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Displaying 61 - 75 of 834 results
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What information in the baseline submittal will be considered Confidential Business Information?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Based on section 80.93(b)(6), the information listed in section 80.93(b)(5) cannot be considered CBI. Any other information in the baseline submission which the refiner wishes to be considered CBI must be clearly identified. Any such claims will be…
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Where a reformulated gasoline is injected into a "closed" proprietary pipeline, shipped to a "closed" proprietary marketing terminal and loaded into a proprietary truck and no other refiner can physically deliver or receive at these points, is it required
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . The regulations require PTD's on each occasion when any person transfers custody or title of RFG, RBOB or conventional gasoline and conventional gasoline blendstock requiring the addition of oxygenate only. When the custody of gasoline changes within a…
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The regulations and reporting requirements imply that credit trading for oxygen and benzene is allowed across nonattainment areas [and] not just within an area. Is that correct? Is there any geographic restriction with regard to benzene and oxygen trading
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Oxygen and benzene credits may be traded across RFG areas. However, all conditions specified in 80.67(h) must be met.(7/1/94) This question and answer was posted at Consolidated List of Reformulated Gasoline and Anti-Dumping Questions and Answers: July 1…
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The regulations require that if "refiners, importers, and oxygenate blenders" supplying a covered area do not complete a survey for that area, then the covered area would be deemed to have failed. Would the subsequent ratchet also apply to "suppliers" to
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Although, from a practical standpoint in the marketplace, there are "suppliers" in the sense it is used in the question, enforcement of average standards are refiner, blender, and importer-based. Therefore, as is mentioned in Survey Question 2 (above)…
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The July 1, 1994 Question and Answer Document indicates that sulfur, T90, and olefins are the only simple model RFG standards that can be seen on a refinery aggregated basis. We interpret this clarification to apply only to simple model RFG compliance and
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . All simple model anti-dumping standards can be met on a refinery-aggregate basis pursuant to § 80.101(h).(11/28/94) This question and answer was posted at Consolidated List of Reformulated Gasoline and Anti-Dumping Questions and Answers: July 1, 1994 through November…
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Section § 80.65(e)(2) contains a mechanism for identifying the test result a refiner or importer must use if the independent lab's test result does not corroborate the refiner's or importer's test result. Does this mechanism apply in a case where the ind
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . The mechanisms specified in § 80.65(e)(2)(ii), for instances where a refiner's or importer's RFG test result is not corroborated by the independent lab's test result, apply whenever there is such a non-corroboration. There is no exception in a…
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Starting with the first tender of RFG shipped later this year (1994), transferors are required to provide transferees with transfer documents detailing the type of RFG (VOC or non-VOC, oxygenate program or not, simple or complex) and various minimum or ma
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Not after March 1, 1996. Section 80.81(c)(9) provides an exemption from the RFG product transfer documentation requirements contained in § 80.77 for California gasoline manufactured or imported subsequent to March 1, 1996, that meets the requirements of the…
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The preamble to the final rule states that "oxygenate added to a refiner's or importer's gasoline or blendstock downstream of the refinery or import facility may be included in the refiner's or importer's compliance calculations only if the refiner or imp
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . a) Yes, provided there is sufficient documentation to calculate the proportion of gasoline produced by the refiner, and, all other requirements of §80.101(d)(4)(ii) are met. b) The configuration would have to be such that the refiner could, indeed…
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The regulations state that gasolines with RVP equal to or less than the RVP required under 40 CFR 80.27 (Summer Gasoline) shall use the applicable Summer Complex Model under 80.45 and the Winter Model for RVP's greater than that required under 40 CFR 80.2
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Section 80.101(g)(5) and (6) state that the emissions performance of gasoline with an RVP that is equal to or less than that required under § 80.27 must be determined using the appropriate summer complex model and that the…
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The transfer document requirements state that the name and address of the transferor and transferee be present. When other oil partners, exchangers, are picking up product, will the address of the company headquarters be sufficient since EPA will still be
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Yes, the headquarters address of the transferee would be acceptable. When jobbers pick up gasoline they are the transferees in the transaction and the regulations specifically require that an address for all transferees be included on the product…
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Section 80.67(a)(2) authorizes a compliance procedure for benzene and oxygen averaging on a "covered area" basis. If a refinery participates in a compliance survey, does this section apply? Does this section apply only if a refinery decides to average oxy
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . The compliance procedure described in this section allows for oxygen and benzene averaging on an area-specific basis. Since the purpose of surveys is to assure that nationwide averaging provides adequate quality gasoline overall on an area-specific basis, a…
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Should separate samples be collected for RVP analysis?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . One sample may be used for all of the RFG parameters that need to be determined, including RVP. However, because sample handling in the laboratory may affect various reformulated gasoline properties, such as RVP, analyses must be performed…
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Terminal blending of mid-grade gasoline (using a premium and regular mix) is common practice in the industry. We interpret that terminals engaging in this practice are not considered refiners under the regulations based on the comment "that the EPA believ
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Parties who only mix different grades of certified reformulated gasoline will not be considered refiners or blenders under the reformulated gasoline regulations. Similarly, parties who mix different grades of conventional gasoline which were produced in compliance with the…
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Section 80.77 states that product transfer documents should include the name and address of the transferor and transferee. In the interest of keeping the PTD's as a single document, would it be permissible to retain the addresses of the transferees in a p
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Under § 80.77(a) and (b), the product transfer documents for each transfer of title or custody must include both the name and address of the transferor and the transferee. However, EPA will consider this requirement to be met…
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If an oxygenate blender adds oxygenate only to conventional gasoline downstream of the refinery, please confirm that the oxygenate blender is not considered a "refiner" and therefore is not subject to record keeping, reporting, or attest engagement requir
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . This party would not be considered a "refiner" for purposes of the anti-dumping requirements, and is not required to meet the anti-dumping requirements specified in the question.(7/1/94) This question and answer was posted at Consolidated List of Reformulated…
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