Transcript Document

YARD “WASTE” MANAGEMENT
IN DELAWARE
Presented by:
James D. Werner
Director, Division of Air and Waste Management
Presented to:
The Yard Waste Management Committee
Smyrna, Delaware
August 31, 2005
1
We Are Already Diverting About One-Third of
our Yard “Waste”
Amount collected for disposal or
processing:
145,800 T/yr.
Landfilled
95,600 T/yr
Taken off site
but not landfilled
50,200 T/yr
Tree Services
50%
Landscapers
24%
Municipalities DSWA
8%
18%
Source: DSM Environmental Services, Inc., 2004
Percent diverted from disposal:
34%
2
10 Delaware Municipalities Have
Yard “Waste” Programs
3
Yard “Waste” is Nearly ¼ of the
Residential Waste in Delaware
YARD
"WASTE"
23%
NONRECYLABLE
MATERIALS
48%
RECYCLABLE
PRODUCTS
(Al, steel plastic,
paper,etc.)
29%
Source: DSM Environmental Services, Inc., 2004
4
23 States Have Restrictions
on Yard “Waste” Disposal
Source: DSM Environmental Services, Inc., 2004
5
All Neighboring States Have Restrictions
on Yard “Waste” Disposal
Restrictions in neighboring states:
• Maryland and Pennsylvania:
Restriction applies to loads that are
primarily or entirely yard “waste.”
• New Jersey: restriction applies to
leaves only.
Some other states’ yard “waste” restrictions
• Connecticut: grass clippings only.
• Arkansas and Nebraska: leaves and grass.
• Indiana: leaves, brush, and wood vegetation larger than 3 feet.
Source: BioCycle, January 2004
6
Legal Yard “Waste” Restrictions
Are Effective
Regardless of how a state
defines “yard waste” or what a
state’s restriction consists of,
legal restrictions on disposal of
yard “waste” have a significant
impact on the diversion of this
material.
Average per-capita diversion
in 13 states with no restrictions
is 83 pounds.
Average per-capita diversion
in 16 states with restriction is
215 pounds.
Source: DSM Environmental Services, Inc., 2004
7
Delaware’s Proposed Legislation:
S.B. 225
The legislation defines “Organic Yard Waste” as
“plant material resulting from lawn maintenance and
other horticultural gardening and landscaping
activities and includes grass, leaves, prunings, brush,
shrubs, garden material, Christmas trees and tree
limbs up to 4 inches in diameter.”
Provisions of S.B. 225 pertaining to yard “waste”:
•All persons shall separate organic yard “waste” from other solid waste generated at their
residence or place of business.
•Transporters shall not dispose of source separated organic yard “waste” by landfilling but
shall deliver the material to a processor.
•DNREC and DSWA shall adopt guidelines for yard “waste” facilities by July 1, 2006.
•Local governments may apply for competitive grants to help with start-up costs.
•If the private sector does not establish facilities to handle all of the yard “waste,” DSWA
will manage the material.
•DSWA, in conjunction with DNREC, will conduct public education to maximize yard
“waste” recovery.
8
Various Groups Will be Affected
by the Legislation
•
Residents and businesses: must keep yard “waste” separate from trash
and either handle it on site or arrange for transport to a processing facility.
•
Trash haulers: must decide whether to offer yard “waste” pickup service.
Haulers that collect separated yard “waste” must take it to a processing
facility, not to a landfill.
•
Towns and cities currently collecting and processing yard “waste”: may
need to adjust their programs to include more materials and may need to
upgrade their processing facilities. Those not currently managing yard
“waste” will need to provide this service, either directly or through contracts.
•
Existing landscaping and tree services: will not be significantly affected.
Surveys show they send very little yard “waste” to landfills.
•
DSWA and DNREC: will have responsibilities for adopting guidelines for
facilities, for educating the public, and for ensuring processing capacity to
manage the material.
9
Costs of Processing Yard “Waste” Will
Depend on Types and Sizes of Facilities
The processing capacity needed to handle
the diverted yard “waste” could be met by
establishing 5 to 7 low- to intermediatetechnology sites at various locations in the
state.
Costs for construction and operation of these sites would require tipping
fees estimated in the range of $32 to $48 per ton.
Projected initial capital investment required would range from $358,000 to
$700,000 (assuming that facilities could be located on existing DSWA sites).
Projected monthly cost to homeowners for collection service would range
from $4 to $5 in unincorporated areas and from $2 to $3 in incorporated
areas having organized trash collection.
Source: DSM Environmental Services, Inc., 2004
10
Benefits of Keeping Yard “Waste”
Out of the Landfills
• Extended landfill life.
• Reduction in greenhouse gas emissions
• An incentive for the establishment or expansion of
businesses interested in producing mulch or compost.
• An incentive for homeowners to manage their yard
“waste” in a more sustainable way by composting,
mulching, and grasscycling.
11
Committee Mandate and Objectives
• Review, revise, and develop plan for management of
yard “waste”
• Develop guidelines for yard “waste” mulching and
composting facilities
• Identify private sector interest in yard “waste” mulching
and composting
• Identify markets for mulch and compost
12