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Displaying 16 - 24 of 24 results
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Can a newly-constructed process that has no accident history qualify for Program 1 status?
The eligibility criteria for Program 1 status under 40 CFR Part 68 include a requirement that the process must not have had an accidental release resulting in serious offsite consequences for the past five years (40 CFR §68.10(b)(1)). Can a newly-constructed process that has no accident history qualify for Program…
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Are processes subject to delegated state OSHA programs classified as program level 3?
If my state administers the OSHA program under a delegation from the federal OSHA, does that mean that my processes that are subject to OSHA PSM under the state rules are in Program 3? Yes, as long as the process does not qualify for Program 1. Any process subject to…
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Are all covered processes subject to identical risk management program requirements?
The risk management program regulations in 40 CFR Part 68 are applicable to owners or operators of stationary sources at which more than a threshold quantity of a regulated substance is present in a process (40 CFR Section 68.10(a)). Are all covered processes subject to identical risk management program requirements…
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Certifying RMP process at higher program level
If a process qualifies as Program Level 1, can a facility designate it as a Program Level 2 or 3 in their Risk Management Plan? No. The owner or operator of a stationary source with a process eligible for Program 1 must certify their Program 1 designation in their Risk…
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Does a renewable fuel producer have to report and maintain records on the feedstocks for every batch of renewable fuel they produce?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . All renewable fuel producers must report and maintain records concerning the type and amount of feedstocks used for each batch of renewable fuel produced (see 80.1451(b)(1)(ii)(K) and 80.1454(b)(3)(vi)). With regard to the renewable biomass recordkeeping and reporting requirements…
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How does a renewable fuel producer document that the MSW feedstock that they are using to produce cellulosic ethanol meets the definition of separated MSW as defined in Section 80.1426(f)(5)(i)(C )? How does the producer quantify the portion of the final
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . The renewable fuel producer using separated MSW feedstock to produce renewable fuels such as cellulosic ethanol, cellulosic diesel, cellulosic naphtha, etc. must document that their feedstock meets the definition of separated municipal solid waste (MSW), which is "material…
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How does the "active management" requirement in the definition of renewable biomass apply to land that changes status in the future?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . In RFS2, EPA has interpreted the EISA requirement that existing agricultural land be "cleared or cultivated at any time prior to [December 19, 2007] and actively managed or fallow and nonforested" to apply to land that existed as…
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Are palm oil plantations considered agricultural land or tree plantations under RFS2?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Palm oil trees are planted and managed for the purpose of harvesting palm fruit and not for harvesting the trees themselves, in the same way that a fruit orchard is planted and managed to yield fruit and not…
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What are the RFS2 requirements for renewable fuel producers to track soy feedstocks?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Since soy is considered a planted crop for purposes of RFS2, producers of renewable fuel made from soy grown on U.S. agricultural lands are covered by the aggregate compliance approach in §80.1454(g). Those producers using domestic soy need…
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