Industries · Waste & hazmat services
Waste & hazmat services
Find large hazardous-waste handlers and cited sites for environmental-services BD.
The moment it happens, you hear about it — dated and citable.
Waste & hazmat services
LiveOSHA / EPA / DOL enforcement — nationwide
Live signals · 12 Parses · updated daily
Prebuilt Parses
22 tight-signal Parses for waste & hazmat services
The moment a buyer in your market makes a move — a new site turns on, a spend jumps, a record changes — you hear about it. Each Parse cross-references several official records at once, so you get the needle, not the haystack. Open the chevron to see how it works in plain language, then open it in the builder to edit territory, thresholds, or cadence.
Large hazwaste generators that also report large toxic releases
RCRA large-quantity generators that also self-report large toxic releases on their TRI Form R — the heaviest footprints.
›How this Parse works
One leg reads EPA RCRAInfo for large-quantity generators — the sites producing hazardous waste at the highest regulated tier under the manifest system; the other reads the Toxics Release Inventory (TRI Form R) for large self-reported chemical releases. A big waste footprint and a big emissions number on the same site describe an industrial operation whose environmental complexity is at the top of both scales at once — the heaviest, most vendor-hungry accounts on the map. Screening either roster alone floods you with thousands of names; requiring both isolates the sites where an environmental-services or remediation book actually gets written, read across two EPA systems.
Waste-handling facilities carrying a fresh EPA action
RCRA treatment/storage/disposal operators carrying a recent EPA formal action — waste handlers under active enforcement.
›How this Parse works
The primary leg reads EPA RCRAInfo for treatment, storage, and disposal (TSDF) operators — the facilities that handle hazardous waste, not just generate it; the intersect leg keeps only those also carrying a recent EPA formal enforcement action in ECHO. A TSDF profile tells you the operational complexity; an active EPA action tells you the regulator is already engaged and remediation budgets are moving. Watching either alone gives a long, static list; requiring the overlap hands remediation firms and waste-management sellers the handlers where the timing is live, across the hazardous-waste registry and the enforcement database.
Large-quantity hazwaste generators with a recent OSHA citation
RCRA large-quantity hazardous-waste generators that also caught a recent OSHA citation — two compliance exposures on one site.
›How this Parse works
The primary leg reads EPA RCRAInfo for large-quantity generators — the sites producing hazardous waste at the highest regulated tier under the manifest system. The intersect leg reads a recent OSHA inspection or citation on the same company. A big waste footprint tells you the environmental complexity; an OSHA case tells you the floor is drawing scrutiny too; together they mark an industrial site where hazardous-materials handling and workplace safety are both live issues. That's a shortlist for EHS consultants and industrial-hygiene sellers, because the account has a documented reason to engage on two fronts. A hazardous-waste registry crossed with a safety inspection to find the heaviest, most exposed handlers.
Facilities with BOTH an EPA and an OSHA enforcement action
Sites carrying BOTH an EPA formal action and a recent OSHA inspection — dual-agency exposure that pulls in remediation at once.
›How this Parse works
One leg reads a recent EPA formal enforcement action (from ECHO); the other reads a recent OSHA inspection on the same site. Environmental exposure and worker-safety exposure are handled by different agencies, sold to by different vendors, and almost never watched together — which is exactly why the overlap is valuable. A facility carrying both at once has two independent regulators engaged simultaneously, the kind of dual-agency pressure that opens environmental AND safety remediation budgets in the same quarter. Screening on either action gives a sprawling list; requiring both isolates the sites where the exposure is broad enough to pull in multiple vendors.
Large toxic-release emitters with a recent EPA action
Large toxic-release emitters (TRI Form R) that are also carrying a recent EPA enforcement action.
›How this Parse works
Take the facilities self-reporting large toxic releases on their TRI Form R and keep only the ones with a recent EPA formal action against them in ECHO. High emissions alone are legal and often long-standing; high emissions plus a live enforcement action is a site the regulator has already engaged, which is when remediation and compliance budgets actually open. The TRI figure sizes the problem; the EPA action proves someone is acting on it. Screening on either signal buries you; requiring the overlap hands remediation and air-emissions engineers the emitters where the timing is right, read straight off two records that rarely get joined.
PFAS emitters with a recent EPA enforcement action
Facilities reporting PFAS releases on their TRI Form R that also drew a recent EPA enforcement action.
›How this Parse works
One leg reads the Toxics Release Inventory (a facility's TRI Form R) for reported PFAS — the 'forever chemicals' carrying the steepest liability tail in environmental work. The other reads a recent EPA formal action against that same site in ECHO. A PFAS number on a form is a data point; a PFAS number attached to active enforcement is a facility where the clock has already started and the budget conversation is real. Remediation firms, testing labs, and environmental insurers all move on that combination, and pairing the self-reported release with the regulator's action tells you which emitters are exposed now versus merely on a list. It's the highest-liability target the two records can jointly identify.
Large-quantity generators shipping to a TSDF profile
The heaviest hazardous-waste handlers — RCRA large-quantity generators that also run a treatment, storage, or disposal profile.
›How this Parse works
Both legs read EPA RCRAInfo, but they describe different roles. One finds large-quantity generators — the sites producing hazardous waste at the highest regulated tier under the RCRA manifest system. The other finds treatment, storage, and disposal (TSDF) footprints — the sites that handle it. A company appearing as both isn't just generating waste, it's managing it end to end: the biggest, most complex, most vendor-hungry hazwaste operation on the map. Screening for one role gives you thousands of names; requiring both isolates the heavy handlers where an environmental-services book actually gets written. It's the same registry read twice to find the outliers.
Chemical plants with BOTH an OSHA and an EPA action
Chemical plants carrying BOTH a recent OSHA inspection and an EPA formal action — two agencies on one process-safety site.
›How this Parse works
Anchor on a chemical-manufacturing site with a recent OSHA inspection, then keep only those that ALSO carry a recent EPA formal enforcement action logged in ECHO. At a process-safety-critical plant, a worker-safety citation and an environmental action rarely coincide by accident — together they describe a facility whose controls are stretched on two fronts at once. Watching either agency alone gives you a long, thin list; watching for the same site in both narrows it to the plants where remediation dollars are most likely already being scoped. Process-safety and EHS consultants get a shortlist of accounts with a documented, dual-agency reason to talk.
Pipeline operators with an incident AND a recent EPA action
Pipeline operators with a reported PHMSA incident that also drew a recent EPA enforcement action.
›How this Parse works
One leg reads a PHMSA pipeline incident report; the other reads a recent EPA formal action against the same operator in ECHO. An incident is an integrity event on the line; an EPA action is an environmental consequence being pursued — and an operator carrying both is one where the physical problem and the regulatory response are already converging. Integrity consultants, remediation firms, and energy insurers all move on that convergence, but the two records live in entirely different systems, so almost no one watches them jointly. Requiring both isolates the operators where the remediation and compliance conversation is live, not speculative — an incident feed crossed with an enforcement database.
Pipeline operators with a reported integrity incident
PHMSA-regulated pipeline operators carrying a reported incident on the line — an integrity event on the record.
›How this Parse works
One leg reads the PHMSA operator roster — the regulated pipeline and hazardous-materials operators; the other reads a reported incident against that same operator. An operator on the roster is just an account; an operator with an incident on the line has an integrity event on the record and a remediation-and-compliance conversation that's already real, not hypothetical. Integrity consultants, remediation firms, and energy insurers all move on that combination, but the roster and the incident feed live in different PHMSA systems, so almost no one lines them up. Requiring both isolates the operators where the physical problem and the paperwork response are converging.
Meat/poultry plants with a recall AND an OSHA action
Meat and poultry plants with a recent recall that also caught an OSHA action — food safety and worker safety at once.
›How this Parse works
One leg reads a USDA FSIS recall or health alert — a fresh food-safety incident at a meat, poultry, or egg establishment; the other reads a recent OSHA action on the same plant. A recall is product going wrong; an OSHA case is the floor going wrong; both landing on one establishment in the same window describes an operation under simultaneous pressure from two separate inspectorates. Food-safety consultants, sanitation vendors, and EHS teams all move on that combination, and requiring both narrows a broad plant universe to the sites where the exposure is unmistakable. A recall feed crossed with a safety inspection to catch the plants where the timing for help is now.
New mines already carrying an MSHA citation
Newly-statused MSHA mines that already carry a citation or order — a new operator with an immediate compliance need.
›How this Parse works
One leg reads the MSHA Mines data set for a newly-statused mine — a fresh operation coming online; the other reads the Violations data set for a citation or order already on that operator. A brand-new mine that's ALREADY been cited isn't easing in — it has a compliance gap from day one and a need that's concrete, not anticipated. That's the operator a mine-safety vendor or industrial-hygiene seller should reach immediately, while the problem is fresh and the buying decision is live. New-mine lists alone are just openings; requiring an early citation isolates the operators who need help now, across two MSHA data sets joined on the same operation.
Union organizing paired with a WARN layoff notice
Employers with an NLRB union-representation petition that also filed a WARN layoff notice — organizing and downsizing together.
›How this Parse works
The primary leg reads an NLRB representation petition (an R-case) — workers moving to organize; the intersect leg reads a WARN Act layoff notice from the same employer. Organizing drives and layoffs arriving together is a workforce at a genuine inflection — heightened tension, active change, and a management team that suddenly needs help. PEOs, benefits brokers, and labor counsel all move on that exact moment, and it lives at the crossing of a labor petition and a layoff filing — two records rarely watched as a pair. A petition alone is an early rumble; a WARN alone is a cut; together they mark the employers where the people situation is genuinely volatile right now.
Food processors with a recent OSHA action
FSIS-inspected food plants that also caught a recent OSHA inspection — food safety and worker safety on one floor.
›How this Parse works
Start from a USDA FSIS grant of inspection — a plant in the Meat, Poultry & Egg Inspection directory, so you know it's a real, operating processing establishment — then keep only those with a recent OSHA inspection on the same site. Food-safety exposure and workplace-safety exposure normally live in different files and get sold by different vendors; on the same plant they point to one operation whose controls are being tested on two fronts at once. That overlap tells a sanitation vendor or EHS consultant which processors are actively under scrutiny rather than just licensed. One record proves it's a working plant; the other proves the floor is drawing attention right now.
Alcohol producers with a recent OSHA action
Distilleries and wineries holding a TTB permit that also caught a recent OSHA inspection on the plant floor.
›How this Parse works
Filter the TTB List of Permittees down to distilled-spirits plants and bonded wineries — the ones that actually run production lines — then intersect with a recent OSHA inspection at that same site. A working still or crush pad is a sanitation-and-safety environment the day it opens; an OSHA case on top of it means the exposure is no longer hypothetical, it's on the record. Sanitation vendors, EHS consultants, and beverage insurers all sell into that moment, and pairing the production permit with the inspection tells you which permittees are actually manufacturing at scale versus just holding paper. One record proves they make it; the other proves the floor needs attention.
Manufacturers on the enforcement radar across sources
Manufacturers with a recent OSHA inspection who also recur across two-plus enforcement rosters.
›How this Parse works
The anchor is a manufacturing site with a recent OSHA inspection; the intersect keeps only those the FirmStanding entity graph also finds across two or more separate enforcement rosters. A single OSHA case is background noise in manufacturing; the same company recurring across multiple enforcement sources is a repeat-presence pattern underwriters and EHS consultants can actually act on. One inspection tells you they had an issue; the multi-source footprint tells you it's a habit, not an incident. Requiring both filters a huge manufacturing universe down to the plants with a documented, cross-source compliance profile — the signal that survives scrutiny because more than one watchdog is describing it.
Active coal mines with a significant-and-substantial violation
Active coal mines carrying a significant-and-substantial MSHA citation — the sharpest safety-compliance need on the map.
›How this Parse works
One leg reads the MSHA Mines data set for active coal operations; the other reads the Violations data set for a significant-and-substantial (S&S) citation — MSHA's marker for a hazard reasonably likely to cause serious injury. An active mine alone is just an operator; an S&S citation on top of it is a site with an identified, elevated danger and a compliance clock running. That's the operator a mine-safety vendor or industrial-hygiene seller should reach first, because the need isn't theoretical — it's cited. Screening on active mines gives you the whole field; requiring the S&S violation isolates the ones where the safety conversation is already overdue.
Employers with an OSHA citation and an active labor charge
Employers with a recent OSHA citation that also drew an NLRB unfair-labor-practice charge — safety and labor friction at once.
›How this Parse works
Anchor on an employer with a recent OSHA inspection, then keep only those also carrying an NLRB unfair-labor-practice charge (a C-case). Floor-safety problems and labor conflict tend to arrive together — pressure on the shop floor showing up in both the safety file and the labor docket — but they live in completely separate systems, so almost no one watches them as a pair. The overlap marks an employer whose people situation is stressed on two fronts at once, the compounding risk that pulls EHS consultants and labor advisors in together. A safety inspection crossed with a labor charge to find the accounts where the tension is unmistakable.
Repeat-footprint employers with a fresh OSHA citation
Employers with a recent OSHA citation that also recur across two-plus separate compliance rosters — a repeat-presence pattern.
›How this Parse works
The anchor is an employer with a recent OSHA inspection; the intersect keeps only those the FirmStanding entity graph also finds across two or more separate compliance rosters. A single OSHA case is background noise; the same employer recurring across multiple enforcement sources is a documented habit, not an incident. For a safety-training program or a workers-comp loss-control team, that repeat footprint is what justifies prioritizing the account — the signal survives scrutiny because more than one watchdog is describing it. One inspection crossed with a cross-source presence to separate the chronic accounts from the one-off citations.
Union-organizing employers who are still hiring
Employers with an NLRB representation petition that also filed a fresh workforce case — organizing and expansion in one building.
›How this Parse works
The primary leg reads an NLRB representation petition (an R-case) — workers moving to organize; the intersect leg reads a fresh DOL workforce filing showing the same employer is still hiring. Organizing and expansion in the same building is the exact tension a PEO, benefits broker, or labor-counsel seller is built to manage — heightened friction meeting active growth. A petition alone is an early rumble; hiring alone is routine; the two together mark an employer whose people situation is live and unresolved. A labor petition crossed with a hiring feed to find the accounts where the conversation is timely.
New food plants that already caught an OSHA citation
Meat and poultry plants newly appearing in the FSIS directory that also caught a recent OSHA inspection — a new plant already under scrutiny.
›How this Parse works
The primary leg catches an establishment newly appearing in the USDA FSIS Meat, Poultry & Egg Inspection directory — a new processing site coming online; the intersect leg reads a recent OSHA inspection on that same site. A new plant is an opening; a new plant that's already been inspected is one whose floor is drawing attention from day one — a concrete, dated reason for sanitation vendors and EHS consultants to engage while everything is still being set up. A grant-of-inspection record crossed with a safety inspection to catch the processors that are both new AND already on the radar.
Active mines carrying a serious safety citation
Active mines carrying a significant-and-substantial MSHA citation — an operating site with an identified, elevated hazard.
›How this Parse works
One leg reads the MSHA Mines data set for active operations; the other reads the Violations data set for a significant-and-substantial (S&S) citation — MSHA's marker for a hazard reasonably likely to cause serious injury. An active mine alone is just an operator; an S&S citation on top of it is a working site with an identified, elevated danger and a compliance clock already running. That's the operator a mine-safety vendor or industrial-hygiene seller should reach first, because the need is cited, not anticipated. The active-mine roster crossed with the violation record to isolate the sites where the safety conversation is already overdue.
Sample dataset
Real rows from the feed behind this vertical
A live slice of the public-record feed these Parses watch. Rows report counts and statuses as recorded — observational public records, not a consumer report, no FCRA use.
SourceOSHA / EPA / WHD enforcement events — the official-record dataset behind this sample, one of the feeds powering Waste & hazmat services Parses like “OSHA / EPA / DOL enforcement — nationwide”.
| date | agency | type | name | city | state | naics | penalty_usd |
|---|---|---|---|---|---|---|---|
| 2026-06-01 | EPA | epa_formal_action | ARMY COLD REGIONS RESEARCH & ENGINEERING LAB | HANOVER | NH | 92119 928110 541380 | 200000 |
| 2026-06-01 | EPA | epa_formal_action | STA SEAL INC | EDISON | NJ | 324121 | 35000 |
| 2026-06-01 | EPA | epa_formal_action | PRODUCTION METAL FINISHERS, INC | RICHMOND | VA | 332813 | 6250 |
| 2026-06-01 | EPA | epa_formal_action | PITTCON | RIVERDALE | MD | 332323 | 2500 |
| 2026-06-01 | EPA | epa_formal_action | NASH FINCH COMPANY - LUMBERTON, NC DIVISION | LUMBERTON | NC | 49312 42241 42441 | 7305 |
| 2026-06-01 | EPA | epa_formal_action | BOTANX LLC | ANAHEIM | CA | — | 0 |
| 2026-06-01 | EPA | epa_formal_action | MUSTANG IMPROVEMENT AUTHORITY | MUSTANG | OK | 221320 | 10000 |
| 2026-06-01 | EPA | epa_formal_action | CONTROLED RELEASE TECHNOLOGIES INC | SHELBY | NC | — | 0 |
| 2026-06-01 | EPA | epa_formal_action | PORT OF LONG BEACH | LONG BEACH | CA | — | 0 |
| 2026-06-01 | EPA | epa_formal_action | BALTIMORE VAMC 512 | BALTIMORE | MD | 622110 621498 621511 | 0 |
| 2026-06-01 | EPA | epa_formal_action | HUGO MUNICIPAL AUTHORITY | HUGO | OK | 221320 | 11500 |
| 2026-06-01 | EPA | epa_formal_action | PHILLIPS PLATING COMPANY | BRIDGETON | NC | — | 1187.95 |
| 2026-06-01 | EPA | epa_formal_action | ACTAGRO LLC | KERMAN | CA | 325314 32531 325311 | 800 |
| 2026-06-01 | EPA | epa_formal_action | MICRO-PAK LTD. | KOWLOON | — | — | 0 |
| 2026-06-01 | EPA | epa_formal_action | TACTICAL TRAINING CENTER LLC | FLEMINGTON | NJ | 71399 | 0 |
SampleReal EPA enforcement rows — sites with an environmental action on record. Swap the feed and filters on /build.
What you get
Benefits
- RCRA large-quantity generators and TSDF handlers.
- EPA formal actions that mark a remediation need.
- TRI and PFAS emitters for high-liability targeting.
Who it's for
Teams that use this
- Hazwaste and environmental-services BD
- Remediation vendors
- EHS consultants
How it helps
From record change to action
- Reach the heaviest handlers with a compliance need.
- Time remediation offers to a fresh EPA action.
Time & money saved
What it replaces
Replaces manual ECHO and RCRAInfo pulls with a dated signal.
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