Environmental Administrative Decisions: Decisions of the United States Environmental Protection Agency, Volume 13U.S. Environmental Protection Agency, 2006 |
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Page 6
... compliance with respect to nitrogen dioxide is measured in terms of emissions of any nitrogen oxides ( NOx ) . 40 C.F.R. ยง 52.21 ( b ) ( 23 ) ; In re Haw . Elec . Light Co. , 8 E.A.D. 66 , 69 n.4 ( EAB 1998 ) . The term nitrogen oxides ...
... compliance with respect to nitrogen dioxide is measured in terms of emissions of any nitrogen oxides ( NOx ) . 40 C.F.R. ยง 52.21 ( b ) ( 23 ) ; In re Haw . Elec . Light Co. , 8 E.A.D. 66 , 69 n.4 ( EAB 1998 ) . The term nitrogen oxides ...
Page 61
... compliance with the control efficiency limit because of its 12 - month rolling average ; ( 2 ) that the " mismatched " averaging times would allegedly undercut Prairie State's obliga- tion to continuously meet the BACT limits ; and ( 3 ) ...
... compliance with the control efficiency limit because of its 12 - month rolling average ; ( 2 ) that the " mismatched " averaging times would allegedly undercut Prairie State's obliga- tion to continuously meet the BACT limits ; and ( 3 ) ...
Page 62
... compliance with the 98 percent SO2 control efficiency . " Petition at 67. As IEPA notes in its Response , the Permit ex- pressly states that compliance with the control efficiency limit shall be determined by test methods established in ...
... compliance with the 98 percent SO2 control efficiency . " Petition at 67. As IEPA notes in its Response , the Permit ex- pressly states that compliance with the control efficiency limit shall be determined by test methods established in ...
Page 65
... Compliance Division , Office of Air Quality Planning and Standards , to Region 1 - 10 , Re : BACT LAER Determination Cut - off Date ( Jan. 11 , 1990 ) ; Memorandum from John S. Seitz , Director , Stationary Source Compliance Divi- sion ...
... Compliance Division , Office of Air Quality Planning and Standards , to Region 1 - 10 , Re : BACT LAER Determination Cut - off Date ( Jan. 11 , 1990 ) ; Memorandum from John S. Seitz , Director , Stationary Source Compliance Divi- sion ...
Page 74
... compliance , id . , and PM CEMS is used only for compliance assurance , which Petitioners contend is not sufficiently defined . id . at 86 . These arguments , however , must fail as speculation unsupported by any ci- tation or reference ...
... compliance , id . , and PM CEMS is used only for compliance assurance , which Petitioners contend is not sufficiently defined . id . at 86 . These arguments , however , must fail as speculation unsupported by any ci- tation or reference ...
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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