South Coast AQMD staff has scheduled a Working Group Meeting #4 for Proposed Amended Rules (PAR) 218 and 218.1 - Requirements for Continuous Emission Monitoring. This Working Group Meeting will summar....
South Coast AQMD staff has scheduled a Working Group Meeting #4 for Proposed Amended Rules (PAR) 218 and 218.1 - Requirements for Continuous Emission Monitoring. This Working Group Meeting will summarize the progress and focus on the discussion of several key topics.
The South Coast AQMD staff will be holding the 1st Working Group Meeting to discuss proposed amendments to Rule 1117 - Emissions of Oxides of Nitrogen from Glass Melting Furnaces.
Proposed Amended Rule 1110.2 - Emissions from Gaseous - and Liquid-Fueled Engines and Proposed Amended Rule 1100 - Implementation Schedule for NOx Facilities
Pursuant to directives listed in control measure CMB-05 of the 2016 Final Air Quality Management Plan and in California State Assembly Bill 617, RECLAIM facilities are now subject to an expedited implementation schedule to install additional Best Available Retrofit Control Technology (BARCT). As a result, the NOx RECLAIM program is transitioning to a command-and-control regulatory structure. The transition of facilities in RECLAIM to command-and-control is a complex process with a number of policy items and rule amendments that will be addressed through an ongoing rulemaking process. This page is designed to provide direct links to RECLAIM Transition-related material and serves as the central location for all information related to the transition. Updates for all rules associated with the transition, upcoming working group meetings, archived transition documents, and the latest RECLAIM transition announcements can be located by using the links below.
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