One of the primary issues that we anticipate EPA to address in the final rule is allow certain hazardous waste streams common to pharmacies to no longer count toward the facility’s generator status. This means that the pharmacy will then be subject to simpler, less stringent hazardous waste regulations. On the other hand, based on the proposed rule, pharmaceutical reverse distributors are likely to be subject to much heavier regulation than in the past. This webinar will assess the implications of the final rule for various parties impacted by the final rule.
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