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Old 01-21-2007, 06:30 PM  
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The Beryllium Thread

I'm putting this in here so that it won't hang around the top of the lounge while I cut and paste information in to post after post.

This is part of my ongoing offseaon attempt to get us ranked on the first page of some search engine(s) when nerds search for "beryllium".

Before you PM me with "Why?", the answer is simply that I am sitting around reading log files at work and cutting and pasting into this thread requires absolutely NO mental stress.

Last edited by Dartgod; 04-14-2011 at 09:18 PM..
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Old 02-02-2007, 11:38 AM   #3091
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b For soluble compounds not subject to 10 CFR 850.
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Old 02-02-2007, 11:39 AM   #3092
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c At the end of operational periods.
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Old 02-02-2007, 11:39 AM   #3093
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d These are the units prescribed in 10 CFR 850; when expressed in the units typically used in analytical laboratory reports, these values are 0.03 µg Be/cm2 and 0.002 µg Be/cm2, respectively.
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Old 02-02-2007, 11:39 AM   #3094
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e When there are visible accumulations of dust on accessible surfaces (for example, if a piece of equipment has been stored outdoors for an extended period of time), the release criteria are based on a bulk sample of the dust, and the applicable standard is the concentration of beryllium in the soil at the point of release [i.e., micrograms of beryllium per gram of soil (m g Be/g)].
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Old 02-02-2007, 11:40 AM   #3095
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Action Level: An AL of 0.2 µg Be/m3 (8-hour, time-weighted average in air) has been established in 10 CFR 850.23. A goal of the LLNL CBDPP is to keep exposures as far below this level as practical.
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Old 02-02-2007, 11:40 AM   #3096
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Permissible Exposure Limit: The OSHA permissible exposure limit (PEL) of 2 µg Be/m3 (8-hour, time-weighted average in air) has been adopted by the DOE in 10 CFR 850, and no worker shall be exposed at levels exceeding this limit. Any change in the OSHA PEL is automatically adopted in 10 CFR 850 and is also applicable to LLNL.
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Old 02-02-2007, 11:40 AM   #3097
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OSHA also established a maximum ceiling limit of 5 µg Be/m3 and a peak (which is greater than the ceiling limit) of 25 µg Be/m3. These values are applicable to LLNL, but only for beryllium compounds (e.g., soluble beryllium compounds) that are not subject to 10 CFR 850.
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Old 02-02-2007, 11:41 AM   #3098
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Housekeeping Standard: Beryllium work areas shall be kept as clean as the nature of the work allows. However, during nonoperational periods, residual contamination shall be verified to be no greater than 3 µg Be/100 cm2 (this is the housekeeping standard). If contamination is found to be greater than this limit, then the area in question shall be recleaned and reevaluated to determine compliance with the housekeeping standard. See Section 3.8 for actions necessary for compliance with this standard.
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Old 02-02-2007, 11:41 AM   #3099
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Release Standard for Contaminated Materials: Material contaminated with beryllium may be released to non-beryllium work areas, provided that the material is first cleaned, the beryllium level is verified to be less than 0.2 µg Be/100 cm2, and the material is labeled as required in Section 3.5.8 (Figure 3). The term "contaminated" means having removable surface contamination that is in excess of whichever of the following is higher:
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Old 02-02-2007, 11:41 AM   #3100
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* 0.2 µg Be/100 cm2.
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Old 02-02-2007, 11:42 AM   #3101
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* The concentration of beryllium in the soil at the point of release (when there is visible accumulation of debris).
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Old 02-02-2007, 11:42 AM   #3102
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Environmental Standards: The U.S. Environmental Protection Agency (EPA) has established the following limits:
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Old 02-02-2007, 11:42 AM   #3103
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* Maximum permissible air concentration level, which is 0.01 µg Be/m3 averaged over a 30-day period (in 40 CFR 61.32, Emission Standard).
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Old 02-02-2007, 11:43 AM   #3104
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* Maximum contaminant level for beryllium in drinking water, which is 4 µg Be/L (in 40 CFR 141.62).
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Old 02-02-2007, 11:43 AM   #3105
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However, the EPA has not yet set water quality criteria for beryllium in ambient water (40 CFR 131.38). The regulations specify that individual National Pollutant Discharge Elimination System permits shall address beryllium under the EPA's narrative criteria for toxics. In addition, LLNL has established reuse criteria for soils generated and reused at LLNL (see Document 33.3, "Management of Soils and Debris," in the ES
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