Documents made public on the federal government's regulatory Web site show that EPA staff summarized the potential benefits [PDF] from curbing emissions, as well as the scientific data on motor vehicles [PDF] and
stationary emission sources [PDF] such as power plants.
Our patented technology allows for the low - cost capture of CO2 from
stationary emissions sources such as oil production operations, power and steam plants and metals production facilities, while leveraging existing solvent - based gas scrubbing approaches already known to industry.
Not exact matches
The EPA's endangerment finding kicks off a process to regulate greenhouse gas
emissions from the aviation industry, the latest sector to be regulated under the Clean Air Act after cars, trucks and large
stationary sources like power plants.
2017 marked a tough year for many of you, with several issues affecting our community and the revenue earned from advertising through the YouTube Partner April 4, 2017: Review of the Standards of Performance for Greenhouse Gas
Emissions From New, Modified, and Reconstructed
Stationary Sources: Electric
Robert's Rules Association is an unincorporated membership association representing Robert's Rules of Order April 4, 2017: Review of the Standards of Performance for Greenhouse Gas
Emissions From New, Modified, and Reconstructed
Stationary Sources: Electric
Key Issues for Discussion and Comment in the ANPR: Descriptions of key provisions and programs in the CAA, and advantages and disadvantages of regulating GHGs under those provisions; How a decision to regulate GHG
emissions under one section of the CAA could or would lead to regulation of GHG
emissions under other sections of the Act, including sections establishing permitting requirements for major
stationary sources of air pollutants; Issues relevant for Congress to consider for possible future climate legislation and the potential for overlap between future legislation and regulation under the existing CAA; and, scientific information relevant to, and the issues raised by, an endangerment analysis.
In addition to the text of the proposed rule, EPA issued a Regulatory Impact Analysis for the Clean Power Plan, 4 along with numerous technical supporting documents and fact sheets.5 In October 2014, EPA issued a notice of data availability, which provided discussion and solicited additional comment on several topic areas, including the 2020 - 29 compliance trajectories.6 Also in October 2014, EPA issued a supplemental proposal to address carbon pollution from affected power plants in Indian Country and U.S. territories.7 In November 2014, EPA issued an additional technical support document providing examples of how a state could translate its rate - based goal into an equivalent mass - based goal, expressed in metric tons of CO2.8 In November 2014, EPA also issued a memo addressing biogenic CO2
emissions from
stationary sources that explicitly relates this topic to the implementation of the Clean Power Plan.9
Reducing
emissions of climate - active gases and particulates from large Diesel engines for ship propulsion systems and
stationary power supply by the application of fuels from renewable
sources
1970: Clean Air Act (EPA) Reduce smog by regulating six pollutants from mobile and
stationary sources with
emissions and air quality standards.
Last year it issued new
emissions standards for cars, and set out a timetable for rules on large
stationary sources such as cement plants and refineries.
Sections 243.1 - 243.4 of Article 243 of the Code, specifically: rate of the tax due on
emissions of certain pollutants into the atmospheric air, caused by
stationary sources of pollution; rates of the tax due on
stationary sources»
emissions into the atmospheric air of pollutants (compounds), which are not listed in Section 243.1 of this Article and are falling within a certain substance hazard category (except for carbon dioxide), shall be applicable subject to determined approximately safe impact levels of such substances» (compounds») impact on the atmospheric air of urban settlements; and rates of tax due on
emissions of carbon dioxide
Cathy Cash, senior editor, discusses a case before the appeals court, Coalition for Responsible Regulation versus EPA, which consolidates four major challenges to the federal government's ability to tackle greenhouse gas
emissions from
stationary sources for the first time.
Subtitle C: Additional Greenhouse Gas Standards -(Sec. 331) Amends the CAA to require the EPA Administrator to promulgate New
Source Performance Standards (NSPSs) under such Act for specified categories of
stationary sources that: (1) have uncapped GHG
emissions greater than 10,000 tons of carbon dioxide equivalent and are responsible for emitting at least 20 % of the uncapped GHG gas
emission annually; or (2) are responsible for at least 10 % of the uncapped methane
emissions.
Excludes the following units from consideration as major emitting facilities or major
stationary sources (or parts thereof) for purposes of compliance with provisions concerning prevention of significant deterioration of air quality and plan requirements for nonattainment areas: (1) those that are subject to the performance standards of this Act; or (2) those with properly operated and maintained equipment to limit particulate matter
emissions or subject to a permit under an applicable implementation plan that provides a specified particulate matter
emissions limitation and that use good combustion practices to minimize carbon monoxide
emissions.
--(A) Within 12 months after the date of enactment of this title, the Administrator shall publish under section 111 (b)(1)(A) an inventory of categories of
stationary sources that consist of those categories that contain
sources that individually had uncapped greenhouse gas
emissions greater than 10,000 tons of carbon dioxide equivalent and that, in the aggregate, were responsible for emitting at least 20 percent annually of the uncapped greenhouse gas
emissions.
--(A) For each category identified as provided in paragraph (1), the Administrator shall promulgate standards of performance under section 111 for the uncapped
emissions of greenhouse gases from
stationary sources in that category and shall promulgate corresponding regulations under section 111 (d).
Of special importance is the summer 2017 reauthorization of cap - and - trade, the market - based scheme for addressing greenhouse gas
emissions from
stationary sources such as the refinery sector in California.
My conclusion: The Court's reading of the Clean Air Act in Massachusetts v. EPA (2007) and the EPA's reading of the Act in regulating greenhouse gas
emissions from «major»
stationary sources can not both be right — and both may be wrong!
The deal prohibits state or local pollution authorities like CARB from directly regulating carbon
emissions from refineries, as it legislates the market mechanism of cap - and - trade as the sole means within the state for regulating carbon
emissions from
stationary sources like refineries out to 2030.
The second energy challenge is to reduce greenhouse gas
emissions, which is mostly about carbon dioxide, most of which emanates from
stationary sources (heat and power).
A
stationary rechargeable battery system which uses rechargeable automobile batteries will be introduced to stores and may be used as an emergency power
source during disasters, in addition to possible applications for energy conservation and CO2
emissions reduction.
Discusses and quantifies energy - related
emissions of all greenhouse gases resulting from
stationary and mobile
source activities, including fuel combustion and fugitive fuel
emissions.
The Court found that the Endangerment Finding was well supported by the scientific facts and that the Clean Air Act compelled the EPA to regulate motor vehicle and
stationary source emissions of greenhouse gases (GHGs).
66 According to the Triggering Rule, PSD and Title V requirements apply to
stationary sources of greenhouse gas
emissions the moment the Tailpipe Rule takes effect (i.e. January 2, 2011).
(Sec. 752) Instructs the EPA Administrator to report to Congress on the trading of mobile
source emission reduction credits for use by owners and operators of
stationary source emission sources to meet
emission offset requirements within a nonattainment area.
«To meet the new standards,» the National Journal says: «states will have to form plans that will limit
emissions of ozone - forming pollutants from two major
sources:
stationary sources such as power plants and factories, and transportation» — which will reduce energy intensive economic activity.
Setting standards for
stationary sources will be challenging because the CAA uses technology - based standards for setting
emissions levels.
A bill to delay implementation for two years already has been introduced, and a group of 21 trade associations, including API, is encouraging the Senate to add an amendment to a Continuing Resolution or omnibus spending bill delaying the regulation of GHG
emissions from
stationary sources.
EPA is now «legislating» climate policy through the Clean Air Act, issuing regulations to control greenhouse gas
emissions from both mobile and
stationary sources.
Starting Jan. 2, new regulations on GHG
emissions from
stationary sources go into effect, eventually requiring as many as 6.1 million industrial facilities, power plants, hospitals, big box stores and farms, among other establishments, to get permits to operate or expand.
Excludes the following units from consideration as major emitting facilities or major
stationary sources (or parts thereof) for purposes of compliance with provisions concerning prevention of significant deterioration of air quality and plan requirements for nonattainment areas: those that achieve a specified limit on particulate matter
emissions or certain national
emissions standards for hazardous pollutants or those with properly operated and maintained equipment to limit particulate matter
emissions and that use good combustion practices to minimize carbon monoxide
emissions.
The Clean Air Act (CAA) is the comprehensive federal law that regulates air
emissions from
stationary and mobile
sources.
«In addition to their impact on air quality, smoke and odors in restaurant kitchens can cause irritation and discomfort for employees,» said Stan Mack, Engelhard's commercial manager for
stationary -
source emission systems.
In the US, all mobile and industrial
stationary combustion
sources must have
emission control systems that remove the particulates and gaseous pollutants so that the
emissions are in compliance with EPA's
emission standards.
Carbon dioxide capture and sequestration is a set of technologies that can potentially greatly reduce CO2
emissions from new and existing coal - and gas - fired power plants, industrial processes, and other
stationary sources of CO2.
Good metrics are a necessity for reducing carbon dioxide
emissions from
stationary sources.