TX and AL title V operating permit petition response
The Environmental Protection Agency (EPA) received a petition on February 24, 2021, from an environmental group regarding the title V permit for a plastics manufacturing complex in Texas. EPA responded to the petition on May 12, 2022. EPA denied Claim 1 of the petition but granted Claim 2.
In Claim 1, the petitioners stated that the permit was issued before satisfying all applicable public participation requirements related to public notice.
In Claim 2, the Petitioners state that the title V permit does not assure compliance because the permit does not sufficiently include relevant monitoring requirements. EPA granted this request for an objection. EPA found that the permit’s emission calculation methods are not clear and agreed with the Petitioners’ suggestion that the public needs a chance to review and comment on the emission calculation methodologies. Following this petition review, the Texas manufacturing complex must amend their permit and give the public the opportunity to review and comment on these permit changes.
Alabama permit
EPA also responded to another title V permit petition the month prior. EPA received this petition from an environmental group on April 2, 2021, regarding the title V permit for a chemical production plant in Alabama. Like the Texas petition, EPA granted in part and denied in part the petition requesting that the EPA Administrator object to the permit. In Claim 1, the Petitioner asserted that the production plant’s required statement of basis lacked five key elements. EPA denied elements 3 and 4, but granted their claims regarding elements 1, 2, and 5.
EPA granted objection that the company’s permit does not contain adequate monitoring, recordkeeping, and reporting to assure compliance with opacity limits, PM emission limits, and SO2 emission limits. EPA also granted objections that the company should not include a permit shield because proper rationale was not provided and that the facility did not address the Petitioner’s public comments regarding the lack of specificity for citations of authority in the title V permit. The Alabama chemical production plant must modify their title V permit and respond to significant comments.
Title V allows the public to petition the EPA Administrator to object to specific permits or operating permit program deficiencies when timely comment has been provided to the permitting authority during the public review period. Pursuant to the Clean Air Act (CAA), if EPA does not object to a proposed permit during its 45-day review period, any person may petition the Administrator within 60 days after the expiration of the 45-day review period to object. If EPA grants a petition and objects to the issuance of the permit, the permitting authority must fix issues with the permit.