1 title v review dj law us epa region 8. 2 overview know your process permit isn’t always the most...

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1

Title V Review

DJ LawUS EPA Region 8

2

OverviewKnow your process

Permit isn’t always the most important document

Permit size shouldn’t be scary

3

The Process – Why is it important?No two permitting agencies will

use the same permit style◦US EPA◦State of Colorado

All techniques used apply to any kind of permit review

4

My Review Process – Permit isn’t most importantGoal of reviewing permit is to

understand what is in it and why

Permit itself can be confusing

Statement of Basis – Narrative form◦Much better for

Who/What/Where/When/Why

5

Example – US EPA Permit

6

Same Thing - SoB

7

Starting PointRead Statement of Basis FIRST!

◦It should Give clearest description of source and its permitting history

◦Give reasons why permit is being issued◦Discuss why a particular regulation is

included, or not included, in the permit

Every item discussed in SoB should have corresponding section in permit

8

The Permit – What To Look ForPermits can be hefty documents

◦CDPHE Permit – 81 pages, 12 Emission Units

◦EPA Permit – 35 pages, 4 Emission Units

Proposed CDPHE Suncor Refinery Permit – 230 pages not counting Appendices◦That is only for Plants 1 and 3. It

doesn’t include the Title V permit for Plant 2, at 196 pages

9

The Approach – Making it Bite-SizedThe key is “Specific” – this is

what makes the permit unique

10

EPA Permit -Table of Contents

11

CDPHE - Table of Contents

12

Permit Is Now ManageableTerms and conditions specific to units at facility

◦ EPA Permit – 7 pages out of 35 pages◦ CDPHE Permit – 20 pages out of 81pages

This is where you should find limitations, testing, monitoring, and reporting required for emission units at facility, as described in SoB◦ State rules for that equipment◦ NSPS requirements◦ MACT requirements◦ Requirements from other construction permits

(BACT)

13

What about the rest?Boilerplate – Regulations that apply to every

facility that obtains a Title V permit◦ Should be identical for all sources within permitting

authority’s jurisdiction

Non-site-specific regulations◦ Acid Rain◦ Alternative Operating Requirements◦ Permit Shield◦ Administrative Requirements◦ State-Specific Regulations

It’s all still important but isn’t “specific” to this facility

14

Does A + B = C? What is discussed in SoB should show

up somewhere in Permit Specific requirements◦“Boilerplate” typically isn’t discussed in SoB

If it doesn’t, or isn’t clear, worth commenting about◦Public is generally the least knowledgeable

about environmental regulation. If public is confused about requirements or conditions, typically permitting authority can rewrite permit to make it clearer

15

Should A + B = C?Requires working knowledge of

environmental regulation and working knowledge of source operations

Best place to start is Permit Application◦Typically not found as part of an “online” record.

Must formally request, or visit location of physical permit record

Other resources include inspection reports, AP-42 process descriptions, NSPS and MACT background documents, etc.

16

Final PointsDevelop your own personal

system for permit reviewDon’t be discouraged by size of

documents. Break permit into manageable parts

Don’t expect to know everything at once

17

Last RuleWhen you are still confused

about a condition…CALL!Every permit public notice should

have a contact name/number for engineer who wrote permit ◦Best source to determine intent of

section that is troubling you

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