It is not necessary, in Sarah’s case, to add the SIP footnote nor is a SIP Volume and Section applicable.
These requirements are applied to Air Quality Attainment and Maintenance Plans and those rules specific to those Plans.
Since Sarah’s rulemaking is not directly related to any Plan, it does not have to go through this hurdle.
Thanks for checking though,
I have attached a small sample plan just so you can see what a typical one looks like. These are very technical documents and are accompanied with a very large Emission Inventory Study that I have not included. You may enjoy thumbing through it.
Gary
-----Original
Message-----
From: MCALLISTER
Larry
Sent: Tuesday, May 08,
2007 5:29 PM
To: BEYER
Gary
Subject: SIP
language
Hi Gary,
I am trying not to be anal about meeting all the SIP requirements in Sarah's rule, but below is your instruction (out of AQ rulemaking instructions).
Has a new SIP section number been established for Sarah's rule? Does her rule need this number?
And should this "SIP note" be included in all of the rules she is amending/adopting or some of them or none of them? I have attached the proposed rules she is addressing in her rulemaking. Which if any should include this note? I would guess if any, it would only be appropriate to include it only in OAR 340-011-0573?
Additionally, for new rules you must obtain a SIP section number from the SIP Coordinator, Gary Beyer. Include the “SIP Note” with each rule that is part of the SIP. The “SIP Note” should state the following:
NOTE: This rule is included in the State of Oregon Clean Air Act Implementation Plan as adopted by the Environmental Quality Commission under OAR 340-200-0040.
Let me know,
Larry