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
- 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
- 112.2 Definitions Total results: 12
- 112.8 Specific Onshore Requirements (Excluding Production) Total results: 3
- 112.1 Applicability Total results: 18
- 112.3 Requirement to Prepare an SPCC Plan Total results: 3
- 112.6 Qualified Facilities Total results: 4
- 112.7 General Requirements Total results: 17
- 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
- Southeast Minnesota Groundwater Total results: 11
Active filters:
- Prohibited and Restricted Practices
- 112.2 Definitions
- 112.8 Specific Onshore Requirements (Excluding Production)
Displaying 1 - 15 of 17 results
-
What is a farm for purposes of the SPCC Rule?
In the December 2006 amendments to the SPCC Rule, EPA defined a farm as "a facility on a tract of land devoted to the production of crops or raising of animals, including fish, which produced and sold, or normally would have produced and sold, 1,000 or more of agricultural products…
- Last published:
-
Examples of an agent of a Professional Engineer
Except as provided in 40 CFR §112.6 for qualified facilities, a Professional Engineer (PE) or an agent of the PE must visit and examine the facility before the PE certifies an SPCC Plan (40 CFR §112.3(d)). What are some examples of an agent of a PE? An agent of a…
- Last published:
-
How do the changes in the 2006 Amendments apply to mobile refuelers?
Mobile refuelers are now exempt from the following sized secondary containment provisions that still apply to all other bulk storage containers and mobile/portable bulk storage containers: • Sections 112.8(c)(2) and (11) for petroleum oils • Sections 112.12(c)(2) and (11) for animal fats and vegetable oils These provisions previously required sized…
- Last published:
-
What is considered bulk oil storage capacity?
The revised rule recognizes that oil is sometimes stored in bulk and sometimes used operationally. A bulk storage container is any container storing oil at a facility. Bulk oil storage containers may include, but are not limited to tanks, containers, drums, and mobile or portable totes. Operational use includes oil-filled…
- Last published:
-
Mobile fuel tanker as a facility
Is a non-transportation related mobile fuel tanker with more than 55 gallons located near a 55 gallon drum storage area considered a facility? Perhaps. "Facility" is defined in Part 112 to mean "any mobile or fixed, onshore or offshore building, structure, installation, equipment, pipe, or pipeline (other than a vessel…
- Last published:
-
SPCC Rule schedules for inspections, tests, and evaluations
The SPCC rule requires inspections, tests, and evaluations of above ground containers (40 CFR §112.8(c)(6)). Does the rule set schedules for how often these need to be conducted? The SPCC Rule does not prescribe a specific frequency or methodology for performing the required inspections, evaluations, and tests for aboveground containers…
- Last published:
-
What is a field-constructed container?
What are the types of containers or equipment containing oil reservoirs that would be considered field-constructed containers and thus subject to the brittle fracture evaluation of 40 CFR §112.7(i)? As found in the Preamble language provided on page 47112 of the July 17, 2002 SPCC final rule, EPA provides a…
- Last published:
-
What is oil-filled operational equipment?
Oil-filled operational equipment is equipment that includes an oil storage container (or multiple containers and associated piping intrinsic to the operation of the equipment) in which the oil is present solely to support the function of the apparatus or the device. It is not considered a bulk storage container, and…
- Last published:
-
My firm drills a series of 1/2-inch diameter holes in sheet rock to dry it out where rooms have been flooded. Is drilling these holes a prohibited practice?
No. The requirement for HEPA exhaust control does not apply to the use of all power tools. Specifically, HEPA exhaust control is not required when using a power drill to drill holes in sheetrock. When using a power drill with a drill bit to cut through sheetrock, the speed associated…
- Last published:
-
Are mobile refuelers exempt from integrity testing requirements?
Pursuant to 40 CFR §112.8(c)(2), mobile refuelers are exempt from the secondary containment requirements for bulk storage containers. Are mobile refuelers also exempt from the requirements for integrity testing in §112.8(c)(6)? Since mobile refuelers are mobile or portable bulk storage containers, the other provisions of §112.8(c) still apply. Therefore, mobile…
- Last published:
-
What is a mobile refueler?
A mobile refueler is a bulk storage container onboard a vehicle or being towed that is designed or used solely to store and transport fuel for transfer into or from an aircraft, motor vehicle, locomotive, vessel, ground service equipment, or other oil storage container. Mobile refuelers may be found at…
- Last published:
-
Are generator sets considered oil-filled operational equipment?
No. Generator sets (gen sets) are a combination of oil-filled operational equipment and a bulk storage container. Lubrication systems on gen sets may be oil-filled operational equipment, but bulk storage tanks providing fuel for the generator typically are not oil-filled operational equipment.
- Last published:
-
SPCC Rule regulated oil types
What types of oil does the Spill Prevention, Control, and Countermeasure (SPCC) Rule address? The term oil means oil of any kind or in any form, including, but not limited to: petroleum; fuel oil; sludge; oil refuse; oil mixed with wastes other than dredged spoil; fats, oils or greases of…
- Last published:
-
What types of oil does the SPCC Rule address?
The term oil means oil of any kind or in any form, including, but not limited to: petroleum; fuel oil; sludge; oil refuse; oil mixed with wastes other than dredged spoil; fats, oils or greases of animal, fish, or marine mammal origin; vegetable oils, including oil from seeds, nuts, fruits…
- Last published:
-
How do RRP requirements apply to pressure washing? What containment and other preparation are required?
Pressure washing is not a prohibited practice under the Lead Renovation, Repair, and Painting (RRP) Rule . Pressure washing is subject to the same containment requirements as other permissible work practices. Before beginning the renovation, the firm must isolate the work area so that no dust or debris (including in…
- Last published: