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Displaying 1 - 8 of 8 results
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Visit and examination requirements for SPCC self-certification
Pursuant to 40 CFR §112.6, the owner or operator of a facility that meets the criteria in §112.3(g) for either a Tier I or Tier II qualified facility may self-certify the facility's SPCC Plan. As part of the self-certification, the owner or operator must certify that he or she has…
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Availability of electronic SPCC Plan template
Part 112, Appendix G to prepare an SPCC Plan. Is the Tier I qualified facility SPCC Plan template available in an electronic version? EPA has made available electronic versions of the Tier I qualified facility Plan template to help the owner or operator of a Tier I qualified facility develop…
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This opportunity does not include Focus Area 1, AOC/Toxics. Many AOC may have underserved community populations. Does EPA have guidelines for how to operate in AOCs without causing duplication interference in that program?
The principal recipient may fund subaward projects within AOCs, provided the primary focus of the project meets the eligibility requirements. EPA will work closely with selected principal recipients as part of our substantial involvement to ensure there is adequate coordination with state and federal AOC programs.
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Tier I qualified facility template use under Part 112
In the 2008 Amendments to the SPCC Rule, EPA provided a template for the owner or operator of a Tier I qualified facility to create an SPCC Plan. Does EPA require a Tier I qualified facility to use the template in 40 CFR Part 112, Appendix G? Does EPA allow…
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Is it required that the principal recipient conduct a competitive RFP process upon award of the GLRI grant?
Establishing the Project RFA is a key element of the GLEJGP. All subawards to Project Subrecipients must be awarded using a fair and transparent process evaluating the following: An evaluation of any possible Project Subrecipient's entity’s abilities to carry-out the project and sustain expected outcomes after the initial project period…
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If a state does not have any federal or state recognized tribal lands, can PR applicants include outreach projects in similar communities that are not formally recognized? Does the screening need to rely on tools of economic factors?
Applicants do not need to rely solely on EJ Screen or the Climate and Economic Justice Screening Tool to justify inclusion of communities that may not be formal recognized. If applicants can make the case for why these communities are underserved and have needs that could be met through this…
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Difference between an SPCC Tier I and Tier II qualified facility
In the SPCC regulations in 40 CFR Part 112, what is the difference between a Tier I and Tier II qualified facility? How did EPA establish the multi-tiered approach for qualified facilities? A Tier II qualified facility is one that has an aggregate aboveground oil storage capacity of 10,000 U.S…
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What was the “opt-out” provision and when was it revoked?
Answer: On April 22, 2010, EPA issued a final rule revoking the opt-out provision of the 2008 RRP Rule. The rule was published in the Federal Register on May 6, 2010, and took effect on July 6, 2010. As originally published in 2008, the RRP Rule allowed homeowners to "opt…
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