Uncategorized Archives - Terracon https://www.terracon.com/category/uncategorized/ Just another WordPress site Fri, 12 Jan 2024 16:12:31 +0000 en-US hourly 1 https://www.terracon.com/wp-content/uploads/2022/01/cropped-Terracon_BrandIcon_RGB-favicon-32x32.png Uncategorized Archives - Terracon https://www.terracon.com/category/uncategorized/ 32 32 West Virginia 2024 Environmental Compliance Calendar https://www.terracon.com/2023/12/28/west-virginia-2024-environmental-compliance-calendar/ Thu, 28 Dec 2023 15:11:55 +0000 https://www.terracon.com/?p=24698 Reporting Requirements(1) Click here to download the PDF Air Greenhouse Gas Reporting (submit at cdx.epa.gov) March 31 Air Title V Air Permit Annual Emissions Inventories March 31 Air Title V Air Permit – Semi-Annual Monitoring ...

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Reporting Requirements(1)

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Air Greenhouse Gas Reporting (submit at cdx.epa.gov) March 31
Air Title V Air Permit Annual Emissions Inventories March 31
Air Title V Air Permit – Semi-Annual Monitoring Report Jan. 31, Jul. 31
Air Title V Air Permit Annual Certification of Compliance April 30
Air Certified Emissions Statement July 31
EPCRA EPCRA – Tier II Reports (submit on HazConnect) March 1
EPCRA EPCRA – TRI Form R/A (submit at cdx.epa.gov)2 July 1
RCRA Biennial RCRA Hazardous Waste Reports (LQG) (even years)3 March 1
(1) Facility requirements should be verified to confirm due (2) EPA eliminated the de minimis exemption for Supplier Notification Requirements for chemicals of special concern (e.g., lead, mercury, dioxins, etc.) (3) VSQGs or SQGs that for any one calendar month generate 2,200 pounds or more of hazardous waste, must also submit a biennial report (unless proper notification of an episodic event had been submitted).

Additional Environmental Requirements

Stormwater: Complete annual comprehensive inspection and routine facility inspections as needed.  Conduct benchmark monitoring and visual monitoring quarterly at each outfall.  Conduct training at least annually. Those required to submit DMR forms must do so within 30 days of sampling. Hazardous Waste: VSQG/SQG limited to one planned episodic event and one unplanned event per year – no biennial report required if proper notification. SQG/LQG conduct weekly inspections.  Verify hazardous waste generator status, review and update contingency plan annually. Universal Waste: Conduct training annually.  Confirm that storage times do not exceed one year. Wastewater (NPDES/SDS): Discharge reports are required to be submitted at regular intervals, per permit requirements. SPCC Plan: SPCC Plans must be updated every five years or whenever there is a change in oil storage or spill potential. Conduct and document routine inspections and annual training. Air Permits/Emission Inventories: Submit all construction permit applications; Title V operating permit applications & modifications; notifications of start of construction and start of operation electronically on DEP’s Electronic Submission System (ESS). EPCRA TRI: Begin collecting data for RY2024 for reporting over 100 pounds of 189 specific PFAS chemicals (there is no de minimis exemption). See attached link for additional information:  https://www.epa.gov/toxics-release-inventory-tri-program/basics-tri-reporting

Contact Us

Scott Smith, P.E., CHMM

Senior Environmental Engineer (216) 539-4213 scott.smith@terracon.com

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Kentucky 2024 Environmental Compliance Calendar https://www.terracon.com/2023/12/28/kentucky-2024-environmental-compliance-calendar/ Thu, 28 Dec 2023 14:53:34 +0000 https://www.terracon.com/?p=24696 Reporting Requirements(1) Click here to download the PDF Air Title V Air Permit Annual Certification of Compliance January 30 Air Greenhouse Gas Reporting (submit at cdx.epa.gov) March 31 Air Title V Air Permit Annual Emission ...

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Reporting Requirements(1)

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Air Title V Air Permit Annual Certification of Compliance January 30
Air Greenhouse Gas Reporting (submit at cdx.epa.gov) March 31
Air Title V Air Permit Annual Emission Inventory Report2 April 15
Air Title V Air Permit – Semi-Annual Monitoring Report Jan. 30, Jul. 30
EPCRA EPCRA – Tier II Reports (submit on HazConnect) March 1
EPCRA EPCRA – TRI Form R/A (submit at cdx.epa.gov)3 July 1
RCRA Annual RCRA Hazardous Waste Reports (LQG and SQG)4 January 1
(1) Facility requirements should be verified to confirm due dates. (2) Federally Enforceable District Origin Operating Permits (FEDOOPs) and Minor Sources are not required to submit Annual Emissions Inventory Reports. Reporting deadline for Title V permit holders may vary with permit conditions. (3) EPA eliminated the de minimis exemption for Supplier Notification Requirements for chemicals of special concern (e.g., lead, mercury, dioxins, etc.). (4) VSQGs that for any one calendar month generate more than 220 pounds or accumulate on-site at any time more than 2,200 pounds of hazardous waste, must also submit an annual report.

Additional Environmental Requirements

Stormwater: Complete annual comprehensive inspection and routine facility inspections as needed.  Conduct benchmark monitoring and visual monitoring quarterly at each outfall.  Conduct training at least annually. Those required to submit Discharge Monitoring Report (DMR) forms must do so within 30 days of sampling. Hazardous Waste: Kentucky gives a grace period up to March 1st before charging late fees.  Verify hazardous waste generator status, review and update contingency plan annually. Universal Waste: Conduct training annually.  Confirm that storage times do not exceed one year. Wastewater (NPDES/SDS): Discharge reports are required to be submitted at regular intervals, per permit requirements. SPCC Plan: SPCC Plans must be updated every five years or whenever there is a change in oil storage or spill potential.  Conduct and document routine inspections and annual training. Air Permits/Emission Inventories: Permits issued by the Department of Air Quality (DAQ) often require annual or semi-annual reports.  In addition to semi-annual reporting, the DAQ Web Survey (kind of like an emissions inventory but they only ask for production/fuel usages and do the calculations for you) is due in March, however, there is no set due date and it changes each year.  The facility’s reporting, recordkeeping, and monitoring requirements are explicitly stated in the issued permit. EPCRA TRI: Begin collecting data for RY2024 for reporting over 100 pounds of 189 specific PFAS chemicals (there is no de minimis exemption). See attached link for additional information:  https://www.epa.gov/toxics-release-inventory-tri-program/basics-tri-reporting

Contact Us

Trish Novack

Senior Staff Scientist (502) 908-7165 trish.novack@terracon.com

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Ohio 2024 Environmental Compliance Calendar https://www.terracon.com/2023/12/28/ohio-2024-environmental-compliance-calendar/ Thu, 28 Dec 2023 14:46:00 +0000 https://www.terracon.com/?p=24694 Reporting Requirements(1) Click here to download the PDF Air Greenhouse Gas Reporting (submit at cdx.epa.gov) March 31 Air Title V Air Permit Quarterly Deviation Report Jan. 31, Apr. 30, Jul. 31, Oct. 31 Air Title ...

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Reporting Requirements(1)

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Air Greenhouse Gas Reporting (submit at cdx.epa.gov) March 31
Air Title V Air Permit Quarterly Deviation Report Jan. 31, Apr. 30, Jul. 31, Oct. 31
Air Title V Air Permit Annual Emissions Inventories April 15
Air Title V Air Permit – Semi-Annual Monitoring Report Jan. 31, Jul. 31
Air Title V Air Permit Annual Certification of Compliance April 30
Air Minor Source Annual Permit Evaluation Report2 Feb. 15, May 15, Aug. 15, Nov. 15
Air Minor Source Annual Fee Emission Report April 15
EPCRA EPCRA – Tier II Reports (submit via email using Tier2submit online form)3 March 1
EPCRA EPCRA – TRI Form R/A (submit at cdx.epa.gov)4 July 1
RCRA Biennial RCRA Hazardous Waste Reports (LQG) (even years)5 March 1
(1) Facility requirements should be verified to confirm due dates (2) Varies by permit. (3) Submit to Ohio EPA on Tier2submit program, submit to FD and LEPC via email or mail. (4) EPA eliminated the de minimis exemption for Supplier Notification Requirements for chemicals of special concern (e.g., lead, mercury, dioxins, etc.) (5) VSQGs or SQGs that for any one calendar month generate 2,200 pounds or more of hazardous waste, must also submit a biennial report (unless an episodic event notice had been submitted).

Additional Environmental Requirements

Stormwater: Complete annual comprehensive inspection and routine facility inspections as needed.  Conduct benchmark monitoring and visual monitoring quarterly at each outfall.  Conduct training at least annually. Those required to submit Discharge Monitoring Report (DMR) forms must do so within 30 days of sampling. Hazardous Waste: VSQG/SQG limited to one planned episodic event and one unplanned event per year – no biennial report required if proper notification. SQG/LQG conduct weekly inspections.  Verify hazardous waste generator status, review and update contingency plan annually. Universal Waste: Conduct training annually.  Confirm that storage times do not exceed one year. Wastewater (NPDES/SDS): Discharge reports are required to be submitted at regular intervals, per permit requirements. SPCC Plan: SPCC Plans must be updated every five years or whenever there is a change in oil storage or spill potential. Conduct and document routine inspections and annual training. Air Permits/Emission Inventories: Submit all construction permit applications; Title V operating permit applications & modifications; notifications of start of construction and start of operation electronically on Ohio eBiz. EPCRA TRI: Begin collecting data for RY2024 for reporting over 100 pounds of 189 specific PFAS chemicals (there is no de minimis exemption).  See attached link for additional information:  https://www.epa.gov/toxics-release-inventory-tri-program/basics-tri-reporting

Indiana

 

Contact Us

Scott Smith, P.E., CHMM

Senior Environmental Engineer (216) 539-4213 scott.smith@terracon.com

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Indiana 2024 Environmental Compliance Calendar https://www.terracon.com/2023/12/28/indiana-2024-environmental-compliance-calendar/ Thu, 28 Dec 2023 14:35:23 +0000 https://www.terracon.com/?p=24692 Reporting Requirements(1) Click here to download the PDF Air SSOA Annual Notification January 30 Air Air Quarterly Deviation and Compliance Monitoring Reports and Quarterly Air Permit Reports Jan 30, Apr 30, Jul 30, Oct 30 ...

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Reporting Requirements(1)

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Air SSOA Annual Notification January 30
Air Air Quarterly Deviation and Compliance Monitoring Reports and Quarterly Air Permit Reports Jan 30, Apr 30, Jul 30, Oct 30
Air Registration and MSOP Annual Notifications March 1
Air Title V Air Permit Quarterly Monitoring Report Jan. 30, Apr. 30, Jul. 30, Oct. 30
Air Title V Air Permit – Semi-Annual Monitoring Report Jan. 30, Jul. 30
Air Title V Air Permit Annual Notification/Certification of Compliance2 Apr. 15 or Jul. 1
Air Title V Air Permit Annual Emissions Inventories July 1
Air Annual Emission Statement July 1 or every 3 years
EPCRA Tier II Reports (submit on Tier II Manager) March 1
EPCRA TRI Form R/A (submit at cdx.epa.gov)3 July 1
Greenhouse Gas Greenhouse Gas Reporting (submit at cdx.epa.gov) March 31
RCRA Annual Report (LQG and SQG) (report even numbered calendar activity on odd years)4 March 1
RCRA Biennial RCRA Hazardous Waste Reports (SQG and LQG) (report odd numbered calendar activity on even years)4 March 1
RCRA Treatment, Storage, and Disposal Facilities Biennial RCRA Hazardous Waste or Annual Manifest Reports March 1
Solid Waste Solid Waste Quarterly Report Jan. 15, Apr 1, Jul 15, Oct 15
(1) Facility requirements should be verified to confirm due (2) Varies by county. (3) EPA eliminated the de minimis exemption for Supplier Notification Requirements for chemicals of special concern (e.g., lead, mercury, dioxins, etc.) (4) VSQGs that for any one calendar month generate more than 220 pounds or accumulate on-site at any time more than 2,200 pounds of hazardous waste, must also submit an annual report.

Additional Environmental Requirements

Stormwater: Complete annual comprehensive inspection and routine facility inspections as needed.  Conduct benchmark monitoring and visual monitoring quarterly at each outfall.  Conduct training at least annually. Those required to submit Discharge Monitoring Report (DMR) forms must do so within 30 days of sampling. Hazardous Waste: On even numbered years, SQG/LQG must submit an Annual Report using the Annual Report module in RCRAinfo. Activity in odd numbered years is reported using the Biennial Report module in RCRAinfo. SQG/LQG conduct weekly inspections.  Verify hazardous waste generator status, review and update contingency plan annually. Universal Waste: Conduct training annually. Confirm that storage times do not exceed one year. Wastewater (NPDES/SDS): Discharge reports are required to be submitted at regular intervals, per permit requirements. SPCC Plan: SPCC Plans must be updated every five years or whenever there is a change in oil storage or spill potential.  Conduct and document routine inspections and annual training. Air Permits/Emission Inventories: Emissions inventory are done for all Title V permits and then on occasion another permit level will require emission inventory reporting. EPCRA TRI: Begin collecting data for RY2024 for reporting over 100 pounds of 189 specific PFAS chemicals (there is no de minimis exemption).  See attached link for additional information:  https://www.epa.gov/toxics-release-inventory-tri-program/basics-tri-reporting

Contact Us

Kendra Gutowski

Project Environmental Engineer (317) 746-7896 kendra.gutowski@terracon.com

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Michigan 2024 Environmental Compliance Calendar https://www.terracon.com/2023/12/28/michigan-2024-environmental-compliance-calendar/ Thu, 28 Dec 2023 14:21:44 +0000 https://www.terracon.com/?p=24685 Reporting Requirements(1) Click here to download the PDF Air Michigan Air Emissions Reporting System (MAERS)2 March 15 Air Title V Air Permit Annual Certification of Compliance March 15 Air Title V Air Permit – Semi-Annual ...

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Reporting Requirements(1)

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Air Michigan Air Emissions Reporting System (MAERS)2 March 15
Air Title V Air Permit Annual Certification of Compliance March 15
Air Title V Air Permit – Semi-Annual Monitoring Report Mar. 15, Sept. 15
Air Greenhouse Gas Reporting (submit at cdx.epa.gov) March 31
EPCRA EPCRA – Tier II Reports (submit on Tier II Manager) March 1
EPCRA EPCRA – TRI Form R/A (submit at cdx.epa.gov)3 July 1
RCRA Biennial RCRA Hazardous Waste Reports (LQG) due every even year (submit through RIA)4 March 1
Wastewater Slaughterhouse/Meat Processor Groundwater Discharge Report (Rule 2215) June 1
(1) Facility requirements should be verified to confirm due (2) Michigan EGLE converted from MAERS to MiEnviro for reporting beginning in January 2024. (3) EPA eliminated the de minimis exemption for Supplier Notification Requirements for chemicals of special concern (e.g., lead, mercury, dioxins, etc.). (4) VSQGs or SQGs that for any one calendar month generate 2,200 pounds or more of hazardous waste, must also submit a biennial report (unless an episodic event notice had been submitted).

Additional Environmental Requirements

Stormwater: Complete annual comprehensive inspection and routine facility inspections as needed.  Conduct benchmark monitoring and visual monitoring quarterly at each outfall.  Conduct training at least annually. Those required to submit Discharge Monitoring Report (DMR) forms must do so within 30 days of sampling. Hazardous Waste: LQGs consolidating VSQG waste must also report consolidation activities.  Universal Waste: Conduct training annually.  Confirm that storage times do not exceed one year. Wastewater (NPDES/SDS): Discharge reports are required to be submitted at regular intervals, per permit requirements. SPCC Plan: SPCC Plans must be updated every five years or whenever there is a change in oil storage or spill potential.  Conduct annual training and routine inspections as required. Air Permits/Emission Inventories: Some permits may require more frequent reporting.  Certain deviations have immediate reporting obligations. EPCRA TRI: Begin collecting data for RY2024 for reporting over 100 pounds of 189 specific PFAS chemicals (there is no de minimis exemption).  See attached link for additional information:  https://www.epa.gov/toxics-release-inventory-tri-program/basics-tri-reporting

Contact Us

Matt Germane, P.E.

Environmental Department Manager (269) 479-7032 matt.germane@terracon.com

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Minnesota 2024 Environmental Compliance Calendar https://www.terracon.com/2023/12/27/minnesota-2024-environmental-compliance-calendar/ Wed, 27 Dec 2023 17:46:46 +0000 https://www.terracon.com/?p=24679 Reporting Requirements(1) Click here to download the PDF Pollution Prevention Plan (P2 Plan) Update Jan 1 Air Permit – Compliance Report Jan 30 Air Permit – Semi-Annual Deviation Report Jan 30 NESHAP Annual Compliance Certification ...

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Reporting Requirements(1)

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Pollution Prevention Plan (P2 Plan) Update Jan 1
Air Permit – Compliance Report Jan 30
Air Permit – Semi-Annual Deviation Report Jan 30
NESHAP Annual Compliance Certification Jan. 30
EPCRA – Tier II Reports Mar 1
Hazardous Waste – 2021 Biennial Report (2) Mar 1
Greenhouse Gas Reporting (e-GGRT) Mar 31
SWPPP Annual Report (3) Mar 31
Air Emissions Inventory Questionnaire (4) Apr 1
EPCRA – Toxic Release Inventory (TRI) Jul 1
Pollution Prevention Progress Report (P2PR) Jul 1
Air Permit – Semi-Annual Deviation Report Jul 30
(1) Facility requirements should be verified to confirm due dates and other requirements. Not all facilities will require submittal of each report. (2) Only required for Large Quantity Generators. (3) Submit electronically through MPCA e-Services. (4) Submit electronically through MPCA CEDR. Additional Environmental Requirements Stormwater: The current General Permit was issued on April 1, 2020. Maintain records of quarterly inspections, outfall monitoring, and annual inspections with your SWPPP. Conduct and maintain records of annual training. Hazardous Waste: Non-metro counties, hazardous waste license renewal due prior to August 15th. Metro area facilities will need to apply for renewal based on county requirements. Wastewater (NPDES/SDS): Discharge reports are required to be submitted at regular intervals per permit requirements. SPCC Plan: SPCC Plans are required to be reviewed every five years and updated whenever there is a change in oil storage or spill potential. Conduct and document routine inspections and annual training. Air Permit Compliance: Individual permits with specific conditions may require additional reports to be submitted. EPCRA TRI: Begin collecting data for RY2024 for reporting over 100 pounds of 189 specific PFAS chemicals (there is no de minimis exemption). See link for additional information:  https://www.epa.gov/toxics-release-inventory-tri-program/basics-tri-reporting

Contact Us

Travis Knisley, P.E.

(licensed in MN) Senior Environmental Chemical Engineer Minneapolis (763) 489-3103 travis.knisley@terracon.com For more information, or to contact local Terracon professionals, please click here.

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Iowa 2024 Environmental Compliance Calendar https://www.terracon.com/2023/12/27/iowa-2024-environmental-compliance-calendar/ Wed, 27 Dec 2023 17:41:03 +0000 https://www.terracon.com/?p=24677 Reporting Requirements(1) Click here to download the PDF Stormwater – NOI Submittal February 28 EPCRA – Tier II Reports (submit on E-Plan) March 1 Biennial RCRA Hazardous Waste Reports (LQG) (even years) March 1 Title ...

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Reporting Requirements(1)

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Stormwater – NOI Submittal February 28
EPCRA – Tier II Reports (submit on E-Plan) March 1
Biennial RCRA Hazardous Waste Reports (LQG) (even years) March 1
Title V Air Permit Annual Certification of Compliance/Semi-Annual Monitoring Report March 31
Title V Air Permit Annual Emissions Inventories March 31
Greenhouse Gas Reporting (submit at cdx.epa.gov) March 31
Annual Hazardous Waste Report/Fees April 15
Minor Source Emission Inventory (MSEIQ) (2) May 15
EPCRA – TRI Form R/A (submit at cdx.epa.gov) July 1
NPDES Annual Fee Payment August 30
Air Permit – Semi-Annual Monitoring Report (Title V) Sept. 30
(1) Facility requirements should be verified to confirm due dates. (2) Every 3 years. MSEIQ for emission year 2023 is due in 2024 for Western IA and portable plants (IDNR Field Offices 3 and 4). Additional Environmental Requirements Stormwater: General Permits (Nos. 1, 2, and 3) are effective 3/1/23 and expire 2/29/28: https://programs.iowadnr.gov/stormwater/pages/eAppIntro.aspx. Conduct monitoring and training as required and at least annually. Hazardous Waste: Small and large quantity generators and anyone who treats, stores, disposes of or transports hazardous waste in Iowa must file a hazardous waste form and pay the appropriate fee to the IDNR by April 15. Wastewater (NPDES/SDS): Discharge reports are required to be submitted at regular intervals, per permit requirements. Those required to submit DMR forms must do so within 30 days of sampling. SPCC Plan: SPCC Plans must be updated every five years or whenever there is a change in oil storage or spill potential. Conduct and document routine inspections and annual training. Air Permits/Emission Inventories: Individual permits may have additional requirements. Submit Title V Annual Emissions Inventories and MSEIQs electronically on SLEIS.  Submit all construction permit applications; Title V operating permit applications & modifications; notifications of start of construction and start of operation electronically on Iowa EASYAir. EPCRA TRI: Begin collecting data for RY2024 for reporting over 100 pounds of 189 specific PFAS chemicals (there is no de minimis exemption). See attached link for additional information:  https://www.epa.gov/toxics-release-inventory-tri-program/basics-tri-reporting

Contact Us

Christian New, P.E.

(licensed in NE, IA, SD, and ND) Senior Environmental Engineer (531) 571 7105 Christian.New@terracon.com For more information, or to contact local Terracon professionals, please click here.

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South Dakota 2024 Environmental Compliance Calendar https://www.terracon.com/2023/12/27/south-dakota-2024-environmental-compliance-calendar/ Wed, 27 Dec 2023 17:35:58 +0000 https://www.terracon.com/?p=24675 Reporting Requirements(1) Click here to download the PDF Synthetic Minor Emitter (Annual Report) January 30 Title V Air Permit Semi-Annual Monitoring Report January 30 Biennial RCRA Hazardous Waste Reports (LQG) (even years) March 1 Title ...

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Reporting Requirements(1)

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Synthetic Minor Emitter (Annual Report) January 30
Title V Air Permit Semi-Annual Monitoring Report January 30
Biennial RCRA Hazardous Waste Reports (LQG) (even years) March 1
Title V Air Permit Annual Operational Report (Emissions) March 1
EPCRA – Tier II Reports (submit on E-Plan) March 1
Greenhouse Gas Reporting (submit with e-GGRT) March 31
Synthetic Minor Air Permit Report (quarterly, semi-annually, or annually, as specified in permit) 4/30, 7/30,10/30, 1/30
Title V Quarterly Report (as specified by permit) 4/30, 7/30,10/30, 1/30
EPCRA – TRI Form R/A (submit at cdx.epa.gov) July 1
NPDES Annual Fee Payment (Industrial NPDES Permits) July 31
Air Permit – Semi-Annual Monitoring Report (Title V) July 30
(1) Facility requirements should be verified to confirm due dates. Additional Environmental Requirements Stormwater: The South Dakota Department of Agriculture & Natural Resources (SDANR) Industrial Storm Water General Permit, effective 10/1/2012, has been administratively continued. Hazardous Waste: Small quantity generators (SQG) are required to notify the EPA of their hazardous waste activity every four years beginning September 1, 2021 electronic option. All SQGs must also document that they have informed their Local Emergency Planning Committee that LEPC of their SQG status. Wastewater (NPDES): Discharge reports are required to be submitted at regular intervals, per permit requirements. SPCC Plan: SPCC Plans must be updated every five years or whenever there is a change in oil storage or spill potential. Conduct and document routine inspections and annual training. EPCRA TRI: Begin collecting data for RY2024 for reporting over 100 pounds of 189 specific PFAS chemicals (there is no de minimis exemption). Additional information: See link for additional information:  https://www.epa.gov/toxics-release-inventory-tri-program/basics-tri-reporting

Contact Us

Christian New, P.E.

(Licensed in NE< IA, SD, and ND) Senior Environmental Engineer (531) 571 7105 Christian.New@terracon.com

For more information, or to contact local Terracon professionals, please click here.

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Nebraska 2024 Environmental Compliance Calendar https://www.terracon.com/2023/12/27/nebraska-2024-environmental-compliance-calendar/ Wed, 27 Dec 2023 17:30:54 +0000 https://www.terracon.com/?p=24673 Reporting Requirements(1) Click here to download the PDF  EPCRA – Tier II Reports March 1 Biennial Hazardous Waste Report (LQG, even years) March 1 Tittle V Air Permit – Certification of Compliance & Semi-Annual Deviation ...

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Reporting Requirements(1)

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EPCRA – Tier II Reports March 1
Biennial Hazardous Waste Report (LQG, even years) March 1
Tittle V Air Permit – Certification of Compliance & Semi-Annual Deviation Report March 31
Title V Air Permit – Semi-Annual Deviation Report March 31
Air Emissions Inventory Report(2) March 31
Greenhouse Gas Reporting (submit at cdx.epa.gov) March 31
EPCRA – TRI Form R/A (submit at cdx.epa.gov) July 1
Air Permit – Semi-Annual Deviation Report Sept. 30
(1) Facility requirements should be verified to confirm due dates and other requirements. (2) Nebraska: Submit electronically on SLEIS; Omaha: Submit manually as directed by the City of Omaha. Additional Environmental Requirements Industrial Stormwater: General Permit is effective 4/1/2022 and expires 11/30/2026. Maintain records of quarterly inspections, outfall monitoring, and annual inspections with your SWPPP. Certify Visual Assessments, Annual Inspections, and NDEE-requested information. If annual average benchmark results exceed benchmarks initiate and document AIM responses; continue monitoring. Hazardous Waste: Large Quantity Generators (LQGs) must submit a Biennial Hazardous Waste Report electronically using NDEE’s RCRAInfo Industry Application. Wastewater (NPDES/SDS): Submit discharge monitoring reports (DMRs) at regular intervals per permit requirements (electronically) at cdx.epa.gov. File your renewal application at least six months in advance of your permit expiring. SPCC Plan: Update SPCC Plans every five years or whenever there is a change in oil storage or spill potential. Conduct and document routine inspections and annual training. Air Permit Applications: Forms for the State of Nebraska (NDEE) are here: NDEE Air Construction Permit Forms and may be submitted electronically to the email indicated in Form 1.0, General Instructions; for Omaha, forms and instructions are here: Omaha Construction Permits.  Submit electronic documents to john.mayne@cityofomaha.org and mail signature pages. EPCRA TRI: Begin collecting data for RY2024 for reporting over 100 pounds of 189 specific PFAS chemicals (there is no de minimis exemption). Additional information: See link for additional information:  https://www.epa.gov/toxics-release-inventory-tri-program/basics-tri-reporting

Contact Us

Christian New, P.E.

(licensed in NE, IA, SD, and ND) Senior Environmental Engineer (531) 571 7105 Christian.New@terracon.com For more information, or to contact local Terracon professionals, please click here.

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Mike Covert promoted to executive vice president for services and quality https://www.terracon.com/2023/09/28/mike-covert-promoted-to-executive-vice-president-for-services-and-quality/ Thu, 28 Sep 2023 18:56:59 +0000 https://www.terracon.com/?p=24410 Fort Worth, Texas – Terracon, a leading national consulting engineering firm comprised of engineers, scientists, architects, facilities experts, and field professionals, announces a strategic organizational change to support client service, innovation, and project delivery as ...

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Fort Worth, Texas – Terracon, a leading national consulting engineering firm comprised of engineers, scientists, architects, facilities experts, and field professionals, announces a strategic organizational change to support client service, innovation, and project delivery as the company continues to grow. Mike Covert, P.G., has been promoted to executive vice president for services and quality. In this role, he is responsible for the continued growth and evolution of Terracon’s service lines, quality and project delivery, and sustainability. He previously served as senior vice president and national environmental service line director. Covert also served in other leadership roles since joining Terracon in 1998 as part of the acquisition of HBC Engineering. With more than 35 years of experience, Covert holds a master’s degree in environmental science from the University of Texas at Dallas and a bachelor’s degree in geology from Southern Methodist University. He also earned a master’s degree in business administration from Baker University. Covert has been a contributor to the American Society of Testing Materials (ASTM) E50 Committee and served as the chair of the Environmental Business Council for the Geoprofessional Business Association (GBA). He is based in Terracon’s Forth Worth office. Terracon is an employee-owned, multidiscipline consulting firm comprised of more than 6,000 curious minds focused on solving engineering and technical challenges from more than 175 locations nationwide. Explore with us by visiting terracon.com.

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