The Gasification of residual plastics derived from municipal recycling facilities

over 50 years. The process involves the conversion of materials having Carbon and
Hydrogen in their chemical structure into clean synthesis gas, “syngas”, a mixture of
Hydrogen (H2) and Carbon Monoxide (CO). “Syngas” can be used as a source of energy
for combustion processes used to generate electricity (gas turbine or internal combustion
engine) or as a source of chemical building blocks from which a wide assortment of
commercial chemicals may be manufactured. In addition the Hydrogen may be extracted
and used in fuel cells.
In 1999 a survey conducted under the auspices of the U.S. Department of Energy
identified 160 commercial gasification plants in operation, under construction or in the
planning, design stages in the world. The capacity of these plants when operational will
produce an amount of energy equivalent to 770,000 barrels of oil per day.
Although most feedstocks for use in gasifiers are based on coal and petroleum byproducts
or residues such as tars, heavy oils and petroleum coke many other materials are
being considered for gasification.
Many developing nations with ever increasing demands for electrical power are not rich
in conventional fossil fuels. Their economies are often based on agriculture and as a
result there are large quantities of agricultural residues which one calls bio-mass. Even in
the developed world many industries, especially the agricultural and forest product
sectors generate large quantities of waste the disposal of which is becoming increasingly
difficult and costly. At the same time emphasis is being placed on the search for
renewable sources of energy. As a result of all of these currents there is a great deal of
work being conducted on the gasification of bio-mass and plants scaled to meet local
circumstances are being erected. At the present time in the United States, bio-mass is the
(non-hydro) renewable energy source with the largest generating capacity (about 7000
megawatts).
In addition, interest in the gasification of other residues including those from municipal
waste collection is increasing. Why landfill certain wastes if they can be transformed into
products that can be used as sources of chemicals or clean burning fuels?

Check Also

California SB 54 Is Here: What Companies Using Plastic Packaging Need To Do Now | JD Supra

SB 54, the Plastic Pollution Prevention and Packaging Producer Responsibility Act, was signed into law on June 30, 2022. Its goal is to create a framework that shifts waste management costs from the local government onto producers. To that end, SB 54 requires producers to (1) reduce the use of Covered Materials; and (2) ensure that all Covered Materials are recyclable or compostable by 2032. The definition of a producer is not 100% straightforward. You are considered a producer if you are the person who manufactures a product that uses covered material and who owns or is the licensee of the brand or trademark under which the product is used in a commercial enterprise, sold, offered for sale, or distributed in the state. [1] However, if no such person is located in California, the producer of the covered material is the owner or, if the owner is not in the state, the exclusive licensee of a brand or trademark under which the product using the covered material is used in a commercial enterprise, sold, offered for sale, or distributed in the state. [2] But if there is no such person in California either, the producer is the person who sells, offers for sale, or distributes the product that uses the covered material in or into the state. [3] To the extent you are a producer, the final regulations implementing SB 54 which went into effect May 1, 2026 have set near-term milestones with which you must comply. First, by June 1, 2026, all producers (subject to very limited exceptions) must either (1) participate in an approved Producer Responsibility Organization ( PRO ), or (2) decide to comply individually and register with CalRecycle. Depending on which path a producer decides to follow, it will also be subject to subsequent deadlines. Producers who plan to participate in an approved PRO must have a producer responsibility plan in place by June 15, 2026. If you choose to comply individually and register with CalRecycle, they must approve you, and once...