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: 398
- MOVES Total results: 57
- Norwood Landfill Site Total results: 30
- Oil Regulations Total results: 96
- Permitting Under the Clean Air Act Total results: 19
- Radiation Total results: 1
-
Risk Management Program (RMP)
Total results: 285
- Emergency Response Total results: 6
- Applicability/General Duty Clause Total results: 69
- Five-Year Accident History Total results: 16
- Offsite Consequence Analysis (OCA) Total results: 57
- Other Risk Management Programs Total results: 35
- Plan Preparation and Submission Total results: 49
- Prevention Program Total results: 30
- Program Levels Total results: 16
- RMP*Comp Total results: 7
- Southeast Minnesota Groundwater Total results: 11
Displaying 1 - 15 of 15 results
-
What is a site assessment and what is the difference between a site assessment and a site investigation?
The first step of the site assessment process is known as a preliminary assessment (PA). This assessment gathers historical and other readily available information on site conditions and surroundings to evaluate whether the site poses a potential threat to human health and the environment and/or whether further investigation is needed…
- Last published:
-
Why hasn’t the Norwood Landfill Site been identified as a Superfund Site? Two nearby landfills, Folcroft and Clearview, which were established and in use at the same time as Norwood Landfill and Dump have both been designated as Superfund sites.
EPA is still conducting its investigation of the Norwood Landfill Site to determine if it should be placed on the National Priorities List (NPL), or Superfund List. Thus far, the data collected has not demonstrated that the site warrants placement on the NPL. Both the Folcroft and Clearview Landfills went…
- Last published:
-
Determining frequency of coordination activities
The Risk Management Program regulations require owners and operators of stationary sources to coordinate their response needs annually, or more frequently if necessary, with local emergency planning and response organizations (40 CFR §68.93(a)). Are stationary sources responsible for determining if coordination activities should occur more often than annually? Ultimate responsibility…
- Last published:
-
What if there is a gap in coverage of the GLEJGP?
EPA has set up national technical assistance centers (TCTACs), including one solely for tribes and tribal nations, that are geared towards communities. There are two in Region 5: one in Minneapolis and one in Chicago. The TCTACs are separate from this RFA ; however, they cover the entire Great Lakes…
- Last published:
-
Who Must Develop an Emergency Response Program?
The risk management program regulations require the owner or operator of a covered stationary source to develop and implement an emergency response program as described in 40 CFR §68.95, which must include an emergency response plan, emergency response equipment procedures, employee training, and procedures to ensure the program is up-to-date…
- Last published:
-
Why did EPA wait so long to begin its investigation of the Norwood Landfill and Old Norwood Dump?
In the months leading up to the preliminary assessment, EPA gathered information on the property to determine whether a site investigation under the Comprehensive Environmental Response, Compensation and Liability Act (CERCLA) was warranted. EPA determined to proceed with an investigation and EPA began procuring contractor services to conduct the preliminary…
- Last published:
-
Does EPA have a minimum threshold/definition for the Regional scale program? In other words, what does Regional mean or is it open to applicants to determine at any scale?
GLNPO wants to be extremely flexible and encourage PRs to think about which regions they could expect to effectively cover when creating their application. There are no additional criteria from EPA on how big or small the Project RFA should be.
- Last published:
-
What is the key question EPA tries to answer through a site investigation?
Findings of the site investigation determine what hazardous substances may be present, whether they may be released to the environment, and any potential threat to human health. Information about the site that is collected in the preliminary assessment and site investigation phase helps EPA to evaluate the risks posed by…
- Last published:
-
Remote coordination with local authorities
The Risk Management Program regulations require owners and operators of stationary sources to coordinate their response needs annually, or more frequently if necessary, with local emergency planning and response organizations (40 CFR §68.93(a)). If a stationary source is in a remote location and in-person annual coordination is deemed impractical, can…
- Last published:
-
Could a regional application, include an entire state?
Yes, with the caveat that the entire state must fall within the historic bounds of the Great Lakes basin. For example, if the Principal Recipient is proposing a GLEJGP for the state of Illinois, projects may fall in the portion of the state within the Great Lakes basin, but not…
- Last published:
-
Emergency Response Coordination Activities Effective Date
The RMP Amendments finalized on January 13, 2017 included a requirement for owners or operators of a stationary source to engage in emergency response coordination activities (40 CFR §68.93). The regulatory text in 40 CFR §68.10(b) states that compliance with these activities must be completed by March 14, 2018. Because…
- Last published:
-
Are exercises required as a part of the emergency response program requirements under 40 CFR Part 68, Subpart E?
Yes. At least once each calendar year, the owner or operator of a stationary source with any Program 2 or Program 3 process must conduct an exercise of the stationary source's emergency response notification mechanisms per 40 CFR 68.90(b)(3) or 68.95(a)(1)(i), as appropriate, before December 19, 2024, and annually thereafter…
- Last published:
-
Does funding through this grant include municipalities within the Chicago River watershed?
Yes, including the historic Chicago River watershed.
- Last published:
-
Will basin wide PR serve areas without a designated PR for smaller part of the region, or will their service areas overlap?
If the Project RFA will be serving the entire basin, I.e., a basin-wide GLEJGP, this could be delegated within a coalition (if it is a coalition that has applied). Otherwise, the PR organization will be serving the entire basin. If there is a basin-wide PR as well as a smaller…
- Last published:
-
Types of Information Relevant for Response Planning
The Risk Management Program emergency response coordination activities require the owner and operator of a stationary source to provide to the local emergency planning and response organizations: the stationary source’s emergency response plan if one exists; emergency action plan; updated emergency contact information; and any other information that local emergency…
- Last published: