ALL SMALL BOILERS THAT USE OIL, COAL OR BIOMASS FOR FUEL MUST COMPLY WITH EPA’S NEW AREA SOURCE EMISSION RULES
MANY SMALL BOILER OWNERS HAVE NEVER HAD TO FILE COMPLIANCE DOCUMENTATION WITH THE EPA AND ARE NOW FACED WITH NEW REPORTING REQUIREMENTS.
THE FILING DEADLINE FOR SMALL BOILERS WAS JANUARY 20, 2014
Major source regulations have been grabbing all the headlines, but new emission rules, and compliance deadlines, continue to stack-up, below the radar, for minor, and non-permitted Industrial, Commercial, and Institutional Boilers (ICI).
MANY SMALL BOILER OWNERS WILL HAVE TO HIRE A QUALIFIED ENERGY ASSESSOR TO COMPLETE A ONE TIME BOILER/PLANT ENERGY ASSESSMENT AND BOILER TUNE-UP BY MARCH 21, 2014.
Unchecked, what you don’t know can hurt you, by placing your company at risk of violating state, or federal compliance reporting requirements, compromising/voiding insurance policies, hampering internal/external environmental audits, and possibly resulting in costly fines, or penalties.
PLEASE NOTE: These Federal requirements apply regardless of whether your state or local air pollution control agency has exempted your equipment (or your entire facility) from their requirements.
This audio conference will:
*Provide key insights and analysis of new Part 63, Area Source (MACT) for ICI Boilers (Subpart JJJJJJ); including key exemptions, and provisions
*Review requirements for: seasonally operated boilers, limited-use boilers and oil fired boilers with a heat capacity at, or below, 5MMbtu/hr and oxygen trim systems.
*Discuss why new rules apply to existing – not just new sources – even when no changes have been made to existing systems, or facilities
*Help you figure out what specific regulations you’re going to have to comply with, along with the appropriate compliance documentation you must submit to the EPA
*Provide an overview of EPA forms you must submit for: Initial Notification, Certified Energy Assessment, and Notice of Compliance Status declarations, certifying compliance with new rules
DON’T BE CAUGHT OFF-GUARD. It’s these types of NEW under the radar compliance regulations, IMPENDING COMPLIANCE DEADLINES that can blindside you, and your organization.
Industry professionals are aggressively seeking to understand the immediate and long-term impacts of these new rules, so they can strategically manage budgeting, and compliance reporting.
Our speaker is a leading Clean Air Act expert and industry speaker, who has extensive regulatory and compliance experience relative to environmental risk management, permitting, compliance planning, environmental auditing and assessment. He will share key insights, and analysis, to help you better understand and manage compliance relative to new, and pending rules, so you can strategically plan, while minimizing their impact on your resources, budget, and bottom line.
Who should attend:
Environmental/Corporate Counsel SVP/VP/Director
SVP Finance/Engineering/Operations Management
Power Plant Chief/Supervisor/Managers
Physical Plant/Facility Management
Environmental Health and Safety (EHS) Managers
Environmental and Process Engineers
Engineering & Plant Services Professionals
Facility/Energy Planning Professionals
Environmental Compliance & Reporting Management
Corporate Energy SVP/VP/Director
Air Pollution/Monitoring/Environmental Resource Managers
Environmental Health and Safety Management
Utility/Renewable Energy Managers
Environmental Consultants and Attorneys
Environmental Risk Management Professionals
Todd Tamura, QEP, is a leading air pollution expert, industry speaker and writer, who provides strategic advice, compliance assistance, and training to clients nationally, across a broad spectrum of industries and agencies; oil & gas, utilities, manufacturing, municipal, transportation, and air pollution regulatory agencies; among others, who regulate, or are regulated, by the Clean Air Act, as President, of Tamura Environmental, Inc., advancing complex regulatory and compliance matters relative to risk management, permitting, compliance and strategic planning, auditing and assessment.
Prior to founding Tamura Environmental, Inc., nearly two decades ago, Mr. Tamura worked at Lawrence Livermore National Laboratory, E.I. du Pont de Nemours & Company, the Massachusetts Institute of Technology's Sloan Automotive Laboratory, and the US Department of Transportation's Research and Special Programs Administration.
Mr. Tamura has served on the Executive Boards of the New England and Golden West Sections of the Air & Waste Management Association (A&WMA) and also served as Vice Chair of the Editorial Advisory Committee for A&WMA's environmental management journal EM.
Mr. Tamura received a B.S. in Chemistry (with Departmental Honors & Distinction) from Harvey Mudd College, an M.S. in Chemistry from UCLA, and an M.S. in Technology and Policy from the Massachusetts Institute of Technology (MIT).