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A |
B |
K |
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1 |
DIVISION |
NAME |
MISC NOTES |
2 |
|
|
CHECK DATE (2014) ON CMM AND SSM |
3 |
200 |
General Air Pollution Procedures and Definitions |
emergency generator definition in commercial/institutional, emission
standard definition, ozone depleting substances SER - why? |
4 |
200 tables |
|
Pulled into rule text |
5 |
202 |
Ambient Air Quality Standards &PSD Increments |
done |
6 |
202 tables |
OAR 340-202-0210 Table 1 MAXIMUM ALLOWABLE INCREASE |
Pulled into rule text |
7 |
204 |
Designation of Air Quality Areas |
done |
8 |
206 |
Air Pollution Emergencies |
Check on total suspended PM. Define Priority I AQCR or include
cross reference? |
9 |
208 |
Visible Emissions and Nuisance Requirements |
208-0210 fugitive emissiosn defined: applicablity or prohibition |
10 |
209 |
Public Participation |
Get changes from OCO |
11 |
210 |
Stationary Source Notification Requirements |
NA |
12 |
212 |
Stationary Source Testing and Monitoring |
Have MSF review and incorporate GA changes; SIP note for CAM?
Check with Andrea |
13 |
214 |
Stationary Source Reporting Requirements |
done |
14 |
216 |
Air Contaminant Discharge Permits |
late fee and reinstatement fee for expired ACDPs before renewal
application submitted; PMT? RMT? |
15 |
216 tables |
|
Emergency generator definition in commercial/institutional; 75
- flares? Thermal desorption - EPA? State NSR fee? |
16 |
218 |
Oregon Title V Permits |
NA |
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 |
19 |
224 |
New Source Review |
What if a source doesn’t choose offsets from priority sources?
No benefit for enviros. 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
|
20 |
225 |
Air Quality Analysis Requirements |
Need a better reason in the crosswalk on why we are changing January
1, 1978 to baseline concentration year |
21 |
226 |
General Emission Standards |
done |
22 |
226 tables |
|
NA |
23 |
228 |
Requirements for Fuel Burning Equipment and Fuel Sulfur Content |
Residential Coal |
24 |
232 |
Emission Standards For VOC Point Sources |
Check definitions of potential to emit in 200 because it include
control equipment where the definition in 232 excludes control
equipment. Does this change applicability of division 232? check
on discretionary rules |
25 |
234 |
Emission Standards For Wood Products Industries |
Hardboard limits - history to Patty, remove if MACT more stringent?
See 0530(3)(b) about tempering oven temperature and approval
by DEQ for lower temperature |
26 |
236 |
Emission Standards For Specific Industries |
236-0410(4) - see comment about fugitives leaving site |
27 |
240 |
Rules For Areas With Unique Air Quality Needs |
See comment in 360 about same changes in 410, what does this
mean? |
28 |
242 |
Rules Applicable to the Portland Area |
Need to find out if we have adopted EPA rules for spray paint
from Dave Nordberg. |
29 |
262 |
HEAT SMART PROGRAM FOR RESIDENTIAL WOODSTOVES |
Check authority, looks different from other authority |
30 |
264 |
RULES FOR OPEN BURNING |
|
31 |
268 |
AND OTHER SOLID FUEL HEATING DEVICES |
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 |
33 |
|
APPROVED METHOD - WHERE WAS THIS DEFINTION? MOVE TO DIVISION
200? |
|
34 |
|
definition in 202 |
|