Learn the Issues
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Retro Rentals, LLC Information Sheet
Retro Rentals, LLC (the Company) is located in Boise, Idaho. The settlement involves renovation activities conducted at a property constructed prior to 1978, located in Boise, Idaho.
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Pablo, TZ, Inc. Information Sheet
Pablo, TZ, Inc. (the Company) is located in Islandia, New York. The settlement involves renovation activities conducted at property constructed prior to 1978, located in Newburgh, New York.
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Miller Construction & Demo Information Sheet
Miller Construction & Demo (the Company) is located in Omaha, Nebraska. The settlement involves renovation activities conducted at property constructed prior to 1978, located in Omaha, Nebraska.
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Brady Sullivan Millworks II, LLC and Brady Sullivan Millworks IV, LLC Information Sheet
The Complaint involves the lease of, and renovation activities conducted at, property constructed prior to 1978, located in Manchester, New Hampshire.
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Deborah A. Beck Information Sheet
Deborah A. Beck (the Company) is located in Omaha, Nebraska. The settlement involves the lease of property located in Omaha, Nebraska.
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Bradley Reeder d/b/a Reeder Construction Information Sheet
Bradley Reeder d/b/a Reeder Construction (the Company) is located in Mexico, Missouri. The settlement involves renovation activities conducted at property constructed prior to 1978, located in Mexico, Missouri.
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Gunton Corp. Information Sheet
Gunton Corp. (the Company) is located in Bedford Heights, Ohio, and Pottstown, Pennsylvania. The settlement involves renovation activities conducted at properties constructed prior to 1978, located in several cities in Pennsylvania.
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Section 80.46(a) was amended by the rule to require the use of ASTM D-3246 to determine the sulfur content of butane. Many refiners and butane suppliers do not currently use that method. Requiring a new method prior to the 2004 effective date of the gasoline sulfur standards would be costly for these companies. What is the effective date for the use of ASTM D 3246-96 for testing butane for sulfur content?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . The final gasoline sulfur rulemaking amended 40 CFR § 80.46(a) to require the use of ASTM D 3246-96 to determine the sulfur content of butane. We did not intend to require the use of this new test method…
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Professional Certification
WaterSense labeled programs for irrigation professionals assess professional competency in irrigation system design, installation and maintenance, and auditing.
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What requirements will be the subject of EPA inspections downstream from the refinery?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Downstream from the refinery or import facility, EPA will test gasoline for the applicable minimum and maximum parameters. Prior to January 1, 1998, the Simple Model downstream standards apply: oxygen and benzene content, and RVP during the period…
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What is the relationship between a portion of a batch that is shipped during in-line blending and the remainder of that batch?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Both portions of the batch, i.e. the volume shipped and the remaining portion or portions of the total batch volume, are identified with the same fuel properties and the same batch identification number. The properties are determined from…
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We would describe ourselves as an ethanol marketer, but we import gasoline into one of the 48 contiguous United States. Does this make us an obligated party and, as an obligated party, are we able to separate RINs?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . If a party is an importer of gasoline into the 48 contiguous United States, then that party is an obligated party. Section 80.1129(b)(6) allows an obligated party to separate RINs they generated from volumes of renewable fuel, if…
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Starting with the first tender of RFG shipped later this year (1994), transferors are required to provide transferees with transfer documents detailing the type of RFG (VOC or non-VOC, oxygenate program or not, simple or complex) and various minimum or maximum quality statements (oxygen, benzene and RVP for simple model RFG; oxygen, benzene, VOC and NOx for complex model RFG). In California, the Los Angeles and San Diego areas are covered areas for both the RFG and wintertime oxygenated programs. The oxygenated fuels program in California requires 1.8 to 2.2 weight % oxygen for control areas during the winter control periods, as opposed to 2.7% elsewhere. Since RFG sold in California will satisfy the oxygenated program requirements without additional oxygenate, will transfer documents be required to differentiate between RFG and OPRG?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Not after March 1, 1996. Section 80.81(c)(9) provides an exemption from the RFG product transfer documentation requirements contained in § 80.77 for California gasoline manufactured or imported subsequent to March 1, 1996, that meets the requirements of the…
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§ 80.77 and § 80.106 states that product transfer documentation must be provided on each occasion when any person transfers custody or title of reformulated gasoline, RBOB or conventional gasoline. It is a common practice for a party to purchase or take title to gasoline but not take physical custody of the product. As an example, a party may buy product (and take title) in a tank and then take physical custody at a later time. Does EPA require that PTD's be provided when title changes or when the receiving party takes physical custody? What if separate parties are taking receipt of the title and the custody?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . The regulations require PTD's on each occasion when any person transfers custody or title of RFG, RBOB or conventional gasoline. Whatever documents (hardcopy or electronic) that are currently utilized for business purposes to memorialize the transaction should be…
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AQS Guidelines for Reporting Collocated PM2.5 and Lead Data
AQS Guidelines for Reporting Collocated PM2.5 and Lead Data
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Polychlorinated Biphenyls (PCBs)
To provide regulatory information to the regulated community (those using, storing, or disposing of PCBs), and to provide risk/background information to those researching PCBs and/or concerned about potential exposure to PCBs.
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Grantee Forms & Reporting for Brownfields and Land Revitalization in New England
Get grantee forms and reporting templates and forms.
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Hazardous Waste Cleanup: SI Group Incorporated in Rotterdam Junction, New York
SI Group, Inc., formerly Schenectady International, Inc., Rotterdam Junction facility encompasses approximately 60 acres in Lower Rotterdam Junction, Schenectady County, New York. The facility is situated on the southwest bank of the Mohawk River, north of
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Hazardous Waste Cleanup: Solvents & Petroleum Incorporated in Syracuse, New York
The Solvents and Petroleum Service, Inc. (SPS) facility is located at 1405 Brewerton Road in Syracuse, New York. The current owner is a distributor of organic and chlorinated solvents to industries in the Central New York region. Solvents are stored in
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Hazardous Waste Cleanup: Schenectady International Incorporated in Schenectady, New York
The Schenectady International, Inc. - Congress Street facility encompasses approximately 8 acres within the City of Schenectady, Schenectady County, New York. Adjacent land uses include light industrial to the south and west; commercial facilities to the