Date/Time
Date(s) - 11/05/2019
12:00 pm - 2:00 pm
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Location
Ramboll
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A&WMA Midwest Section will be hosting this A&WMA national webinar series. By attending this, you don’t need to pay the $300 member or $420 nonmember price.
Part 1: Applying EPA’s New Interpretation of Stationary Source, Determining Title V Applicability in Reclassified Serious Ozone Non-Attainment Areas, and Unwinding the “Once-In-Always-In” Policy
Tuesday, November 5, 12:00 pm – 2:00 pm CT
This webinar will include presentations on:
- Common Control Determinations for Stationary Sources and Major Sources (interpretations issued on April 30 and October 16, 2018, and July 12, 2019)
- Interpretation of “Adjacent” for Stationary Sources and Major Sources (draft policy issued on September 4, 2018)
- Permitting Issues for Stationary Sources Located in Serious (Reclassified from Moderate) Ozone Non-attainment Areas (final Rule published on August 23, 2019)
- Reclassification of Major Sources as Area Sources Under §112 of the CAA (proposed rule published on July 26, 2019)
The memorandums on common control provide EPA’s refined, but narrowed, interpretation on common control criterion when determining if two or more stationary sources should be combined for permitting purposes. The draft guidance on adjacency provides EPA’s current interpretation on the term “adjacent” when determining if two or more stationary sources should be combined for permitting purposes.
The final rule on reclassifying moderate non-attainment areas for 2008 ozone NAAQS to serious areas with more stringent requirements create permitting challenges for stationary sources and major sources.The proposed rule on reclassifying major sources as area sources would incorporate the plain language reading of “major source” and “area source” definitions under §112 of the CAA.
Part 2: What is a Project, When to Aggregate, and How to Apply the Project Emissions Accounting Rule
Tuesday, November 19, 12:00 pm – 2:00 pm CT
This webinar will include presentations on:
- Defining Project Aggregation Under New Source Review (final rule published on November 15, 2018), which articulates EPA’s “substantially related” test to determine if two or more projects should be combined into a single project under NSR.
- Determining Project Emissions Under New Source Review (proposed rule published on August 9, 2019), that revises NSR applicability regulations to make it clear that both emissions increases and decreases that result from a given proposed project are to be considered at Step 1 (significant emissions increase test).
*Only interested in Part 2? Click here to go to the Part 2 Registration Page.
More information from A&WMA, including the presenters.
Lunch will be provided.
Bookings
Bookings are closed for this event.