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Displaying 1 - 12 of 12 results
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Determining frequency of coordination activities
The Risk Management Program regulations require owners and operators of stationary sources to coordinate their response needs annually, or more frequently if necessary, with local emergency planning and response organizations (40 CFR §68.93(a)). Are stationary sources responsible for determining if coordination activities should occur more often than annually? Ultimate responsibility…
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Who Must Develop an Emergency Response Program?
The risk management program regulations require the owner or operator of a covered stationary source to develop and implement an emergency response program as described in 40 CFR §68.95, which must include an emergency response plan, emergency response equipment procedures, employee training, and procedures to ensure the program is up-to-date…
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Does EPA have a minimum threshold/definition for the Regional scale program? In other words, what does Regional mean or is it open to applicants to determine at any scale?
GLNPO wants to be extremely flexible and encourage PRs to think about which regions they could expect to effectively cover when creating their application. There are no additional criteria from EPA on how big or small the Project RFA should be.
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When will construction begin in the Silver-Bow Creek Corridor?
Construction in the Silver Bow Creek corridor began in 2024 with the Grove Gulch Project.
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I am asking if the "Great Lakes" you are saying is the Great Lakes region of Africa.
No. This United States Environmental Protection Agency Great Lakes Restoration Initiative Notice of Funding Opportunity is referring to the North American Great Lakes.
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Remote coordination with local authorities
The Risk Management Program regulations require owners and operators of stationary sources to coordinate their response needs annually, or more frequently if necessary, with local emergency planning and response organizations (40 CFR §68.93(a)). If a stationary source is in a remote location and in-person annual coordination is deemed impractical, can…
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Emergency Response Coordination Activities Effective Date
The RMP Amendments finalized on January 13, 2017 included a requirement for owners or operators of a stationary source to engage in emergency response coordination activities (40 CFR §68.93). The regulatory text in 40 CFR §68.10(b) states that compliance with these activities must be completed by March 14, 2018. Because…
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How will waste from the Further Remedial Elements project (Silver Bow Creek Corridor) areas be handled?
Each Further Remedial Element project area has its own specific requirements regarding waste. For example, at Northside Tailings and Diggings East, all materials within the project area that exceed the Waste Identification Criteria will be disposed of offsite in a repository. At Buffalo Gulch all materials below the basin(s) that…
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Does funding through this grant include municipalities within the Chicago River watershed?
Yes, including the historic Chicago River watershed.
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Will basin wide PR serve areas without a designated PR for smaller part of the region, or will their service areas overlap?
If the Project RFA will be serving the entire basin, I.e., a basin-wide GLEJGP, this could be delegated within a coalition (if it is a coalition that has applied). Otherwise, the PR organization will be serving the entire basin. If there is a basin-wide PR as well as a smaller…
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Types of Information Relevant for Response Planning
The Risk Management Program emergency response coordination activities require the owner and operator of a stationary source to provide to the local emergency planning and response organizations: the stationary source’s emergency response plan if one exists; emergency action plan; updated emergency contact information; and any other information that local emergency…
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Are exercises required as a part of the emergency response program requirements under 40 CFR Part 68, Subpart E?
Yes. At least once each calendar year, the owner or operator of a stationary source with any Program 2 or Program 3 process must conduct an exercise of the stationary source's emergency response notification mechanisms per 40 CFR 68.90(b)(3) or 68.95(a)(1)(i), as appropriate, before December 19, 2024, and annually thereafter…
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