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Displaying 46 - 60 of 834 results
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In theory, each step of the RFG testing chain could yield varying (assuming increased) results due to reproducibility -- what is EPA's position on this?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . It is up to the regulated parties to determine margins of safety. EPA does not get involved in this determination.(8/29/94) This question and answer was posted at Consolidated List of Reformulated Gasoline and Anti-Dumping Questions and Answers: July…
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If one company acquires foreign product in transit, then sells it to a second company while still in transit, who is the importer?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . The importer is the party identified above, the party primarily liable for payment of duties for Customs purposes when the gasoline enters the United States.(7/1/94) This question and answer was posted at Consolidated List of Reformulated Gasoline and…
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Does EPA make any distinction in terms of timeliness between PTD's which memorialize a transfer of title as opposed to those which memorialize a transfer of custody? For example, exchange statements detailing liftings by an exchange partner ordinarily are
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Section 80.77 does not distinguish between transfers of custody and transfers of title. Nevertheless, EPA believes the two situations may be different in terms of the timing necessary for PTD information. In the case of transfers of custody…
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Explain the volume determination requirement for independent labs.
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Section 80.65(f)(3)(i)(B) requires the independent lab to determine the volume of each RFG batch that is sampled. EPA expects the independent lab will determine the volume of a RFG batch in the same manner gasoline volumes currently are…
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There are situations where ethanol will be present in very small quantities in RFG produced using other oxygenates. For example, ETBE often contains very small amounts of ethanol, less than 2%. As a result, will EPA apply a de minimis exception to the pro
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Section 80.78(a)(8) prohibits the mixing of VOC-controlled RFG produced using ethanol with VOC-controlled RFG produced using any other oxygenate during the period January 1 through September 15. EPA will not consider this prohibition violated, however, in the case…
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Confirm that an RFG property measured from a sample collected during an EPA inspection is in technical violation if that property exceeds an applicable standard, but that no enforcement action will be brought by EPA unless the property exceeded the standa
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . As stated in the preamble to the RFG final rule, at 59 FR 7764 (February 16, 1994), EPA will not initiate an enforcement action on the basis of a test result from a gasoline sample collected at a…
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During a transition period, refiners will produce VOC-controlled RFG that is blended with non VOC-controlled RFG downstream of the refinery in order to blend down RVP prior to the beginning of the VOC season. How will the resultant mixture be classified a
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . The resulting gasoline should be listed as non VOC-controlled RFG on the PTD's, unless the resulting blend meets the requirements to be designated as VOC-controlled gasoline.(7/1/94) This question and answer was posted at Consolidated List of Reformulated Gasoline…
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What are the requirements for reporting to EPA in the case of an independent lab that conducts sampling and testing that is unrelated to the independent sampling and testing requirements that apply for refiners or importers, such as quality assurance samp
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . There is no requirement that the results of downstream quality assurance sampling and testing must be reported to EPA. This is true both in the case of quality assurance sampling and testing by downstream parties such as pipelines…
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EPA has stated that a Product Transfer Document must be provided to the transferee in an exchange transaction. Is this true when this exchange is instantaneous and the transferee has no ability to alter the product?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Yes. When any person transfers title or custody of any gasoline (with the exception of gasoline sold or dispensed at a retail outlet or wholesale purchaser-consumer for use in motor vehicles), the transferor must provide to the transferee…
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Please describe the survey areas which are currently applicable.
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Attached to this document as Attachment II is a list of the presently applicable survey areas including opt-in areas. This list is current as of June, 1994. (The Agency has promulgated a "corrections notice" which defines these areas.)(7/1/94)…
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What options are available to pipelines for dealing with interface material, i.e., mixtures of two different types of product that result when the different products are adjacent during pipeline movement?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Interface Mixtures Involving RFG or RBOB First, the pipeline must minimize the instances of prohibited mixing, through the sequencing together of product types that may be legally mixed, to the greatest extent possible. Second, in those instances where…
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When replacing conventional gasoline with RFG at a terminal, is it considered blending if the RFG is mixed with conventional bottoms?
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . During the transition period prior to December 1, 1994, certified RFG may be put into tanks that contain conventional gasoline bottoms, as long as the tank is essentially filled with certified RFG gasoline on December 1, 1994, and…
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What basis is to be used for reconciliations, volume (gallons or barrels) or weight? What does EPA consider to be perpetual inventory? (Is a plant balancing considered a perpetual inventory?)
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Section 80.128 (Agreed upon procedures for refiners and importers) provides for comparison of records on the basis of volume except in section 80.128(b) which provides for analysis of gasoline inventory reconciliation records. While EPA anticipates that the standard…
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What options are available to refiners (and other regulated parties) in California for downgrading federal RFG in 1995, and CARB Phase II RFG in 1996 and beyond, to conventional gasoline for use outside the State of California. Such downgrading may be nec
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . Normally, RFG may be redesignated as conventional gasoline without any restrictions, so long as the product transfer documents reflect this redesignation, and the redesignated gasoline is in fact used as conventional gasoline. See the Answers to Questions IX-B-13…
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Where is it required in the regulations that the PTD's for RFG must designate the finished gasoline as meeting the oxygenate standard on the per-gallon or average? Would it not be sufficient to infer the average standards from the listings of min/max's on
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help . The PTD requirements for RFG do not require that gasoline be designated as meeting the standards, including the oxygenate standard, per-gallon or average. Section 80.77 does require that PTD information include the minimum and maximum downstream standards with…
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