There are several types of permits that the TCEQ uses. requirements if submitting a renewal after December 31, 2015. To prevent similar incidents from occurring on intrastate hazardous liquid pipelines, Governor Jerry Brown signed into law pipeline safety billsSB 295andAB 864later that year. In each of these cases, operators submit a request to TCEQ for the type of permit they want. For example, in some cases the TCEQ has granted permits to operators stating that they will use best practices to reduce emissions despite the absence of any explanation of what those practices will be. It is however a means to bring clarity, greater operational flexibility and a more expeditious process for the construction, modification and operation of MLOs. This designation is used for an operation that emits below certain pollution thresholds established by the TCEQ. Oil and Gas Permitting is housed within the Office of Air. Air Quality Standard Permit for Oil and Gas Facilities, Air GOP No. There are varying control, inspection, and Other PHMSA Interpretation Letters are also available for review. counties. Commission on Environmental Quality (TCEQ) Oil & Gas Air Standard Permits, Based in over 100 standardized permits delineated in Title 30 of the Texas Administrative Code . Secure .gov websites use HTTPS These inspections focus on specific sections of federal pipeline safety regulation and consist of a thorough records inspection, a procedure review, and a pipeline system field inspection component. JavaScript appears to be disabled on this computer. The type of authorization required will depend on the type of facility and amount of contaminants emitted. The MLO standard permit may also be used for existing or modified facilities. These California State Agencies are responsible for the following aspects of petroleum production: Additional authority was provided to OSFM by statute in 1981 when the California Legislature passed the Hazardous Liquid Pipeline Safety Act which enacted the OSFMs authority over intrastate hazardous liquid pipelines in California. In order to develop the MLO standard permit, TCEQ staff reviewed authorized facilities to develop common methods of operation, control techniques, emission rate calculation methodologies and air contaminates. OSFM conducts six different types of inspections on pipeline operators and two different types of inspections on each pipeline system every five years. Starting December 2018, pipeline operators may send certain required notifications or requests to OSFM by email to PipelineNotification@fire.ca.gov. Regulations for oil and gas discharges will remain the same as current federal standards. August 28, 2012: EPA has published the final version of new 40 CFR 60 NSPS SubPart OOOO and revisions to 40 CFR 63 NESHAP SubParts HH and HHH which affect many parts of the oil and gas industry. 511: Oil and Gas General Operating Permit, Air GOP No. An impact evaluation must be conducted if there These Flexible Permits were challenged by the EPA on the grounds that they are not compliant with the US Clean Air Act (one of the federal guidelines TCEQ permits exist to enforce), but a Federal Appeals Court forced them to reconsider and this permit type was upheld. Copyright 19962023 Holland & Knight LLP. Each facility must be operated at least 50 feet The "Non-Rule" Standard Permit is considerably more restrictive than the "Rule" Standard Permit. An official website of the United States government. // ]]> Texas Oil and Gas Testing and Environmental Compliance Services. A lock (LockA locked padlock) or https:// means youve safely connected to the .gov website. Oil and Gas Wastewater Stakeholder GroupTCEQ's schedule for implementing House Bill 2771, 86th Legislature 2019, relating to delegation of wastewater permits for oil and gas facilities. [i] The 30 day comment period ends on January 22 and instructions for the submittal of written comments are provided in the notice. The two types of pipeline system inspections are: Note: The OSFM conducts additional inspections for the above topics during the year as procedures changes, ownership changes, or construction/modifications occur. It is impossible to produce oil and gas without actual emissions or the potential to emit. As such, you need to register and permit your facilities, or register and retain the test data and support documentation in your lease files proving why you do not require permitting at that time. to be applied for by the majority of the State of Texas with the exception of Submit the TCEQ permit application to the Railroad Commission's Injection-Storage Permits Unit with a cover letter requesting the Class I Oil and Gas No Harm letter. Available Control Technology (BACT) standards must be met. Owned and operated by the William Herbert Hunt family, Petro-Hunt and its . Admin. Does this relate to you and your operations? Support them now! Although following the applicable conditions of a Standard Johnson, Montague, Palo Pinto, Parker, Somervell, Tarrant, and Wise. Dallas, Denton, Ellis, Erath, Hill, Hood, Jack, Johnson, Montague, Palo Pinto, The site is a perfect example of the systemic regulatory failures in the state of Texas. Code 116.620). Permits go before the TCEQ Commissioners for approval, and the public has an Thus, state and local air agencies may have either more rules than what is submitted for SIP approval. mile of a sour gas facility (>25ppm of hydrogen sulfide). TCEQ may issue standard permits for specific, well characterized classes of facilities as authorized under the Texas Health and Safety Code Chapter 382 (the Texas Clean Air Act). project is going to emit VOCs, it is highly recommended that Table 10 be However, despite operational flexibility, a standard permit is not tailored to each applicant, which means it may not be applicable for your site. Electronic Notifications to the OSFM - Pipeline Safety Division, Pipeline Operators to notify the Office of the State Fire Marshal, Encroachments into or on Pipeline Easements, California State Fire Marshal Information Bulletin 03-001, Issued: June 20, 2003 (Revised September 25, 2019), ENCROACHMENTS INTO or ON PIPELINE EASEMENTS, Jurisdictional Evaluation Rural Gathering Pipeline, Jurisdictional Evaluation CA Government Code, Investigation reviews of accidents Review, Review of reported information data to OSFM and PHMSA, Employee Testing (i.e., drug and alcohol, training, certifications, and refreshers). The Pipeline Safety Division has sole authority for the inspection and enforcement of federal and state regulations for intrastate pipelines within the State of California. equipment may require a re-registration. Until that time, non-Barnett Shale facilities must comply with only their historical PBR or Standard Permit authorizations. This continuation of the Standard Parker, Somervell, Tarrant, and Wise. Click "accept" below to confirm that you have read and understand this notice. Next TCEQ-Chapter 116 - Control of Air Pollution by Permits for New . The impacts from the spill were devastating, both environmentally and economically. Federal Water Quality Regulations related to oil and gas . A third permit that is occasionally used by oil and facilities is a Flexible Permit, which allows the operators themselves to determine the emission caps of the permit and then submit it for approval by the TCEQ. These facilities dont require a permit to operate nor do they have to be registered with the TCEQ. Request for Incident Report Form. A Prior to the issuance of the MLO standard permit, MLO facilities must use a combination of Permits by Rule (PBR) or a case-by-case New Source Review (NSR) Permit. The proposed non-rule SP, if finalized, would apply to MLOs at both new minor source sites and existing sites and would provide operational flexibility to applicants. How to Setup an Account in STEERSThis video will show you how to setup an account in STEERS to obtain an air authorization. Each inspection can take anywhere from one week for smaller operators to 12 days for larger operators. This form is for requesting an incident report with the Brea Fire Department. Code 106.352) and adopted a new Standard Permit for installation and/or modification of oil and gas facilities (30 Tex. entity must void the permit else the facility will still be bound by the Our laboratory is calibrated for hydrocarbons and sulfurs thus ensuring accurate data. Standard Permit is a generalized New Source Review (NSR) Permit and is typically your facility and aids in reducing the friction of the regulatory quagmire. They Dont. Air compliance tools for oil and gas facilities in Texas. This standard permit applies to all stationary facilities, or groups of facilities, at a site which handle gases and liquids associated with the production, conditioning, processing, and pipeline transfer of fluids or gases The May 2015 pipeline incident at Refugio Beach in Santa Barbara County spilled over 100,000 gallons of crude oil into the Pacific Ocean and impacted over 25 miles of coastline. On October 8th, Earthworks sent an open letter to the Texas Commission on Environmental Quality (TCEQ) and Railroad Commission (RRC) outlining a history of misconduct at the MDC Pickpocket 21 drilling site. the permit application once the Standard Permit becomes effective. character of the sites emissions. be kept on file in order to confirm compliance with any and all applicable Earthworks certified optical gas imaging (OGI) thermographers had made eight field visits to the site over eleven months, documenting intense plumes of climate- and health-harming pollutants like methane and volatile organic compounds (VOC) pollution each time. Title V Operating Permits In addition to the air authorizations previously discussed, sites designated as major sources of air pollutants, as defined in 30 TAC 122.10 (13) are required to obtain a Title V Operating Permit. Air Quality Standard Permit for Oil and Gas Facilities - Information including applicability, registration information, and an emissions-calculation spreadsheet tool. All permits must be submitted online via STEERS as of February 1, 2018. Standard Permit was split into a Non-Rule and a Rule Standard Permit. The TCEQ is supposed to determine whether the permit type is appropriate and evaluate the emission reduction practices proposed by the facility. The TCEQ's Small Business and Local Government Assistance Section offers free, confidential help to small businesses and local governments working to comply with state environmental regulations. NSR Permit. In two blogs, Ill explain how TCEQs permitting and enforcement systems are effectively designed to fail. notification. Upstream oil and gas operations that . Do not send any privileged or confidential information to the firm through this website. Standard Permits, unlike PBRs, must be renewed An updated registration, payment and prior written approval is required if there is a change in the method of control or character of emissions, a change results in an increase in previously reported concentrations of a contaminant at the property boundary, a change in a previously reported emission rate or a change resulting in the emission of a new contaminant. From the TCEQs perspective these facilities do not have a large enough impact on the environment to regulate them. [iii] The sources covered by the standard permit registration must operate independently from sources covered by other permitting mechanisms to ensure the protectiveness review covers all impacts from the MLO. When a new site is built it requires an air quality permit. The Rule Standard Permit cannot Further, the proposed SP includes extensive fugitive emissions requirements, such as Leak Detection and Repair (LDAR) program requirements. Authorizing MLO construction and operations under PBRs creates inherent limitations and the NSR permitting process can be lengthy and subjects the facility to notice and comment with the potential for public hearing. The amendments removed Archer, Bosque, Coryell, Clay, Comanche, Eastland, Shackelford, and Stephens counties from the applicability of 30 Texas Administrative Code (TAC) Section 106.352(a)-(k) and from the non-rule air quality standard permit, 30 TAC Section 106.352(l) will apply to PBR facilities in the removed counties constructed on or after November 22, 2012. As with most In addition, certain equipment such as vapor combustion units, vapor oxidizers, boilers and heaters must undergo initial performance testing to demonstrate compliance with the calculations in the registration application. The MLO standard permit specifically describes facilities and activities authorized under the standard permit. An emissions inventory must be submitted for facilities (sites) that have the potential to emit 100 tons per year (. Air Quality Standard Permit for Oil and Gas Handling and Production Facilities Effective November 8, 2012 (a) Applicability. Air Quality Standard Permit for Oil and Gas Handling and Production Facilities, https://www.tceq.texas.gov/permitting/air/newsourcereview/chemical/oil_and_gas_sp.html, https://www.tceq.texas.gov/@@site-logo/TCEQ-1072x1072.png, Oil and Gas Vertical Fixed Roof Tank Workbook, 106.261 and 106.262 Single Project Workbook, Types of New Source Review Authorizations, Rule Registration Section: Planned Maintenance, Startup, and Shutdown, Small Business and Local Government Assistance, Oil and Gas Facilities: Compliance Resources, Status of Air Permits and Permit Applications, State, Federal and Historic Air Permitting Rules, The current standard permit Section 116.620 is applicable. Title 30 Texas Administrative Code (TAC), Chapter 116, Subchapter B requires facilities that may emit air contaminants to obtain authorization prior to construction. However, in TCEQs world, such basic rules often dont apply to the oil and gas industry. Standard SIC Code 4613 covers establishments primarily engaged in the pipeline transportation of refined products of petroleum, such as gasoline and fuel oil. the Non-Rule Standard Permit. We help you prove and permit your emissions so you can focus on the task of getting your resources to the load line, pipeline or sales point. Breitling Consulting can help deduce a custom solution that fits Equipment, including flares, capture systems, and tanks, have requirements specific to the types of equipment authorized. typically require air emissions permits from TCEQ may be eligible for authorization through a standard air quality permit for oil and gas facilities, a new source review permit, or a specific air permit by rule for projects in the 15 counties located over the Barnett Shale. Currently, MLOs are permitted in Texas either with a group of permits by rule (PBRs) that do not provide much operational flexibility or with a case-by-case New Source Review (NSR) permit. every 10 years or the permit will expire. Additional Information. away from any property line or receptor. applied for by facilities that dont meet the requirements for a Permit As a result, Earthworks filed eight regulatory complaints . processing of such projects are somewhat streamlined and do not require public NSPS OOOOa. Yes. The agencys decision was a departure from its proposal last fall to adopt rules that would affect oil and gas facilities statewide. If you have any questions concerning the proposed MLOs non-rule SP or would like help analyzing whether this option would be the best way to permit your new MLOs, please contact us. 514: Oil and Gas General Operating Permit, 30 TAC Chapter 117, Subchapter E, Division 4, 40 CFR Part 63 - National Emission Standards for Hazardous Air Pollutants for Source Categories, 40 CFR Part 60 Standards of Performance for New Stationary Sources, Additional Compliance Information and Resources, Small Business and Local Government Assistance Home. Please visit their website here for more information. likely to require a control solution. reasons for regulated entities to seek authorization via Standard Permit are In addition to the required inspections, OSFM must also respond to intrastate pipeline accidents, investigate significant intrastate pipeline releases, inspect pipeline construction and relocation projects, respond to train derailments near pipelines, and meet with state and local governments to discuss various pipeline safety issues. // < ! This blog series will focus on the intricacies of Texas On January 26, 2011, the Texas Commission on Environmental Quality ("TCEQ") adopted new air permitting rules for oil and gas handling and production facilities in the Barnett Shale. Interested parties should consider using these opportunities for public participation to comment on the standard permit. In December of 2020, the Texas Commission on Environmental Quality (TCEQ) proposed a new non-rule Standard Permit (non-rule SP) for Marine Loading Operations (MLOs). TCEQ's Water Quality Division; TCEQ's Water Supply Division oversees the production, treatment, quality, and delivery of drinking water for the public by implementation of the Safe Drinking Water Act. and this permit type was upheld. As always it is good to read the regulations in their entirety. reviewed because it may greatly affect how a proposed site should operate. [iii] SIC Code 1311 covers operating oil and gas field properties. May 12, 2016 -- EPA has issued three final rules that together will curb emissions of methane, smog-forming volatile organic compounds (VOCs) and toxic air pollutants such as benzene from new, reconstructed and modified oil and gas sources, while providing greater certainty about Clean Air Act The City of Brea Hillside Zoning Ordinance was adopted on Oct. 19, 2004. Generally, CARB plays an oversight role for permitting and does not issue any pre-construction or operating permits. Oil and Gas Permitting is housed within the Office of Air. However, that state agency provides significant support to agencies that need permitting assistance. The two most common for oil and gas facilities are Standard Permits and Permits by Rule. The CAL FIRE Office of the State Fire Marshal (OSFM) is excited to announce that jurisdictional pipeline operators in California can now submit their required Intrastate Pipeline Operator Report (PSD-101) online. OSFM Pipeline Safety Division staff inspect pipeline operators to ensure compliance with federal and state pipeline safety laws and regulations, and consist of engineers, Geographical Information System (GIS)/mapping staff, analytical staff, and clerical support located throughout California. If you have questions, call (512) 239-1250 and ask to speak to someone in the Rules and Registration Section, or e-mail airog@tceq.texas.gov. All of our sampling and testing is performed to the relevant ASTM methods and protocols. Best Management Practices (BMPs) and Best is any property line or sensitive receptor within a mile of a facility. For all new projects and dependent facilities not located in the Barnett Shale counties. in operations such as increased emissions and swapping, removing, or adding This aspect of the Clean Air Act of 1970 is spearheaded by the TCEQ and is a serious effort to enforce federal requirements at the state level so Texas can have greater control over its environmental signature particularly as it relates to our vital hydrocarbon resources. Regulations pursuant to SB 295 have been fully implemented. It is impossible to produce oil and gas without actual emissions or the "potential to emit." As such, you need to register and permit your facilities, or register and retain the test data and support documentation in your lease files proving why you do not require permitting at that time. Please click on one of the following links for more information about oil and gas compliance. TCEQ Adopts New Oil and Gas Permit By Rule and Standard Permit for Barnett Shale Facilities. December 19, 2022 The Railroad Commission of Texas (RRC) has adopted new versions of the Irrevocable Letter of Credit (Form P-5LC) and Performance Bond (Form P-5PB), related to the execution, and filing of financial security by oil & gas and pipeline operators under their jurisdiction. For purposes of federal enforce-ability, the EPA approved rules must be used. Copyright 2015 Breitling Consulting, LLC. This historical notification requirement applies to facilities located in Cooke, Dallas, Denton, Ellis, Erath, Hill, Hood, Jack, Johnson, Montague, Palo Pinto, Parker, Somervell, Tarrant, and Wise counties. SIC Code 4612 covers establishments primarily engaged in the pipeline transportation of crude petroleum. Oil and Gas Permitting is housed within the Office of Air. These Flexible Permits were, on the grounds that they are not compliant with the US Clean Air Act (one of the federal guidelines TCEQ permits exist to enforce), but a, Federal Appeals Court forced them to reconsider. Loading requirements include using submerged or bottom loading, venting when loading materials with a true vapor pressure greater than or equal to 0.5 absolute pounds per square inch (psia), and keeping an emissions record of calculated emissions of volatile organic compounds (VOC). is a privately held independent oil and gas company headquartered in Dallas, Texas. TCEQ Adopts New Oil and Gas Permit By Rule and Study Details: WebBy its action, the TCEQ replaced the current Permit by Rule ("PBR") for oil and gas production facilities with a new PBR for those facilities (30 Tex. For nearly 20 years, the TCEQ air permit by rule process routinely allowed authorization of pilot gas and waste stream emissions under PBR 106.492. Clean Air Act permitting in California is the shared responsibility of the California Air Resources Board (CARB), its 35 air pollution control agencies (districts) and EPA Region 9. As a result, TCEQ Furthermore, compliance on a proactive basis is more cost-effective and less disruptive to production than reacting to enforcement actions. Whether registering for the new non-rule standard permit for a Barnett Shale project, or the 116.620 standard permit for anywhere else in the state, a registration for and oil and gas standard permit should contain certain items. All permits must be submitted online via STEERS as of February 1, 2018. The MLO standard permit requires an air quality analysis of the potential impact on the environment and human health associated with the emissions and addresses specific operational and monitoring requirements. In December of 2020, the Texas Commission on Environmental Quality (TCEQ) proposed a new non-rule Standard Permit (non-rule SP) for Marine Loading Operations (MLOs). Permit and the Non-Rule The current approval process, which relies heavily on data self-reported by operators, opens the door for TCEQ serving as a rubber stamp rather than a regulator. The state agency Texas Commission on Environmental Quality (TCEQ) is the permitting authority. A Best Available Control Technology (BACT) analysis was also performed. Air Pollution Control Agencies in California submit portions of their locally adopted rules through the California Air Resources Board to EPA for approval to meet federal requirements. For projects located outside the Barnett Shale counties which are constructed or modified on or after April 1, 2011, companies may voluntarily register under the new requirements in (a)-(k). Copyright 2015 Breitling Consulting, LLC. In addition, sufficient documentation should Operators determine which permit their facility needs based on their own emissions estimates (higher emitting facilities generally require Standard Permits while lower polluting facilities use Permits by Rule) and then apply for approval of the permit by the TCEQ. Earthworks visited again and discovered that emissions persisted. Other facilities or activities must be authorized using other permit mechanisms The standard permit specifically exempts certain Standard Industrial Classification (SIC) Codes from authorization, including 1311 (Crude Oil Petroleum and Natural Gas), 1321 (Natural Gas Liquids), 4612 (Crude Petroleum Pipelines), 4613 (Refined Petroleum Pipelines), 4922 (Natural Gas Transmission), and 4923 (Natural Gas Transmission and Distribution). June 3, 2016: The EPA has published the direct final adoption of the changes to 40 CFR 60 NSPS Subpart OOOOa. On October 31, 2012 the Texas Commission on Environmental Quality (TCEQ) adopted amendments to the permit by rule and standard permit for oil and gas handling production facilities. Further information can be found at Guidance for STEERS. The Texas Commission on Environmental Quality's (TCEQ's) "Permit by Rule" (PBR) program allows the regulated community to efficiently design, construct, start-up, and operate a substantial number of differing types of air emission facilities. Ash Street Cottages Neighborhood Parking. Written authorization is required prior to commencement of construction. December 3, 2012: A shorter NSPS OOOO Well Completion/Flowback Notification form is now available. be used for authorization if the facility is located within any of the above Operational requirements in the proposed SP can also be specific to certain processes or equipment. Further information can be found at Guidance for STEERS. PI-20-0015 Interpretation of 49 CFR 195.454. The United States Department of Transportation, Pipeline and Hazardous Materials Safety Administration (PHMSA) is amending Federal Pipeline Safety Regulations (49 CFR Part 195) to improve the safety of pipelines transporting hazardous liquids. [ii]. [CDATA[ (function(i,s,o,g,r,a,m){i['GoogleAnalyticsObject']=r;i[r]=i[r]||function(){ (i[r].q=i[r].q||[]).push(arguments)},i[r].l=1*new Date();a=s.createElement(o), m=s.getElementsByTagName(o)[0];a.async=1;a.src=g;m.parentNode.insertBefore(a,m) })(window,document,'script','//www.google-analytics.com/analytics.js','ga'); ga('create', 'UA-53568904-1', 'auto'); ga('send', 'pageview'); Introduction This standard permit cannot be applied to any project that constitutes a new major stationary source, nor can it be applied to authorize MLOs for crude petroleum and natural gas. Since some of these sites arent registered with the TCEQ at all, it is difficult if not impossible to fully gauge the aggregate impact of De Minimis Facilities. Generally, CARB plays an oversight role for permitting and does not issue any pre-construction or operating permits. Not all situations merit the added expense of direct qualification and quantification. Permit can be more tedious than operating under a PBR, it is a far cry from a site-specific The Rule Standard Permit is available Families on the front lines of mining, drilling, and fracking need your help. Having a Standard Permit for your MLOs can be advantageous. SB 295 required, among other things, the OSFM to annually inspect all intrastate pipelines and operators of intrastate pipelines under its jurisdiction and required the State Fire Marshal to adopt regulations required to implement these requirements. Clean Air Act permitting in California is the shared responsibility of the California Air Resources Board (CARB), its 35 air pollution control agencies (districts) and EPA Region 9. Specific marine loading requirements contained in the MLO SP were developed from BACT from marine loading, as well as currently existing case-by-case NSR permits for marine loading. For example, flares are required to be equipped with a continuous flow monitor and a composition analyzer. Fire Department. This link leads to an external site which may provide additional information. TCEQ is expected to act later this year to extend applicability of the new PBR and Standard Permit to facilities in the rest of the state. AZ | CA | HI | NV, California Air Quality Implementation Plans, California State Implementation Plan (SIP), District Contact Information and Local Rules, List of Current Rules in each of the 35 Air Districts, District Rules Approved by EPA into the California SIP, Final Title V Evaluation Reports for California, Electronic Permit Submittal System and Dashboards, Tribes that are Affected States under the Title V Permitting Program in Region 9, CAA Permitting Tools & RelatedResources. must be incorporated into the facilities emission estimates. Federal Register Publication of Final Rules - Safety of Hazardous Liquid Pipelines. Consulting is an expert in the permitting process for Oil & Gas facilities to the Texas Commission on Environmental Quality (TCEQ) and Railroad Commission (RRC) outlining a history of misconduct at the MDC Pickpocket 21 drilling site. Case results do not guarantee or predict a similar result in any future case. A third permit that is occasionally used by oil and facilities is a Flexible Permit, which allows the operators themselves to determine the emission caps of the permit and then submit it for approval by the TCEQ. Instead, the operators were given more than three months to apply for the permit that they needed, during which time they continued to operate. Air Quality Standard Permit for Oil and Gas Handling and Production Facilities Links to the rule and detailed information on the Standard Permit for Oil and Gas Handling and Production Facilities. Since many of these sites are not registered with the TCEQ at all, when a site does surpass the De Minimis level there is little that can be done to hold them accountable. has determined that operating under the conditions of the Non-Rule Standard These distance triggers could require the This effective date of this permit is May 6, 2020 and expires on May 5, 2025. Temporary Permit. Standard Permit Facilities that cannot meet a PBR may qualify for a standard permit. We simply apply the rules to your situation using knowledge of the regulations and production realities, quality data and critical thought. NSPS OOOO. There was a problem processing your signup. Additionally, the OSFM monitors hydrostatic testing and/or in-line inspection of pipelines. Links to the rule and detailed information on the Standard Permit for Oil and Gas Handling and Production Facilities. The highlights Learn more on the Oil and Gas Wastewater Stakeholder Group webpage. 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Permit they want held independent oil and gas facilities in Texas Code 106.352 ) and adopted a Standard... December 31, 2015 for all new projects and dependent facilities not located in the pipeline transportation refined! And critical thought line or sensitive receptor within a mile of a Standard Permit oil! Supposed to determine whether the Permit application once the Standard Permit for Shale. And fuel oil to determine whether the Permit type is appropriate and evaluate the emission practices! Site should operate until that time, non-Barnett Shale facilities must comply with only their PBR. Direct qualification and quantification plays an oversight role for permitting and does issue. Published the direct final adoption of the regulations in their entirety an emissions-calculation tool... Or sensitive receptor within a mile of a sour gas facility ( > 25ppm of hydrogen )... Year ( proposal last fall to adopt rules that would affect oil and gas company headquartered in Dallas,.... Eight regulatory complaints next TCEQ-Chapter 116 - Control of Air per year.. In STEERS to obtain an Air Quality Permit be used for an operation that emits below pollution. Are also available for review to adopt rules that would affect oil and gas facilities, Air No!
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