William R. Snodgrass Tennessee Tower
312 Rosa L. Parks Avenue, 2nd Floor
Nashville, TN 37243
1-800-734-3619 or email: firstname.lastname@example.org
Gas & RICE
The Environmental Protection Agency published new regulations on July 1, 2008, that impact plating and polishing facilities. The Federal National Emission Standards for Hazardous Air Pollutants: Area Source Standards for Plating and Polishing Operations 40 CFR 63 Subpart WWWWWW rule (6W) was issued to reduce vapors from facilities that contain cadmium, chromium, manganese, nickel, lead, and other harmful chemicals. It does NOT affect facilities that are subject to 40 CFR 63 Subpart N National Emission Standards for Chromium Emissions from Hard and Decorative Chromium Electroplating and Chromium Anodizing Tanks. By July 1, 2010, facilities affected by the rule are required to be in compliance with the rule.
The Notification of Compliance Status report is required to be submitted by July 1, 2010 for existing facilities (constructed on or before March 14, 2008) to both the EPA Region IV and the State of TN Division of Air Pollution Control. New affected sources (commenced construction/reconstruction after March 14, 2008) must comply with the rule, and submit both an Initial Notification and a Notification of Compliance Status upon startup. This report provides information on what processes are affected by the rule and what the facility is doing to meet the requirements of the rule. A sample Notification of Compliance Status report is available.
To further assist a facility in determining their compliance requirements, a Compliance Checklist has been developed as an aid.
If you own or operate an affected source, you must prepare an annual compliance certification report by January 31st of the year immediately following the year to be reported. For existing sources, the first year to be reported is 2010 and the annual compliance certification report needs to be prepared by January 31, 2011. These reports do not need to be submitted unless a deviation from the requirements of this rule has occurred during the reporting year, in which case, the annual compliance certification report must be submitted along with the deviation report on the January following the year in which there was a deviation. Though the report does not need to be submitted unless there is a deviation, they still have to be prepared and kept onsite in the event that an inspector requests the report. The 6W rule requires recordkeeping in order to support the statements made in the annual compliance certification report. An example of the records needed and an annual compliance certification report is available.
The regulations require affected sources to notify regulatory agencies that the rule applies to them. This notification requirement is referred to as an Initial Notification and must be submitted to the TN Division of Air Pollution Control by October 29, 2008. You must state that the Notification is submitted to meet the requirements of the Federal National Emission Standards for Hazardous Air Pollutants: Area Source Standards for Plating and Polishing Operations 40 CFR 63 Subpart WWWWWW §63.11509(b) and 40 CFR 63 Subpart A, §63.9(b). A sample initial notification is available.
Existing source initial notifications are due not later than October 29, 2008, or within 120 calendar days after your Plating and Polishing Facility becomes subject to the rule, whichever is later.
This notification must be submitted by the owner or operator of a plating and polishing facility that:
If your facility is:
Link to the complete rule for National Emission Standards for Hazardous Air Pollutants: Area Source Standards for Plating and Polishing Operations 40 CFR 63 Subpart WWWWWW