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Environmental Quality Assurance and Compliance at Medical and Dental Treatment Facilities. ENVIRONMENTAL PROGRAMS DIRECTORATE BUMED ENVIRONMENTAL QUALITY. INTRODUCTION. Mr. Bill Rogers BUMED Environmental Manager (757) 953-9035 or DSN 377-5558 Fax: 757-953-0675
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Environmental Quality Assurance and Compliance at Medical and Dental Treatment Facilities ENVIRONMENTAL PROGRAMS DIRECTORATE BUMED ENVIRONMENTAL QUALITY
INTRODUCTION • Mr. Bill Rogers BUMED Environmental Manager • (757) 953-9035 or DSN 377-5558 • Fax: 757-953-0675 • E-mail: rogersw@nehc.med.navy.mil • 620 John Paul Jones Cir, Portsmouth, VA, 23708-2103
NAVY ENVIRONMENTAL HEALTH CENTER COMMANDING OFFICER CAPT S. SACK MC, USN ENVIRONMENTAL PROGRAMS DIRECTOR CAPT C. RENNIX MSC, USN PUBLIC HEALTH SUPPORT ENGINEERING SUPPORT HEALTH/RISK ASSESSMENT BUMED CLAIMANCY ENVIRONMENTAL QUALITY MR. W. R. ROGERS GS - 13 BRAC SUPPORT RISK ASSESSMENT ENVIRONMENTAL ENGINEER LT C. ZHANG CEC, USN TECHNICAL TRAINING HEALTH AND SAFETY ENVIRONMENTAL PROGRAMSORGANIZATIONAL DIAGRAM
BUMED ClaimancyEnvironmental Quality Department, Background: • This function was transferred from BUMED (MED 43) to NEHC in June 1995 per the headquarters reduction initiative. • Personnel consists of: 1 - GS-13 Environmental Program Manager 1 – O-3 Civil Engineer Corps Officer
ENVIRONMENTAL QUALITY DEPARTMENT DUTIES INCLUDE: • Assist the Chief of Naval Operations in establishing environmental policy • Establish and disseminate environmental policy for the BUMED claimancy • Develop environmental Program Objectives Memorandums, Program Reviews, and budgets for funding activity requirements
ENVIRONMENTAL QUALITY DEPARTMENT • Coordinate the Environmental Quality Assessment program at the claimant level • Provide Environmental expertise and assistance to BUMED activities • Assist Navy and Marine Corps activities with medically unique environmental matters • Compile claimancy data for CNO (N45) • Provide comments on proposed environmental legislation as it impacts our medical/dental treatment facilities
MISSION BUMED is committed to environmental excellence in our pursuit of “Force Health Protection.” We accomplish this through commitment to the following principles: • Compliance • Prevention • Communication • Continuous Improvement
ENVIRONMENTAL LAWS • State Infectious Waste Laws • Resource Conservation and Recovery Act (RCRA) • Hazardous and Solid Waste Amendments (HSWA) • Toxic Substances Control Act (TSCA) • Comprehensive Environmental Response, Compensation and Liability Act (CERCLA) • Superfund Amendments and Reauthorization Act (SARA) • Clean Air Act (CAA) • Safe Drinking Water Act (SDWA) • Clean Water Act (CWA) • Executive Order 13148
REASONS TO COMPLY • Civil Charges • Non-Compliance Penalties • Economic Benefit Penalties • Criminal Charges • Willful Negligence • Withholding or Falsifying Information • Injunction to halt a project or process • Other Reasons • Bad Public Image • Protect Human Health and the Environment
ENVIRONMENTAL PROGRAM(OPNAVINST 5090.1B) • Pollution Prevention • Air Permits • Waste Water Discharge Permits • Hazardous Waste/Hazardous Material • Drinking Water - Distribution and Lead • Polychlorinated Biphenyls (PCBs) • Underground Storage Tanks • Oil/HM Spill Control and Countermeasures and Contingency Plans • Recycling • Emergency Planning and Community Right to Know (EPCRA) • Asbestos • Ozone Depleting Substances (ODS)
PROGRAM ORGANIZATION • HEADQUARTERS • HEALTHCARE SUPPORT OFFICES • ACTIVITIES
ENVIRONMENTAL QUALITY ASSESSMENT (EQA) Program • Federal Facilities must comply with Federal, State, and local laws and are subject to enforcement action by regulatory agencies. • DOD and Navy policy require compliance • OPNAVINST 5090.1B Chapter 20 - “The EQA program provides means to monitor, achieve and maintain compliance with environmental and natural resources regulations.” • 2 TIERED PROGRAM
Who is Conducting the Program? I.Activity Annual Self EQA’s by Base Staff • Format Established by Activity • Includes Tenants • Developed from Activity Internal Assessment Plan (IAP) II.Major Claimant EQA’s • Performed by Major Claimant Staff (Includes Tenants) (For Most, EFD/A’s Provide Technical Team Members) • Schedule and Scope determined by Major Claimant after review of IAPs and Self-Assessments (Host and Tenant Claimants Coordinate to perfomr External assessments) • Report Issued by Major Claimant (Internal Document)
MOST COMMON EQA FINDINGS • HAZARDOUS WASTE • Hazardous Waste Management Plan that is not current. • Improper labeling, storage and manifesting of containers. • Inadequate training and/or training records. • Inadequate Silver Recovery program
MOST COMMON EQA FINDINGS(CONTINUED) • INFECTIOUS WASTE • Not operating in accordance with state/local plans and permits. • Improperly mixing infectious waste with non-bio-hazardous waste. (RMW = .22-.50$/lb vs. .10-.18$/lbs solid waste for disposal) • No medical waste management plan. • Improper labeling of containers.
MOST COMMON EQA FINDINGS(CONTINUED) • POTABLE WATER • Priority sampling for lead and copper. • Inadequate Backflow Prevention Program. • Sampling Siting Plan is not developed.
MOST COMMON EQA FINDINGS(CONTINUED) • POLICY • Not performing Self-Environmental Quality Assessments (EQA’s). • Out of date or ambiguous statements in host/tenant agreements. • No host/tenant agreement or inter-service support agreement (ISSA). • Insufficient training of environmental staff. (Asbestos/ODS/HW)
MOST COMMON EQA FINDINGS(CONTINUED) • SPILL PREVENTION CONTROL & COUNTERMEASURES (SPCC) • No SPCC plan prepared or not being implemented. • Inadequate host/tenant coordination (i.e. Base performs modifications and no revision to SPCC plan, Base does not provide a copy of SPCC plan to Naval Hospital).
MOST COMMON EQA FINDINGS(CONTINUED) • ASBESTOS • Inadequate Asbestos Operations and Maintenance Plan. • Insufficient training of personnel. • HAZARDOUS MATERIAL CONTROL AND MANAGEMENT • Inadequate Hazardous Material Control and Management Program. (No centralized purchase and issue point) (CHRIMP) • Improper authorized use list/inventory. • Improper labeling and storage of containers. • Purchase non-AUL products or products with no Material Safety Data Sheets (MSDS’s).
MOST COMMON EQA FINDINGS(CONTINUED) • AIR • Inadequate inventory of ODS equipment, and thus no ODS phase-out plans. • Improper training and records for equipment and personnel working with ODS materials. • Improper disposal of ODS
What does all this mean? • The trends indicate that most violations are operational or administrative in nature • We must develop a better management system to correct these problems
The Answer • Environmental Management System • Quality Assurance for an activities environmental program • Identify and manage potential environmental impacts • Proactive approach to environmental security • Internal Assessment Plans (31MAR02)
EMS Components A Generic EMS contains the following 5 components: • Policy Statement • Planning • Implementation • Evaluation • Continual Improvement
Navy EMS Process The Planning Loop Policy • Identify and track requirements • Identify vulnerable assets and practices that impact them • Identify and document impacts • Identify training needs • Identify Pollution Prevention Opportunities • Rank Impacts • Develop objectives and Targets Planning Implementation Implementation -Establish programs -Provide resources (funding/personnel) -Provide Training -Develop and control EMS documentation Develop and Document SOPs Develop, document, and test emergency procedures Evaluation Corrective Action Loop -Identify/Characterize/document problems -Develop corrective /preventive actions -Secure management approval Implement solutions Management Review
FUNDING SOURCESfor Environmental Projects • Major Claimant • Activity • Centrally Managed NAVFAC Funds
TYPES OF BUMED FACILITIES • STAND ALONE • BUMED OWNS PROPERTY • BUMED PERFOMS MAINTENANCE • i.e. BETHESDA, PORTSMOUTH, BEAUFORT • QUASI-TENANT - on a military base • BUMED OWNS PROPERTY • BUMED PERFORMS MAINTENANCE • i.e. JACKSONVILLE, CHERRY POINT, ROTA • TENANT • BASE OWNS PROPERTY • BASE PERFORMS MAINTENANCE • i.e. PAX RIVER, LEMOORE, PORTSMOUTH NH
UNIQUE MTF ISSUES • SILVER DISCHARGE TO SANITARY SEWER SYSTEM • MERCURY DISCHARGE TO SANITARY SEWER SYSTEM • DISPOSAL OF INFECTIOUS MEDICAL WASTE • PARTNERING (AHA, H2E, EPA, JACHO) • POLLUTION PREVENTION
POLLUTION PREVENTION (P2) • Pollution reduced at source • Pollution not prevented should be recycled • Pollution that cannot be recycled should be treated • Disposal is the last resort
SAMPLE ACTION ITEMS FOR P2 PLANS • Hospital CHRIMP Program • Photo Processing alternatives • Replacement of ETO Sterilizers-may or may not be feasible • Replacement of ODS Class I/ II • Xylene and Formaldehyde stills • Collecting aluminum, paper, glass, and plastic for recycling • Infectious Waste Reduction Initiatives • Cleaning Material and Solvent Substitution
ENVIRONMENTAL INFORMATION WEBSITES • DENIX • http://denix.osd.mil • Environmental Protection Agency • http://www.epa.gov • NATO • http://echs.ida.org • Navy Facilities Engineering Command • http://www.ncts.navy.mil/homepages/navfac_es/shoreg2.htm • http://clean.rti.org/larry/haz9.htm • BUMED Environmental Management System (EMS) Program • http://www-nehc.med.navy.mil/ep/bumed_ems.htm
FUTURE INITIATIVES • ENVIRONMENTAL MANAGEMENT SYSTEM (EMS) • POLLUTION PREVENTION • WATER PROGRAMS • IMPROVED COMMUNICATION • ON-LINE SUPPORT • HOSPITALS FOR A HEALTHY ENVIRONMENT (H2E)