport crude
oil, natural gas, and condensate on an oil and gas lease, and from
exploration and production facilities to the refinery gate. The RRC
is responsible for water quality certification issues related to construction
and operation of pipelines used to transport crude oil, natural gas,
and condensate on an oil and gas lease, and from exploration and production
facilities to the refinery gate. The RRC has jurisdiction over waste
generated by construction and operation of pipelines transporting
carbon dioxide.
(B) Crude oil and natural gas are transported by railcars,
tank trucks, barges, tankers, and pipelines. The RRC has jurisdiction
over waste from the transportation of crude oil by pipeline, regardless
of the crude oil source (foreign or domestic) prior to arrival at
a refinery. The RRC also has jurisdiction over waste from the transportation
by pipeline of natural gas, including natural gas liquids, prior to
the use of the natural gas in any manufacturing process or as a residential
or industrial fuel. The transportation wastes subject to the jurisdiction
of the RRC include wastes from pipeline compressor or pressure stations
and wastes from pipeline hydrostatic pressure tests and other pipeline
operations. These wastes include waste hydrocarbons (including used
oil), treating and cleaning chemicals, filters (including used oil
filters), scraper trap sludge, trash, domestic sewage, wastes contaminated
with polychlorinated biphenyls (PCBs) (including transformers, capacitors,
ballasts, and soils), soils contaminated with mercury from leaking
mercury meters, asbestos insulation, transite pipe, and hydrostatic
test waters.
(C) The TCEQ has jurisdiction over waste from transportation
of refined products by pipeline.
(D) The TCEQ also has jurisdiction over wastes associated
with transportation of crude oil and natural gas, including natural
gas liquids, by railcar, tank truck, barge, or tanker.
(7) Reclamation plants.
(A) The RRC has jurisdiction over wastes from reclamation
plants that process wastes from activities associated with the exploration,
development, or production of oil, gas, or geothermal resources, such
as lease tank bottoms. Waste management activities of reclamation
plants for other wastes are subject to the jurisdiction of the TCEQ.
(B) The RRC has jurisdiction over the conservation
and prevention of waste of crude oil and therefore must approve all
movements of crude oil-containing materials to reclamation plants.
The applicable statute and regulations consist primarily of reporting
requirements for accounting purposes.
(8) Refining of oil.
(A) The management of wastes resulting from oil refining
operations, including spent caustics, spent catalysts, still bottoms
or tars, and American Petroleum Institute (API) separator sludges,
is subject to the jurisdiction of the TCEQ. The processing of light
ends from the distillation and cracking of crude oil or crude oil
products is considered to be a refining operation. The term "refining"
does not include the processing of natural gas or natural gas liquids.
(B) The RRC has jurisdiction over refining activities
for the conservation and the prevention of waste of crude oil. The
RRC requires that all crude oil streams into or out of a refinery
be reported for accounting purposes. In addition, the RRC requires
that materials recycled and used as a fuel, such as still bottoms
or waste crude oil, be reported.
(9) Natural gas or natural gas liquids processing plants
(including gas fractionation facilities) and pressure maintenance
or repressurizing plants. Wastes resulting from activities associated
with these facilities include produced water, cooling tower water,
sulfur bead, sulfides, spent caustics, sweetening agents, spent catalyst,
waste hydrocarbons (including used oil), asbestos insulation, wastes
contaminated with PCBs (including transformers, capacitors, ballasts,
and soils), treating and cleaning chemicals, filters, trash, domestic
sewage, and dehydration materials. These wastes are subject to the
jurisdiction of the RRC under Texas Natural Resources Code, §1.101.
Disposal of waste from activities associated with natural gas or natural
gas liquids processing plants (including gas fractionation facilities),
and pressure maintenance or repressurizing plants by injection is
subject to the jurisdiction of the RRC under Texas Water Code, Chapter
27. However, until delegation of authority under RCRA to the RRC,
the TCEQ shall have jurisdiction over wastes resulting from these
activities that are not exempt from federal hazardous waste regulation
under RCRA and that are considered hazardous under applicable federal
rules.
(10) Manufacturing processes.
(A) Wastes that result from the use of natural gas,
natural gas liquids, or products refined from crude oil in any manufacturing
process, such as the production of petrochemicals or plastics, or
from the manufacture of carbon black, are industrial wastes subject
to the jurisdiction of the TCEQ. The term "manufacturing process"
does not include the processing (including fractionation) of natural
gas or natural gas liquids at natural gas or natural gas liquids processing
plants.
(B) The RRC has jurisdiction under Texas Natural Resources
Code, Chapter 87, to regulate the use of natural gas in the production
of carbon black.
(C) Biofuels. The TCEQ has jurisdiction over wastes
associated with the manufacturing of biofuels and biodiesel. TCEQ
Regulatory Guidance Document RG-462 contains additional information
regarding biodiesel manufacturing in the state of Texas.
(11) Commercial service company facilities and training
facilities.
(A) The TCEQ has jurisdiction over wastes generated
at facilities, other than actual exploration, development, or production
sites (field sites), where oil and gas industry workers are trained.
In addition, the TCEQ has jurisdiction over wastes generated at facilities
where materials, processes, and equipment associated with oil and
gas industry operations are researched, developed, designed, and manufactured.
However, wastes generated from tests of materials, processes, and
equipment at field sites are under the jurisdiction of the RRC.
(B) The TCEQ also has jurisdiction over waste generated
at commercial service company facilities operated by persons providing
equipment, materials, or services (such as drilling and work over
rig rental and tank rental; equipment repair; drilling fluid supply;
and acidizing, fracturing, and cementing services) to the oil and
gas industry. These wastes include the following wastes when they
are generated at commercial service company facilities: empty sacks,
containers, and drums; drum, tank, and truck rinsate; sandblast media;
painting wastes; spent solvents; spilled chemicals; waste motor oil;
and unused fracturing and acidizing fluids.
(C) The term "commercial service company facility"
does not include a station facility such as a warehouse, pipeyard,
or equipment storage facility belonging to an oil and gas operator
and used solely for the support of that operator's own activities
associated with the exploration, development, or production activities.
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