National Initiatives in Green Technologies: Hearings Before the Subcommittee on Technology, Environment, and Aviation of the Committee on Science, Space, and Technology, U.S. House of Representatives, One Hundred Third Congress, First Session, October 5 and November 18, 1993, Volume 4U.S. Government Printing Office, 1994 - 343 pages |
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Page 114
... demonstrations . However , there are currently no statutory or regulatory criteria for selecting among the various control options . States may be inclined to select those control measures which are easy to implement from an ...
... demonstrations . However , there are currently no statutory or regulatory criteria for selecting among the various control options . States may be inclined to select those control measures which are easy to implement from an ...
Page 127
... demonstrating that the proposed technology will meet the effluent standards ( including more stringent water quality standards , if applicable ) ; ( 3 ) the permit incorporates the application , and thus restricts the permittee to the ...
... demonstrating that the proposed technology will meet the effluent standards ( including more stringent water quality standards , if applicable ) ; ( 3 ) the permit incorporates the application , and thus restricts the permittee to the ...
Page 132
... demonstration of the new technology . By limiting its scope to standards promulgated under Sections 301 ( b ) ( 2 ) ( A ) and 301 ( b ) ( 2 ) ( E ) , the statute limits the variance to BAT and BCT standards for existing sources , and ...
... demonstration of the new technology . By limiting its scope to standards promulgated under Sections 301 ( b ) ( 2 ) ( A ) and 301 ( b ) ( 2 ) ( E ) , the statute limits the variance to BAT and BCT standards for existing sources , and ...
Page 133
... demonstrating no reasonable cost / benefit relation could severely restrict applicability of the modification . Also , the five - year term of such a modification with respect to toxic pollutants limits its duration , and the " economic ...
... demonstrating no reasonable cost / benefit relation could severely restrict applicability of the modification . Also , the five - year term of such a modification with respect to toxic pollutants limits its duration , and the " economic ...
Page 150
... demonstration permits . 188 / EPA should also consider expanding the availability of Class 1 permit modifications under 40 CFR ยง270.42 to include more low / moderate risk activities . 4.3.5 Innovative Technologies Costly and time ...
... demonstration permits . 188 / EPA should also consider expanding the availability of Class 1 permit modifications under 40 CFR ยง270.42 to include more low / moderate risk activities . 4.3.5 Innovative Technologies Costly and time ...
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achieve activities air pollution air quality Amendments Amoco analysis application approach assessment benzene Chairman chemical clean Clean Air Act Clean Water Act compliance cost cotton criteria cycle assessments disposal DRAFT FOR DISCUSSION DRAFT-FOR DISCUSSION PURPOSES Ecollection economic effective effluent emission reduction emissions trading engineering environment environmental management environmental protection environmental technologies EPA's Esprit example facility Federal flexibility Georgia-Pacific goals green technology hazardous waste IMHOFF impact implementation improve incentives industry initiatives legislation life-cycle limited MACT major stationary source manufacturing materials multimedia NSPS operations opportunities options organizations permit pollution control pollution prevention potential priorities proposed quality-based RCRA recycling Refinery regulations regulatory release reduction requirements risk rule solid waste source category specific stationary source statute statutory strategies Subcommittee sustainable development toxic unit VALENTINE wastewater water quality Yorktown Project