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Risk Management Program (RMP)
Total results: 285
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Displaying 286 - 294 of 294 results
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Do quantities in co-located vessels have to be aggregated for worst-case release scenarios?
Pursuant to the risk management program (RMP) regulations, a facility owner or operator must conduct an off-site consequence analysis that includes modeling of a worst-case release. If a single process is comprised of several co-located vessels, must the total quantity in all the vessels be aggregated to determine the worst-case…
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For toxic endpoints, are milligrams per liter (mg / L) equivalent to parts per million (ppm)?
The endpoint concentrations for regulated toxic substances under the risk management program rule (40 CFR Part 68 Appendix A) are listed in units of milligrams per liter (mg/L). Is this equivalent to parts per million (ppm)? No, mg/L is not always equivalent to ppm. Whereas ppm is a volume-to-volume or…
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RMP Guidance Materials
Does EPA provide guidance materials to assist facilities who must comply with the Risk Management Program (RMP) requirements? Yes. EPA developed the following guidance documents and checklists to assist the regulated community in understanding the Risk Management Program rule: General Risk Management Program Guidance Supplemental Risk Management Program Guidance for…
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Building material reuse stores sometimes accept older materials which have been coated with lead-based paint and could pose a lead poisoning hazard. In particular, older windows and doors are likely to contain lead-based paint, and this paint can present very high risks due to friction and impacts causing the paint to deteriorate and generate lead dust. How can employees of these stores and their customers manage lead hazards associated with these older building materials?
Answer: As a preliminary matter, your state may have laws or regulations addressing the management, handling or sale of materials containing lead-based paint. Therefore, building material reuse stores should contact both their state health department and state environmental agency for more specific direction. In addition to complying with all state…
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What is the general duty clause?
What is the general duty clause under CAA §112(r)(1)? The CAA general duty clause directs owners and operators of stationary sources to identify hazards that may result from accidental releases, to design and maintain a safe facility, and to minimize the consequences of releases when they occur.
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Requesting RMP*eSubmit authorization code
As the Certifying Official, how can I retrieve our lost Authorization Code needed by our new Preparer to access the facility’s Risk Management Plan (RMP) within RMP*eSubmit? The Certifying Official should contact the RMP Reporting Center ([email protected] / 703-227-7650) to request the Authorization Code.
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What does "relief system design basis" mean?
Relief systems include, but are not limited to, relief valves, relief headers, relief drums, and rupture disks. Design basis means documenting how the loads and sizes of the relief system, as well as inlet and outlet sizes, were determined. This includes a description of overpressure scenarios considered, the scenario that…
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Submittal Process when Claiming Confidential Business Information (CBI)
Pursuant to the risk management program regulations, facilities may make a claim of confidential business information (CBI) unless otherwise stated in 40 CFR §68.151. How does a facility that is claiming CBI submit its RMP? For a facility to claim information as CBI, the facility must submit to EPA a…
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Types of Information Relevant for Response Planning
The Risk Management Program emergency response coordination activities require the owner and operator of a stationary source to provide to the local emergency planning and response organizations: the stationary source’s emergency response plan if one exists; emergency action plan; updated emergency contact information; and any other information that local emergency…
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