The Portland Cement Association (PCA) appreciates the opportunity to submit the following comments on the technical memorandum titled "Technology Review for the Portland Cement Production Source Category," which supports EPA's technology determination in the proposed rule, "National Emission Standards for Hazardous Air Pollutants From the Portland Cement Manufacturing Industry; Residual Risk and Technology Review," 82 Fed. Reg. 44,254 (Sept. 21, 2017).
National Emission Standards for Hazardous Air Pollutants for the Portland Cement Manufacturing Industry, Risk and Technology Review
Activity
Portland Cement Association filed 3 comments on this docket between Oct 26, 2017 and Dec 7, 2017. 0 other organizations filed here. The comment window closed 3158d ago.
What Portland Cement Association filed (3)
Filed on regulations.gov — full text not in the inline record.
Attached please find the comments of the Portland Cement Association.
Abstract
According to Clean Air Act Sections 112(f)(2) and 112(d)(6) respectfully, the EPA is required to perform an analysis 8 years after a rule has been promulgated, and if needed promulgate new standards to mediate any remaining residual risk to the public and provide an ample margin of safety, and also to perform a technology review every 8 years, taking into account developments in practices, processes, and control technologies for a given industry. This docket will contain rulemaking, supporting documents and comments for both of these actions.
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