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Displaying 1 - 11 of 11 results
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Determining frequency of coordination activities
The Risk Management Program regulations require owners and operators of stationary sources to coordinate their response needs annually, or more frequently if necessary, with local emergency planning and response organizations (40 CFR §68.93(a)). Are stationary sources responsible for determining if coordination activities should occur more often than annually? Ultimate responsibility…
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Who Must Develop an Emergency Response Program?
The risk management program regulations require the owner or operator of a covered stationary source to develop and implement an emergency response program as described in 40 CFR §68.95, which must include an emergency response plan, emergency response equipment procedures, employee training, and procedures to ensure the program is up-to-date…
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Is there lead in lipstick?
Answer: In response to a number of inquiries regarding reports of lead contamination in lipstick, the U.S. Food and Drug Administration (FDA) developed and validated a method for analyzing lead content in currently marketed lipstick. Learn more . Question Number : 23002-33252 Find a printable PDF copy of all frequent…
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What is the purpose of a cellulosic biofuel waiver credit?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Under EISA, EPA is required to make cellulosic biofuel waiver credits available for years where we waive some portion of the statutory volume for cellulosic biofuel. These credits can then be used by obligated parties to comply with…
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Is fuel sold in U.S. territories, such as Puerto Rico, required to comply with RFS2?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . United States territories, such as Puerto Rico, are not included in the RFS2 program unless they opt-in according to §80.1443. See also §§80.1407(f) and 80.1426(b).
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Could you please expand upon the definition of the cellulosic biofuel waiver credit that may be for sale? I am not certain when, or if, a paper or pulp company could obtain a waiver credit or benefit from selling a waiver credit?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Cellulosic biofuel waiver credits may only be purchased by obligated parties (e.g., gasoline and diesel fuel refiners and importers) from EPA. See section 80.1456(c).
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Remote coordination with local authorities
The Risk Management Program regulations require owners and operators of stationary sources to coordinate their response needs annually, or more frequently if necessary, with local emergency planning and response organizations (40 CFR §68.93(a)). If a stationary source is in a remote location and in-person annual coordination is deemed impractical, can…
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Is the Renewable Fuels Mandate in ethanol equivalent gallons?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . The percentage standards applicable under RFS are intended to be met with ethanol-equivalent volumes of renewable fuel. As a result, a gallon of ethanol counts as one gallon of renewable fuel for purposes of compliance with the four…
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Emergency Response Coordination Activities Effective Date
The RMP Amendments finalized on January 13, 2017 included a requirement for owners or operators of a stationary source to engage in emergency response coordination activities (40 CFR §68.93). The regulatory text in 40 CFR §68.10(b) states that compliance with these activities must be completed by March 14, 2018. Because…
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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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Are exercises required as a part of the emergency response program requirements under 40 CFR Part 68, Subpart E?
Yes. At least once each calendar year, the owner or operator of a stationary source with any Program 2 or Program 3 process must conduct an exercise of the stationary source's emergency response notification mechanisms per 40 CFR 68.90(b)(3) or 68.95(a)(1)(i), as appropriate, before December 19, 2024, and annually thereafter…
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