cems equipment consulting Articles

  • Navigating NSPS subpart Db for boilers: a case study

    Over the past year, Trinity assisted a chemical company with the permitting and installation of a new 220 MMBtu/hr package boiler. The new natural gas-fired boiler replaces coal-fired units that were installed in the 1940s. Navigating through the numerous, and at times conflicting, regulatory requirements applicable to such a unit has been challenging. With careful planning and implementation, ...


    By Trinity Consultants

  • EPA mandatory reporting of GHGs rule

    Recent EPA Guidance EPA does not intend for the calibration requirements of 98.3(i) to apply to any units where the rule allows the use of “company records” to quantify fuel usage or other parameters; however, a facility’s GHG monitoring plan must include descriptions of the procedures and methods used for quality assurance, maintenance, repair of all flow meters ...


    By Trinity Consultants

  • Environics - Reducing calibration gas cost by up to 60%

    EPA's appendix 'M' 40 CFR 51 reduces calibration gas cost by 60%By: Terrence P. Dunn, President of EnvironicsOn May 30, 1995, the EPA published the final version of Method 205 for inclusion in Appendix M of 40 CFR Part 51 entitled, 'Verification of Gas Dilution Systems for Field Instrument Calibrations.' Continuous emissions monitoring systems (CEMS) require ...


    By Environics, Inc.

  • Facilitating compliance with consent decree requirements using an EMIS

    In late 2008, T3, a division of Trinity Consultants, developed an environmental management information system (EMIS) to manage “near real-time” emissions data at a petroleum refinery. The system is designed to support Consent Decree requirements for compliance demonstrations with air quality regulations at the facility. Functionality delivered includes advanced data gathering, ...


    By Trinity Consultants

  • Preparing for EPA’s mandatory reporting of greenhouse gases rule

    Recent action by the US EPA to finalize the Mandatory Reporting of Greenhouse Gases (GHG) Rule means that environmental managers must now seriously examine whether they are fully prepared to address the imminent requirements. This article provides some assistance by summarizing key points regarding the final versus proposed rule, providing clarification on key questions that have arisen since the ...


    By Trinity Consultants

  • Cementing the PC MACT

    On September 9, 2010, the U.S. EPA promulgated the final amendments to the National Emissions Standard for Hazardous Air Pollutants from Portland Cement Manufacturing Industry (40 CFR 63 Subpart LLL), also known as the PC MACT. EPA’s self-proclaimed “historic” rulemaking includes some important implications for cement manufacturers and other sources that may be subject to ...


    By Trinity Consultants

  • GHG Reporting Rule

    G 6.1 | Requirements and Developments in Environmental and Carbon Reporting and Disclosure John Fillo | Senior Engineer, Sentech, ...

  • EPA Proposed “Franken-MACT” for Utilities

    EPA published the highly anticipated proposed Maximum Available Control Technology (MACT) Standard for the utility sector (40 CFR 63 Subpart UUUUU). When considered together with the growing list of proposed and final rules impacting the utility sector (Transport Rule/Cross-State Rule, Coal Combustion Byproducts Rule, Cooling Water Intake Rule, Regional Haze Rule, revised National Ambient Air ...


    By Trinity Consultants

  • EPA finalizes boiler NESHAP

    EPA published the final National Emission Standards for Hazardous Air Pollutants (NESHAP) for industrial, commercial, and institutional boilers and process heaters at both major and area sources of hazardous air pollutants (HAP) emissions. EPA developed separate rules for units at major sources of HAP emissions (greater than 10 tons per year [tpy] of any single HAP and/or greater than 25 tpy of ...


    By Trinity Consultants

  • Proposed boiler MACT sets aggressive emission limits

    On June 4, 2010, U.S. EPA proposed National Emission Standards for Hazardous Air Pollutants (NESHAP) for industrial, commercial, and institutional boilers and process heaters at both major and area sources of hazardous air pollutants (HAP) emissions.  EPA proposed separate rules for units at major sources of HAP emissions (greater than 10 tons per year [tpy] of any single HAP and/or greater ...


    By Trinity Consultants

  • PC MACT proposal may signal widespread change

    On May 6, 2009, EPA proposed amendments to the National Emission Standards for Hazardous Air Pollutants from the Portland Cement Manufacturing Industry (PC MACT) in response to numerous petitions and court mandates. The proposed revisions present significant challenges to the portland cement industry by establishing a new lower maximum achievable control technology (MACT) floor that would require ...


    By Trinity Consultants

  • Return of the clean air interstate rule—The court does CAIR

    In summer 2008, the U.S. Court of Appeals for the D.C. Circuit issued a dramatic decision to vacate the Clean Air Interstate Rule (CAIR) in its entirety (North Carolina v. EPA, No. 05-1244, D.C. Cir., July 11, 2008). Following a petition for rehearing, it seems the previous vacatur was just a temporary detour, as the Court reinstated CAIR on December 22, 2008. The reinstatement appears to turn ...


    By Trinity Consultants

Need help finding the right suppliers? Try XPRT Sourcing. Let the XPRTs do the work for you