Air Permit Compliance: Newly Proposed Amended BACT GUIDELINES Draft Released
June 6, 2016 4:18 pmAir Permit Compliance: Newly Proposed Amended
BACT GUIDELINES Draft Released
Air Permit Compliance Equipment that meets New BACT Guidelines
Part E – Policy and Procedures for Facilities
Subject to PSD for Greenhouse Gases (GHG)
Facilities are subject to GHG BACT if:
- New or Modification of existing source increase
potential to emit by 100 or 250 tons/year depending
on source category; and - Have potential to emit >75,000 tons/year of carbon
dioxide equivalent (CO2e) - Must be subject to PSD for a pollutant other than
GHG - Tailoring Rule undergoing revision – U.S. Supreme
Court decision in Utility Air Regulatory Group v.
Environmental Protection Agency, 134 S. Ct. 2427
Part F – BACT Determinations for
Facilities Subject to PSD for GHG
- Work in Progress
- EPA Guidance emphasizes options that improve energy efficiency and possibly biomass
- Carbon Capture and Sequestration may be considered but likely cost prohibitive Potential impacted sources include:
- Electricity Generation
- Large industrial/commercial boilers
- Cement industry
- Refineries
- Iron and Steel industry
The BACT Guidelines will make for more stringent regulations. Ship & Shore has helped manufacturers navigate air permit compliance and limits, optimizing efficiency and well as production through the use of air pollution control equipment. We can often help our clients get rebates or incentives towards the necessary equipment, often and thermal oxidizer or regenerative thermal oxidizer to keep manufactures process compliant and productive.
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