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
- 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
- Applying for Certification or Accreditation Total results: 22
- EPA/HUD Real Estate Notification & Disclosure Rule Total results: 27
- General Information About Lead Total results: 9
- Lead-Based Paint Program Fees Total results: 9
- Lead Abatement, Risk Assessment and Inspection Total results: 49
- Lead at Superfund Sites Total results: 3
- Lead in Drinking Water Total results: 25
- Lead in Products Total results: 1
-
Lead Renovation, Repair and Painting
Total results: 237
- Authorized State and Tribal Programs Total results: 3
- Enforcement and Inspections Total results: 5
- Firm Certification Total results: 26
- General Information about the Lead Renovation, Repair, and Painting (RRP) Rule Total results: 18
- Information for Do-It-Yourselfers Total results: 1
- Lead-Safe Certified Firm Logo Total results: 8
- Pre-Renovation Education Total results: 26
- Recordkeeping and Reporting Requirements Total results: 6
-
Renovations Covered by the RRP Rule
Total results: 84
- Target Housing Total results: 18
- Child-Occupied Facilities Total results: 5
- Definition of "Renovation" Total results: 17
- Emergency Renovations Total results: 5
- In General Total results: 9
- Minor Repair and Maintenance Activities Total results: 14
- Opt-Out Provision Total results: 1
- Renovations for Compensation Total results: 7
- Testing Painted Components Total results: 6
- Renovator Certification and Training Total results: 12
- Training Provider Accreditation Total results: 7
- Work Practice Standards Total results: 41
- Testing for Lead Total results: 19
- MOVES Total results: 57
- Norwood Landfill Site Total results: 30
-
Oil Regulations
Total results: 96
- 40 CFR Part 110 Discharge of Oil Regulation Total results: 9
-
40 CFR Part 112 Spill Prevention, Control, and Countermeasure Rule
Total results: 65
- 112.7 General Requirements Total results: 17
- 112.1 Applicability Total results: 18
- 112.2 Definitions Total results: 12
- 112.3 Requirement to Prepare an SPCC Plan Total results: 3
- 112.6 Qualified Facilities Total results: 4
- 112.8 Specific Onshore Requirements (Excluding Production) Total results: 3
- Miscellaneous SPCC Total results: 8
- 40 CFR Part 112.20 Facility Response Plans Total results: 19
- 40 CFR Part 300 Subpart J Total results: 1
- Miscellaneous Oil Total results: 2
- Permitting Under the Clean Air Act Total results: 18
- Radiation Total results: 1
-
Risk Management Program (RMP)
Total results: 285
- Prevention Program Total results: 30
- Applicability/General Duty Clause Total results: 69
- Emergency Response Total results: 6
- Five-Year Accident History Total results: 16
- Offsite Consequence Analysis (OCA) Total results: 57
- Other Risk Management Programs Total results: 35
- Plan Preparation and Submission Total results: 49
- Program Levels Total results: 16
- RMP*Comp Total results: 7
- Southeast Minnesota Groundwater Total results: 11
Displaying 1 - 15 of 65 results
-
Hot Work Definition and Requirements
Facilities subject to the Program 3 Prevention Program requirements in 40 CFR Part 68 must include in their Risk Management Plan the date of the most recent review or revision of hot work permit procedures in Section 7.13. What is considered hot work and what are the requirements related to…
- Last published:
-
Do I have to conduct incident investigations of releases resulting from theft?
The incident investigation provisions of 40 CFR Part 68 (§§68.60 and 68.81) require facilities to investigate incidents that resulted in or could reasonably have resulted in a catastrophic release. Are covered facilities required to perform incident investigations of releases resulting from theft of covered substances, such as anhydrous ammonia? If…
- Last published:
-
Do Program 1 processes have to complete a process hazard analysis?
Do owners or operators of Program 1 processes have to complete a process hazard analysis? No. The Program 1 requirements do not include a process hazard analysis (40 CFR §68.12(b)). Program 3 processes require completion of a process hazard analysis (40 CFR §68.12(d)(3)) while Program 2 processes must complete a…
- Last published:
-
Is a hazard review synonymous with a process hazard analysis (PHA)?
The prevention program requirements under 40 CFR Part 68, Subparts C and D, include hazard reviews and process hazard analyses. Is a hazard review synonymous with a process hazard analysis (PHA)? No. A hazard review is different from a PHA. A hazard review is part of the Program 2 prevention…
- Last published:
-
How often must compliance audits be performed?
How often must owners or operators of stationary sources subject to the risk management program regulations perform compliance audits? The regulations at 40 CFR §§68.58(a) and 68.79(a) state that owners or operators must certify that they have evaluated compliance with the applicable prevention program provisions at least once every three…
- Last published:
-
Secondary containment for oil-filled operation equipment under SPCC
On December 26, 2006, EPA provided an optional alternative to the general secondary containment requirements in 40 CFR §112.7(c) for qualified oil-filled operational equipment ( 71 FR 77266 ). Because the alternative is optional, an owner or operator could choose to comply with the existing SPCC requirements to provide general…
- Last published:
-
Are renovations performed on detached garages, sheds and other detached outbuildings on the property subject to the RRP Rule?
Yes. EPA interprets target housing to include pre-1978 buildings or structures that are (1) located on the residential portion of the property, and (2) associated with the residential use of the property. As a practical matter, the entire property of most urban and suburban residential lots is normally considered to…
- Last published:
-
How do the RRP requirements apply to renovations on a pre-1978 building that contains both multi-room apartments (i.e., target housing) and zero-bedroom dwellings?
In pre-1978 buildings that contain a mix of target housing and zero-bedroom dwellings, the Lead Renovation, Repair, and Painting (RRP) Rule applies only to renovations performed in target housing and common areas. Common areas are those portions of a property generally accessible to residents/users of target housing, and can exist…
- Last published:
-
Does zoning affect the target housing determination? For example, would a pre-1978 house that is zoned for commercial or office use, but used for residential purposes be considered target housing?
In determining whether a pre-1978 property is target housing, it is the actual or intended use of the property that matters, not its zoning classification. Therefore, a pre-1978 house that is used or intended to be used as a residence, even if only temporary, is target housing regardless of its…
- Last published:
-
Does compliance under OSHA's PSM demonstrate compliance with the risk management program?
The Clean Air Act Amendments of 1990 (CAAA) mandated the Occupational Safety and Health Administration (OSHA) to develop a regulatory program to protect workers from the risk of accidents that involve hazardous chemicals. OSHA promulgated its Process Safety Management Standard (PSM) on February 24, 1992 (57 FR 6356), codified at…
- Last published:
-
Applicability of compliance audit provisions to non-prevention program elements
I have a Program 2 covered process and a Program 3 covered process at my stationary source. I am required (by 40 CFR Section 68.58 and 40 CFR Section 68.79) to certify compliance with prevention program requirements every three years. These compliance audits specifically address the prevention program portions of…
- Last published:
-
Does a five-year update satisfy the requirement to conduct a compliance audit?
The owner or operator of a stationary source with a Program 2 or Program 3 process must conduct a compliance audit at least every three years to ensure compliance with the prevention program requirements and must revise and update the risk management plan (RMP) at least every five years (§§68.58…
- Last published:
-
RMP Program Level 2 and 3 compliance audit frequency
Pursuant to the risk management program regulations, facilities with Program Level 2 and 3 processes must perform compliance audits at least once every three years (40 CFR §§68.58 and 68.79). Do regulated facilities have to perform the audits within exactly three years or can facilities perform the audits any time…
- Last published:
-
Does a PHA for OSHA satisfy EPA's PHA requirement for Program 3?
The risk management program regulations require that an initial process hazard analysis (PHA) for each Program 3 process be completed no later than June 21, 1999 (or by the time the process first has more than a threshold quantity of a regulated substance, if that occurs after June 21, 1999)…
- Last published:
-
Do compliance audits cover non-prevention program requirements?
Does the compliance audit requirement cover all of the Part 68 requirements or just the prevention program requirements? The compliance audit requirement applies only to the prevention programs under Subpart C. If you have a Program 2 process, you must certify that you have evaluated compliance with the Program 2…
- Last published: