Content area

Abstract

EPA has determined that Lake Road does not have a federally enforceable limit on its potential to emit or a state enforceable, practically enforceable limit on its potential to emit. [...] Lake Road is currently considered a "major source" of HAP emissions that is subject to Subpart YYYY [References: §63.6085, 63.6090(a), 63.6090(b)(4)] (03/02/05, M090033) Stationary Reciprocating Internal Combustion Engines Applicability Q Does Part 63, Subpart ZZZZ apply to non-road, non-stationary reciprocating internal combustion engines located at a major source of HAPs? A No.

Details

Title
EPA Interpretations of NSPS, NESHAP, and MACT Requirements
Author
Anonymous
Pages
2_17,2_18,2_19,2_20,2_21,2_22,2_23,2_24,2_25,2_26
Section
Regulations/Permitting
Publication year
2010
Publication date
2010
Publisher
Aspen Publishers, Inc.
ISSN
10586628
Source type
Trade Journal
Language of publication
English
ProQuest document ID
220290559
Copyright
Copyright Aspen Publishers, Inc. 2010