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1 |
DIVISION |
NAME |
MISC NOTES |
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2 |
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CHECK DATE (2014) ON CMM AND SSM |
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3 |
200 |
General Air Pollution Procedures and Definitions |
emergency generator definition in commercial/institutional, check
Jerry's division 216 exemptions; SER definition; |
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4 |
200 tables |
|
Pulled into rule text |
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5 |
202 |
Ambient Air Quality Standards &PSD Increments |
Jill to check if rule history from 224 works for Ambient Air Quality
ThresholdLimits for Maintenance Areas |
RULE HISTORY? |
6 |
202 tables |
OAR 340-202-0210 Table 1 MAXIMUM ALLOWABLE INCREASE |
Pulled into rule text |
|
7 |
204 |
Designation of Air Quality Areas |
check language for offset ratios in sustainment areas; Priority
sources in NAA and maintenance areas; What if the area has a
bad year? Do we want a separate rule to identify prioirty sources
or just include them in the sustainment and reattainment area
designations? |
|
8 |
206 |
Air Pollution Emergencies |
done |
|
9 |
208 |
Visible Emissions and Nuisance Requirements |
208-0210 fugitive emissions defined: applicablity or prohibition;
Natural gas curtailment for residal #6? |
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10 |
209 |
Public Participation |
Repeal 209-0070 Hearing and Meeting Procedures. Too prescriptive |
|
11 |
210 |
Stationary Source Notification Requirements |
Mark's changes- see rule language for questions; MSF needs to
review |
|
12 |
212 |
Stationary Source Testing and Monitoring |
Ask EPA to remove CAM from SIP; Have MSF review SSM and CMM and
incorporate GA changes; equivalent/alternative method |
|
13 |
214 |
Stationary Source Reporting Requirements |
Add CBI language from statute |
|
14 |
216 |
Air Contaminant Discharge Permits |
delete new language on extensions, keep old language on terminations
but add "unless the owner or operator submits the renewal application
within three months of permit expiration" to Reinstatement of
terminated Permit: A permit automatically terminated under....may
only be reinstated by the permitee by applying for new permit,
including the application new source permit application fees
as set forth in this division UNLESS............. |
|
15 |
216 tables |
|
Emergency generator definition in commercial/institutional; 75
- flares? Thermal desorption - EPA? State NSR fee - ANDREA? Grain
elevators |
|
16 |
218 |
Oregon Title V Permits |
done |
|
17 |
220 |
Oregon Title V Operating Permit Fees |
Have Andrea make these changes? |
|
18 |
222 |
Plant Site Emission Limits |
need to ask EPA for approval of 222-0060 PSELs for Sources of
Hazardous Air Pollutants under section 112(l) of the CAA; GHG
> SER but doesn't trigger PSD; need to modify splitting source
netting basis so that it applies to more than combined heat and
power |
|
19 |
224 |
New Source Review |
See applicability; 224-0025 - see note from EPA meeting about
actual emissions greater than PSEL. 224-0030 Permit extension
- FIX but how?? See rule language for comments with questions.
Address priority sources in NAA and maintenance areas, NSR extensions
- what happens if construction starts during extension review?
Two Dave Kauth? |
|
20 |
225 |
Air Quality Analysis Requirements |
225-0060 |
|
21 |
226 |
General Emission Standards |
delete administrative note? Grain loading changes? Natural gas
curtailment? More time for Frank Lumber? Exemption for small
asphalt plants? |
|
22 |
226 tables |
|
done |
|
23 |
228 |
Requirements for Fuel Burning Equipment and Fuel Sulfur Content |
Natural gas curtailment for residal #6? More time for Frank Lumber?
Exemption for small asphalt plants? |
|
24 |
232 |
Emission Standards For VOC Point Sources |
Check definitions of potential to emit in 200 because it includes
control equipment where the definition in 232 excludes control
equipment. Does this change applicability of division 232? |
|
25 |
234 |
Emission Standards For Wood Products Industries |
done |
|
26 |
236 |
Emission Standards For Specific Industries |
done |
|
27 |
240 |
Rules For Areas With Unique Air Quality Needs |
done |
|
28 |
242 |
Rules Applicable to the Portland Area |
Need to find out if we have adopted EPA rules for spray paint
from Dave Nordberg. Jerry - do we need Gasoline Vapors from
Gasoline Transfer and Dispensing Operations |
|
29 |
244 |
OREGON FEDERAL HAZARDOUS AIR POLLUTANT PROGRAM |
SIP? |
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30 |
262 |
HEAT SMART PROGRAM FOR RESIDENTIAL WOODSTOVES |
Check authority, looks different from other authority |
|
31 |
264 |
RULES FOR OPEN BURNING |
done |
|
32 |
268 |
EMISSION REDUCTION CREDITS |
268-0030: From 11/12/97 EPA Memo: Crediting of MACT emissions
reductions for NSR netting and offsets; THIS MAY HAVE CHANGED.
DAVE WILL CHECK |
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