Author:
Publisher: DIANE Publishing
ISBN: 1428902058
Category : Factory and trade waste
Languages : en
Pages : 219
Book Description
Water Management Act Permit Guidance Document
Author:
Publisher:
ISBN:
Category : Water quality management
Languages : en
Pages : 65
Book Description
Publisher:
ISBN:
Category : Water quality management
Languages : en
Pages : 65
Book Description
Permit guidance document pulp, paper, and paperboard manufacturing point source category (40 CFR 430).
Author:
Publisher: DIANE Publishing
ISBN: 1428902058
Category : Factory and trade waste
Languages : en
Pages : 219
Book Description
Publisher: DIANE Publishing
ISBN: 1428902058
Category : Factory and trade waste
Languages : en
Pages : 219
Book Description
Permit guidance document pulp, paper, and paperboard manufacturing point source category (40 CFR 430).
Author:
Publisher: DIANE Publishing
ISBN: 1428953426
Category : Factory and trade waste
Languages : en
Pages : 219
Book Description
Publisher: DIANE Publishing
ISBN: 1428953426
Category : Factory and trade waste
Languages : en
Pages : 219
Book Description
Permit Guidance Document
Author: United States. Environmental Protection Agency. Office of Water
Publisher:
ISBN:
Category : Pharmaceutical industry
Languages : en
Pages : 88
Book Description
Publisher:
ISBN:
Category : Pharmaceutical industry
Languages : en
Pages : 88
Book Description
Permit Guidance Document
Industrial User Permitting Guidance Manual
Author:
Publisher:
ISBN:
Category : Environmental permits
Languages : en
Pages :
Book Description
"Ths U.S. Environmental Protection Agency (EPA), Office of Water, prepared this guidance manual to provide information guidance for developing and issuing permits (or control mechanisms) to nondomestic (Industrial) Users under the National Pretreatment Program [whose primary goal is to protect Publicly Owned Treatment Works (POTWs) and the environment from adverse impacts that might occur when pollutants are discharged into a sewage system]. The purpose of this guidance is to assist new permit writers, experienced permit writers, and legal and administrative personnel who are involved in implementing an SIU permitting program in preparing effective and enforceable permits or other control mechanisms. This manual provides documentation of EPA's recommendations as well as federal requirements for Significant Industrial User (SIU) permit contents and structure. The manual contains many examples of sections and conditions of a permit, as well as complete sample permits and fact sheets. The goal is to furnish this information to permit writers in a reference manual format that they can use throughout the permitting process. In addition to the people directly responsible for drafting and issuing permits, legal and administrative support staff should be aware of several aspects of the permitting process. For such individuals, the manual provides background information on requirements of the issuance process and discusses the necessary legal authority required to implement an effective program."--Page ix.
Publisher:
ISBN:
Category : Environmental permits
Languages : en
Pages :
Book Description
"Ths U.S. Environmental Protection Agency (EPA), Office of Water, prepared this guidance manual to provide information guidance for developing and issuing permits (or control mechanisms) to nondomestic (Industrial) Users under the National Pretreatment Program [whose primary goal is to protect Publicly Owned Treatment Works (POTWs) and the environment from adverse impacts that might occur when pollutants are discharged into a sewage system]. The purpose of this guidance is to assist new permit writers, experienced permit writers, and legal and administrative personnel who are involved in implementing an SIU permitting program in preparing effective and enforceable permits or other control mechanisms. This manual provides documentation of EPA's recommendations as well as federal requirements for Significant Industrial User (SIU) permit contents and structure. The manual contains many examples of sections and conditions of a permit, as well as complete sample permits and fact sheets. The goal is to furnish this information to permit writers in a reference manual format that they can use throughout the permitting process. In addition to the people directly responsible for drafting and issuing permits, legal and administrative support staff should be aware of several aspects of the permitting process. For such individuals, the manual provides background information on requirements of the issuance process and discusses the necessary legal authority required to implement an effective program."--Page ix.
NPDES Storm Water Sampling Guidance Document
Author: Washington Us Epa
Publisher: CRC Press
ISBN: 9780873719612
Category : Technology & Engineering
Languages : en
Pages : 232
Book Description
The NPDES Storm Water Sampling Guidance Document provides a comprehensive description of basic sampling requirements for NPDES storm water discharge permit applications and offers procedural guidance on how to conduct sampling. Many of the procedures in this manual are also applicable to the sampling requirements contained in NPDES storm water permits. Topics covered include background information and a summary of permit application requirements, the fundamentals of sampling (including obtaining flow data, handling samples, and sending them to the lab), analytical considerations, regulatory flexibility regarding storm water sampling, and health and safety considerations. This book will be a cornerstone of NPDES compliance for wastewater treatment plant managers and supervisors, consultants, laboratories, lab managers and chemists, regulators, current NPDES permit holders, and anyone applying for an NPDES permit.
Publisher: CRC Press
ISBN: 9780873719612
Category : Technology & Engineering
Languages : en
Pages : 232
Book Description
The NPDES Storm Water Sampling Guidance Document provides a comprehensive description of basic sampling requirements for NPDES storm water discharge permit applications and offers procedural guidance on how to conduct sampling. Many of the procedures in this manual are also applicable to the sampling requirements contained in NPDES storm water permits. Topics covered include background information and a summary of permit application requirements, the fundamentals of sampling (including obtaining flow data, handling samples, and sending them to the lab), analytical considerations, regulatory flexibility regarding storm water sampling, and health and safety considerations. This book will be a cornerstone of NPDES compliance for wastewater treatment plant managers and supervisors, consultants, laboratories, lab managers and chemists, regulators, current NPDES permit holders, and anyone applying for an NPDES permit.
Permitting Guidance for Oil and Gas Hydraulic Fracturing Activities Using Diesel Fuels
Author: U. S. Environmental U.S. Environmental Protection Agency
Publisher: CreateSpace
ISBN: 9781508858256
Category :
Languages : en
Pages : 46
Book Description
This guidance provides technical recommendations for protecting underground sources of drinking water (USDWs) from potential endangerment posed by hydraulic fracturing (HF) activities where diesel fuels are used. The U.S. Environmental Protection Agency (EPA) developed this guidance for EPA permit writers to ensure protection of USDWs in accordance with the Safe Drinking Water Act (SDWA) and Underground Injection Control (UIC) regulatory authority. This authority is limited to when diesel fuels are used in fluids or propping agents pursuant to oil, gas and geothermal activities. This document does not establish any new permitting requirements for HF activities using diesel fuels, but describes the EPA's interpretation of existing legal requirements as well as non-binding recommendations for EPA permit writers to consider in applying UIC Class II1 regulations to HF when diesel fuels are used in fracturing fluids or propping agents. This document does not address geothermal activities. The EPA expects that EPA UIC Program Directors, and the permit writers acting on their behalf, will follow the interpretation of the statutory term "diesel fuels" presented in this guidance document. They should also consider, although are not required to follow, the recommendations reflected in this guidance on how to apply the Class II regulations to HF activities using diesel fuels when issuing permits for such activities under the federal UIC Program. Recommendations are consistent with the discretion accorded under the existing UIC Class II regulations, and reflect existing UIC requirements for other well classes, voluntary industry standards, state rules, and other model guidelines for HF. However, permit writers, acting on behalf of the UIC Director have the discretion to consider alternative approaches that are consistent with statutory and regulatory requirements. Decisions about permitting HF operations that use diesel fuels will be made on a case-by-case basis, considering the facts and circumstances of the specific injection activity and applicable statutes, regulations and case law. Under the 2005 amendments to the SDWA, a UIC Class II permit must be obtained prior to conducting the underground injection of diesel fuels for hydraulic fracturing. The EPA, where it directly implements the program, as well as states and tribes with primary enforcement authority, must issue a Class II permit prior to the injection of diesel fuels in the HF fluid or propping agents. The primary audience for these technical recommendations is the EPA Regional offices directly implementing the existing UIC Class II Program requirements (40 Code of Federal Regulations (CFR) parts 124 and 144 through 147). Stakeholders and the public have recognized the importance of safely and responsibly managing unconventional oil and gas development, including hydraulic fracturing. Many states have updated their oil and gas regulations and a variety of organizations have developed model guidelines and best practices. The EPA engaged with states, tribes, industry, and other stakeholders during the development of this document and reviewed best practices available at the time. The EPA used information from these efforts to inform this guidance for the UIC program.
Publisher: CreateSpace
ISBN: 9781508858256
Category :
Languages : en
Pages : 46
Book Description
This guidance provides technical recommendations for protecting underground sources of drinking water (USDWs) from potential endangerment posed by hydraulic fracturing (HF) activities where diesel fuels are used. The U.S. Environmental Protection Agency (EPA) developed this guidance for EPA permit writers to ensure protection of USDWs in accordance with the Safe Drinking Water Act (SDWA) and Underground Injection Control (UIC) regulatory authority. This authority is limited to when diesel fuels are used in fluids or propping agents pursuant to oil, gas and geothermal activities. This document does not establish any new permitting requirements for HF activities using diesel fuels, but describes the EPA's interpretation of existing legal requirements as well as non-binding recommendations for EPA permit writers to consider in applying UIC Class II1 regulations to HF when diesel fuels are used in fracturing fluids or propping agents. This document does not address geothermal activities. The EPA expects that EPA UIC Program Directors, and the permit writers acting on their behalf, will follow the interpretation of the statutory term "diesel fuels" presented in this guidance document. They should also consider, although are not required to follow, the recommendations reflected in this guidance on how to apply the Class II regulations to HF activities using diesel fuels when issuing permits for such activities under the federal UIC Program. Recommendations are consistent with the discretion accorded under the existing UIC Class II regulations, and reflect existing UIC requirements for other well classes, voluntary industry standards, state rules, and other model guidelines for HF. However, permit writers, acting on behalf of the UIC Director have the discretion to consider alternative approaches that are consistent with statutory and regulatory requirements. Decisions about permitting HF operations that use diesel fuels will be made on a case-by-case basis, considering the facts and circumstances of the specific injection activity and applicable statutes, regulations and case law. Under the 2005 amendments to the SDWA, a UIC Class II permit must be obtained prior to conducting the underground injection of diesel fuels for hydraulic fracturing. The EPA, where it directly implements the program, as well as states and tribes with primary enforcement authority, must issue a Class II permit prior to the injection of diesel fuels in the HF fluid or propping agents. The primary audience for these technical recommendations is the EPA Regional offices directly implementing the existing UIC Class II Program requirements (40 Code of Federal Regulations (CFR) parts 124 and 144 through 147). Stakeholders and the public have recognized the importance of safely and responsibly managing unconventional oil and gas development, including hydraulic fracturing. Many states have updated their oil and gas regulations and a variety of organizations have developed model guidelines and best practices. The EPA engaged with states, tribes, industry, and other stakeholders during the development of this document and reviewed best practices available at the time. The EPA used information from these efforts to inform this guidance for the UIC program.
Guidance Document
Permitting Guidance for Oil and Gas Hydraulic Fracturing Activities Using Diesel Fuels
Author: U. S. Environmental U.S. Environmental Protection Agency
Publisher: CreateSpace
ISBN: 9781508848752
Category :
Languages : en
Pages : 46
Book Description
This guidance provides technical recommendations for protecting underground sources of drinking water (USDWs) from potential endangerment posed by hydraulic fracturing (HF) activities where diesel fuels are used. The U.S. Environmental Protection Agency (EPA) developed this guidance for EPA permit writers to ensure protection of USDWs in accordance with the Safe Drinking Water Act (SDWA) and Underground Injection Control (UIC) regulatory authority. This authority is limited to when diesel fuels are used in fluids or propping agents pursuant to oil, gas and geothermal activities. This document does not establish any new permitting requirements for HF activities using diesel fuels, but describes the EPA's interpretation of existing legal requirements as well as non-binding recommendations for EPA permit writers to consider in applying UIC Class II1 regulations to HF when diesel fuels are used in fracturing fluids or propping agents. This document does not address geothermal activities. The EPA expects that EPA UIC Program Directors, and the permit writers acting on their behalf, will follow the interpretation of the statutory term "diesel fuels" presented in this guidance document. They should also consider, although are not required to follow, the recommendations reflected in this guidance on how to apply the Class II regulations to HF activities using diesel fuels when issuing permits for such activities under the federal UIC Program. Recommendations are consistent with the discretion accorded under the existing UIC Class II regulations, and reflect existing UIC requirements for other well classes, voluntary industry standards, state rules, and other model guidelines for HF. However, permit writers, acting on behalf of the UIC Director have the discretion to consider alternative approaches that are consistent with statutory and regulatory requirements. Decisions about permitting HF operations that use diesel fuels will be made on a case-by-case basis, considering the facts and circumstances of the specific injection activity and applicable statutes, regulations and case law. Under the 2005 amendments to the SDWA, a UIC Class II permit must be obtained prior to conducting the underground injection of diesel fuels for hydraulic fracturing. The EPA, where it directly implements the program, as well as states and tribes with primary enforcement authority, must issue a Class II permit prior to the injection of diesel fuels in the HF fluid or propping agents. The primary audience for these technical recommendations is the EPA Regional offices directly implementing the existing UIC Class II Program requirements (40 Code of Federal Regulations (CFR) parts 124 and 144 through 147). Stakeholders and the public have recognized the importance of safely and responsibly managing unconventional oil and gas development, including hydraulic fracturing. Many states have updated their oil and gas regulations and a variety of organizations have developed model guidelines and best practices. The EPA engaged with states, tribes, industry, and other stakeholders during the development of this document and reviewed best practices available at the time. The EPA used information from these efforts to inform this guidance for the UIC program.
Publisher: CreateSpace
ISBN: 9781508848752
Category :
Languages : en
Pages : 46
Book Description
This guidance provides technical recommendations for protecting underground sources of drinking water (USDWs) from potential endangerment posed by hydraulic fracturing (HF) activities where diesel fuels are used. The U.S. Environmental Protection Agency (EPA) developed this guidance for EPA permit writers to ensure protection of USDWs in accordance with the Safe Drinking Water Act (SDWA) and Underground Injection Control (UIC) regulatory authority. This authority is limited to when diesel fuels are used in fluids or propping agents pursuant to oil, gas and geothermal activities. This document does not establish any new permitting requirements for HF activities using diesel fuels, but describes the EPA's interpretation of existing legal requirements as well as non-binding recommendations for EPA permit writers to consider in applying UIC Class II1 regulations to HF when diesel fuels are used in fracturing fluids or propping agents. This document does not address geothermal activities. The EPA expects that EPA UIC Program Directors, and the permit writers acting on their behalf, will follow the interpretation of the statutory term "diesel fuels" presented in this guidance document. They should also consider, although are not required to follow, the recommendations reflected in this guidance on how to apply the Class II regulations to HF activities using diesel fuels when issuing permits for such activities under the federal UIC Program. Recommendations are consistent with the discretion accorded under the existing UIC Class II regulations, and reflect existing UIC requirements for other well classes, voluntary industry standards, state rules, and other model guidelines for HF. However, permit writers, acting on behalf of the UIC Director have the discretion to consider alternative approaches that are consistent with statutory and regulatory requirements. Decisions about permitting HF operations that use diesel fuels will be made on a case-by-case basis, considering the facts and circumstances of the specific injection activity and applicable statutes, regulations and case law. Under the 2005 amendments to the SDWA, a UIC Class II permit must be obtained prior to conducting the underground injection of diesel fuels for hydraulic fracturing. The EPA, where it directly implements the program, as well as states and tribes with primary enforcement authority, must issue a Class II permit prior to the injection of diesel fuels in the HF fluid or propping agents. The primary audience for these technical recommendations is the EPA Regional offices directly implementing the existing UIC Class II Program requirements (40 Code of Federal Regulations (CFR) parts 124 and 144 through 147). Stakeholders and the public have recognized the importance of safely and responsibly managing unconventional oil and gas development, including hydraulic fracturing. Many states have updated their oil and gas regulations and a variety of organizations have developed model guidelines and best practices. The EPA engaged with states, tribes, industry, and other stakeholders during the development of this document and reviewed best practices available at the time. The EPA used information from these efforts to inform this guidance for the UIC program.