Environmental Administrative Decisions: Decisions of the United States Environmental Protection Agency, Volume 13U.S. Environmental Protection Agency, 2006 |
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Page 95
... assessment shows that no exceedances of the NAAQS would occur as a result of the emissions of the proposed new power plants . " IEPA , Assessing the Impact on the St. Louis Ozone Attainment Demon- stration From Proposed Electrical ...
... assessment shows that no exceedances of the NAAQS would occur as a result of the emissions of the proposed new power plants . " IEPA , Assessing the Impact on the St. Louis Ozone Attainment Demon- stration From Proposed Electrical ...
Page 110
... assessment of ozone impacts on vegetation " and that " the PSD regulations only require an analysis of the impacts of a proposed plant on vegetation that has a significant commercial or recreational value . " Response to Comments at 135 ...
... assessment of ozone impacts on vegetation " and that " the PSD regulations only require an analysis of the impacts of a proposed plant on vegetation that has a significant commercial or recreational value . " Response to Comments at 135 ...
Page 116
... Assess the Impacts of the Proposed Prairie State Generating Station at the Mingo Wilder- ness Area ( July 2003 ) ; Earth ... Assessment of Mingo Wildlife Area ( Aug. 1 , 2003 ) ; Modeling Addendum 1 ( Dec. 9 , 2003 ) ; Addendum : Updated ...
... Assess the Impacts of the Proposed Prairie State Generating Station at the Mingo Wilder- ness Area ( July 2003 ) ; Earth ... Assessment of Mingo Wildlife Area ( Aug. 1 , 2003 ) ; Modeling Addendum 1 ( Dec. 9 , 2003 ) ; Addendum : Updated ...
Page 123
... assessment ; by failing to ensure the meaningful public participation of environmental justice communities in and around East St. Louis ; and by using a mapping tool that Peti- tioners contend is illogical in this situation . Petition ...
... assessment ; by failing to ensure the meaningful public participation of environmental justice communities in and around East St. Louis ; and by using a mapping tool that Peti- tioners contend is illogical in this situation . Petition ...
Page 157
... assessment of the existing soils and vegetation , presumably such an assessment would necessarily be part of the inquiry into whether the proposed source would impair the soils and vegetation . Furthermore , in order to determine ...
... assessment of the existing soils and vegetation , presumably such an assessment would necessarily be part of the inquiry into whether the proposed source would impair the soils and vegetation . Furthermore , in order to determine ...
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administrative Agency Agency's air quality ALJ's alleged appeal application argument asbestos BACT analysis BACT limits Board Brief capacitors Christian County citing clear error coal compliance schedule concluded ConocoPhillips considered count D.C. Cir determination draft permit effluent limits emissions limits enforcement Environmental EPA's EPS's Euclid explained failed federal FIFRA filed Final Permit hazardous waste Howmet IEPA IEPA's IEPA's response impacts Indeck Init Initial Decision issue LTCP major stationary source Martex ment monitoring NAAQS NPDES NPDES permit NSR Manual OCS source PCB waste Penalty Policy permit decision permit issuer pesticide Petition Petitioners argue pollutant Prairie State's proposed Facility protection PSD permit public comment period RCRA record Region regulatory remand requirements Response to Comments Sierra Club SMRO specifically spent material tion U.S. EPA violations WASA water quality standards