Search Frequent Questions
Filter By:
- Air Emissions Inventories Total results: 34
- Asbestos Total results: 141
- Butte Area/Silver Bow Creek Total results: 17
- Coronavirus (COVID-19) Total results: 33
-
East Palestine, Ohio Train Derailment
Total results: 148
- After Cleaning Total results: 3
- About the Cleaning Process Total results: 10
- About the East Palestine Train Derailment Total results: 13
- Air testing Total results: 2
- Assistance with Child Care and Pets During Cleaning Total results: 2
- Chemicals of concern and associated health impacts Total results: 8
- Eligibility Total results: 7
- Environmental Sampling and Monitoring Total results: 7
- Environmental testing results Total results: 8
- Exposure to chemicals in the air, soil and water (dioxins) Total results: 18
- Formaldehyde Total results: 1
- Impacts to the environment Total results: 1
- Livestock and pet health impacts Total results: 1
- Odors and toxicity Total results: 2
- Personal Belonging During Cleaning Total results: 6
- Physical work updates, road closures, and upcoming public meetings Total results: 3
- Prior to Cleaning Total results: 3
- Purpose Total results: 6
- Relocation Assistance Total results: 2
- Residential soil sampling and water testing Total results: 10
- Taggart Street Reopening Total results: 12
- Tax-exempt Total results: 1
- Waste disposal and containment Total results: 13
- Water Management Update Total results: 9
- Emergency Planning and Community Right-to-Know Total results: 301
- Fuel Program Total results: 693
- Great Lakes Funding Total results: 92
- Lead Total results: 401
- MOVES Total results: 57
- Norwood Landfill Site Total results: 30
- Oil Regulations Total results: 96
- Permitting Under the Clean Air Act Total results: 19
- Radiation Total results: 1
- Risk Management Program (RMP) Total results: 285
- Southeast Minnesota Groundwater Total results: 11
Active filters:
Remove all filtersDisplaying 1 - 15 of 251 results
-
Are hazardous chemicals present at rail yards subject to EPCRA 311/312?
Yes, hazardous chemicals present at rail yards are subject to EPCRA Sections 311 and 312, if they are not stored incident to transportation and they are present at the rail yard in amounts equal to or in excess of the minimum thresholds in 40 CFR 370.10(a). As explained in the…
- Last published:
-
E-cigarette and EPCRA 311 / 312 Reporting
Are hazardous chemicals used to make e-cigarette products considered tobacco or tobacco products and thus exempt from EPCRA sections 311 and 312 reporting requirements? No. The MSDS reporting requirements under EPCRA Section 311 and Chemical Inventory (i.e., Tier II) reporting requirement under EPCRA Section 312 apply to owners and operators…
- Last published:
-
Agricultural use exemption and chemicals used for fish farming
Sections 311 and 312 require facility owners or operators to submit Material Safety Data Sheets (MSDSs) and annual inventory reports for any hazardous chemical subject to OSHA's Hazard Communication Standard (29 CFR §1910.1200(c)) which is present at a facility above a reportable threshold (40 CFR §370.10) . An owner or…
- Last published:
-
Hazardous chemicals used in animal digestors or incinerators
Are hazardous chemicals used in equipment, such as an animal carcass digestor or incinerator, located on the grounds of a medical or veterinary facility exempt from the definition of hazardous chemical and, therefore, exempt from reporting under EPCRA Sections 311 and 312? Any substance to the extent it is used…
- Last published:
-
Agricultural use exemption and fuels
Does the agricultural use exemption, Section 311(e)(5), apply to fuels used by harvesting services to transport crops from the farm to the market or the food processor? Does the agricultural use exemption apply to the fuel used by the farmer to transport crops from the farm to the market or…
- Last published:
-
Release notification for release at Superfund site
Would the National Response Center (NRC) need to be notified of a release of a hazardous substance in an amount equal to or exceeding a Reportable Quantity (RQ) at a Superfund site during cleanup activities? Yes. Unless otherwise exempted from CERCLA section 103 notification requirements, a release of a hazardous…
- Last published:
-
CERCLA Release Notification and the Workplace Exposure Exclusion
CERCLA section 101(22) excludes from the definition of release any release solely within a workplace, with respect to a claim which such persons may assert against the employer of such persons. Does the workplace exposure exclusion apply for purposes of CERCLA release notification requirements? The workplace exposure exclusion only applies…
- Last published:
-
EPCRA 311 / 312 Reporting Responsibility For Industrial Park Owner
EPCRA sections 311 and 312 assign responsibility for reporting to “the owner or operator of any facility which is required to prepare or have available a material safety data sheet (MSDS) for a hazardous chemical under the Occupational Safety and Health Act (OSHA) of 1970 and regulations under that act.”…
- Last published:
-
CERCLA Release Reporting: Clarification of Facility
The term facility, as defined in 40 CFR 302.3 , does not include the words “contiguous” or “adjacent”. Would multiple adjacent buildings or buildings on a contiguous property be considered one facility for purposes of release reporting and submit one notification? Yes. Adjacent buildings on a contiguous property where multiple…
- Last published:
-
Bricks May Be Eligible for Solid and Manufactured Item Exemption for EPCRA 311 / 312 Reporting
For safety data sheet (SDS) and Tier II inventory reporting under EPCRA Sections 311 and 312, there is an exemption for solid and manufactured items that do not have the potential for exposure under normal conditions of their use. Are bricks eligible for the solid and manufactured item exemption under…
- Last published:
-
Follow-up notification requirements for release occurring in transportation
Must a notifier submit a follow-up emergency notice after the initial 911 report? Notification of a release during transportation or storage incident to transportation, including the requirement to submit a written follow-up notice, is satisfied by dialing 911 and providing the release information as described in 40 CFR §355.42 to…
- Last published:
-
State Single Point Submission Process for Tier II Reports
Pursuant to 40 CFR 370.44, the owner or operator of a facility must submit the required Tier II inventory information to their State Emergency Response Commission (SERC), Local Emergency Planning Committee (LEPC), and fire department with jurisdiction over their facility. If a state has implemented a single point of submission…
- Last published:
-
Tier II submission fees
Are there any fees associated with the submission of a Tier II form? There are no federal fees associated with the submission of a Tier II form. However, owners and operators of facilities subject to 40 CFR Part 370 are encouraged to check with their state agencies, as some states…
- Last published:
-
Hazardous chemicals used for medical or research purposes
A medical facility uses liquid nitrogen for the nuclear magnetic resonance spectrometer. The spectrometer is used for medical diagnostic purposes. In addition, the facility is required by the Occupational Safety and Health Administration (OSHA) to have a material safety data sheet (MSDS) available for the liquid nitrogen. Is the liquid…
- Last published:
-
Should follow-up release information be sent to the state environmental agency?
Should the written follow-up information go not only to the local emergency planning committee and the state commission but also to the state environmental agency? Section 304(c) of Title III mandates that written follow-up notification go to the same entities that received the initial oral notification, i.e., the state commission…
- Last published: