Please see attached comments submitted by the Southern Environmental Law Center.
Gavin Power Station CCR Part A Site-Specific Alternative Deadline to Initiation of Closure
Activity
Southern Environmental Law Center (SELC) filed 1 comment on this docket between Apr 1, 2022 and Apr 1, 2022. 8 other organizations filed here. The comment window closed 1586d ago.
What Southern Environmental Law Center (SELC) filed (1)
Abstract
The CCR Part A Final Rule, published August 28, 2020, allowed facilities to demonstrate to EPA or a Participating State Director that, it was technically infeasible to cease receipt of waste and initiate closure by April 11, 2021. This facility submitted a demonstration that it was technically infeasible to complete measures necessary to provide alternative capacity on or off-site and requested an alternative cease receipt of waste deadline. This docket is for one of the facilities that applied for an alternative cease receipt of waste deadline at 40 CFR 257.103(f)(1).
View on regulations.gov →Co-filers (8)
See everyone who commented →- Southern Environmental Law Center (SELC)THIS ORG1 filing · confidence 97%
- AEP Generation Resources Inc.unverified attribution7 filings · confidence 70%
- American Public Power Associationtrade assoc.1 filing · confidence 97%
- American Public Power Association (APPA) and Large Public Power Counciltrade assoc.1 filing · confidence 85%
- Association of State and Territorial Solid Waste Management Officialstrade assoc.1 filing · confidence 85%
- East Orlando Coalition for a Clean Environmenttrade assoc.1 filing · confidence 85%
- Environmental Protection Network (EPN)trade assoc.1 filing · confidence 97%
- Luminant Generation Company LLCunverified attribution1 filing · confidence 70%
- National Mining Associationtrade assoc.1 filing · confidence 97%