Step 3
Submit Initial Notification of Applicability and Determine Compliance Requirements
Initial notification applies to both Major Source and Area Source facilities. The first requirement of the EPA rules was to submit an Initial Notification of Applicability. For existing boilers, the information was due September 17, 2011. For new boilers, the form was due September 17, 2011, or within 120 days after startup for Area Source facilities, or within 15 days after startup for Major Source facilities. If you missed the notification deadline, send in your form as soon as possible.
Download instructions and the Initial Notification Forms below:
Additional Actions Required - For Area Source Facilities
If your facility is subject to the Area Source Rule, there are required actions, ranging from regular tune-ups to emissions monitoring. Facilities also must maintain records and file periodic reports to demonstrate compliance. The extent of actions and number of reports to be filed varies depending upon: the type of fuel burned in the boiler, whether the boiler is new or existing, and the size of the boiler.
To determine which records and reports are required for your Area Source boiler, consult this decision tree.
For a summary of compliance dates specific to your Area Source boiler, click here.
For a summary of specific emissions limits by boiler type, click here.
To access the Compliance Guide for Area Source boilers, click here.
Cleaver-Brooks will continue to add forms and instructions pertinent to the Area Source Rule, including:
- Tune-up compliance form
- Record-keeping forms
- Form for signed statement of shutdown and startup compliance
- Startup compliance form
- Startup/shutdown minimization schedule for all oil boilers
- Energy assessment compliance document
- Monthly fuel analysis form
- Monthly fuel use form
- Fuel switch to 100 percent natural gas form
- Performance stack testing compliance form
- Form for site-specific emissions testing plan
- Form for site-specific emissions monitoring plan
- Emissions compliance certification report
- Notification of exceeding emissions limits
- Root cause analysis for emissions malfunction
- Form for malfunction reporting
- Form for corrective action of malfunction
In the interim, if a form is needed, please consult the EPA's Small Entity Compliance Guide for Area Source Boilers for information.
Additional Actions Required – For
Major Source Facilities
Below
is a summary of the requirements of the Boiler MACT for major source
facilities. For the complete rule that
is published in the Federal Register, click here.
- For
all new and existing gas- and refinery gas-fired units, the operator must
perform an annual tune-up for each unit. Units combusting other gases can
qualify for work practice standards by demonstrating that they burn “clean
fuel,” with contaminant levels similar to natural gas.
- For
all new and existing units with a heat input capacity less than 10 MMBtu/hr,
the operator is required to perform a tune-up for each unit once every two
years.
- For
all new and existing “limited use” boilers (defined as those operated less than
10 percent of the year as emergency and back-up boilers to supplement process
power needs), the operator is required to perform a tune-up for each unit once
every two years.
- The
final rule establishes numeric emission limits for all other existing and new
boilers and process heaters located at major sources. The final rule establishes emissions limits
for: mercury, dioxin, particulate
matter (PM) as a surrogate for non-mercury metals, hydrogen
chloride (HCI) as a surrogate for acid gases, and carbon
monoxide (C) as a surrogate for non-dioxin organic air toxics.
- The
largest major source boilers are required to continuously monitor their
particle emissions. All units larger
than 10 MMBtu/hr must monitor oxygen as a measure of good combustion.
- Existing
major source facilities are required to conduct a one-time energy assessment to
identify cost-effective energy conservation measures.