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Displaying 1 - 15 of 19 results
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How will the volume of corn ethanol produced above the grandfathering threshold be treated?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . For grandfathered facilities, only the baseline volumes are exempt from the 20 percent GHG reduction requirement Thus, RINs may be generated for baseline volumes of fuel regardless of lifecycle greenhouse gas emissions performance. Volumes of fuel produced above…
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Do grandfathered facilities have an additional 6 months to submit their engineering reviews to EPA?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Yes. In the preamble to the final RFS2 regulations at 75 Fed. Regs. 14709 (March 26, 2010), EPA stated that, in an effort to reduce demand on engineering resources in the interim between promulgation of the rule and…
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What is meant by "grandfathered" fuel?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Under the RFS2 regulations, renewable fuel produced from facilities that commenced construction before December 19, 2007 and which completed construction within 36 months without an 18 month hiatus in construction and thereby exempt from the minimum 20% GHG…
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How long will the grandfathering provision be effective? Once a grandfathered producer registers and completes their engineering review, will their baseline volume ever need to meet the 20% GHG reduction requirement?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . If a facility meets the requirements for exemption from the 20% GHG reduction requirement pursuant to 40 CFR 80.1403(c ) or (d), then the baseline volume of renewable fuel produced by that facility is exempt from the 20%…
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How do I contact EPA about lead concerns in my area?
Answer: You may call the National Lead Information Center at 1-800-424-LEAD(5323) or visit our Contact Us about Lead page . You can also report violations online . Question Number: 23002-33312 Find a printable PDF copy of all frequent questions pertaining to lead .
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How does a foreign grandfathered renewable fuel production facility processing a mixture of feedstocks with different D codes or no D codes classify its production into D code categories so RINs can be generated when the product is imported into the U.S.?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . If the importer is generating the RINs, the importer must obtain all the required information for registration from the foreign producer of the renewable fuel pursuant to 80.1426(a)(2) and 80.1450. In the case of a foreign producer using…
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What can I do to protect my family from lead contamination that was found in my neighborhood?
If environmental exposure to lead is suspected, you should contact your local or state environmental office to determine if there are known or suspected sources of lead in the area. If there are known or suspected sources of lead, the Centers for Disease Control and Prevention (CDC) offers the following…
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What changes did EPA finalize to the SPCC Rule in December 2006?
The revised rule modifies requirements for facilities with smaller oil storage capacity and specific types of oil-filled operating equipment. If a facility has 10,000 gallons or less in aggregate aboveground oil storage capacity and the facility meets the oil discharge history criteria, then an owner/operator of a facility may prepare…
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SPCC change in ownership
If there is a change in ownership at a facility, can the facility operate under the same SPCC Plan without the certification from a professional engineer (PE)? If no change in procedures has been made, it may still be feasible to operate under the existing SPCC Plan. The information in…
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Liability of oil retailers at SPCC regulated farm
If a farm is out of compliance of Spill Prevention, Control, and Countermeasure (SPCC) regulations and is checked by EPA and/or has a spill, is the retailer that filled the tank liable? No, EPA considers the oil tank owner responsible for lack of compliance.
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If a facility is grandfathered, is it also exempt from the requirement that feedstocks must be renewable biomass?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Even if a facility is exempt from the 20% GHG reduction requirement, in order to generate RINs, the facility is still required to use feedstocks that meet the definition of renewable biomass. The definition of renewable fuel in…
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Are Canadian facilities included in the grandfathering provision? Does the grandfathering provision extend to facilities that commenced production up to December 31, 2009?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . The grandfathering provisions apply equally to facilities inside and outside the RFS program area. Facilities that commenced construction (as defined in §80.1403(a)(4)) prior to December 19, 2007, and which satisfy the timely construction requirements of §80.1403(c)(1) and (2)…
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PE certifying a technical amendment
Except as provided in 40 CFR §112.6 for qualified facilities, a Professional Engineer (PE) must certify all technical amendments to an existing SPCC Plan (§112.5(c)). When certifying a technical change to an existing SPCC Plan, does the PE have to inspect and certify the entire Plan or only the amended…
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Table 1 in 80.1426 does not include a coal fired ethanol plant. If a coal fired plant can be demonstrated as "grandfathered-in," can we assume the ethanol produced will have a D code of 6?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Per 80.1403(c), all facilities (including coal-fired facilities) for which construction commenced prior to December 19, 2007 and which completed construction within 36 months without an 18 month hiatus in construction may qualify for grandfathered status regardless of the…
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Is a PE required to review an SPCC Plan if it has not changed?
Under the 2002 regulations, is a PE required to review the SPCC Plans at the end of a 5-year SPCC Plan cycle if no changes have occurred at the facilities? No. It is the responsibility of the owner or operator to document the completion of a review and decide whether…
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