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Document Actions
New Source Review
Up one level
November 19, 2021
Comments to EPA
Revised Draft Guidance for O3 and PM2.5 Permit Modeling
October 08, 2019
Comments to EPA
Proposed Rule on PSD and NNSR: Project Emissions Accounting
March 30, 2017
Comments to EPA
Draft Guidance on Modeled Emission Rates for Precursors in PSD Permitting
September 30, 2016
Comments to EPA
Draft Guidance on SILs for O3 and PM2.5 in PSD Permitting Program
October 27, 2015
Comments to EPA
Proposed Revision to Guideline on Air Quality Models (Appendix W)
May 30, 2013
Comments to EPA
Draft Guidance for PM2.5 Permit Modeling
May 09, 2012
State Voice Letter to EPA
Supporting NSPS GHG Standards for New Power Plants
December 01, 2010
Comments to EPA
PSD and Title V Permitting Guidance for GHGs
July 19, 2010
Report
Mercury Control Technologies & Measurements at U.S. Coal Power Plants
December 22, 2009
Comments to EPA
Proposed PSD and Title V GHG Tailoring Rule
March 23, 2009
Comments to EPA Region 9
IGCC in BACT Analysis Re: Desert Rock Energy Facility PSD Permit
December 13, 2007
Comments to EPA
Proposed Rule on PSD for PM2.5 – Increments, SILs and SMC
August 03, 2007
Comments to EPA
Proposed Rule on PSD NSR: Refinement of Increment Modeling Procedures
June 29, 2007
Oral Testimony to EPA
Proposed Rule on PSD and Nonattainment NSR: Emissions Increases for Electric Generating Units
June 20, 2007
Comments to EPA
Request for Extension of the Public Comment Period: NSR & Emission Increases for Electric Generating Units
May 07, 2007
Comments to EPA
Proposed Rule Regarding the "Reasonable Possibility" Recordkeeping and Reporting Standard of the 2002 New Source Review (NSR) Reform Rule
February 17, 2006
Comments to EPA
Proposed Prevention of Significant Deterioration, Nonattainment New Source Review and New Source Performance Standards: Emissions Test for Electric Generating Units
February 07, 2006
New Source Review Equivalency Demonstration Letters
October 18, 2005
Letter to EPA
Recommendations on NSR
June 01, 2004
Report
An Analysis of EPA's Changes to the Routine Maintenance, Repair, and Replacement Exclusion of the New Source Review Program
New Source Review
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