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Displaying 1 - 13 of 13 results
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To whom do I report an oil discharge?
A facility should report discharges to the National Response Center (NRC) at 1-800-424-8802 or 1-202-267-2675 . The NRC is the federal government's centralized reporting center, which is staffed 24 hours per day by U.S. Coast Guard personnel. If reporting directly to NRC is not practicable, reports also can be made…
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When must I report an oil discharge to NRC?
Any person in charge of a vessel or an onshore or offshore facility must notify the National Response Center (NRC) immediately after he or she has knowledge of the discharge.
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What is the timeline for posting the responses? Will we receive an email with notification on the answers or shall I monitor the website for the posting?
EPA will respond to the individual email 1 - 2 days after receipt and will post the questions and answers to the RFA website very soon thereafter.
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What happens after a facility submits the information about an oil discharge to EPA?
The EPA Regional Administrator will review the information submitted by the facility and may require a facility to submit and amend its SPCC Plan. Facilities and equipment that qualified for the new streamlined requirements may lose eligibility for those options as determined by the Regional Administrator. A state agency may…
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Who is subject to the Discharge of Oil regulation?
Any person in charge of a vessel or of an onshore or offshore facility is subject to the reporting requirements of the Discharge of Oil regulation if it discharges a harmful quantity of oil to U.S. navigable waters, adjoining shorelines, or the contiguous zone, or in connection with activities under…
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Reporting requirements for oil discharges
What are the reporting requirements for discharges of oil? If a discharge of oil reaches waters of the United States, it is reportable to the National Response Center under 40 CFR Part 110 , which was established under the authority of the Clean Water Act. Discharges of oil must be…
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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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What do I need to submit to EPA if I have an oil discharge?
The owner/operator must provide the following: Name and location of the facility Owner/operator name Maximum storage/handling capacity of the facility and normal daily throughput Corrective actions and countermeasures taken, including descriptions of equipment repairs and replacements Adequate description of the facility, including maps, flow diagrams, and topographical maps, as necessary…
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What information do I need to report for an oil discharge?
The National Response Center (NRC) will ask a caller to provide as much information about the incident as possible including: • Name, organization, and telephone number • Name and address of the party responsible for the incident • Date and time of the incident • Location of the incident •…
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What are the oil discharge reporting requirements in the SPCC Rule?
Any facility owner/operator who is subject to the SPCC Rule must comply with the reporting requirements found in §112.4. A discharge must be reported to the EPA Regional Administrator (RA) when there is a discharge of: More than 1,000 U.S. gallons of oil in a single discharge to navigable waters…
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What is a harmful quantity of discharged oil?
A harmful quantity is any quantity of discharged oil that violates state water quality standards, causes a film or sheen on the water's surface, or leaves sludge or emulsion beneath the surface. For this reason, the Discharge of Oil regulation is commonly known as the "sheen" rule. Note that a…
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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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