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The EPA’s third e-Manifest rule is here, and it’s more than just another regulatory tweak. As of January 22, 2025, generators need to navigate new site manager requirements, prepare for additional reports to move into the e-Manifest portal, and anticipate the long-term shift toward fully electronic manifests.
If your team is asking “what does this really mean for us?”, this article breaks it down.
Want the full walk-through? Watch the on-demand webinar with Encamp experts Adam Estes and Kevin Vinson.
EPA’s e-Manifest program has been expanding for years, but this third rule brings the most practical impact for generators so far. Key updates include:
In short: more activity is shifting into the e-Manifest portal, and oversight will only increase.
One of the most confusing changes is the requirement for a Site Manager — a role that did not exist in regulations before e-Manifest.
EPA requires at least one Site Manager per EPA ID number for large quantity generators (LQGs) and small quantity generators (SQGs). But having just one creates risk. If that person leaves the company, access can be lost.
Best practice: assign at least two Site Managers for redundancy.
And while very small quantity generators (VSQGs) are not federally required to designate a Site Manager, doing so can make episodic events and state-specific requirements much easier to manage.
Here’s where things get tricky: e-Manifest is a federal program, but enforcement is handled by the states. That means requirements can look different depending on where you operate. The following are a few, though by no means exhaustive, examples:
Takeaway: Don’t assume federal rules are the final word. Create a state-by-state compliance playbook to avoid surprises.
EPA is moving more reporting requirements into the e-Manifest system. Generators should prepare for three new workflows:
What this means for you: update your SOPs now so your team knows who clicks what, and when.
Since January 22, 2025, EPA has been flagging mismatches between paper manifests and e-Manifest entries. Generators have 30 days to make corrections.
The three most common errors?
While the correction process in e-Manifest is relatively simple, the administrative burden of frequent errors adds up quickly. Regular internal reviews can catch mistakes before EPA does.
EPA has already mandated fully electronic manifests for its own cleanup sites. That’s a clear signal: the ultimate goal is a fully digital system.
Moving away from hybrid paper/electronic manifests will improve data accuracy and oversight — but it will also demand more from generators in terms of systems, processes, and training. Now is the time to start preparing.
The third e-Manifest rule signals a future where hazardous waste tracking is centralized, digital, and closely monitored. For generators, it means new responsibilities, tighter deadlines, and fewer margins for error.
Want to see real workflows, examples, and compliance tips? Watch the on-demand webinar. Encamp’s experts walk through the rule in detail, highlight state-specific wrinkles, and share practical strategies to stay ahead of the changes.