Search Frequent Questions
Filter By:
- Air Emissions Inventories Total results: 34
- Asbestos Total results: 141
- Butte Area/Silver Bow Creek Total results: 17
- Coronavirus (COVID-19) Total results: 33
- East Palestine, Ohio Train Derailment Total results: 148
- Emergency Planning and Community Right-to-Know Total results: 301
-
Fuel Program
Total results: 693
- Gasoline Sulfur Program Total results: 17
- Reporting Total results: 22
- Diesel Sulfur Program Total results: 7
- E15 comments Total results: 1
- Fuels and Fuel Additives (FFARs) Total results: 2
- Other Total results: 6
- Reformulated Gasoline and Anti-Dumping Total results: 431
- Registration Total results: 9
- Registration and Reporting under 40 CFR 79 Total results: 19
- Renewable Fuel Standard (RFS1) Total results: 67
- Renewable Fuel Standard (RFS2) Total results: 111
- Great Lakes Funding Total results: 49
- Lead Total results: 401
- MOVES Total results: 57
- Norwood Landfill Site Total results: 30
- Oil Regulations Total results: 96
- Permitting Under the Clean Air Act Total results: 13
- Radiation Total results: 1
- Risk Management Program (RMP) Total results: 285
- Southeast Minnesota Groundwater Total results: 11
Displaying 31 - 39 of 39 results
-
Assume that the gasoline contained in the storage tank is not classified as SRGAS when the truck begins to receive product, but gasoline classified by the pipeline as SRGAS is being loaded into the terminal storage tank from a pipeline as the truck is bei
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Under the regulation the terminal must sample and test its gasoline subsequent to the receipt of the transferred gasoline into the terminal storage tank in order to qualify the gasoline in the tank as S-RGAS. However, it is…
- Last published:
-
The sulfur rule says that a small refiner must produce gasoline by processing crude oil through a refinery processing unit. Does our refinery meet that requirement if we produce gasoline by processing crude oil through a processing unit, but we sometimes
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Under § 80.225(a), a small refiner is a refiner who processes crude oil through refinery processing units, employed an average of no more than 1,500 people during 1998, and had an average crude capacity less than or equal…
- Last published:
-
Footnote b of Table IV.C.-2 of the preamble is inconsistent with the regulations at § 80.216(f). The regulations clearly state that the corporate pool average standards do not apply if a refiner's production volume is mostly GPA gasoline. If the refiner/
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . The regulations at § 80.216(f) are correct. There was an error in footnote b of Table IV.C-2 of the preamble released on 12/21/00, which subsequently was corrected in the final rule published in the Federal Register on February…
- Last published:
-
Regarding a batch for which the blend completion date is on the last day of the EPA reporting quarter, what if shipments, as EPA defines them, are not complete by the time reporting for that quarter is required? Is there going to be any facility to allow
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Sections 80.65(c) and 80.101(d)(1) require refiners to include in compliance calculations each batch of gasoline that is "produced." As a result, a batch of gasoline should be included in the averaging period when the batch is produced, rather…
- Last published:
-
Where can I find more information and documentation on the EPA Moderated Transaction System (EMTS)?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . For more information on the EPA Moderated Transaction System (EMTS), please see User's Guide for the EPA Moderated Transaction System (EMTS) .
- Last published:
-
What is the process to retire a RIN? Is this a reporting function that is done with the EPA?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . RINs are retired for reasons specified in the regulations and must be reported to EPA. A retired RIN may not be used for compliance purposes or traded to another party. A retired RIN is reported to EPA in…
- Last published:
-
We assume that a terminal operator who stores gasoline for a terminalling customer is responsible for receiving transfer documentation on RFG and conventional gas moved into the terminal for the customer. The terminal then records and stores copies of the
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Yes.(9/12/94) This question and answer was posted at Consolidated List of Reformulated Gasoline and Anti-Dumping Questions and Answers: July 1, 1994 through November 10, 1997 (PDF) (333 pp, 18.17 MB, EPA420-R-03-009, July 2003, About PDF )
- Last published:
-
What is the final form of the batch identification number?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . A batch ID is made up of the 4 digit company ID, 5 digit facility ID, 2 digit reporting year, and the 6 digit batch number (e.g., CCCC-FFFFF-YY-BBBBBB).(7/1/94) This question and answer was originally posted at Consolidated List…
- Last published:
-
When reporting compliance parameters to EPA on the batch reports we are asked to report to a greater degree of precision than the regulations indicate for the standard. An example would be that the per-gallon oxygen content standard is supposed to be 2.0
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . You would be in compliance for the example described above. In order to determine compliance EPA will round all values to the appropriate decimal place for the applicable standard. If the digit immediately to the right of the…
- Last published: