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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).
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
Senior Environmental Engineer
(216) 539-4213
scott.smith@terracon.com
More than 175 offices from coast to coast.