What does this rule mean for Pennsylvania small businesses?
If you are a Pennsylvania small business and use 1-BP as part of your operations, you will now need to take into account the use of 1-BP as a regulated Hazardous Air Pollutant (HAP).
In Pennsylvania, an air quality permit is required if the actual emissions of a single HAP is greater than 1.0 ton per year or if emissions from multiple HAPs are greater than 2.5 tons per year.
If you are an existing Pennsylvania small business that already uses 1-BP then you will now need to take into account the use of 1-BP in facility wide air quality permit limits, requirements, and reporting standards.
Are there any new special requirements that apply due to the 1-BP listing as a HAP?
Simply answered, no, there are no new requirements that will apply to a facility for simply using 1-BP in normal small business operations.
The more complex narrative is that the use of 1-BP may affect a facility's classification as an area source or air quality emissions into a major source, or Title V facility, due to the use of 1-BP and taking into account the facility's Potential To Emit (PTE). To help better explain this, EPA has put together a Question and Answers document on the Listing of 1-BP as a Clean Air Act Hazardous Air Pollutant.
Small Business Assistance with 1-BP
If any of this confuses you as a Pennsylvania small business owner or operator, EMAP's highly skilled team of environmental assistance providers is available to talk one-on-one. Simply call our toll-free environmental hotline at (877) ASK-EMAP or send us an email at questions@askemap.org.