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A |
B |
C |
K |
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1 |
DIVISION |
NAME |
EPA? |
MISC NOTES |
2 |
|
|
|
CHECK DATE (2014) ON CMM AND SSM |
3 |
200 |
General Air Pollution Procedures and Definitions |
|
emergency generator definition |
4 |
200 tables |
|
|
Pulled into rule text |
5 |
202 |
Ambient Air Quality Standards &PSD Increments |
yes |
"approved method"? Discretion??? |
6 |
202 tables |
OAR 340-202-0210 Table 1 MAXIMUM ALLOWABLE INCREASE Micrograms
per cubic meter |
|
Pulled into rule text |
7 |
204 |
Designation of Air Quality Areas |
|
Add Lakeview as Sustainment Area |
8 |
206 |
Air Pollution Emergencies |
yes |
check on total suspended PM and which rules have precedent when
there is volcanic activity? This only applies to 100 tpy sources
in NAA. Leave as is for now and wait until EPA does SIP call.
|
9 |
208 |
Visible Emissions and Nuisance Requirements |
yes |
30 second opacity? 208-0120 fugitive emissiosn defined: applicablity
or prohibition |
10 |
209 |
Public Participation |
no |
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 |
13 |
214 |
Stationary Source Reporting Requirements |
yes |
VOC Emission Statements - exempt categorically insignificant activities
- does EPA do this in their rules? |
14 |
216 |
Air Contaminant Discharge Permits |
|
NA |
15 |
216 tables |
|
|
NA |
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 |
|
NA |
19 |
224 |
New Source Review |
|
What if a source doesn’t choose offsets from priority sources?
No benefit for enviros. |
20 |
225 |
Air Quality Analysis Requirements |
|
NA |
21 |
226 |
General Emission Standards |
yes |
"New source" still used in rules…..need to leave definition? |
22 |
226 tables |
|
|
NA |
23 |
228 |
Requirements for Fuel Burning Equipment and Fuel Sulfur Content |
yes |
Residential Coal; see comment in 228-0200 about industry specific
rules |
24 |
232 |
Emission Standards For VOC Point Sources |
yes |
Check definitions of emissions unit, major modification, major
source, person, plant site basis, potential to emit and source
to make sure defintiions in 200 do not change applicability of
division 232; check on discretionary rules; check 232-0060 |
25 |
234 |
Emission Standards For Wood Products Industries |
yes |
DEQ discretion, see text |
26 |
236 done to here |
Emission Standards For Specific Industries |
yes |
236-0140: Design removal efficiency instead of rated? 236-0410(5)
- see comment; 236-0430 - see comment about approval; |
27 |
240 |
Rules For Areas With Unique Air Quality Needs |
yes |
240-0050 - see comment; 240-0120 - see structure; 240-0130 - design
or rated removal efficiency? See comment in 360 about same changes
in 410, what does this mean? |
28 |
242 |
Rules Applicable to the Portland Area |
yes |
Need to find out if we have adopted EPA rules for spray paint
from Dave Nordberg. |
29 |
258 |
MOTOR VEHICLE FUEL SPECIFICATIONS |
yes |
With consent of the owner or operator , DEQ will, at any reasonable time, enter the premises of any
person subject to the requirements of OAR 340-258-0110 through
340-258-0310 to determine compliance. DEQ will inspect all relevant
records and equipment, and will, in its discretion, purchase
gasoline samples for testing by DEQ.
Why is this division even open?????????? |
30 |
262 |
HEAT SMART PROGRAM FOR RESIDENTIAL WOODSTOVES |
yes |
Check authority, looks different from other authority |
31 |
268 |
AND OTHER SOLID FUEL HEATING DEVICES |
NA |
33 |
|
APPROVED METHOD - WHERE WAS THIS DEFINTION? MOVE TO DIVISION
200? |
|
|
34 |
|
definition in 202 |
|
|