September 23, 2013: The EPA has published the direct final adoption of the changes to 40 CFR 60 NSPS Subpart OOOO. to April 1, 2011, will be required to adhere to several aspects of the newer Non-Rule 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. 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 phone: 512-239-1250 entity must void the permit else the facility will still be bound by the December 3, 2012: A shorter NSPS OOOO Well Completion/Flowback Notification form is now available. The type of authorization required will depend on the type of facility and amount of contaminants emitted. NSPS OOOOa. By providing the opportunity to use a standard permit, TCEQ is giving facilities an option with greater flexibility than is afforded under PBRs, with an application process that is more efficient than that of a case-by-case permit. Owners and operators of facilities may also be subject to emissions inventory requirements located in 30 TAC 101.10. . [ii]. Copyright 2015 Breitling Consulting, LLC. Each inspection focuses on a part of a pipeline operators operation or on a pipeline systems operation. Each facility must be operated at least 50 feet 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. The requirements of the non-rule standard permit and associated general requirements is authorized under Texas Health and Safety Code section 382.05195 and only new projects and dependent facilities located in the Barnett Shale are applicable. Johnson, Montague, Palo Pinto, Parker, Somervell, Tarrant, and Wise. The highlights [CDATA[ away from any property line or receptor. Air Permits Division is responsible for air permitting of facilities that manufacture, blend, and package pesticides 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. Thats where we shine. Federal Water Quality Regulations related to oil and gas . a rq for oil is a discharge of oil in such quantities that the administrator has determined may be harmful to the public health or welfare or the environment of the united states and includes discharges of oil that violate applicable water quality standards or causes a film or sheen upon, or a discoloration of the water surface or adjoining The two most common for oil and gas facilities are Standard Permits and Permits by Rule. In addition, as part of its oversight responsibilities, EPA Region 9 has conducted Title V program evaluations for the largest permitting authorities in California. mentioned in the previous post can be echoed for the Non-Rule Standard 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. 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. As with most New Source Review ( NSR) Permit - Facilities that cannot qualify for a PBR or a standard permit must be authorized with an NSR permit. Ask us how today! All permits must be submitted online via STEERS as of February 1, 2018. 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 . It wasnt until, four months after Earthworks initial complaint that the TCEQ investigated the sitenot by actually physically visiting the site, but by simply doing a file reviewand discovered that the operator did not have an air quality permit for the site. that the TCEQ uses. Explanation and Background of Air Quality Standard Permit On January 26, 2011, the TCEQ issued a non-rule standard permit for oil and gas production facilities. regulated entity to install controls or conduct additional inspection or monitoring Call us at (800) 447-2827 or visit our Web page at TexasEnviroHelp.org. 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. The site is a perfect example of the systemic regulatory failures in the state of Texas. emission limitations for a PBR or having an off-site receptor within a quarter 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. Federal Register Publication of Final Rules - Safety of Hazardous Liquid Pipelines. Please click on one of the following links for more information about oil and gas compliance. While complying with these requirements carries a certain additional burden and expense to operators in Texas, the alternative to proactively managing and complying with these requirements is less desirable for both the operators and the State. Net ground-level concentration limits and exemptions for SO, Net ground-level concentration limits for H, Note: Remember to include formaldehyde when quantifying VOC emissions. Please note that email communications to the firm through this website do not create an attorney-client relationship between you and the firm. In conjunction with the oil and gas rule development, the oil and gas team has assembled several tools to assist in completing PBR and standard permit registrations and determine compliance. If you have questions about this or any other Standard Permit, contact us: Existing facilities that were constructed prior All rights reserved. Instructions for participation are provided in the notice. Other PHMSA Interpretation Letters are also available for review. TCEQ Adopts New Oil and Gas Permit By Rule and Standard Permit for Barnett Shale Facilities. An official website of the United States government. There was a problem processing your signup. 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. When a new site is built it requires an air quality permit. Subpart LLL Onshore Natural Gas Processing: Subpart IIII Stationary Compression Ignition Internal Combustion Engines, Subpart JJJJ Stationary Spark Ignition Internal Combustion Engines, Subpart KKKK Stationary Combustion Engines, The TCEQ has streamlined the process and shortened the form for. The Pipeline and Hazardous Materials Safety Administration (PHMSA) has issued a signed interpretation letter dated December 4, 2019 clarifies the PHMSA Drug and Alcohol Testing regulations in 49 Code of Federal Regulations (CFR) Part 199. 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. This link leads to an external site which may provide additional information. Until that time, non-Barnett Shale facilities must comply with only their historical PBR or Standard Permit authorizations. Recordkeeping including, but not limited to, As mentioned above, these rules may differ from the list of current rules in each of the 35 Air Districts. Admin. Rather than having one office of permitting, the TCEQ houses different types of permits in different offices. reasons for regulated entities to seek authorization via Standard Permit are 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. Families on the front lines of mining, drilling, and fracking need your help. Facilities that are operationally dependent upon 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. Air Quality Standard Permit for Oil and Gas Facilities - Information including applicability, registration information, and an emissions-calculation spreadsheet tool. 511: Oil and Gas General Operating Permit, Air GOP No. USDOT PHMSA maintains exclusive federal authority over interstate pipeline, which is a pipeline that crosses state borders or begins in federal waters. is a privately held independent oil and gas company headquartered in Dallas, Texas. Parker, Somervell, Tarrant, and Wise. Call the Emissions Inventory Hotline, 512-239-1773, from 8 a.m. to 5 p.m., Monday through Friday. Allied samples and analyzes your emissions, and performs the engineering and administrative work necessary to either determine your emissions or perform actual flow calculations and Gas Oil Ratio (GOR) work in the field to quantify these exactly. requirements if submitting a renewal after December 31, 2015. Standard Permit Facilities that cannot meet a PBR may qualify for a standard permit. likely to require a control solution. All of our sampling and testing is performed to the relevant ASTM methods and protocols. Please visit their website here for more information. Operational requirements in the proposed SP can also be specific to certain processes or equipment. 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). 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