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The National Hazardous Waste List has changed, waste lead storage batteries identified as hazardous waste

Feb 10, 2019   Pageview:705

From August 1st, 2016, the new National Hazardous Waste List will be implemented. When the new list is implemented, the old ones will of course be abolished. So, what is the impact of the new National Hazardous Waste List on the battery industry? To be honest, the impact is not small.

 

The National Hazardous Waste List has been revised by the Ministry of Environmental Protection and published on June 14, 2016. It will be implemented on August 1, 2016. The contents of the newly published “National Hazardous Waste List” have changed, including the content of hazardous waste in the production process of the recycled non-ferrous metals industry, mainly as follows.

 

First, the added content

 

In the non-specific industry of HW13 organic resin waste, the waste resin powder produced after the scrap copper separator, printed circuit board and circuit board is crushed and sorted and recycled is added. The waste code is (900-451-13), dangerous. The characteristic is toxicity (T).

 

Second, the revised content

 

1. In the HW31 lead-containing waste, the waste code 431-001-31 “Slag and lead-acid sludge produced by the lead-acid battery recycling industry” was revised. The revised content is “During the waste lead-acid battery disassembly process”. Waste lead plates, waste lead paste and waste acid are produced. The waste code is 421-41-31.

 

2. Among the HW48 non-ferrous metal smelting wastes, there are three more revised contents.

 

(1) Revised the waste code 331-027-48 “fly ash and wastewater treatment sludge generated during copper regeneration”, and revised the content to “dust and wastewater treatment collected by the dust collection device during copper regeneration” "Sludge", while removing "*", the waste code is 321-277-48.

 

The original “National Hazardous Waste List” interprets “*” as: “Hazardous waste with complex source and dangerous characteristics, and the country has a clear identification standard. The “Catalogue” is marked with “*”. The unit in which such hazardous waste is listed does have sufficient evidence that the waste produced does not have hazardous properties and that the specific waste may not be managed in accordance with the hazardous waste.

 

(2) Revise the waste code 331-028-48 “fly ash and wastewater treatment sludge generated during zinc regeneration”, and the revised content is “dust and wastewater collected by the dust removal device during the zinc regeneration process”. The sludge was treated, and the "*" was removed, and the waste code was 321-028-48.

 

(3)Revise the “fly ash and residue generated during the lead regeneration process” with the original waste code of 331-029-48. The revised content is “the dust collected by the dust collection device during the lead regeneration process. Wastewater treatment sludge, waste code is 321-229-48.

 

This time, the chaos of the recycling of used lead-acid batteries will surely be severely disposed of.

 

The page contains the contents of the machine translation.

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