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Risk Management Program (RMP)
Total results: 285
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Displaying 61 - 75 of 293 results
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What is the definition of "offsite property damage?"
I am working on the five-year accident history portion of the hazard assessment under the RMP. Section 68.42(a) tells me to include "all accidental releases from covered processes that resulted in deaths, injuries, or significant property damage on site, or known offsite deaths, injuries, evacuations, sheltering in place, property damage…
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When to Revise OCA
The risk management program in 40 CFR Part 68 requires facilities to conduct an off-site consequence analysis (OCA) to provide information to state, local, and federal governments and the public about the potential consequences of an accidental chemical release. When does a facility need to revise its OCA? The owner…
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No trespassing signs restricted access onsite or offsite public receptor
The definition of public receptor is "offsite residences, institutions (e.g., schools, hospitals), industrial, commercial, and office buildings, parks, or recreational areas inhabited or occupied by the public at any time without restriction by the stationary source ..." Offsite is further defined to include "areas within the property boundary [of the…
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How are thresholds for regulated toxic substances in mixtures determined?
Formaldehyde is listed as a regulated substance under 40 CFR 68.130 with the qualifier "(solution)." When determining whether a threshold amount of this substance exists in a process, should a person consider the weight of the entire solution, or simply the amount of formaldehyde in the solution? How are thresholds…
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Quantity of a regulated substance in an aqueous solution
When using RMP*Comp to conduct an offsite consequence analysis (OCA), a facility must specify the quantity released. What quantity should be entered for a regulated toxic substance in an aqueous solution, the total quantity of the aqueous solution or just the quantity of the toxic substance? The entire quantity of…
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Must I anticipate a specific cause for the worst-case scenario for a toxic substance?
When analyzing the worst-case scenario for regulated toxic substances, must I anticipate a specific cause (e.g., fire, explosion, etc.) of the scenario? No. The worst-case analysis for a release of regulated toxic substances must conform to specific assumptions as identified in § 68.25(c) and (d). Anticipated causes of the release…
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Flammable event with different time duration
What if a flammable event has a different time duration than the 5 kw/m2 for 40 seconds? EPA recognizes that flammable events may occur for a different amount of exposure time. Therefore, the owner or operator should determine the distance to an equivalent exposure - e.g. if the flammable event…
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Definition and data sources of "environmental receptor"
The Risk Management Program rule requires owners or operators of covered processes to define in the risk management plan (RMP) the potential offsite public and environmental receptors within the impact range of identified worst case and alternative release scenarios. What is the definition of "environmental receptor"? What data sources are…
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Worst-case Release Scenario for Separate, Interconnected Vessels
Pursuant to the risk management program regulations, facilities must perform an offsite consequence analysis for the worst-case release scenario. Do the quantities of two separate vessels that are interconnected with a closed valve need to be aggregated for the worst-case release scenario analysis? No. Worst-case release is defined as the…
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If a facility changes owners and significant changes have been made to plant operations is the facility required to update all sections of the RMP and resubmit it to EPA?
Yes. If the facility has new ownership and plant operations have changed significantly, the new facility owner/operator needs to do a resubmission. For details on how to resubmit, see the Web page for RMP*eSubmit .
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Worst-case release scenarios for toxics and flammables represented by Program 2 or 3 processes
A stationary source subject to the risk management program regulations at 40 CFR Part 68 comprises multiple Program 2 and Program 3 covered processes. The owner or operator must do a single worst-case release analysis to represent toxic regulated substances and a single worst-case release analysis to represent flammable regulated…
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Non-residential population in off-site consequence analyses
Must an owner or operator include in their risk management plan (RMP) estimates of the non-residential population when defining off-site impacts for the off-site consequence analysis? Owners or operators are required to note in the RMP the presence of any major institutions (i.e., schools, hospitals, or prisons), public recreational areas…
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Does compliance under OSHA's PSM demonstrate compliance with the risk management program?
The Clean Air Act Amendments of 1990 (CAAA) mandated the Occupational Safety and Health Administration (OSHA) to develop a regulatory program to protect workers from the risk of accidents that involve hazardous chemicals. OSHA promulgated its Process Safety Management Standard (PSM) on February 24, 1992 (57 FR 6356), codified at…
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Qualifier "solution" in the listing for formaldehyde
Formaldehyde is listed in 40 CFR 68.130 with the qualifier "solution." Does the qualifier refer only to mixtures of formaldehyde and water, or does it apply to any liquid mixture containing formaldehyde? Formaldehyde (CAS No. 50-0-0) is listed with the qualifier "solution" because pure formaldehyde has a tendency to polymerize…
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When does the accident history's five-year period begin?
The hazard assessment requirements under 40 CFR Part 68, Subpart B include provision of a five-year accident history, as specified at §68.42. When does the five-year period to be reported in the accident history begin? The five-year accident history must include information on all accidental releases from covered processes meeting…
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