WebThe state minor source program (AKA Class II) regulates smaller sources of air pollution. There are two classifications for minor sources: synthetic minor and natural minor. Synthetic Minor; Potential emissions above Class I emission levels (see previous section) Federally enforceable limits are taken to keep emissions below Class I emission levels Webits existing source. This draft permit does not contain any new equipment that would emit air pollutants; however, some conditions from previously issued permits/approvals have been corrected, changed, or removed. These corrections, changes, and removals may include Title I changes (e.g., changes that add or modify synthetic minor emission limits).
General Permits - Illinois
WebSource . When reviewing the TCEQ’s minor NSR rules, the term “source” is commonly used. A source is defined in 30 TAC § 116.10 as “A point of origin of air contaminants, whether privately or publicly owned or operated.” A stationary source is defined in 30 TAC §116.12 as: “any building, structure, facility, or WebSynthetic Minor Permit. Synthetic minor construction permits are issued for projects where potential emissions are at or greater than major source threshold levels but the facility has requested a federally enforceable limit to restrict emissions. A facility's request for a synthetic minor construction permit is subject to public participation procedures outlined … dnd into the abyss pdf
Pennsylvania is Requiring Minor Facilities to Submit Air ... - ALL4
WebJul 15, 2024 · Without clear and enforceable limitations in synthetic-minor-source permits, facilities may emit excess pollution that would otherwise subject them to the more stringent requirements of the Clean Air Act major-source permitting programs. Report Materials. Report at a Glance (pdf) (256.58 KB) Full Report (pdf) (1.27 MB) WebJul 30, 1996 · EPA's Approval of Pennsylvania's Operating Permit and Plan Approval Programs under Sections 110 and 112. Published in the Federal Register July 30, 1996. 2024 EPA Evaluation of Region III and VI Title V Permitting Program. Approximately every five years, US EPA evaluates DEP’s administration of the Title V permitting program by visiting ... WebA "synthetic minor" stationary source is not subject to Rule 201.1 (Permits to Operate for Sources Subject to Title V of the Federal Clean Air Act Amendments of 1990) unless it is subject to that Rule for a reason other than being a major stationary source. A synthetic minor stationary source is subject to all applicable federal requirements ... created by multidisciplinary team