Applicability: |
eCFR Subpart GGGGG [ecfr.gov]
Sources are subject to this rule if they meet ALL of the following conditions:
- site remediation operation cleans up a remediation material,
- it is co-located with one or more stationary sources of HAP emissions within a contiguous area and under common control that meets an affected source definition specified for a source category that is regulated by another Part 63 NESHAP, and
- the facility (including site remediation and other activities) is a major source of HAP. Sources are not subject if: the site remediation does not contain any of the HAP in Table 1 of the rule; the site remediation will be performed under CERCLA or RCRA; performed for a leaking underground storage tanks at a gasoline service station; or performed at a farm/residential site.
|
Rules apply to small, area sources? |
No |
Known Sources in NDEE Jurisdiction: |
| Name | Location |
23383 | Koch Nitrogen | Beatrice |
|
Date of Original Final Rule: |
10/8/03 |
Amendments Dates: |
12/22/2022 - Final Rule; notificatoin of final actoin on reconsideration
07/10/2020 - Final Rule
09/03/2019 - Proposed Rule
05/13/2016 - Proposed Rule
11/29/2006 - Final Rule
10/08/2003 - Final Rule |
State Regulations (Title 129): |
As of September 28, 2022: Title 129, Chapter 13, Section 002.83
Previously: Title 129, Chapter 28, Section 001.77.
Sources are also responsible for ensuring they are in compliance with current federal requirements found for this subpart in the CFR. |
Federal Regulations: |
40 CFR 63.7880 |
Related Rules: |
Subparts VV, VVa – Equipment Leaks of VOC in Synthetic Organic Chemicals Manufacturing
NESHAP – 40 CFR Part 63 Subpart DD - Off-Site Waste and Recovery Operations
Subpart OO - Tanks – Level 1
Subpart PP - Containers
Subpart QQ - Surface Impoundments
Subpart RR - Individual Drain Systems
Subpart TT - Equipment Leaks – Control Level 1
Subpart UU - Equipment Leaks – Control Level 2
Subpart VV - Oil-Water Separators and Organic-Water Separators
Subpart WW - Storage Vessels (Tanks) – Control Level 2 |
Regulations and Federal Registers: |
eCFR Subpart GGGGG [ecfr.gov]
(See attached file: 5G - Fed. Reg. 2022-12-22 - Final Rule.pdf)
(See attached file: 5G - Fed. Reg. 2020-07-10 - Final Rule.pdf)
(See attached file: 5G - Fed. Reg. 2019-09-03 - Proposed Rule.pdf)
(See attached file: 5G - Fed. Reg. 2016-15-13 - Proposed Rule.pdf)
(See attached file: 5G - Fed. Reg. 2006-11-29 - Final Rule.pdf)
(See attached file: 5G - Fed. Reg. 2003-10-08 - Final Rule.pdf)
|
Forms: |
(See attached file: 5G - Initial Notification Form.docx)(See attached file: 5G - Initial Notification Form.pdf)
|
Important Dates: |
Source Classification
- Existing Source = constructed or reconstructed before 7/30/2002
- New Source = constructed or reconstructed on or after 7/30/2002
Initial Notification
- Existing source = 2/5/2004
- New source = 120 days after startup
Compliance Dates
- Existing source = 10/9/2006
- New source
- Remediation waste not radioactive =10/8/2003 or upon startup
- Radioactive remediation waste =10/9/2006 or upon startup
Notice of Intent to Test
Compliance Status Notification
- Required to test or conduct design evaluation = 60 days after test
- No test required = 30 days after initial compliance demonstration
Compliance Report
- Semiannual
- 30 days following end of calendar half
- Include deviations information
|
FAQs, Fact Sheets, and Rule Summaries: |
EPA's Subpart GGGGG Website [epa.gov] - contains federal register notices and implementation tools
|
Presentations, Training and Articles: |
|
Other Information and Resources: |
|
Notes: |
|
Page Last Updated: |
2/15/23 |