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May I generate RINs that I produced and sold for non-road use in the past so that I can reinstate those RINs under RFS2?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Section 80.1426(c)(2) provides that RINs are assigned to a volume of renewable fuel when ownership of the RIN is transferred along with ownership of the volume of renewable fuel. A comparable provision appear in the RFS1 regulations, at…
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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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May I generate RINs for renewable fuel that I produced and sold for non-motor vehicle use in the past so that I can reinstate those RINs under RFS2?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . No. RINs that were previously generated in 2009 and 2010 may be reinstated if they were retired for non-motor vehicle use. However, RINs may not be generated for renewable fuel produced in the past in order to retire…
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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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Is the volume of renewable fuels a fixed number of gallons? How does this affect an obligated party's requirements?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . The volume of renewable fuel used as the basis for calculating the percentage renewable fuel standards is fixed by CCA 211(o)(2)(B) for certain years (through 2012 for biomass-based diesel and 2022 for other renewable fuels), with volumes after…
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In addition to 2009 RINs, may a party reinstate 2008 and 2010 RINs that were retired for non-road use under RFS1?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Pursuant to §80.1429(g), any 2009 RINs that were retired for non-motor vehicle, heating oil or jet fuel use under RFS1 may be reinstated under RFS2. The regulations do not allow 2008 RINs to be reinstated. Since RFS1 RINs…
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How does a retiring party reinstate RFS1 RINs that were retired because renewable fuel was ultimately used for non-motor vehicle, heating oil or jet fuel purposes? What steps are required to be taken and do any codes require changing?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Pursuant to §80.1429(g), parties may reinstate 2009 RINs that were retired under RFS1 because the renewable fuel was ultimately used in a non-motor vehicle application, heating oil or jet fuel. As stated in question 11.1, since RFS1 RINs…
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Can 2009 Cellulosic Biomass ethanol RINs (with a D code of 1) be used to satisfy an obligated party?s Cellulosic Biofuel and/or Advanced Biofuel RVO in 2010? Is there a 20% rollover cap on this type of RIN being used to satisfy the Cellulosic and/or Advan
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . 2009 cellulosic biomass ethanol RINs with a D code of 1 that are not used for compliance purposes in 2009 can be used to meet the cellulosic biofuel, advanced biofuel, and total renewable fuel RVOs in 2010. The…
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I understand under CAA Section 211(o), compliance can be deferred for a year as long as the obligated party complies the next year. How does one petition for a one-year deferral? What criteria are considered?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . According to §80.1427(b), an obligated party may carry a deficit from one compliance year to the next under certain conditions. No petition for a deficit carryover is required. An obligated party will be presumed to be carrying over…
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What is the potential danger posed by historical lead smelting sites?
Answer: The potential danger posed by historical lead smelting sites varies by site and depends upon whether a completed exposure pathway to the contaminant exists. For example, if site surfaces are redeveloped and, as a result, covered, there is no direct contact. Therefore, without such exposure, there is no current…
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