BILL ANALYSIS                                                                                                                                                                                                    



                                                                SB 983
                                                                       

                      SENATE COMMITTEE ON ENVIRONMENTAL QUALITY
                               Byron D. Sher, Chairman
                              1999-2000 Regular Session
                                           
           BILL NO:    SB 983
           AUTHOR:     Bowen
           AMENDED:    August 18, 2000
           FISCAL:     Yes               HEARING DATE:     August 30,  
           2000
           URGENCY:    No                CONSULTANT:       Arnie Peters
            
           SUBJECT  :    ILLEGAL DRUG LABS:  CLEANUP STANDARDS

            SUMMARY  :    
           
            Existing law  , the State Superfund law:

           1) Distinguishes between two types of cleanup action --   
              removal actions and remedial actions.  Removal actions are  
              interim, emergency cleanup measures that clean up the  
              aspects of a hazardous substance release site that present  
              an immediate risk to public health or safety or an imminent  
              threat to the environment.  The removal of containers of  
              flammable, explosive or volatile chemicals from a site, for  
              example, is a removal action.  Remedial actions are the  
              cleanup measures that, when fully implemented, make up the  
              long-term, permanent solution to a release that ensures  
              that it will not pose a significant threat to health or the  
              environment in the future.

           2) Requires the Department of Toxic Substances Control (DTSC),  
              using General Fund appropriations, to take removal actions  
              at sites of illegal drugmaking operations whenever law  
              enforcement authorities notify the department of the need  
              for cleanup.

           3) Requires DTSC to notify the local environmental health  
              officer whenever it takes a removal action at an illegal  
              drug lab site if the environmental health officer has  
              requested such notification.

            This bill  requires DTSC to:










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           1) Notify the agency designated by the local jurisdiction when  
              it takes a removal action at an illegal drug lab site if  
              the local jurisdiction does not have an environmental  
              health officer and the local agency requests the  
              notification.

           2) Adopt, by January 1, 2002, regulations establishing  
              procedures and standards that can be used by public health  
              agencies at the state and local levels for taking  remedial   
              actions at illegal drug lab sites.  The regulations must be  
              developed in consultation with the Office of Environmental  
              Health Hazard Assessment and must ensure that, when  
              followed, remedial action at a drug lab site will result in  
              a level of cleanup that will protect the health and safety  
              of future occupants of the site.

            COMMENTS  :

            1)Purpose of Bill .  Under existing law, when a law enforcement  
             agency closes an illegal drug lab, DTSC is required to take  
              removal  action as necessary to eliminate immediate threats  
             to public health or the environment caused by chemical  
             storage, dumping and spills at the site.  Removal action  
             usually consists of  hauling away and disposing of  
             containers of chemicals and laboratory equipment, excavating  
             waste sumps and cleaning up other obvious problems of this  
             type.  Removal actions can cost anywhere from several  
             hundred dollars to as much as tens of thousands of dollars.   
             Removal action does not include complete decontamination of  
             the illegal lab site or the building in which it was  
             located.  Under existing law, complete cleanup -  remedial  
              action - is the responsibility of the property owner and is  
             carried out under the supervision of the local public health  
             and housing authorities.

           The main purpose of this bill is to establish procedures and  
             standards that local authorities may use to ensure that  
             complete cleanup of illegal drug lab sites takes place.  The  
             bill does this by requiring DTSC, working together with the  
             Office of Environmental Health Hazard Assessment, to develop  
             standards for investigating and remediating illegal drug lab  
             sites and to adopt the standards and procedures as  
             regulations.









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            2)CalEPA Opposition  .  DTSC and its parent agency, CalEPA, are  
             opposed to this bill.  Their opposition is not, however, to  
             the purpose of the bill: creating a set of standards or  
             guidelines for remediating illegal drug lab sites.  Rather  
             their opposition is to the "mechanics" of the bill.  DTSC  
             and CalEPA make these points:

              a)Funding.  The bill requires a rather extensive regulatory  
                effort, an effort DTSC estimates will require eight  
                personnel years and an expenditure of $3 million/year for  
                three years.  The bill itself contains no funding to do  
                the work it mandates.

              b)Timeline.  The bill requires DTSC to adopt the illegal  
                drug lab cleanup regulations within one year of its  
                effective date.  DTSC believes that the work will take at  
                least three years.  While that estimate may be  
                conservative, it is almost surely the case that a  
                one-year timeframe is not realistic.  The typical  
                experience of regulatory agencies that are required to  
                follow the rulemaking procedures in the Administrative  
                Procedure Act is that, even if everything goes perfectly,  
                regulations take about nine months to adopt, once they  
                have been developed and are ready for proposal.

              c)Regulations vs. "guidelines".  DTSC believes that in the  
                ever-changing world of illegal drug lab cleanups,  
                regulations specifying cleanup procedures and standards  
                are not good practice and will be unnecessarily  
                restrictive and inflexible.  According to DTSC, a better  
                approach would be develop guidelines that would outline  
                investigative and analytic procedures and a set of "best  
                management practices" that would describe the most  
                productive and cost-effective approaches to cleaning up  
                drug lab sites.  Local agencies would use these  
                investigative procedures and best management practices as  
                guidelines for what should be done in particular  
                situations to remediate a drug lab site.

              The basis for this DTSC view is not readily apparent.   
                Regulations are not necessarily more or less flexible  
                than guidelines.  The best confirmation of this may be  









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                the fact that state Superfund cleanups generally are  
                required to comply with a lengthy and extensive set of  
                regulations --  the so-called federal National  
                Contingency Plan -- which establishes the procedures for  
                investigating toxic waste sites, evaluating the methods  
                for cleaning them up and determining the cleanup  
                standards that apply to them.  It might also be pointed  
                out that DTSC, in other areas, has not found regulations  
                to be an improper format for guiding cleanup procedures  
                and standards.  In the last year of the previous  
                administration, DTSC proposed a detailed set of  
                regulations for carrying out corrective action, i.e.,  
                cleanup of hazardous waste facilities operating pursuant  
                to permits.  Indeed, the department adopted a variant of  
                those regulations as a means of retaining jurisdiction  
                over state Superfund cleanups during the first five  
                months of 1999, when the state Superfund program was  
                sunsetted and had not been reauthorized.  Those  
                regulations were allowed to lapse in April 1999 when SB  
                47 (Sher) reauthorized the state Superfund program.

            SOURCE  :        Senator Bowen
            
           SUPPORT  :       California Association of Environmental Health  
                          Administrators
                          California District of the American Academy of  
                          Pediatrics  
                           California Rural Legal Assistance Foundation
                          Hazpak, Inc.
                          Los Angeles County District Attorney's Office
                          Riverside County Department of Environmental  
                          Health
                          Western Center on Law and Poverty

            OPPOSITION  :    California Environmental Protection Agency
                          Department of Toxic Substances Control