by
Yama001 » Fri Aug 31, 2012 2:24 pm
I am in Rhode Island - I think that is Region 1? The EPA is pretty much a hydra when it comes to regulation, with each region an empire all its own, with thier specific sticking points.
We are mostly regulated under the Contract Lab Program where the EPA is concerned; the desorb time issue never comes up there, or from the various auditers from states and other federal programs. It is possible we are just lucky and the issue has not come up - we pretty much use anywhere from 30 seconds to 1 minute. One of our sister labs comes from a drinking water (500 series) orientation; I'll see if this ever comes up for them.
(Lindsey's company, btw, is an excellent resource on volatiles issues - truly a joy to deal with).
I guess you can always waste Helium (not a popular approach with the supply restrictions) and blast your split flow up after your preffered desorb time using the gas saver feature on Agilent GCs. This is close to what Lindsey describes with the Evolution; the drawback here is the Agilent feature will keep that high split flow for the rest of the run.
These dodges are frustrating; the auditors do not necessarily have the background to judge effectively, so they will default to the ancient parameters set down by Bellar et al back at the creation. I can't blame them; if you told me to audit a metals labs I would be stuck in the same position.
You have sympathy, anyhow
Tim