Important Notice: Our web hosting provider recently started charging us for additional visits, which was unexpected. In response, we're seeking donations. Depending on the situation, we may explore different monetization options for our Community and Expert Contributors. It's crucial to provide more returns for their expertise and offer more Expert Validated Answers or AI Validated Answers. Learn more about our hosting issue here.

If I start to use, manufacture, or process above threshold additional hazardous substances already on the list, do I have to modify my RPPR and my Pollution Prevention Plan and Plan Summary?

0
Posted

If I start to use, manufacture, or process above threshold additional hazardous substances already on the list, do I have to modify my RPPR and my Pollution Prevention Plan and Plan Summary?

0

If a hazardous substance is involved in either a targeted or untargeted process: · Facilities are required to revise their RPPRs by July 1 of the year after they went above threshold. If a hazardous substance is involved in a targeted process: · Facilities are required to modify their Pollution Prevention Plans and submit Plan Summary revisions by July 1 of the second year after they went above threshold. For example, if a facility began manufacturing or using a new hazardous substance in 2000 above threshold, it would be required to modify its RPPR by July 1, 2001, and modify its Plan and submit Plan Summary revisions to the Department by July 1, 2002 If a hazardous substance is not involved in a targeted process: · Facilities may modify their Plan and Plan Summary, according to the above schedule, but are not required to do so. Plan Summary revisions would include modified Sections B, C and D. A facility may retarget its processes but is not required to do so. [See N.J.A.C. 3.1(e) an

Related Questions

What is your question?

*Sadly, we had to bring back ads too. Hopefully more targeted.

Experts123