How should an owner/operator with a covered process that qualifies for Program 1 status under the federal program register that process with DEP and EPA?
A – Since New Jersey did not incorporate Program 1 requirements into the TCPA rule, the owner/operator must submit two versions of the RMP for this covered process: one to EPA claiming Program 1 status and a second to DEP claiming Program 3 status. All facilities subject to the rules in New Jersey must implement Program 3 requirements.
Related Questions
- How should an owner/operator with a covered process that qualifies for Program 1 status under the federal program register that process with DEP and EPA?
- Does a chemical need to be in a process to be covered by the CAA §112(r) risk management program requirements?
- What is the role of the Federal Depository Library Program (FDLP) in this process?