Skip to content

Approaching: Nov 20, 2026 — HCS 2024 Deadline. Get ready →

Safety Data Sheet term · Glossary

Section 13: Disposal Considerations

Verified vs OSHA sources · 2026-10-05

The SDS section on getting rid of the chemical safely: recommended waste-treatment and disposal methods for the product and its contaminated packaging, and any special precautions. It's one of sections 12–15 that OSHA does not enforce (disposal is the EPA's jurisdiction) and that Appendix D makes optional rather than mandatory — though nearly every SDS carries it.

29 CFR 1910.1200 App D

Also known as: SDS Section 13, disposal considerations section

Section 13: Disposal Considerations at a glance

  • Covers safe disposal of the product and contaminated packaging.
  • Points to disposal regulations (e.g., RCRA hazardous-waste rules).
  • One of sections 12–15 that OSHA does not enforce (EPA's domain).
  • Must still appear on the SDS for the 16-section format to be complete.

In plain English

The “how to throw it away safely” page. It says how to dispose of the chemical and its empty/contaminated containers, and points to the disposal rules. OSHA doesn't enforce this section — that's the EPA — but it still has to be there.

What the source says, in summary

Section 13, Disposal considerations: description of waste residues and information on their safe handling and methods of disposal, including the disposal of any contaminated packaging.
29 CFR 1910.1200 App D (Section 13, non-mandatory)Summarized, not quoted: read the source for its operative wording.

In context

A concept tied to the 16-section Safety Data Sheet required for every hazardous chemical under OSHA's Hazard Communication Standard, 29 CFR 1910.1200(g).

29 CFR 1910.1200(g)

Where this is written in OSHA's rules

Example

A solvent's Section 13 advises disposing of it as hazardous waste through a licensed disposal facility, notes the relevant RCRA waste codes, and warns that empty containers may retain residue and must be handled as contaminated packaging.

Why it matters

Improper disposal can turn a safe cleanup into an environmental violation with EPA penalties. Section 13 is the guidance that keeps a chemical out of drains and dumpsters where it doesn't belong — and even though OSHA won't cite its content, ignoring it creates real liability under other laws.

Section 13 (disposal) vs. Section 6 (spill)

Section 6 (accidental release) is the immediate response to a spill — protect, contain, clean up. Section 13 (disposal) covers what to do with the resulting waste and contaminated packaging afterward. A cleanup uses both, in that order.

What Section 13 covers

ElementDetail
Waste disposal methodsHow to dispose of the product safely
Contaminated packagingHandling of empty/residue-bearing containers
Applicable regulationsRCRA and other disposal requirements
OSHA enforcementNo (sections 12–15 are outside OSHA's authority)

Section 13: Disposal Considerations: frequently asked questions

What is in Section 13 of an SDS?
Guidance for safe disposal: waste-treatment and disposal methods for the product and its contaminated packaging, plus references to applicable disposal regulations.
Does OSHA enforce Section 13?
No. Sections 12–15 (ecological, disposal, transport, regulatory) fall outside OSHA's jurisdiction, so OSHA won't cite their content, and Appendix D makes them optional rather than mandatory — but nearly every SDS carries them, and disposal is regulated by the EPA.
Does Section 13 cover empty container disposal?
Yes. Section 13 addresses the disposal of contaminated packaging as well as the product's waste residues — empty containers can retain residue and must be handled and disposed of accordingly.

Related terms

Free tools for this

Governing OSHA standards

More SDS terms

Safety Data Sheet (SDS)

A standardized 16-section document the chemical manufacturer, importer, or distributor must provide for every hazardous chemical, detailing its hazards, safe handling, storage, exposure controls, first aid, and emergency information. Its content and order are set by 29 CFR 1910.1200(g) and Appendix D; it replaced the unstandardized MSDS under GHS alignment.

Readily Accessible

The OSHA requirement that safety data sheets be readily accessible to employees during each work shift, in their work areas (29 CFR 1910.1200(g)(8); adopted for construction by 1926.59). “Readily accessible” means without barriers or unreasonable delay — electronic access is allowed, but only with reliable backup for power or system failures and no obstacle between the worker and the SDS.

Section 1: Identification

The first section of a Safety Data Sheet. It identifies the chemical and who's responsible for it: the product identifier (matching the label), recommended use and restrictions, the manufacturer/importer's name, address, and phone, and — critically — an emergency phone number. It's the section a responder reads first to confirm they have the right SDS.

Section 2: Hazard Identification

The SDS section that states what's dangerous about the chemical: its GHS hazard classification (each hazard class and category), all the required label elements (pictograms, signal word, hazard statements, precautionary statements), and any hazards not otherwise classified (HNOC). It's the fastest read for “how could this hurt me?”

Section 3: Composition / Information on Ingredients

The SDS section that discloses what the chemical is made of: the chemical name, common names/synonyms, CAS number, and concentration (or concentration range) of the substance or of each hazardous ingredient in a mixture. Any ingredient that contributes to a classified hazard must be listed, subject to limited trade-secret protection.

Section 4: First-Aid Measures

The SDS section that tells you what to do if someone is exposed. It gives first-aid instructions broken out by route of exposure — inhalation, skin, eye, and ingestion — plus the most important symptoms (immediate and delayed) and any indication of the need for immediate medical attention or special treatment. It's the section to open in a medical emergency.

Section 5: Fire-Fighting Measures

The SDS section written for anyone fighting a fire involving the chemical. It lists suitable and unsuitable extinguishing media, the specific hazards the chemical creates in a fire (toxic combustion products, explosion risk, reactivity), and the special protective equipment and precautions firefighters need. It's a key reference for the fire department's pre-planning.

Section 6: Accidental Release Measures

The SDS section that tells you how to handle a spill or leak. It covers personal precautions, protective equipment, and emergency procedures (protecting people first), environmental precautions (keeping it out of drains and waterways), and the methods and materials for containment and cleanup. It's the spill-response playbook for the chemical.

Sources & verification

Reviewed by HazComFast against eCFR, OSHA.gov, NIOSH, and the Federal Register. Last reviewed 2026-10-05. This glossary is general information, not legal advice; OSHA State-Plan states (e.g. California, Michigan) may adopt stricter requirements.

Put Section 13: Disposal Considerations into practice

Don't just read the definition — apply it. Use the free SDS Gap Analyzer to put real numbers behind Section 13: Disposal Considerations for your jobsite.

Get the Binder in Order Before the Inspector Arrives. Are You Ready?

OSHA does not give advance notice of inspections (29 CFR 1903.6). Get the binder in order before the opening conference, not during it.

Serious Violation

$16,550

per violation (max)

HazComFast Pro

$199/mo

10 jobsites, unlimited chemicals, unlimited workers

New sign-ups are paused. The free tools below need no account, and customers can log in as usual.

Your account keeps working as usual. Cancel anytime.