The moderate risk waste requirements were introduced in 2023 to:
The regulatory requirements:
Moderate risk waste is hazardous waste that's:
Moderate risk waste can be generated from:
Moderate risk waste does not include e-waste or pharmaceutical waste.
RCFs are facilities that collect moderate risk waste from generators such as members of the public.
There are two types of RCFs: return to retail collection facilities which are located at retail stores where products are sold, and other RCFs (not located at retail locations).
Under the Hazardous Waste Regulation, all RCFs are required to:
Requirements for return to retail collection facilities and other RCFs are outlined in more detail in the guidance below:
Temporary collection events are events where moderate risk waste is temporarily collected from generators and stored. Under the Hazardous Waste Regulation, temporary collection events must:
Note that registration is not required for these facilities.
Requirements for temporary collection events are outlined in this guidance:
Consolidation site facilities are facilities that store moderate risk waste, for the purposes of consolidation and transport to an authorized hazardous waste management facility. These facilities do not accept any wastes directly from generators such as members of the public.
Under the Hazardous Waste Regulation, consolidation site facilities must:
Requirements for consolidation site facilities are outlined in this guidance:
Return collection facilities are required to develop, implement, and submit an operational plan to the Ministry when choosing to collect hazardous waste that is not moderate risk waste or e-waste.
Examples of hazardous waste that would require an operational plan include:
A template to support the development of an operational plan for return collection facilities is available below:
Waste lead-acid batteries are moderate risk waste and are subject to conditional exemptions to manifests and the use of licensed transporters when managed in accordance with the requirements. Detailed guidance for different parties involved in the management of these batteries is provided below:
In 2021, the ministry pursued feedback on the proposed changes to the regulation from:
The intentions paper was released in June 2021.
To learn more about what changes were proposed, review the Hazardous Waste Regulation Intentions Paper (PDF, 1.2MB).
The ministry reviewed all feedback in response to the intentions paper.
This feedback guided the amendments to the regulation.
To learn more, review the Feedback Summary of the Hazardous Waste Regulation Intentions Paper (PDF, 379KB).
The Hazardous Waste Regulation requirements for a return collection facility were largely unchanged. Many of the changes align with the ministry’s existing policies that were not reflected in the regulation.
The amendments enabled a return collection facility to collect and store more types of moderate risk waste not captured by existing Extended Producer Responsibility programs.
To collect hazardous waste from households that's not moderate risk waste, an operational plan needs to be developed and submitted to the director.
There were no changes to the amount of waste that could be stored at a return collection facility:
Specific exemptions (with conditions) are provided for small return collection facilities that only collect waste, such as:
Requirements are in Part 6 and 6.1 of the Hazardous Waste Regulation.
Temporary collection events were not previously enabled in the Hazardous Waste Regulation.
Under the updated regulation, there are signage, storage, and training requirements for temporary collection events.
These requirements have been in place at temporary collection events, despite not having been explicitly required under the regulation: