National Library of Energy BETA

Sample records for alternative compliance requirements

  1. Alternative Compliance

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    Alternate Watch Office Germantown Watch Office When activated at senior leadership direction, the Forrestal Watch Office functions are transferred to a relocated Watch Office. This alternate Watch Office replicates the 24/7/365 mission and communications links resident in the Forrestal Watch Office. Related Topics emergency operations watch office

    Compliance Individual Permit: Alternative Compliance When permittees believe they have installed measures to minimize pollutants but are unable to

  2. Alternative Compliance

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    Alternative Compliance Request for 19 Site Monitoring AreaSite Combinations Exceeding Target Action Levels for Gross-Alpha Radioactivity CDV-SMA-2 16-021(c) CDV-SMA-2.51 16-010(i) ...

  3. Alternative Compliance: Guidelines for Preparing and Submitting a Waiver Request Application and Other Documentation Requirements (Book)

    SciTech Connect (OSTI)

    Not Available

    2010-11-01

    This document is designed to assist covered fleets interested in taking advantage of more flexible compliance options and to facilitate the transition from Standard Compliance to Alternative Compliance. It is designed to help fleets better understand the Alternative Compliance option and successfully complete the waiver application process.

  4. Alternative Compliance: Guidelines for Preparing and Submitting a Waiver Request Application and Other Documentation Requirements (Brochure)

    SciTech Connect (OSTI)

    Not Available

    2014-06-01

    This document is designed to assist covered fleets interested in taking advantage of more flexible compliance options and to facilitate the transition from Standard Compliance to Alternative Compliance. It is designed to help fleets better understand the Alternative Compliance option and successfully complete the waiver application process.

  5. Alternative Compliance: Guidelines for Preparing and Submitting a Waiver Request Application and Other Documentation Requirements

    SciTech Connect (OSTI)

    Not Available

    2013-03-01

    This document is designed to assist covered fleets interested in taking advantage of more flexible compliance options and to facilitate the transition from Standard Compliance to Alternative Compliance. It is designed to help fleets better understand the Alternative Compliance option and successfully complete the waiver application process.

  6. Alternative Compliance: Guidelines for Preparing and Submitting a Waiver Request Application and Other Documentation Requirements (Book)

    SciTech Connect (OSTI)

    Sears, T.

    2014-01-01

    This document is designed to assist covered fleets interested in taking advantage of more flexible compliance options and to facilitate the transition from Standard Compliance to Alternative Compliance. It is designed to help fleets better understand the Alternative Compliance option and successfully complete the waiver application process.

  7. State and Alternative Fuel Provider Fleet Compliance Methods (Revised) (Brochure)

    SciTech Connect (OSTI)

    Not Available

    2014-03-01

    This fact sheet describes the difference between Standard and Alternative Compliance requirements for state and alternative fuel provider fleets covered by the Energy Policy Act.

  8. State and Alternative Fuel Provider Fleet Compliance Methods (Revised) (Brochure)

    SciTech Connect (OSTI)

    Not Available

    2009-12-01

    Fact sheet describes the difference between Standard and Alternative Compliance requirements for state and alternative fuel provider fleets covered under the Energy Policy Acts of 1992 and 2005.

  9. Standard Compliance: Guidelines to Help State and Alternative Fuel Provider Fleets Meet Their Energy Policy Act Requirements, 10 CFR Part 490 (Book)

    SciTech Connect (OSTI)

    Not Available

    2012-04-01

    This guidebook addresses the primary requirements of the Alternative Fuel Transportation Program to help state and alternative fuel provider fleets comply with the Energy Policy Act via the Standard Compliance option. It also addresses the topics that covered fleets ask about most frequently.

  10. Standard Compliance: Guidelines to Help State and Alternative Fuel Provider Fleets Meet Their Energy Policy Act Requirements, 10 CFR Part 490 (Book)

    SciTech Connect (OSTI)

    Not Available

    2014-03-01

    This guidebook addresses the primary requirements of the Alternative Fuel Transportation Program to help state and alternative fuel provider fleets comply with the Energy Policy Act via the Standard Compliance option. It also addresses the topics that covered fleets ask about most frequently.

  11. State and Alternative Fuel Provider Fleets Alternative Compliance; U.S. Department of Energy (DOE), Energy Efficiency & Renewable Energy (EERE)

    SciTech Connect (OSTI)

    2015-08-01

    The final rule of the Energy Policy Act of 2005 and its associated regulations enable covered state and alternative fuel provider fleets to obtain waivers from the alternative fuel vehicle (AFV)-acquisition requirements of Standard Compliance. Under Alternative Compliance, covered fleets instead meet a petroleum-use reduction requirement. This guidance document is designed to help fleets better understand the Alternative Compliance option and successfully complete the waiver application process.

  12. Alternative Compliance Program: 10 CFR Part 490 (Presentation)

    SciTech Connect (OSTI)

    Sears, T.

    2008-10-01

    Presentation explains the Alternative Compliance option under the U.S. Department of Energy's State and Alternative Fuel Provider program.

  13. Fleet Compliance Results for MY 2010/FY 2011, EPAct Alternative Fuel Transportation Program: State and Alternative Fuel Provider Fleet Compliance Annual Report (Brochure)

    SciTech Connect (OSTI)

    Not Available

    2012-03-01

    This annual report summarizes the compliance results of state and alternative fuel provider fleets covered by the Energy Policy Act of 1992 (EPAct) for model year 2010/fiscal year 2011. The U.S. Department of Energy (DOE) regulates covered state and alternative fuel provider (SFP) fleets under the Energy Policy Act of 1992 (EPAct), as amended. For model year (MY) 2010, the compliance rate for the 2911 covered SFP fleets was 100%. Fleets used either Standard Compliance or Alternative Compliance. The 279 fleets that used Standard Compliance exceeded their aggregate MY 2010 acquisition requirements by 61%. The 12 covered fleets that complied using Alternative Compliance exceeded their aggregate MY 2010 petroleum-use-reduction requirements by 89%. Overall, DOE saw modest decreases from MY 2009 in biodiesel fuel use credits earned and in the number of light-duty vehicles (LDVs) acquired. Compared to years before MY 2009, these rates were far lower. Because covered fleets acquired fewer new vehicles overall in MY 2010, the requirement for alternative fuel vehicles (AFVs), which is proportional to new acquisitions, also dropped.

  14. RADIOACTIVE MATERIAL PACKAGING TORQUE REQUIREMENTS COMPLIANCE

    SciTech Connect (OSTI)

    Watkins, R.; Leduc, D.

    2011-03-24

    Shipping containers used to transport radioactive material (RAM) in commerce employ a variety of closure mechanisms. Often, these closure mechanisms require a specific amount of torque be applied to a bolt, nut or other threaded fastener. It is important that the required preload is achieved so that the package testing and analysis is not invalidated for the purpose of protecting the public. Torque compliance is a means of ensuring closure preload, is a major factor in accomplishing the package functions of confinement/containment, sub-criticality, and shielding. This paper will address the importance of applying proper torque to package closures, discuss torque value nomenclature, and present one methodology to ensure torque compliance is achieved.

  15. Renewable Energy Requirements for Future Building Codes: Options for Compliance

    SciTech Connect (OSTI)

    Dillon, Heather E.; Antonopoulos, Chrissi A.; Solana, Amy E.; Russo, Bryan J.

    2011-09-30

    As the model energy codes are improved to reach efficiency levels 50 percent greater than current codes, use of on-site renewable energy generation is likely to become a code requirement. This requirement will be needed because traditional mechanisms for code improvement, including envelope, mechanical and lighting, have been pressed to the end of reasonable limits. Research has been conducted to determine the mechanism for implementing this requirement (Kaufman 2011). Kaufmann et al. determined that the most appropriate way to structure an on-site renewable requirement for commercial buildings is to define the requirement in terms of an installed power density per unit of roof area. This provides a mechanism that is suitable for the installation of photovoltaic (PV) systems on future buildings to offset electricity and reduce the total building energy load. Kaufmann et al. suggested that an appropriate maximum for the requirement in the commercial sector would be 4 W/ft{sup 2} of roof area or 0.5 W/ft{sup 2} of conditioned floor area. As with all code requirements, there must be an alternative compliance path for buildings that may not reasonably meet the renewables requirement. This might include conditions like shading (which makes rooftop PV arrays less effective), unusual architecture, undesirable roof pitch, unsuitable building orientation, or other issues. In the short term, alternative compliance paths including high performance mechanical equipment, dramatic envelope changes, or controls changes may be feasible. These options may be less expensive than many renewable systems, which will require careful balance of energy measures when setting the code requirement levels. As the stringency of the code continues to increase however, efficiency trade-offs will be maximized, requiring alternative compliance options to be focused solely on renewable electricity trade-offs or equivalent programs. One alternate compliance path includes purchase of Renewable Energy

  16. EPAct Alternative Fuel Transportation Program: State and Alternative Fuel Provider Fleet Compliance Annual Report (Brochure)

    SciTech Connect (OSTI)

    Not Available

    2010-06-01

    This annual report summarizes the compliance results of state and alternative fuel provider fleets covered by the Energy Policy Act of 1992 (EPAct) for model year 2008/fiscal year 2009.

  17. EPAct Alternative Fuel Transportation Program: State and Alternative Fuel Provider Fleet Compliance Annual Report; Fleet Compliance Results for MY 2013/FY 2014

    SciTech Connect (OSTI)

    2015-09-01

    Compliance rates for covered state government and alternative fuel provider fleets under the Alternative Fuel Transportation Program (pursuant to the Energy Policy Act or EPAct) are reported for MY 2013/FY 2014 in this publication.

  18. Compliance With Floodplain and Wetland Environmental Review Requirements

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    (10 CFR Parts 1021 and 1022) (DOE, 2003) | Department of Energy Compliance With Floodplain and Wetland Environmental Review Requirements (10 CFR Parts 1021 and 1022) (DOE, 2003) Compliance With Floodplain and Wetland Environmental Review Requirements (10 CFR Parts 1021 and 1022) (DOE, 2003) The Department of Energy (DOE) revised its floodplain and wetland environmental review requirements to add flexibility and remove unnecessary procedural burdens by simplifying DOE public notification

  19. EPAct Alternative Fuel Transportation Program: State and Alternative Fuel Provider Fleet Compliance Annual Report, Fleet Compliance Results for MY 2009/FY 2010 (Brochure)

    SciTech Connect (OSTI)

    Not Available

    2010-12-01

    This annual report summarizes the compliance results of state and alternative fuel provider fleets covered by the Energy Policy Act of 1992 (EPAct) for model year 2009/fiscal year 2010.

  20. Alternative compliance strategy for title 3 of the 1990 Clean Air Act amendments. Master`s thesis

    SciTech Connect (OSTI)

    Brothers, H.S.

    1995-11-01

    This dissertation presents the development of an alternate compliance strategy (ACS) incorporating pollution prevention and flexibility to replace traditional end-of-pipe control strategy. The ACS was based on the Hazardous Organic National Emission Standards for Hazardous Air Pollutants (HON) rule which is the first major Title 3 regulation promulgated under the 1990 Clean Air Act Amendments (CAAA). The ACS is defined by converting language in the HON rule into a performance based standard permitting regulated facilities to design compliance programs to meet the required hazardous air pollutant (HAP) emission reduction. Three evaluation methods are developed to compare the ACS to the compliance methods in the HON rule. The methods include a qualitative Evaluation Matrix, an economic analysis, and a Risk Reduction Measurement Model. An example facility was characterized using information from engineering references and a Dow Chemical ethylene oxide, ethylene glycol plant. The ACS and the reference control technology (RCT) compliance programs were applied to the example facility and the ACS reduced HAP emissions to a greater extent. The three evaluation methods were used to compare the compliance programs developed for the example facility and all three demonstrated the ACS to be a favorable compliance alternative. The ACS should be incorporated into the HON rule and other similar 1990 CAAA regulations as an alternative method of compliance. The ACS provides a major step in the progression of moving regulations from the traditional end-of-pipe treatment philosophy to pollution prevention performance based standards. (AN).

  1. Text-Alternative Version of TAP Webinar: Davis-Bacon Act Compliance |

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Department of Energy Text-Alternative Version of TAP Webinar: Davis-Bacon Act Compliance Text-Alternative Version of TAP Webinar: Davis-Bacon Act Compliance Deborah Lastowka: For joining us for today's TAP webinar. Today we will be hearing from Eva Auman with the Office of the Assistant General Counsel for Labor and Pension Law on the topic of Davis Bacon Act compliance. Eva will go through her entire presentation, but as she's speaking, if you have any questions, you should feel free to

  2. Administrative Order Requiring Compliance and Assessing Civil Penalty

    Broader source: Energy.gov [DOE]

    Administrative Compliance Order No. HWB-14-20 (CO) Pursuant to the New Mexico Hazardous Waste Act ("HWA"), NMSA 1978, Sections 74-4-1 to -14, the Hazardous Waste Bureau ("HWB") of the Environmental Health Division ("Division") of the New Mexico Environmental Department ("NMED") issues this Administrative Compliance Order ("Order") to the United States Department of Energy ("DOE"), and Los Alamos National Security, LLC ("LANS"; collectively, with DOE, the "Respondents"), requiring the Respondents to comply with the terms and conditions of this Order relating to the Los Alamos National Laboratory ("LANL" or "Facility"), and assessing a civil penalty for violations of the HWA, the Hazardous Waste Management Regulations, 20.4.1 NMAC ("HWMR"), and the Facility Permit, EPA I.D. NUMBER NM0890010515-TSDF (Permit").

  3. ENVIRONMENTAL ASSESSMENT FOR THE NPDES STORM WATER COMPLIANCE ALTERNATIVES AT THE SRS

    SciTech Connect (OSTI)

    Shedrow, C

    2006-11-01

    The U.S. Department of Energy (DOE) prepared this environmental assessment (EA) to evaluate the potential environmental impacts associated with proposed and alternative actions to achieve water quality permit compliance at 38 storm water outfalls located at the Savannah River Site (SRS) (Figure 1-1). Effluent monitoring data indicates that some of these outfalls may not presently comply with new National Pollutant Discharge Elimination System (NPDES) Storm Water General Permit effluent standards that became effective July 1, 2005 (SCR000000). The NPDES permit requires that best management practices (BMPs) be implemented and maintained, as necessary, to ensure that storm water discharges at SRS do not cause or contribute to the contravention of applicable state water quality standards (WQS).

  4. Biodiesel Drives Florida Power & Light's EPAct Alternative Compliance Strategy; EPAct Alternative Fuel Transportation Program: Success Story (Fact Sheet)

    SciTech Connect (OSTI)

    Not Available

    2010-05-01

    This success story highlights how Florida Power & Light Company has successfully complied with the Energy Policy Act of 1992 (EPAct) through Alternative Compliance using biodiesel technologies and how it has become a biofuel leader, reducing petroleum use and pollutant emissions throughout Florida.

  5. Alternative Fuels Data Center: State Requirements Boost the Transition to

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Alternative Fuel Vehicle Fleets State Requirements Boost the Transition to Alternative Fuel Vehicle Fleets to someone by E-mail Share Alternative Fuels Data Center: State Requirements Boost the Transition to Alternative Fuel Vehicle Fleets on Facebook Tweet about Alternative Fuels Data Center: State Requirements Boost the Transition to Alternative Fuel Vehicle Fleets on Twitter Bookmark Alternative Fuels Data Center: State Requirements Boost the Transition to Alternative Fuel Vehicle Fleets

  6. Alternative Fuels Data Center: Status Update: Requirements Have Not Changed

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    (June 2008) Requirements Have Not Changed (June 2008) to someone by E-mail Share Alternative Fuels Data Center: Status Update: Requirements Have Not Changed (June 2008) on Facebook Tweet about Alternative Fuels Data Center: Status Update: Requirements Have Not Changed (June 2008) on Twitter Bookmark Alternative Fuels Data Center: Status Update: Requirements Have Not Changed (June 2008) on Google Bookmark Alternative Fuels Data Center: Status Update: Requirements Have Not Changed (June 2008)

  7. Is predictive emission monitoring an acceptable low cost alternative to continuous emission monitoring for complying with enhanced monitoring requirements?

    SciTech Connect (OSTI)

    Jernigan, J.R.

    1995-12-01

    Title VII of the 1990 Clean Air Act Amendments (the {open_quotes}Act{close_quotes}) expanded and clarified the Environmental Protection Agency`s (EPA) enforcement capabilities under the Act. Section 702 of the 1990 Amendments clarified EPA`s ability to require sources to provide information. Additionally, Section 702(b) required EPA to promulgate rules on enhanced monitoring and compliance certifications by adding a new section 114(a)(3) of the Act which states in part: {open_quotes}The Administrator shall in the case of any person which is the owner or operator of a major stationary source, and any in the case of any other person, require enhanced monitoring and submission of compliance certifications. Compliance certifications shall include (A) identification of the applicable requirement that is the basis of the certification, (B) the method used for determining the compliance status of the source, (C) the compliance status, (D) whether compliance is continuous or intermittent, (E) such other facts as the Administrator may require...{close_quotes} The 1990 Amendments contained several other changes that either relate directly to section 114(a)(3) or provide additional indications of the intent behind the new section. First, section 504(b) of the Amendments permits the Administrator to promulgate appropriate tests methods and monitoring requirements for determining compliance. That section states that {open_quotes}continuous emissions monitoring need not be required if alternative methods are available that provide sufficiently reliable and timely information for determining compliance.{close_quotes} This paper will describe Predictive Emission Systems (PEMS) and how the applications of PEMS may be a low cost, accurate, and acceptable alternative to Continuous Emission Monitoring Systems (CEMS) for complying with Enhanced Monitoring requirements.

  8. Technical assessment of compliance with workplace air sampling requirements at WRAP

    SciTech Connect (OSTI)

    HACKWORTH, M.F.

    1999-06-02

    The purpose of this Technical Assessment is to satisfy HSRCM-1, ''Hanford Site Radiological Control Manual'' Article 551.4 for a documented study of facility Workplace Air Monitoring (WAM) programs. HSRCM-1 is the primary guidance for radiological control at Waste Management Federal Services of Hanford, Inc. (WMH). The HSRCM-1 complies with Title 10. Part 835 of the Code of Federal Regulations (10CFR835). This document provides an evaluation of the compliance of the Waste Receiving and Processing facility (WRAP) WAM program to the criteria standards, requirements, and documents compliance with the requirements where appropriate. Where necessary, it also indicates changes needed to bring specific locations into compliance.

  9. NO{sub x} reduction RACT compliance requires careful technology selection

    SciTech Connect (OSTI)

    Heckler, G.B.

    1996-05-01

    After the Clean Air Act Amendments passed in 1990, Title I (Attainment and Maintenance of Ambient Air Quality Standards) and Title IV (Acid Deposition Control) of the Act required power plants to submit and implement compliance plans for NO{sub x} and volatile organic compounds (VOC) emissions, among other pollutants. This legislation affected PECO Energy Co.`s Eddystone Generating Station, requiring the utility to comply with the Act under reasonably available control technology (RACT) rules established by the state of Pennsylvania. After carefully considering alternatives aligned with the RACT rules for Pennsylvania, PECO adopted a compliance strategy and submitted it to the Pennsylvania Department of Environmental Protection (PaDEP) for review and approval. Under the case-by-case RACT proposals, the proposed NO{sub x} reduction technology for Units 3 and 4 was to rehabilitate existing OFA ports which had been bricked over. Each of the four corners of these units was originally constructed with an OFA port located in the boiler side walls. Also under the case-by-case RACT proposals, the proposed NO{sub x} reduction technology for the A, B and C auxiliary boilers was to install low-NO{sub x} burners. Under presumptive RACT proposals, PECO proposed low-NO{sub x} burners with close-coupled OFA (CCOFA) and separated OFA (SOFA) as the proposed NO{sub x}-reduction technology for Units 1 and 2. For the combustion turbines PECO proposed to reduce NO{sub x} by limiting the annual capacity factor to 5 percent or less on a 12-month rolling basis. After considering technological and economic feasibility, the utility proposed no VOC reductions because none of the available VOC reduction technologies fell within RACT guidelines.

  10. FEDERAL FACILITY COMPLIANCE AGREEMENT (FFCA) STACK ISOLATION PROJECT FUNCTIONS & REQUIREMENTS

    SciTech Connect (OSTI)

    TRANBARGER, R.K.

    2003-12-16

    This document delineates the functions and requirements for the FFCA Stack Isolation Project for the 244-A, 244-BX, 244-5, and 244-TX DCRTs. The isolation of each ventilation system and stack includes the electrical, instrumentation, and mechanical isolation of the ventilation system and the installation of primary and annulus breather filters to provide passive ventilation to meet the FFCA requirements.

  11. Low Standby Power Product Purchasing Requirements and Compliance Resources

    Broader source: Energy.gov [DOE]

    Federal agencies are required to purchase energy-consuming products with a standby power level of 1 watt or less, when compliant models are available on the market. To assist federal buyers in complying with this low standby power product requirement, the Federal Energy Management Program (FEMP) has identified priority product categories, which include products that consume relatively large amounts of energy and are prevalent in the federal sector.

  12. Revenue-requirement approach to analysis of financing alternatives

    SciTech Connect (OSTI)

    Ewers, B.J.; Wheaton, K.E.

    1984-07-19

    The minimum revenue requirement discipline (MRRD) is accepted throughout the utility industry as a tool to be used for economic decisions and rate making. At least one utility company has also used MRRD in the analysis of financing alternatives. This article was written to show the versatility of the revenue requirement discipline. It demonstrates that this methodology is appropriate not only for evaluating traditional capital budgeting decisions, but also for identifying the most economic financing alternatives. 5 references, 4 figures, 4 tables.

  13. U.S. Department of Energy Fleet Alternative Fuel Vehicle Acquisition...

    Broader source: Energy.gov (indexed) [DOE]

    U.S. Department of Energy Fleet Alternative Fuel Vehicle Acquisition Report Compliance ... to require that agencies use alternative fuel in all dual-fueled alternative fueled ...

  14. Requirements and impacts of the Federal Facility Compliance Act on the Department of Energy

    SciTech Connect (OSTI)

    Chang, L.; Tripp, S.C.

    1993-03-01

    The Federal Facilities Compliance Act (FFCA, the Act) was signed into law on October 6, 1992, primarily as a means of waiving sovereign immunity for federal facilities with respect to requirements under the Resource Conservation and Recovery Act. DOE`s implementation of the FFCA will have significant effects on current and future DOE waste management operations. DOE will need to rethink its strategy in the area of future compliance agreements to ensure commitments and deliverables are made consistent throughout the different DOE facilities. Several types of agreements that address mixed waste land disposal restriction (LDR) compliance have already been signed by both DOE and the regulators. These agreements are in place at the Hanford Reservation, the Savannah River Site, the Oak Ridge Reservation (Oak Ridge National Laboratory, K-25, Y-12), and the Paducah Gaseous Diffusion Plant. The Rocky Flats Agreement is now being renegotiated. Los Alamos National Laboratory, Sandia/Albuquerque National Laboratory, Lawrence Livermore National Laboratory, and Idaho National Engineering Laboratory agreements are in progress. Major components of the FFCA include provisions on: sovereign immunity waiver; cost reimbursements; mixed waste requirements, including inventory reports on mixed waste and treatment capacity and technologies; and plans for the development of treatment capacities and technologies. Each of these components is discussed within this paper.

  15. Compliance with Section 15 12 Reporting Requirements of the American Recovery and Reinvestment Act of 2009 (ARRA)

    Broader source: Energy.gov [DOE]

    Compliance with the reporting requirements of Section 15 12 is a main focus of post-award activities for awards funded by ARRA. The Recovery Operations Group of the Office of Performance Analysis and Evaluation in the Office of the Chief Financial Officer has been tracking compliance with the reporting requirement for DOE. They developed the attached list of contractors and recipients that have failed to report. Most of those not reporting are recipients receiving money from the Office of Energy Efficiency and Renewable Energy. Contracting Officers are asked to review the attached list for Contractors/Recipients under their cognizance and to send a letter to the requesting their attention, explanation and compliance. Draft templates of letters for a single or double non-compliance are attached. As the next reporting period is from April 1 to April 10,2010, Contracting Officers are requested to send the letter before April 1.

  16. Alternative technologies to optical monitoring systems relating to regulatory compliance (Title V)

    SciTech Connect (OSTI)

    Craney, B.

    1995-12-31

    Due to the development of Title III and Title V of the Clean Air Act Amendments and public awareness of environmentally safe processes, particulate emissions monitoring has become a subject of great importance to the manufacturing sector. An increasing number of monitoring devices are available, and when used in the correct applications, can accurately monitor particulate emissions. This allows identification of a system problem before emissions can reach the stack and trigger non-compliance. This paper focuses on the most widely used technologies for continuous particulate monitoring, specifically the CPM product line, which has been developed to overcome common problems associated with emissions monitoring equipment. Technical data is presented in regard to the CPM operation as well as a case study of a CPM monitor in the asphalt industry.

  17. Compliance With Floodplain and Wetland Environmental Review Requirements (10 CFR Parts 1021 and 1022) - FR Notice, August 27, 2003

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    51429 Vol. 68, No. 166 Wednesday, August 27, 2003 DEPARTMENT OF ENERGY 10 CFR Parts 1021 and 1022 RIN 1901-AA94 Compliance With Floodplain and Wetland Environmental Review Requirements AGENCY: Department of Energy. ACTION: Final rule. SUMMARY: The Department of Energy (DOE) is revising its floodplain and wetland environmental review requirements to add flexibility and remove unnecessary procedural burdens by simplifying DOE public notification procedures for proposed floodplain and wetland

  18. High level waste storage tank farms/242-A evaporator standards/requirements identification document phase 1 assessment corrective actions/compliance schedule approval report

    SciTech Connect (OSTI)

    Biebesheimer, E.

    1996-09-30

    This document, the Standards/Requirements Identification Document (S/RID) Phase I Assessment Corrective Actions/Compliance Schedule Approval Report for the subject facility, contains the corrective actions required to bring the facility into compliance as a result of an Administrative Assessment to determine whether S/RID requirements are fully addressed by existing policies, plans or procedures. These actions are delineated in the Compliance Schedule Approvals which also contain; noncompliances, risks, compensatory measures, schedules for corrective actions, justifications for approval, and resource impacts.

  19. Compliance Order on Consent

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    Compliance Order on Consent Compliance Order on Consent The Compliance Order on Consent provides the requirements for environmental cleanup of hazardous constituents for LANL. Contact Environmental Communication & Public Involvement P.O. Box 1663 MS M996 Los Alamos, NM 87545 (505) 667-0216 Email What is the Compliance Order on Consent? The Compliance Order on Consent between the State of New Mexico Environment Department and the United States Department of Energy and Los Alamos National

  20. Compliance with the Clean Air Act Title VI Stratospheric Ozone Protection Program requirements at U.S. DOE Oak Ridge Reservation Facilities

    SciTech Connect (OSTI)

    Humphreys, M.P.; Atkins, E.M.

    1999-07-01

    The Title VI Stratospheric Ozone Protection Program of the Clean Air Act (CAA) requires promulgation of regulations to reduce and prevent damage to the earth's protective ozone layer. Regulations pursuant to Title VI of the CAA are promulgated in the Code of Federal Regulations (CFR) at Title 40 CFR, Part 822. The regulations include ambitious production phaseout schedules for ozone depleting substances (ODS) including chlorofluorocarbons (CFCs), hydrochlorofluorocarbons (HCFCs), halons, carbon tetrachloride, and methyl chloroform under 40 CFR 82, Subpart A. The regulations also include requirements for recycling and emissions reduction during the servicing of refrigeration equipment and technician certification requirements under Subpart F; provisions for servicing of motor vehicle air conditioners under Subpart B; a ban on nonessential products containing Class 1 ODS under Subpart C; restrictions on Federal procurement of ODS under Subpart D; labeling of products using ODS under Subpart E; and the Significant New Alternatives Policy Program under Subpart G. This paper will provide details of initiatives undertaken at US Department of Energy (DOE) Oak Ridge Reservation (ORR) Facilities for implementation of requirements under the Title VI Stratospheric Ozone Protection Program. The Stratospheric Ozone Protection Plans include internal DOE requirements for: (1) maintenance of ODS inventories; (2) ODS procurement practices; (3) servicing of refrigeration and air conditioning equipment; (4) required equipment modifications or replacement; (5) technician certification training; (6) labeling of products containing ODS; (7) substitution of chlorinated solvents; and (8) replacement of halon fire protection systems. The plans also require establishment of administrative control systems which assure that compliance is achieved and maintained as the regulations continue to develop and become effective.

  1. Air Combat Command deicing/anti-icing operation: Compliance evaluation and requirements

    SciTech Connect (OSTI)

    Fronapfel, P.J.

    1997-12-31

    This paper will present information on Air Combat Command`s (ACC) efforts in evaluating its deicing and anti-icing activities at all applicable ACC bases. This effort, led by Ecology and Environment (E and E), of Lancaster NY, will evaluate the operations, infrastructure, and management of deicing and anti-icing programs at ACC bases and will provide recommendations to each base for maintaining compliance with applicable regulations and minimizing the environmental impact of these operations. In addition to evaluating such operations at ACC bases, E and E, along with subcontractor Jacobs Engineering Group, Inc., will research activities around the nation and the world to assist in developing the best recommendations for each ACC base. Armstrong Laboratory`s Water Quality Branch of the Bioenvironmental Engineering Division (AL/OEBW) is responsible for technical and contractual oversight of this effort. A summary of information gathered to date will be presented in this paper. Although the disposal of deicing fluids has led a somewhat charmed life until recently, these activities are likely to receive increased regulatory scrutiny in the years to come. Air Combat Command has had more than one instance where NOVs or potential NOVs have arisen due to fish kills associated with deicing/anti-icing chemical laden runoff. In an effort to prevent future compliance problems and to foster proper stewardship of the environment, ACC has taken these proactive measures at its bases. ACC`s efforts will also be used at the Air Staff level to assist in making Air Force wide pollution prevention and best management practice (P2/BMP) recommendations.

  2. 2014-12-22 Issuance: Alternative Efficiency Determination Methods, Basic Model Definition, and Compliance for Commercial HVAC, Refrigeration, and Water Heating Equipment; Final Rule

    Broader source: Energy.gov [DOE]

    This document is a pre-publication Federal Register final rule regarding alternative efficiency determination methods, basic model definition, and compliance for commercial HVAC, refrigeration, and water heating equipment , as issued by the Deputy Assistant Secretary for Energy Efficiency on December 22, 2014. Though it is not intended or expected, should any discrepancy occur between the document posted here and the document published in the Federal Register, the Federal Register publication controls. This document is being made available through the Internet solely as a means to facilitate the public's access to this document.

  3. Approach to compliance with the NRC substantially complete containment requirement at the potential repository at Yucca Mountain

    SciTech Connect (OSTI)

    Stahl, D.; Nesbit, S.P.; Berkowitz, L.

    1995-12-01

    An approach to compliance with the U.S. Nuclear Regulatory Commission (NRC) substantially complete containment (SCC) requirement found in the Title 10 Part 60 of the Code of Federal Regulations (CFR) was developed by the Department of Energy (DOE). The approach is consistent with the regulation and is based on a new performance goal of a mean waste-package lifetime well in excess of 1,000 years. The NRC considers that achieving the DOE goal would be a reasonable implementation of the SCC requirement. The NRC has asked several additional questions. The DOE has responded to these questions and the DOE and the NRC are engaged in an ongoing dialog to resolve them.

  4. Continuous compliance demonstrations with parametric monitoring

    SciTech Connect (OSTI)

    Reynolds, W.E.; Hazel, K.R.

    1995-12-01

    Traditionally, the stationary source air compliance program has required facilities subject to air emissions standards to demonstrate their ability to comply with the emissions standards during an initial source performance tests. Demonstrating compliance at start-up, however, does not assure that a source will remain in compliance. To assure compliance after start-up, EPA`s responsibility to catch those in violation of standards. Under the 1990 Clean Air Act Amendments (CAAA 1990), Congress, shifted the burden of assuring compliance from the administrator to the owner or operator of the source. This shift will be implemented through the Enhanced Monitoring (EM) rule. Congress put specific language in the Act to allow flexibility for innovative alternatives to continuous emissions monitoring systems (CEMs). Section 504(b) states that {open_quotes}continuous emissions monitoring need not be required if alternative methods are available that provide sufficient reliable and timely information for determining compliance.{close_quotes} Section 114 (a)(3) permits the Administrator to accept as Enhanced Monitoring, records on control equipment parameters, production variables or other indirect data as an alternative to direct emission measurements. This alternative, Parametric Monitoring, is acceptable if the facility can demonstrate a correlation between the applicable emission standard and the parameters being monitored. Common approaches to the use of parametric monitoring are illustrated here through a brief overview of three enhanced monitoring protocols. The first example uses boiler output to predict quantitative nitrogen oxides (NO{sub x}) emission rates from a gas-fired electric utility boiler. The second example uses parametric data collected in the operation of a venturi scrubber to determine compliance or noncompliance with a particulate emissions limitation. The third example illustrates an alternative use of parametric data collected from a venturi scrubber.

  5. Operational Safety Requirements and Operating Specification Documentation compliance instrumentation matrices: 200 East Area Tank Farms

    SciTech Connect (OSTI)

    Story, D.R.

    1995-03-01

    This document contains information about matrices complied of instrumentation used to comply with the existing Operational Safety Requirements from Safety Analysis Reports and Operating, Specification Documentation requirements for 200 East Area Tank Farms. These matrices contain the primary instrumentation needed to comply with each OSR and/or OSD requirement as well as any backup instrumentation that may be used should the primary device be out of service. The referenced matrices are provided as attachments to this document.

  6. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Alternative Fuel and Plug-in Hybrid Electric Vehicle Retrofit Regulations Converting a vehicle to operate on an alternative fuel in lieu of the original gasoline or diesel fuel is prohibited unless the California Air Resources Board (ARB) has evaluated and certified the retrofit system. ARB will issue certification to the manufacturer of the system in the form of an Executive Order once the manufacturer demonstrates compliance with the emissions, warranty, and durability requirements. A

  7. Environmental Compliance Guide

    SciTech Connect (OSTI)

    1981-02-01

    Volume II supplements Vol. I in providing procedures, relative timing, and details to assist in achieving compliance with Federal environmental requirements. (PSB)

  8. A Preliminary Feasibility Assessment of the RESNET HERS Index as an Alternative Compliance Path for the IECC

    SciTech Connect (OSTI)

    Taylor, Zachary T.; Goel, Supriya

    2013-12-02

    This analysis provides a limited evaluation of the relationship between the Residential Energy Services Network (RESNET) Home Energy Rating System (HERS) Index and the simulation-based performance approach used in the 2012 International Energy Conservation Code (IECC). Not all differences between the approaches are analyzed here; only a few distinctions considered likely to result in quantifiable differences in the outcomes of the two approaches and for which available studies have not quantified those differences. This analysis establishes, for a single-family residence with gas heat and a crawlspace foundation, a set of climate-zone-specific, complying HERS Index values that could be used to inform the development of a HERS-based compliance path in the IECC.

  9. Environmental Cost Analysis System (ECAS) Status and Compliance Requirements for EM Consolidated Business Center Contracts - 13204

    SciTech Connect (OSTI)

    Sanford, P.C.; Moe, M.A.; Hombach, W.G.; Urdangaray, R.

    2013-07-01

    The Department of Energy (DOE) Office of Environmental Management (EM) has developed a web-accessible database to collect actual cost data from completed EM projects to support cost estimating and analysis. This Environmental Cost Analysis System (ECAS) database was initially deployed in early 2009 containing the cost and parametric data from 77 decommissioning, restoration, and waste management projects completed under the Rocky Flats Closure Project. In subsequent years we have added many more projects to ECAS and now have a total of 280 projects from 8 major DOE sites. This data is now accessible to DOE users through a web-based reporting tool that allows users to tailor report outputs to meet their specific needs. We are using it as a principal resource supporting the EM Consolidated Business Center (EMCBC) and the EM Applied Cost Engineering (ACE) team cost estimating and analysis efforts across the country. The database has received Government Accountability Office review as supporting its recommended improvements in DOE's cost estimating process, as well as review from the DOE Office of Acquisition and Project Management (APM). Moving forward, the EMCBC has developed a Special Contract Requirement clause or 'H-Clause' to be included in all current and future EMCBC procurements identifying the process that contractors will follow to provide DOE their historical project data in a format compatible with ECAS. Changes to DOE O 413.3B implementation are also in progress to capture historical costs as part of the Critical Decision project closeout process. (authors)

  10. Alternatives generation and analysis for the Phase I intermediate waste feed staging system design requirements

    SciTech Connect (OSTI)

    Claghorn, R.D., Fluor Daniel Hanford

    1997-02-06

    This alternatives generation and analysis (AGA) addresses the question: What is the design basis for the facilities required to stage low-level waste (LLW) feed to the Phase I private contractors? Alternative designs for the intermediate waste feed staging system were developed, analyzed, and compared. Based on these analyses, this document recommends installing mixer pumps in the central pump pit of double-shell tanks 241-AP-102 and 241-AP-104. Also recommended is installing decant/transfer pumps at these tanks. These recommendations have clear advantages in that they provide a low shedule impact/risk and the highest operability of all the alternatives investigated. This revision incorporates comments from the decision board.

  11. III. PROGRAM-SPECIFIC COMPLIANCE SUPPLEMENTS

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    III. PROGRAM-SPECIFIC COMPLIANCE SUPPLEMENTS For fiscal year 2010, no DOE programs have compliance requirements that are distinct from the general compliance requirements included in Part II of this guidance (General Compliance Supplement). Therefore, audits of recipients and subrecipients with fiscal years ending in 2010 should be conducted in accordance with the compliance requirements included in Part II of this guidance. For fiscal years subsequent to 2010, program-specific compliance

  12. The revenue requirement approach to analysis of alternative technologies in the electric utility industry

    SciTech Connect (OSTI)

    Lohrasbi, J. )

    1990-01-01

    The advancement of coal-based power generation technology is of primary interest to the U.S. Department of Energy (DOE). The interests are well-founded due to increasing costs for premium fuels and, more importantly, the establishment of energy independence to promote national security. One of DOE's current goals is to promote the development of coal-fired technology for the electric utility industry. This paper is concerned with the economic comparison of two alternative technologies: the coal gasification-combined cycle (GCC) and the coal-fired magnetohydrodynamic (MHD)-combined cycle. The revenue requirement analysis was used for the economic evaluation of engineering alternatives in the electric utility industry. The results were compared based on year-by-year revenue requirement analysis. A computer program was written in Fortran to perform the calculations.

  13. II. GENERAL COMPLIANCE SUPPLEMENT INTRODUCTION

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Rather than repeat these compliance requirements, audit objectives, and suggested audit procedures for each program, they are provided once in this part. For each program in this Compliance Supplement (this Supplement), the program-specific compliance guidance section (Part III of this guidance) contains additional information about the compliance requirements that arise from laws and regulations applicable to each program, including the requirements specific to each program that should be

  14. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Alternative Fuel Use Requirement All state agencies must, to the extent practicable, use 100% biofuels or electricity to operate all publicly owned vehicles. Agencies may substitute natural gas or propane for electricity or biofuel if the Washington State Department of Commerce (Department) determines that electricity and biofuel are not reasonably available. Practicability and measures of compliance are defined in rules adopted by the Washington State Department of Commerce. In addition,

  15. DOE standard compliance demonstration program: An office building example

    SciTech Connect (OSTI)

    Bailey, S.A.; Keller, J.M.; Wrench, L.E.; Williams, C.J.

    1993-06-01

    The US Department of Energy (DOE) issued interim new building energy standards (10 CFR 435 1989) to achieve maximum energy efficiency in the designs of new buildings. DOE then entered into a project to demonstrate and assess the impact of these standards on the design community. One area of focus was a test to see how a less conventional design-focused building would meet the standards` requirements -- DOE wanted to demonstrate that compliance with energy standards does not mean compromising the architectural intent of a building. This study, which was initiated at Pacific Northwest Laboratory (PNL), illustrated the process by which compliance with the standards can be proven for a highly {open_quotes}design-oriented{close_quotes} office building. The study also assessed the impact of the whole building simulation compliance alternatives on design. This report documents the compliance requirements, gives a description of the sample building chosen for the study, provides general guidance for the compliance process, documents the method of compliance that was undertaken for the sample building, presents the results of the study, and provides a recommendation on how the compliance requirements could be improved to reflect more realistic use types.

  16. Environmental Compliance

    Office of Energy Efficiency and Renewable Energy (EERE)

    Federal environmental laws apply to DOE Loans and Loan Guarantees. The Loan Programs Offices (LPOs) Environmental Compliance Division is responsible for overseeing LPOs compliance with...

  17. Environmental Compliance

    Broader source: Energy.gov [DOE]

    Federal environmental laws apply to DOE Loans and Loan Guarantees. The Loan Programs Office’s (LPO’s) Environmental Compliance Division is responsible for overseeing LPO’s compliance with...

  18. Assessment of capital requirements for alternative fuels infrastructure under the PNGV program

    SciTech Connect (OSTI)

    Stork, K.; Singh, M.; Wang, M.; Vyas, A.

    1998-12-31

    This paper presents an assessment of the capital requirements of using six different fuels in the vehicles with tripled fuel economy (3X vehicles) that the Partnership for a new Generation of Vehicles is currently investigating. The six fuels include two petroleum-based fuels (reformulated gasoline and low-sulfur diesel) and four alternative fuels (methanol, ethanol, dimethyl ether, and hydrogen). This study develops estimates of cumulative capital needs for establishing fuels production and distribution infrastructure to accommodate 3X vehicle fuel needs. Two levels of fuel volume-70,000 barrels per day and 1.6 million barrels per day-were established for meeting 3X-vehicle fuel demand. As expected, infrastructure capital needs for the high fuel demand level are much higher than for the low fuel demand level. Between fuel production infrastructure and distribution infrastructure, capital needs for the former far exceed those for the latter. Among the four alternative fuels, hydrogen bears the largest capital needs for production and distribution infrastructure.

  19. 324 Building Compliance Project: Selection and evaluation of alternatives for the removal of solid remote-handled mixed wastes from the 324 Building

    SciTech Connect (OSTI)

    Ross, W.A.; Bierschbach, M.C.; Dukelow, J.S. Jr.

    1995-06-01

    Six alternatives for the interim storage of remote-handled mixed wastes from the 324 Building on the Hanford Site have been identified and evaluated. The alternatives focus on the interim storage facility and include use of existing facilities in the 200 Area, the construction of new facilities, and the vitrification of the wastes within the 324 Building to remove the majority of the wastes from under RCRA regulations. The six alternatives are summarized in Table S.1, which identifies the primary facilities to be utilized, the anticipated schedule for removal of the wastes, the costs of the transfer from 324 Building to the interim storage facility (including any capital costs), and an initial risk comparison of the alternatives. A recently negotiated Tri-Party Agreement (TPA) change requires the last of the mixed wastes to be removed by May 1999. The ability to use an existing facility reduces the costs since it eliminates the need for new capital construction. The basic regulatory approvals for the storage of mixed wastes are in place for the PUREX facility, but the Form HI permit will need some minor modifications since the 324 Building wastes have some additional characteristic waste codes and the current permit limits storage of wastes to those from the facility itself. Regulatory reviews have indicated that it will be best to use the tunnels to store the wastes. The PUREX alternatives will only provide storage for about 65% of the wastes. This results from the current schedule of the B-Cell Clean Out Project, which projects that dispersible debris will continue to be collected in small quantities until the year 2000. The remaining fraction of the wastes will then be stored in another facility. Central Waste Complex (CWC) is currently proposed for that residual waste storage; however, other options may also be available.

  20. U.S. Department of Energy’s Request for Hearing and Answer to Administrative Order Requiring Compliance and Assessing a Civil Penalty

    Broader source: Energy.gov [DOE]

    The United States Department of Energy (DOE or Respondent) and Requests a Hearing and Answers the State of New Mexico Environment Department’s (NMED) Administrative Order Requiring Compliance and Assessing a Civil Penalty (CO), HWB-14-21, relating to the Waste Isolation Pilot Plant (WIPP or Facility), and assessing a civil penalty for violations of the New Mexico Hazardous Waste Act (HWA), NMSA 1978, the Hazardous Waste Management Regulations, 20.4.1 NMAC (HWMR), and the Facility Permit, EPA I.D. Number NM4890139088-TSDF (Permit).

  1. - Compliance Recertification Application 2014

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    Compliance Recertification Application 2004 (CRA-2004) Table of Contents ES: Executive Summary TOC: Table of Contents Chapter 1: Introduction Chapter 2: Site Characterization Chapter 3: Facility Description Chapter 4: Waste Description Chapter 5: Quality Assurance Chapter 6: Containment Requirements Chapter 7: Assurance Requirements Chapter 8: Individual And Groundwater Protection Requirements Chapter 9: Peer-2004 Review Acronyms: Acronyms and Abbreviations Glossary: Glossary of Terms Index:

  2. Environmental Compliance Guide

    SciTech Connect (OSTI)

    1981-02-01

    The Guide is intended to assist Department of Energy personnel by providing information on the NEPA process, the processes of other environmental statutes that bear on the NEPA process, the timing relationships between the NEPA process and these other processes, as well as timing relationships between the NEPA process and the development process for policies, programs, and projects. This information should be helpful not only in formulating environmental compliance plans but also in achieving compliance with NEPA and various other environmental statutes. The Guide is divided into three parts with related appendices: Part I provides guidance for developing environmental compliance plans for DOE actions; Part II is devoted to NEPA with detailed flowcharts depicting the compliance procedures required by CEQ regulations and Department of Energy NEPA Guidelines; and Part III contains a series of flowcharts for other Federal environmental requirements that may apply to DOE projects.

  3. 2014-09-18 Issuance: Energy Conservation Standard for Alternative Efficiency Determination Methods, Basic Model Definition, and Compliance for Commercial HVAC, Refrigeration, and Water Heating Equipment; Supplemental Notice of Proposed Rulemaking

    Office of Energy Efficiency and Renewable Energy (EERE)

    This document is a pre-publication Federal Register supplemental notice of proposed rulemaking regarding energy conservation standards for alternative efficiency determination methods, basic model definition, and compliance for commercial HVAC, Refrigeration, and Water Heating Equipment, as issued by the Deputy Assistant Secretary for Energy Efficiency on September 18, 2014. Though it is not intended or expected, should any discrepancy occur between the document posted here and the document published in the Federal Register, the Federal Register publication controls. This document is being made available through the Internet solely as a means to facilitate the public's access to this document.

  4. Prescriptive Path compliance form | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Prescriptive Path compliance form Prescriptive Path compliance form This Prescriptive Path compliance form shall be submitted to: doechallengehome@newportpartnersllc.com challenge_home_prescriptive_compliance_5-12.docx (20.98 KB) More Documents & Publications Version Tracking Document for DOE Challenge Homes, National Program Requirements (Rev. 03) DOE Zero Energy Ready Home National Program Requirements (Rev. 04) Washington DOE ZERH Program Requirements

  5. 2004 WIPP Compliance Recertification Application

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    2004 WIPP Compliance Recertification Application DOE/WIPP 04-3231 March 2004 Content of the CRA As required by Title 40 CFR, Parts 191 and 194, the 2004 Compliance Recertification Application addresses a wide range of topics. It incorporates portions of the first Compliance Certification Application (CCA) and provides updates in those areas where approved changes occurred. It also presents new data and associated analyses. In addition, the appliacation responds to specific requests from EPA for

  6. U.S. Department of Energy’s Request for Hearing and Answer to Administrative Order Requiring Compliance and Assessing Civil Penalty

    Broader source: Energy.gov [DOE]

    Respondent U.S. Department of Energy (DOE or Respondent) submits the following as its Answer to Compliance Order HWB-14-20.

  7. FEMO, A FLOW AND ENRICHMENT MONITOR FOR VERIFYING COMPLIANCE WITH INTERNATIONAL SAFEGUARDS REQUIREMENTS AT A GAS CENTRIFUGE ENRICHMENT FACILITY

    SciTech Connect (OSTI)

    Gunning, John E; Laughter, Mark D; March-Leuba, Jose A

    2008-01-01

    A number of countries have received construction licenses or are contemplating the construction of large-capacity gas centrifuge enrichment plants (GCEPs). The capability to independently verify nuclear material flows is a key component of international safeguards approaches, and the IAEA does not currently have an approved method to continuously monitor the mass flow of 235U in uranium hexafluoride (UF6) gas streams. Oak Ridge National Laboratory is investigating the development of a flow and enrichment monitor, or FEMO, based on an existing blend-down monitoring system (BDMS). The BDMS was designed to continuously monitor both 235U mass flow and enrichment of UF6 streams at the low pressures similar to those which exists at GCEPs. BDMSs have been installed at three sites-the first unit has operated successfully in an unattended environment for approximately 10 years. To be acceptable to GCEP operators, it is essential that the instrument be installed and maintained without interrupting operations. A means to continuously verify flow as is proposed by FEMO will likely be needed to monitor safeguards at large-capacity plants. This will enable the safeguards effectiveness that currently exists at smaller plants to be maintained at the larger facilities and also has the potential to reduce labor costs associated with inspections at current and future plants. This paper describes the FEMO design requirements, operating capabilities, and development work required before field demonstration.

  8. Environmental Compliance Issue Coordination

    Broader source: Directives, Delegations, and Requirements [Office of Management (MA)]

    1993-01-07

    To establish the Department of Energy (DOE) requirements for coordination of significant environmental compliance issues to ensure timely development and consistent application of Departmental environmental policy and guidance. Cancels DOE O 5400.2. Para. 5a(2) and 5a(7) canceled by DOE O 231.1.

  9. Compliance Certification Enforcement | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Compliance Certification Enforcement Compliance Certification Enforcement DOE enforces the energy and water conservation regulations established by the Office of Energy Efficiency and Renewable Energy, Appliance Standards Program to ensure that residential, commercial and industrial equipment deliver the energy and cost savings required by law. To ensure that all covered products comply with the energy and water conservation standards, the enforcement office reviews manufacturers' compliance

  10. Section 54: Scope of Compliance Assessments

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    Scope of Compliance Assessments (40 CFR § 194.54) United States Department of Energy Waste Isolation Pilot Plant Carlsbad Field Office Carlsbad, New Mexico Compliance Recertification Application 2014 Scope of Compliance Assessments (40 CFR § 194.54) Table of Contents 54.0 Scope of Compliance Assessments (40 CFR § 194.54) 54.1 Requirements 54.2 Background 54.3 1998 Certification Decision 54.4 Changes in the CRA-2004 54.5 EPA's Evaluation of Compliance for the 2004 Recertification 54.6 Changes

  11. ATVM ENVIRONMENTAL COMPLIANCE | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    ENVIRONMENTAL COMPLIANCE ATVM ENVIRONMENTAL COMPLIANCE ATVM ENVIRONMENTAL COMPLIANCE Various federal environmental laws apply to DOE loans and loan guarantees, including ATVM direct loans. These laws include: NATIONAL ENVIRONMENTAL POLICY ACT (NEPA) The National Environmental Policy Act (NEPA) requires DOE to consider the environmental effects of proposed actions to inform agency decision making. Analyses and documentation prepared to comply with NEPA may include a Categorical Exclusion,

  12. A practical exercise in assessing order compliance

    SciTech Connect (OSTI)

    Hallinan, E.J.

    1993-01-01

    Two orders impacting DOE nuclear safety analyses were issued in 1992: DOE 5480.22, Technical Safety Requirements,'' and DOE 5480.23, Nuclear Safety Analysis Reports.'' Both orders required submitting plans and schedules for compliance with the new requirements by 6 months from the issuance dates. These assessments resulted in a major effort by the Westinghouse Savannah River Co. (WSRC) for some 30 current and future safety analyses that span three Program Secretarial Offices. Further, the local field office expressed a vital interest in determining the shape of compliance for site nuclear operations. Thus, a team of about 20 people were involved in: Interpreting and obtaining concurrence with implementation issues; identifying applicable nuclear facilities; baselining the status of compliance with previous requirements; comparing new to previous requirements; scheduling future activities to achieve compliance with the new requirements; estimating baseline and additional costs; and obtaining management approvals.

  13. EPA Regulation Compliance | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    EPA Regulation Compliance EPA Regulation Compliance OE offers technical assistance on implementing the new and pending EPA air rules affecting the electric utility industry. Examples of typical assistance include technical information on cost and performance of the various power plant pollution retrofit control technologies; technical information on generation, demand-side or transmission alternatives for any replacement power needed for retiring generating units; and assistance to regulators

  14. Statutory Compliance

    Broader source: Energy.gov [DOE]

    The Title XVII and ATVM programs require that each recipient of a Department of Energy loan guarantee, loan or credit subsidy assistance provide with reasonable assurance that all laborers and...

  15. 4.5.2 Audit Requirements for For-Profit Organizations

    Broader source: Energy.gov (indexed) [DOE]

    compliance requirements separate from general compliance supplement. Part IV contains Matrix of DOE's major CFDA programs along with specifics on the type of compliance...

  16. Preliminary Comments on Compliance Plan and Request for Clarification or,

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    in the Alternative, Rehearing of the District of Columbia Public Service Commission | Department of Energy Comments on Compliance Plan and Request for Clarification or, in the Alternative, Rehearing of the District of Columbia Public Service Commission Preliminary Comments on Compliance Plan and Request for Clarification or, in the Alternative, Rehearing of the District of Columbia Public Service Commission Docket No. EO-05-01: Pursuant to Order No. 202-05-3, issued by the Department of

  17. Compliance | ARPA-E

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    Compliance View ARPA-E NEPA Compliance documents View the Whistleblower Protection and Nondisclosure Notice The U.S. Department of Energy is committed to making its electronic and ...

  18. Laboratory for Energy-Related Health Research Compliance Order...

    Office of Environmental Management (EM)

    Parties DOE; State of California Environmental Protection Agency (Department of Toxic Substances Control) Date 1061995 SCOPE * Require compliance by the DOE with a Site...

  19. Fleet Compliance Results for MY 2011/FY 2012 (Brochure)

    SciTech Connect (OSTI)

    Not Available

    2013-02-01

    This annual report summarizes the compliance results of state and alternative fuel provider fleets covered by the Energy Policy Act of 1992 (EPAct) for model year 2011/fiscal year 2012.

  20. Environmental Compliance Performance | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Compliance Environmental Compliance Performance Environmental Compliance Performance Most Office of Environmental Management (EM) cleanup is being performed under the ...

  1. Compliance Certification Application

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    Compliance & Risk Assessment Compliance & Risk Assessment PPPO scientists work to identify, analyze, and mitigate environmental hazards and risks to protect human health and safety and the environment. PPPO works proactively with state and federal regulatory agencies to ensure safe, effective, and compliant cleanup at the Sites. Regulatory Compliance Regulatory Agencies.png PPPO works with multiple regulatory agencies that promote safety and environmental quality regionally and

  2. Davis-Bacon Act Compliance Video

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Davis-Bacon Act Compliance Video

  3. Environmental compliance tracking for the oil and gas industry

    SciTech Connect (OSTI)

    Thompson, C.C.; Qasem, J.; Killian, T.L.

    1998-12-31

    To meet the demand to track regulatory compliance requirements for oil and gas facilities, C-K Associates, Inc. and Conoco Inc. Natural Gas and Gas Products Department developed a customized relational database. The Compliance Tracking System (CTS), a Microsoft Access database, is designed to insure compliance with all applicable federally-enforceable air quality standards. Currently, compliance is insured through work practices, operating procedures, maintenance, and testing; however, associated documentation may be less formalized, especially for work practice standards and unmanned operations. Title V Operating Permits required by the 1990 Clean Air Act Amendments created the specific need for documentation of such compliance. Title V programs require annual compliance certification and semi-annual reports of compliance monitoring with signature by a responsible official. The CTS compiles applicable standards as well as monitoring, recordkeeping, and reporting requirements. A responsible party (primary and secondary) for each compliance action is assigned. Multiple tickler functions within the system provide notice of upcoming or past-due compliance actions. Systems flexibility is demonstrated through various sort mechanisms. Compliance items can be managed and documented through work orders generated by the CTS. This paper will present how the CTS was developed as an environmental management system and populated for a natural gas plant operating under a Title V permit. The system was expanded to include water quality, waste, and emergency reporting requirements to become a multi-discipline environmental compliance tool for the facility. Regulatory requirements were re-formatted to action items pertinent to field operations. The compliance actions were assigned to fit within current procedures whenever possible. Examples are presented for each media with emphasis on federally-enforceable Title V requirements.

  4. Implementation of ASME Code, Section XI, Code Case N-770, on Alternative Examination Requirements for Class 1 Butt Welds Fabricated with Alloy 82/182

    SciTech Connect (OSTI)

    Sullivan, Edmund J.; Anderson, Michael T.

    2012-09-17

    In May 2010, the NRC issued a proposed notice of rulemaking that includes a provision to add a new section to its rules to require licensees to implement ASME Code Case N-770, Alternative Examination Requirements and Acceptance Standards for Class 1 PWR Piping and Vessel Nozzle Butt Welds Fabricated with UNS N06082 or UNS W86182 Weld Filler Material With or Without the Application of Listed Mitigation Activities, Section XI, Division 1, with 15 conditions. Code Case N-770 contains baseline and inservice inspection (ISI) requirements for unmitigated butt welds fabricated with Alloy 82/182 material and preservice and ISI requirements for mitigated butt welds. The NRC stated that application of ASME Code Case N-770 is necessary because the inspections currently required by the ASME Code, Section XI, were not written to address stress corrosion cracking Alloy 82/182 butt welds, and the safety consequences of inadequate inspections can be significant. The NRC expects to issue the final rule incorporating this code case into its regulations in the spring 2011 time frame. This paper discusses the new examination requirements, the conditions that NRC is imposing , and the major concerns with implementation of the new Code Case.

  5. NPT Compliance | National Nuclear Security Administration | (NNSA)

    National Nuclear Security Administration (NNSA)

    NPT Compliance Maintaining the safety, security and effectiveness of the nuclear deterrent without nuclear testing - especially at lower numbers - requires increased investments across the nuclear security enterprise. Maintaining the safety, security and effectiveness of the nuclear deterrent without nuclear testing - especially at lower numbers - requires increased investments across the nuclear security enterprise. Maintaining the safety, security and effectiveness of a smaller nuclear

  6. EISA 432 Compliance Tracking System Data Upload Templates | Department of

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Energy EISA 432 Compliance Tracking System Data Upload Templates EISA 432 Compliance Tracking System Data Upload Templates These generic Excel templates are available for federal contractors and service providers to provide federal clients with reports in the format agencies are required to use. Providing data in these templates will make it easy for agencies to upload your data into the EISA 432 Compliance Tracking System. Data may be batch imported by the federal agencies into the EISA 432

  7. Compliance Order, Los Alamos National Security, LLC - July 12, 2007 |

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Department of Energy Compliance Order, Los Alamos National Security, LLC - July 12, 2007 Compliance Order, Los Alamos National Security, LLC - July 12, 2007 July 12, 2007 Issued to Los Alamos National Security, LLC related to the Unauthorized Reproduction and Removal of Classified Matter from the Los Alamos National Laboratory On July 12, 2007, the Secretary of Energy issued a Compliance Order to Los Alamos National Security, LLC requiring the contractor to implement specific corrective

  8. Cross-State Renewable Portfolio Standard Compliance | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Cross-State Renewable Portfolio Standard Compliance Cross-State Renewable Portfolio Standard Compliance This analysis provides first-ever assessment of the extent to which renewable energy is crossing state borders to be used to meet renewable portfolio standard (RPS) requirements. Two primary methods for data collection are Renewable Energy Certificate (REC) tracking and power flow estimates. Data from regional REC tracking systems, state agencies, and utility compliance reports help understand

  9. EPAct Alternative Fuel Transportation Program (Brochure)

    SciTech Connect (OSTI)

    Not Available

    2014-06-01

    This annual report summarizes the compliance results of state and alternative fuel provider fleets covered by the Energy Policy Act of 1992 (EPAct) for model year 2012/fiscal year 2013.

  10. Hanford Site Comprehensive site Compliance Evaluation Report

    SciTech Connect (OSTI)

    Tollefson, K.S.

    1997-08-05

    This document is the second annual submittal by WHC, ICF/KH, PNL and BHI and contains the results of inspections of the stormwater outfalls listed in the Hanford Site Storm Water Pollution Prevention Plan (SWPPP) (WHC 1993a) as required by General Permit No. WA-R-00-000F (WA-R-00-A17F): This report also describes the methods used to conduct the Storm Water Comprehensive Site Compliance Evaluation, as required in Part IV, Section D, {ampersand} C of the General Permit, summarizes the results of the compliance evaluation, and documents significant leaks and spills.

  11. Environmental Compliance Assistance Tool

    Energy Science and Technology Software Center (OSTI)

    1999-04-16

    ENVIROCAT is a database/knowledge base software system designed to assist in environment, safety and health (ES&H) regulatory compliance assessments of manufacturing processes. Materials and processes are mapped to ES&H regulations. The regulations database identifies materials'' quantities and limits of compliance. Materials are identified per descriptive name or CAS number. ENVIROCAT has an interactive user/tool capability such that a question and answer session on materials and processes is custom tailored to a particular manufacturing site.

  12. Part IV, Matrix of Compliance Requirements

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Davis Bacon Act Eligibility Equipment and Real Property Management Matching, Level of Effort, Earmarking Period of Availability of Federal Funds Procurement/ Suspension/ Debarment Program Income Real Property Acquisition/ Relocation Reporting Subrecipient Monitoring NEPA National Historic Preservation Act Special Tests and Provisions 81.036 Inventions and Innovations Yes Yes Yes Yes Yes Yes Yes Yes Yes Yes Yes Yes Yes Yes 81.049 Office of Science Financial Assistance Program Yes Yes Yes Yes Yes

  13. Compliance Documents | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Compliance » Compliance Documents Compliance Documents This photo shows the Savannah River Site’s Heavy Water Components Test Reactor during decommissioning. This photo shows the Savannah River Site's Heavy Water Components Test Reactor during decommissioning. Compliance and other legal documents illustrate and help support the development of effective compliance approaches and strategies, and can assist in promoting greater cooperation, coordination, and consistency with other EM offices,

  14. Section 15: Content of Compliance Recertification Application(s)

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    Content of Compliance Recertification Application(s) (40 CFR § 194.15) United States Department of Energy Waste Isolation Pilot Plant Carlsbad Field Office Carlsbad, New Mexico Compliance Recertification Application 2014 Content of Compliance Recertification Application(s) (40 CFR § 194.15) Table of Contents 15.0 Content of Compliance Recertification Application(s) (40 CFR § 194.15) 15.1 Requirements 15.2 Background 15.3 1998 Certification Decision 15.4 Changes in the CRA-2004 15.5 EPA's

  15. Requirements Management Database

    Energy Science and Technology Software Center (OSTI)

    2009-08-13

    This application is a simplified and customized version of the RBA and CTS databases to capture federal, site, and facility requirements, link to actions that must be performed to maintain compliance with their contractual and other requirements.

  16. A NEPA compliance strategy plan for providing programmatic coverage to agency problems

    SciTech Connect (OSTI)

    Eccleston, C.H.

    1994-04-01

    The National Environmental Policy Act (NEPA) of 1969, requires that all federal actions be reviewed before making a final decision to pursue a proposed action or one of its reasonable alternatives. The NEPA process is expected to begin early in the planning process. This paper discusses an approach for providing efficient and comprehensive NEPA coverage to large-scale programs. Particular emphasis has been given to determining bottlenecks and developing workarounds to such problems. Specifically, the strategy is designed to meet four specific goals: (1) provide comprehensive coverage, (2) reduce compliance cost/time, (3) prevent project delays, and (4) reduce document obsolescence.

  17. Compliance data system user's guide. Technical report

    SciTech Connect (OSTI)

    Not Available

    1986-10-01

    Table of Contents: Major Enforcement Tasks met by CDS (Compliance Data System); Major EPA Guidance with Respect to CDS; Getting Started; System Overview; Data Entry Requirements; Data Entry Procedures; Data Submission Steps; Update Processing; Retrieval Processing; Retrieval Samples; Related Systems Issues; CDS Data Element Dictionary; and Contact List of CDS Users.

  18. TITLE XVII ENVIRONMENTAL COMPLIANCE | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    ENVIRONMENTAL COMPLIANCE TITLE XVII ENVIRONMENTAL COMPLIANCE TITLE XVII ENVIRONMENTAL COMPLIANCE Various federal environmental laws apply to DOE loans and loan guarantees, ...

  19. Solar Alternative Energy Credits

    Broader source: Energy.gov [DOE]

    Pennsylvania's Alternative Energy Portfolio Standard (AEPS), created by S.B. 1030 on November 30, 2004, requires each electric distribution company (EDC) and electric generation supplier (EGS) to...

  20. Alternative Fuels Data Center

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    Use Requirement West Virginia higher education governing boards must use alternative fuels to the maximum extent feasible. (Reference West Virginia Code 18B-5-9)...

  1. Canister storage building compliance assessment SNF project NRC equivalency criteria - HNF-SD-SNF-DB-003

    SciTech Connect (OSTI)

    BLACK, D.M.

    1999-08-11

    This document presents the Project's position on compliance with the SNF Project NRC Equivalency Criteria--HNF-SD-SNF-DE-003, Spent Nuclear Fuel Project Path Forward Additional NRC Requirements. No non-compliances are shown The compliance statements have been reviewed and approved by DOE. Open items are scheduled to be closed prior to project completion.

  2. Ecological Monitoring and Compliance Program 2010 Report

    SciTech Connect (OSTI)

    Hansen, D.J.; Anderson, D.C.; Hall, D.B.; Greger, P.D.; Ostler, W.K.

    2011-07-01

    The Ecological Monitoring and Compliance (EMAC) Program, funded through the U.S. Department of Energy, National Nuclear Security Administration Nevada Site Office (NNSA/NSO), monitors the ecosystem of the Nevada National Security Site (NNSS) and ensures compliance with laws and regulations pertaining to NNSS biota. This report summarizes the programs activities conducted by National Security Technologies, LLC (NSTec), during calendar year 2010. Program activities included (a) biological surveys at proposed construction sites, (b) desert tortoise compliance, (c) ecosystem monitoring, (d) sensitive plant species monitoring, (e) sensitive and protected/regulated animal monitoring, (f) habitat restoration monitoring, and (g) monitoring of the Nonproliferation Test and Evaluation Complex (NPTEC). During 2010, all applicable laws, regulations, and permit requirements were met, enabling EMAC to achieve its intended goals and objectives.

  3. Ecological Monitoring and Compliance Program 2013 Report

    SciTech Connect (OSTI)

    Hall, Derek B.; Anderson, David C.; Greger, Paul D.

    2014-06-05

    The Ecological Monitoring and Compliance Program (EMAC), funded through the U.S. Department of Energy, National Nuclear Security Administration Nevada Field Office (NNSA/NFO, formerly Nevada Site Office), monitors the ecosystem of the Nevada National Security Site (NNSS) and ensures compliance with laws and regulations pertaining to NNSS biota. This report summarizes the program’s activities conducted by National Security Technologies, LLC (NSTec), during calendar year 2013. Program activities included (a) biological surveys at proposed activity sites, (b) desert tortoise compliance, (c) ecosystem monitoring, (d) sensitive plant species monitoring, (e) sensitive and protected/regulated animal monitoring, and (f) habitat restoration monitoring. During 2013, all applicable laws, regulations, and permit requirements were met, enabling EMAC to achieve its intended goals and objectives.

  4. Ecological Monitoring and Compliance Program 2012 Report

    SciTech Connect (OSTI)

    Hall, Derek B.; Anderson, David C.; Greger, Paul D.; Ostler, W. Kent; Hansen, Dennis J.

    2013-07-03

    The Ecological Monitoring and Compliance Program (EMAC), funded through the U.S. Department of Energy, National Nuclear Security Administration Nevada Field Office (NNSA/NFO, formerly Nevada Site Office), monitors the ecosystem of the Nevada National Security Site (NNSS) and ensures compliance with laws and regulations pertaining to NNSS biota. This report summarizes the program’s activities conducted by National Security Technologies, LLC (NSTec), during calendar year 2012. Program activities included (a) biological surveys at proposed construction sites, (b) desert tortoise compliance, (c) ecosystem monitoring, (d) sensitive plant species monitoring, (e) sensitive and protected/regulated animal monitoring, (f) habitat restoration monitoring, and (g) monitoring of the Nonproliferation Test and Evaluation Complex (NPTEC). During 2012, all applicable laws, regulations, and permit requirements were met, enabling EMAC to achieve its intended goals and objectives.

  5. Ecological Monitoring and Compliance Program 2009 Report

    SciTech Connect (OSTI)

    Hansen, J. Dennis; Anderson, David C.; Hall, Derek B.; Greger, Paul D.; Ostler, W. Kent

    2010-07-13

    The Ecological Monitoring and Compliance Program (EMAC), funded through the U.S. Department of Energy, National Nuclear Security Administration Nevada Site Office, monitors the ecosystem of the Nevada Test Site and ensures compliance with laws and regulations pertaining to NTS biota. This report summarizes the program’s activities conducted by National Security Technologies, LLC, during calendar year 2009. Program activities included (a) biological surveys at proposed construction sites, (b) desert tortoise compliance, (c) ecosystem mapping and data management, (d) sensitive plant species monitoring, (e) sensitive and protected/regulated animal monitoring, (f) habitat monitoring, (g) habitat restoration monitoring, and (h) monitoring of the Nonproliferation Test and Evaluation Complex. During 2009, all applicable laws, regulations, and permit requirements were met, enabling EMAC to achieve its intended goals and objectives.

  6. Ecological Monitoring and Compliance Program 2011 Report

    SciTech Connect (OSTI)

    Hansen, D. J.; Anderson, D. C.; Hall, D. B.; Greger, P. D.; Ostler, W. K.

    2012-06-13

    The Ecological Monitoring and Compliance (EMAC) Program, funded through the U.S. Department of Energy, National Nuclear Security Administration Nevada Site Office, monitors the ecosystem of the Nevada National Security Site and ensures compliance with laws and regulations pertaining to NNSS biota. This report summarizes the program's activities conducted by National Security Technologies, LLC, during calendar year 2011. Program activities included (a) biological surveys at proposed construction sites, (b) desert tortoise compliance, (c) ecosystem monitoring, (d) sensitive plant species monitoring, (e) sensitive and protected/regulated animal monitoring, (f) habitat restoration monitoring, and (g) monitoring of the Nonproliferation Test and Evaluation Complex. During 2011, all applicable laws, regulations, and permit requirements were met, enabling EMAC to achieve its intended goals and objectives.

  7. Coach Compliance Form

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    Coach Compliance Form My team is participating in theNational Renewable Energy Laboratory's Lithium-Ion Battery Car Competition. I have reviewed the following documents with the participating students: o Safety Hazards of Batteries o Material Safety Data Sheet - Lithium Polymer Battery o Electric Battery Car Competition Rules ______________________________ ______________ Coach Signature Date Name of School: ____________________________________________ Name of Coach (Please Print):

  8. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Alternative Fuel Vehicle (AFV) Decal The state motor fuel tax does not apply to passenger vehicles, certain buses, or commercial vehicles that are powered by an alternative fuel, if they obtain an AFV decal. Owners or operators of such vehicles that also own or operate their own personal fueling stations are required to pay an annual alternative fuel decal fee, as listed below. Hybrid electric vehicles and motor vehicles licensed as historic vehicles are exempt from the alternative fuel decal

  9. Energy Code Compliance and Enforcement Best Practices

    Broader source: Energy.gov [DOE]

    This webinar covers how to access current practices, compliance best practices, and enforce best practices with energy code compliances.

  10. General Atomics Compliance Order, October 6, 1995 Summary

    Office of Environmental Management (EM)

    General Atomics Agreement Name General Atomics Compliance Order, October 6, 1995 HWCA 95/96-017 State California Agreement Type Compliance Agreement Legal Driver(s) FFCAct Scope Summary Address LDR requirements pertaining to storage and treatment of covered waste at General Atomics Parties DOE; State of California Environmental Protection Agency (Department of Toxic Substances Control) Date 10/6/1995 SCOPE * Address LDR requirements pertaining to storage and treatment of covered waste at General

  11. Lawrence Berkeley National Laboratory Compliance Order, October 6, 1995 Summary

    Office of Environmental Management (EM)

    Berkeley National Laboratory Agreement Name Lawrence Berkeley National Laboratory Compliance Order, October 6, 1995 HWCA # 95/96-016 State California Agreement Type Compliance Agreement Legal Driver(s) FFCAct Scope Summary Address LDR requirements pertaining to storage and treatment of covered waste at LBNL Parties DOE; State of California Environmental Protection Agency (Department of Toxic Substances Control) Date 10/6/1995 SCOPE * Address LDR requirements pertaining to storage and treatment

  12. Format and Content Guide for Title 40 CFR 191 and Title 40 CFR 268.6 Compliance Reports

    SciTech Connect (OSTI)

    Not Available

    1994-05-01

    This Format and Content Guide was followed in preparing the WIPP Compliance Status Report submitted in March 1994 and will be used for the compliance documents scheduled for submittal in the Spring of 1995. The Compliance Status Report was issued to stakeholders in March 1994 and describes the status of associated activities on compliance with the requirements in Title 40 CFR 268.6 and Title 40 CFR 191. The Compliance Status Report focuses on (1) the information required for a demonstration of compliance, (2) preliminary results, (3) the areas of the WIPP program that are either not currently mature enough, or do not provide adequate margin for a demonstration of compliance, and (4) the areas of the WIPP program that will be focused upon to provide the remaining necessary information for use in the 1995 compliance demonstration reports. The Compliance Status Report is not intended to constitute a statement of compliance or a demonstration of compliance. It is intended to report the status of progress made to date in project efforts to achieve the required level of data/information necessary for the required compliance demonstrations. Comments on the Compliance Status Report from stakeholders will likely result in a modified Format and Content Guide, as will the promulgation of the EPA`s Compliance Criteria for WIPP (40 CFR 194).

  13. - Compliance Recertification Application 2014

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    documents in pdf CRA-2014 Main | References | CFR Index | Search CRA-2014 | About CRA-2014 Table of Contents Executive Summary Structure of the CRA-2014 Section 8: Approval Process for Waste Shipment From Waste Generator Sites for Disposal at the WIPP Section 15: Content of Compliance Recertification Application(s) Section 21: Inspections Section 22: Quality Assurance Section 23: Models and Computer Codes Section 24: Waste Characterization Section 25: Future State Assumptions Section 26: Expert

  14. - Compliance Recertification Application 2014

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    About | PDF Documents CRA-2014 Table of Contents Executive Summary Structure of the CRA-2014 Section 8: Approval Process for Waste Shipment From Waste Generator Sites for Disposal at the WIPP Section 15: Content of Compliance Recertification Application(s) Section 21: Inspections Section 22: Quality Assurance Section 23: Models and Computer Codes Section 24: Waste Characterization Section 25: Future State Assumptions Section 26: Expert Judgment Section 27: Peer Review Section 31: Application of

  15. Selected Guidance & Requirements

    Broader source: Energy.gov [DOE]

    This page contains the most requested NEPA guidance and requirement documents and those most often recommended by the Office of NEPA Policy and Compliance. Documents are listed by agency, in...

  16. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Electric Vehicle Supply Equipment (EVSE) Requirements A multi-family residential dwelling or townhouse owner may install EVSE on or near a parking stall at the dwelling as long as the EVSE is in compliance with applicable rules and specifications, the EVSE is registered with the private entity within 30 days of installation, and the homeowner receives consent from the private entity if the EVSE is placed in a common area. Private entities may adopt rules that restrict the placement and use of

  17. Ecological Monitoring and Compliance Program 2007 Report

    SciTech Connect (OSTI)

    Hansen, Dennis; Anderson, David; Derek, Hall; Greger, Paul; Ostler, W. Kent

    2008-03-01

    In accordance with U.S. Department of Energy (DOE) Order 450.1, 'Environmental Protection Program', the Office of the Assistant Manager for Environmental Management of the DOE, National Nuclear Security Administration Nevada Site Office (NNSA/NSO) requires ecological monitoring and biological compliance support for activities and programs conducted at the Nevada Test Site (NTS). National Security Technologies, LLC (NSTec), Ecological Services has implemented the Ecological Monitoring and Compliance (EMAC) Program to provide this support. EMAC is designed to ensure compliance with applicable laws and regulations, delineate and define NTS ecosystems, and provide ecological information that can be used to predict and evaluate the potential impacts of proposed projects and programs on those ecosystems. This report summarizes the EMAC activities conducted by NSTec during calendar year 2007. Monitoring tasks during 2007 included eight program areas: (a) biological surveys, (b) desert tortoise compliance, (c) ecosystem mapping and data management, (d) sensitive plant monitoring, (e) sensitive and protected/regulated animal monitoring, (f) habitat monitoring, (g) habitat restoration monitoring, and (h) biological monitoring at the Nonproliferation Test and Evaluation Complex (NPTEC). The following sections of this report describe work performed under these eight areas.

  18. Waste Isolation Pilot Plant Biennial Environmental Compliance Report

    SciTech Connect (OSTI)

    Washington Regulatory and Environmental Services

    2004-10-25

    This Biennial Environmental Compliance Report (BECR) documents environmental regulatory compliance at the Waste Isolation Pilot Plant (WIPP), a facility designed and authorized for the safe disposal of transuranic (TRU) radioactive waste, for the reporting period of April 1, 2002, to March 31, 2004. As required by the WIPP Land Withdrawal Act (LWA) (Public Law [Pub. L.] 102-579, as amended by Pub. L. 104-201), the BECR documents U.S. Department of Energy (DOE) compliance with applicable environmental protection laws and regulations implemented by agencies of the federal government and the state of New Mexico.

  19. Compliance Evaluation | Department of Energy

    Office of Environmental Management (EM)

    Disposal Facility (SRR-CWDA-2009-00017, R0), hereafter referred to as the Saltstone PA, is acceptable. PDF icon Compliance Evaluation More Documents & Publications 2009...

  20. RMACS software requirements specification

    SciTech Connect (OSTI)

    Gneiting, B.C.

    1996-10-01

    This document defines the essential user (or functional) requirements of the Requirements Management and Assured Compliance System (RMACS), which is used by the Tank Waste Remediation System program (TWRS). RMACS provides a computer-based environment that TWRS management and systems engineers can use to identify, define, and document requirements. The intent of the system is to manage information supporting definition of the TWRS technical baseline using a structured systems engineering process. RMACS has the capability to effectively manage a complete set of complex requirements and relationships in a manner that satisfactorily assures compliance to the program requirements over the TWRS life-cycle.

  1. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Alternative Fuel Use and Fuel-Efficient Vehicle Requirements State-owned vehicle fleets must implement petroleum displacement plans to increase the use of alternative fuels and fuel-efficient vehicles. Reductions may be met by petroleum displaced through the use of biodiesel, ethanol, other alternative fuels, the use of hybrid electric vehicles, other fuel-efficient or low emission vehicles, or additional methods the North Carolina Division of Energy, Mineral and Land Resources approves.

  2. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Aftermarket Alternative Fuel Vehicle (AFV) Conversion Requirements Conventional original equipment manufacturer vehicles altered to operate on propane, natural gas, methane, ethanol, or electricity are classified as aftermarket AFV conversions. All vehicle conversions must meet current applicable U.S. Environmental Protection Agency or California Air Resources Board standards for aftermarket conversions. (Reference Pennsylvania Department of Environmental Protection Policy on Clean Alternative

  3. Environment and Compliance | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Environment and Compliance Environment and Compliance Environment and Compliance Offices of the Deputy General Counsel for Environment and Compliance Office of the Assistant General Counsel for Environment (GC-51) Office of the Assistant General Counsel for International and National Security Programs (GC-53) Office of NEPA Policy and Compliance (GC-54) Office of the Assistant General Counsel General Law (GC-56) Litigation, Regulation and Enforcement Environment and Compliance Environment

  4. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Federal Fleets Under the Energy Policy Act (EPAct) of 1992, 75% of new light-duty vehicles acquired by covered federal fleets must be alternative fuel vehicles (AFVs). As amended in January 2008, Section 301 of EPAct 1992 defines AFVs to include hybrid electric vehicles, fuel cell vehicles, and advanced lean burn vehicles. Fleets that use fuel blends containing at least 20% biodiesel (B20) may earn credits toward their annual requirements. Federal fleets are also required to use alternative

  5. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Alternative Fuel Labeling Requirements Alternative fuel dispensers must be labeled with information to help consumers make informed decisions about fueling a vehicle, including the name of the fuel and the minimum percentage of the main component of the fuel. Labels may also list the percentage of other fuel components. This requirement applies to, but is not limited to, the following fuel types: methanol, denatured ethanol, and/or other alcohols; mixtures containing 85% or more by volume of

  6. Environment and Compliance | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Environment and Compliance Environment and Compliance Cooling Tower Reflection | Credit: DOE Archives Cooling Tower Reflection | Credit: DOE Archives Offices of the Deputy General...

  7. ADA Requirements for Workplace Charging Installation | Department...

    Broader source: Energy.gov (indexed) [DOE]

    This Guidance provides best practices, special design guidelines and requirements for installing plug-in electric vehicle charging stations in compliance with ADA. When designing ...

  8. Oil Mist Compliance

    SciTech Connect (OSTI)

    Lazarus, Lloyd

    2009-02-02

    This report summarizes activities at the KCP related to evaluating and modifying machine tools in order to be in compliance with Section 23 of DOE 10 CFR 851, Worker Safety and Health Program. Section 851.23 (a) states that “Contractors must comply with the following safety and health standards that are applicable to the hazards in their covered workplace”, and subsection 9 contains the following applicable standard: “American Congress of Governmental Industrial Hygienists (ACGIH), ‘Threshold Limit Values for Chemical Substances and Physical Agents and Biological Exposure Indices,’ (2005) (incorporated by reference, see §851.27) when the ACGIH Threshold Limit Values are lower (more protective) than permissible exposure limits in 29 CFR 1910.” In the 2005 ACGIH – Threshold Limit Value book a Notice of Change was issued for exposure to mineral oil mist used in metalworking fluids (MWFs). The effects of planning for the new facility and which machine tools would be making the transition to the new facility affected which machine tools were modified.

  9. Evaluation on the Feasibility of Using Ultrasonic Testing of Reactor Pressure Vessel Welds for Assessing Flaw Density/Distribution per 10 CFR 50.61a, Alternate Fracture Toughness Requirements for Protection Against Pressurized Thermal Shock

    SciTech Connect (OSTI)

    Sullivan, Edmund J.; Anderson, Michael T.

    2014-06-10

    This technical letter report provides the status of an assessment undertaken by PNNL at the request of the NRC to verify the capability of periodic ASME-required volumetric examinations of reactor vessels to characterize the density and distribution of flaws of interest for applying §50.61a on a plant-by-plant basis. The PTS rule, described in the Code of Federal Regulations, Title 10, Section 50.61 (§50.61), "Fracture Toughness Requirements for Protection against Pressurized Thermal Shock Events," establishes screening criteria to ensure that the potential for a reactor vessel to fail due to a PTS event is deemed to be acceptably low. Recently, the NRC completed a research program that concluded that the risk of through-wall cracking due to a PTS event is much lower than previously estimated. The NRC subsequently developed and promulgated an alternate PTS rule, §50.61a, that can be implemented by PWR licensees. The §50.61a rule differs from §50.61 in that it requires licensees who choose to follow this alternate method to analyze the results from periodic volumetric examinations required by the ASME Code, Section XI, Rules for Inservice Inspection (ISI) of Nuclear Power Plants.

  10. An early warning system for environmental compliance

    SciTech Connect (OSTI)

    Quayle, T.A.

    1993-01-01

    This paper describes a process called an early warning system. This system is used for developing a method to monitor regulatory developments as they progress through the federal or state administrative process. The components of this early warning system, methods used to identify, analyze, communicate, and act on regulations, are addressed. The communication system includes a regulatory development tracking system and the methods used to relay information to applicable personnel. This paper also discusses the use of an environmental compliance manual and shows the relationship of the analysis of changing regulatory requirements to the revision process of the manual as well as methods of maintaining the manual as a ``living document``.

  11. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Alternative Fuel Feasibility Study Grants The Wyoming State Energy Office (SEO) offers grants of up to $5,000 to municipalities in the state to conduct feasibility studies related to acquiring alternative fuel vehicles or developing fueling infrastructure. Awardees must submit final feasibility studies to the SEO within 180 days of the grant execution date. Eligible applicants are required to provide at least a 10% cash match. Other terms and conditions may apply. Funding is not currently

  12. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Alternative Fuel Definition and Specifications Alternative fuels include biofuel, ethanol, methanol, hydrogen, coal-derived liquid fuels, electricity, natural gas, propane gas, or a synthetic transportation fuel. Biofuel is defined as a renewable, biodegradable, combustible liquid or gaseous fuel derived from biomass or other renewable resources that can be used as transportation fuel, combustion fuel, or refinery feedstock and that meets ASTM specifications and federal quality requirements for

  13. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Fleet Purchase and Pricing Agreement Requirements The Colorado state fleet and the Colorado Department of Transportation (CDOT) must purchase natural gas vehicles (NGVs) where natural gas fueling is available or planned, whenever possible. Where NGVs are not viable options, other alternative fuel vehicles (AFVs) such as plug-in electric, hybrid electric, and propane vehicles, must be considered. All new vehicles purchased must be either alternatively fueled or exceed federal Corporate Average

  14. DOE Steps Lead to Significant Increase in Compliance with Energy Efficiency

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Reporting Requirements | Department of Energy Steps Lead to Significant Increase in Compliance with Energy Efficiency Reporting Requirements DOE Steps Lead to Significant Increase in Compliance with Energy Efficiency Reporting Requirements January 12, 2010 - 12:00am Addthis WASHINGTON DC - The Department of Energy announced today that it has received certifications for over 600,000 residential appliances in 15 different product categories in response to the Department's enhanced energy

  15. Waste Isolation Pilot Plant Biennial Environmental Compliance Report

    SciTech Connect (OSTI)

    Westinghouse TRU Solutions

    2000-12-01

    This Biennial Environmental Compliance Report (BECR) documents environmental regulatory compliance at the Waste Isolation Pilot Plant (WIPP), a facility designed for the safe disposal of transuranic (TRU) radioactive waste, for the reporting period of April 1, 1998, to March 31, 2000. As required by the WIPP Land Withdrawal Act (LWA)(Public Law [Pub. L.] 102-579, and amended by Pub. L. 104-201), the BECR documents U.S. Department of Energy (DOE) Carlsbad Area Office's (hereinafter the ''CAO'') compliance with applicable environmental protection laws and regulations implemented by agencies of the federal government and the state of New Mexico. An issue was identified in the 1998 BECR relating to a potential cross-connection between the fire-water systems and the site domestic water system. While the CAO and its managing and operating contractor (hereinafter the ''MOC'') believe the site was always in compliance with cross-connection control requirements, hardware and procedural upgrades w ere implemented in March 1999 to strengthen its compliance posture. Further discussion of this issue is presented in section 30.2.2 herein. During this reporting period WIPP received two letters and a compliance order alleging violation of certain requirements outlined in section 9(a)(1) of the LWA. With the exception of one item, pending a final decision by the New Mexico Environment Department (NMED), all alleged violations have been resolved without the assessment of fines or penalties. Non-mixed TRU waste shipments began on March 26, 1999. Shipments continued through November 26, 1999, the effective date of the Waste Isolation Pilot Plant Hazardous Waste Facility Permit (NM4890139088-TSDF). No shipments regulated under the Hazardous Waste Facility Permit were received at WIPP during this BECR reporting period.

  16. Webinar: Residential Energy Code Compliance | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Webinar: Residential Energy Code Compliance Webinar: Residential Energy Code Compliance View the Code Compliance Funding Opportunity video or see the slides below. This webinar ...

  17. Ecological Monitoring and Compliance Program Fiscal Year 1998 Report

    SciTech Connect (OSTI)

    Bechtel Nevada Ecological Services

    1998-10-01

    The Ecological Monitoring and Compliance program, funded through the U. S. Department of Energy/Nevada Operations Office, monitors the ecosystem of the Nevada Test Site and ensures compliance with laws and regulations pertaining to NTS biota. This report summarizes the program's activities conducted by Bechtel Nevada during fiscal year 1998. Twenty-one sites for seven projects were surveyed for the presence of state or federally protected species. Three projects were in or near habitat of the threatened desert tortoise and required special clearance and transect surveys. All geospatial data collected were entered into Bechtel Nevada's Ecological Geographic Information system for use in ongoing ecosystem management of the NTS.

  18. Environmental surveillance and compliance at Los Alamos during 1996

    SciTech Connect (OSTI)

    1997-09-01

    This report presents environmental data that characterize environmental performance and addresses compliance with environmental standards and requirements at Los Alamos National Laboratory (LANL or the Laboratory) during 1996. The Laboratory routinely monitors for radiation and for radioactive nonradioactive materials at Laboratory sites as well as in the surrounding region. LANL uses the monitoring results to determine compliance with appropriate standards and to identify potentially undesirable trends. Data were collected in 1996 to assess external penetrating radiation; quantities of airborne emissions; and concentrations of chemicals and radionuclides in ambient air, surface waters and groundwaters, the municipal water supply, soils and sediments, and foodstuffs. Using comparisons with standards and regulations, this report concludes that environmental effects from Laboratory operations are small and do not pose a demonstrable threat to the public, Laboratory employees, or the environment. Laboratory operations were in compliance with all major environmental regulations.

  19. Building Code Compliance and Enforcement: The Experience of SanFrancisco's Residential Energy Conservation Ordinanace and California'sBuildign Standards for New Construction

    SciTech Connect (OSTI)

    Vine, E.

    1990-11-01

    As part of Lawrence Berkeley Laboratory's (LBL) technical assistance to the Sustainable City Project, compliance and enforcement activities related to local and state building codes for existing and new construction were evaluated in two case studies. The analysis of the City of San Francisco's Residential Energy Conservation Ordinance (RECO) showed that a limited, prescriptive energy conservation ordinance for existing residential construction can be enforced relatively easily with little administrative costs, and that compliance with such ordinances can be quite high. Compliance with the code was facilitated by extensive publicity, an informed public concerned with the cost of energy and knowledgeable about energy efficiency, the threat of punishment (Order of Abatement), the use of private inspectors, and training workshops for City and private inspectors. The analysis of California's Title 24 Standards for new residential and commercial construction showed that enforcement of this type of code for many climate zones is more complex and requires extensive administrative support for education and training of inspectors, architects, engineers, and builders. Under this code, prescriptive and performance approaches for compliance are permitted, resulting in the demand for alternative methods of enforcement: technical assistance, plan review, field inspection, and computer analysis. In contrast to existing construction, building design and new materials and construction practices are of critical importance in new construction, creating a need for extensive technical assistance and extensive interaction between enforcement personnel and the building community. Compliance problems associated with building design and installation did occur in both residential and nonresidential buildings. Because statewide codes are enforced by local officials, these problems may increase over time as energy standards change and become more complex and as other standards (eg, health and

  20. 300 area TEDF permit compliance monitoring plan

    SciTech Connect (OSTI)

    BERNESKI, L.D.

    1998-11-20

    This document presents the permit compliance monitoring plan for the 300 Area Treated Effluent Disposal Facility (TEDF). It addresses the compliance with the National Pollutant Discharge Elimination System (NPDES) permit and Department of Natural Resources Aquatic Lands Sewer Outfall Lease.

  1. DWPF waste form compliance plan (Draft Revision)

    SciTech Connect (OSTI)

    Plodinec, M.J.; Marra, S.L.

    1991-01-01

    The Department of Energy currently has over 100 million liters of high-level radioactive waste in storage at the Savannah River Site (SRS). In the late 1970's, the Department of Energy recognized that there were significant safety and cost advantages associated with immobilizing the high-level waste in a stable solid form. Several alternative waste forms were evaluated in terms of product quality and reliability of fabrication. This evaluation led to a decision to build the Defense Waste Processing Facility (DWPF) at SRS to convert the easily dispersed liquid waste to borosilicate glass. In accordance with the NEPA (National Environmental Policy Act) process, an Environmental Impact Statement was prepared for the facility, as well as an Environmental Assessment of the alternative waste forms, and issuance of a Record of Decision (in December, 1982) on the waste form. The Department of Energy, recognizing that start-up of the DWPF would considerably precede licensing of a repository, instituted a Waste Acceptance Process to ensure that these canistered waste forms would be acceptable for eventual disposal at a federal repository. This report is a revision of the DWPF compliance plan.

  2. DWPF waste form compliance plan (Draft Revision)

    SciTech Connect (OSTI)

    Plodinec, M.J.; Marra, S.L.

    1991-12-31

    The Department of Energy currently has over 100 million liters of high-level radioactive waste in storage at the Savannah River Site (SRS). In the late 1970`s, the Department of Energy recognized that there were significant safety and cost advantages associated with immobilizing the high-level waste in a stable solid form. Several alternative waste forms were evaluated in terms of product quality and reliability of fabrication. This evaluation led to a decision to build the Defense Waste Processing Facility (DWPF) at SRS to convert the easily dispersed liquid waste to borosilicate glass. In accordance with the NEPA (National Environmental Policy Act) process, an Environmental Impact Statement was prepared for the facility, as well as an Environmental Assessment of the alternative waste forms, and issuance of a Record of Decision (in December, 1982) on the waste form. The Department of Energy, recognizing that start-up of the DWPF would considerably precede licensing of a repository, instituted a Waste Acceptance Process to ensure that these canistered waste forms would be acceptable for eventual disposal at a federal repository. This report is a revision of the DWPF compliance plan.

  3. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Alternative Fuel Vehicle (AFV) Registration A fee of $75 is required for the registration of an AFV that operates on electricity, solar power, or any other source of energy not otherwise taxed under the state motor fuel tax laws. Compressed natural gas, liquefied natural gas, and liquefied petroleum gas (propane) are not subject to this requirement. (Reference Nebraska Revised Statutes 60-306 and 60-3,191

  4. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Fleet Emissions Reduction Requirements - South Coast The South Coast Air Quality Management District (SCAQMD) requires government fleets and private contractors under contract with public entities to purchase non-diesel lower emission and alternative fuel vehicles. The rule applies to transit bus, school bus, refuse hauler, and other vehicle fleets of at least 15 vehicles that operate in Los Angeles, San Bernardino, Riverside, and Orange counties. (Reference SCAQMD Rules 1186.1 and 1191-1196)

  5. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Fleet Vehicle Procurement Requirements When awarding a vehicle procurement contract, every city, county, and special district, including school and community college districts, may require that 75% of the passenger cars and/or light-duty trucks acquired be energy-efficient vehicles. By definition, this includes hybrid electric vehicles and alternative fuel vehicles that meet California's advanced technology partial zero emission vehicle (AT PZEV) standards. Vehicle procurement contract

  6. certification, compliance and enforcement regulations for Commercial...

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    PDF icon certification, compliance and enforcement regulations for Commercial Refrigeration Equipment (CRE) More Documents & Publications Regulatory Burden RFI Executive Order ...

  7. Cost Compliance Manager | Princeton Plasma Physics Lab

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    Cost Compliance Manager Department: Business Operations Supervisor(s): Kristen Fischer Staff: AM 6 Requisition Number: 1600452 The Cost Compliance Manager (CCM) is responsible for monitoring compliance with Laboratory policies primarily in support of procurement operations. The position will maintain analytical tools, procedures, and reports to drive compliance and best practices with Laboratory policies and applicable laws and regulations. The CCM will oversee staff responsible for analyzing

  8. Environmental Requirements Management

    SciTech Connect (OSTI)

    Cusack, Laura J.; Bramson, Jeffrey E.; Archuleta, Jose A.; Frey, Jeffrey A.

    2015-01-08

    CH2M HILL Plateau Remediation Company (CH2M HILL) is the U.S. Department of Energy (DOE) prime contractor responsible for the environmental cleanup of the Hanford Site Central Plateau. As part of this responsibility, the CH2M HILL is faced with the task of complying with thousands of environmental requirements which originate from over 200 federal, state, and local laws and regulations, DOE Orders, waste management and effluent discharge permits, Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA) response and Resource Conservation and Recovery Act (RCRA) corrective action documents, and official regulatory agency correspondence. The challenge is to manage this vast number of requirements to ensure they are appropriately and effectively integrated into CH2M HILL operations. Ensuring compliance with a large number of environmental requirements relies on an organization’s ability to identify, evaluate, communicate, and verify those requirements. To ensure that compliance is maintained, all changes need to be tracked. The CH2M HILL identified that the existing system used to manage environmental requirements was difficult to maintain and that improvements should be made to increase functionality. CH2M HILL established an environmental requirements management procedure and tools to assure that all environmental requirements are effectively and efficiently managed. Having a complete and accurate set of environmental requirements applicable to CH2M HILL operations will promote a more efficient approach to: • Communicating requirements • Planning work • Maintaining work controls • Maintaining compliance

  9. Environmental Compliance Performance | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Compliance » Environmental Compliance Performance Environmental Compliance Performance Most Office of Environmental Management (EM) cleanup is being performed under the Comprehensive Environmental Response, Compensation and Liability Act (CERCLA) through Federal Facility Agreements as well as under the Resource Conservation and Recovery Act (RCRA) through various consent orders, agreements, and decrees with states. These agreements and orders identify milestones associated with cleanup actions

  10. DOE NEPA Compliance Officers | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    NEPA Compliance Officers DOE NEPA Compliance Officers NEPA Compliance Officers are listed by program office. Field offices are listed under their primary program office. NCO_Directory_2016-07-29.pdf (94.63 KB) More Documents & Publications DOE Employee Concerns Program Contact List Privacy Act Officers Contact List Field Facilities Contacts for Printing and Mail

  11. COMPLIANCE STUDIES: WHAT ABOUT THE FISH?

    SciTech Connect (OSTI)

    Woodley, Christa M.; Fischer, Eric S.; Wagner, Katie A.; Weiland, Mark A.; Eppard, M. B.; Carlson, Thomas J.

    2013-08-21

    ABSTRACT It is understood that operational and structural conditions at hydroelectric facilities along with environmental conditions of the migration corridors affect the passage conditions for fish. Hydropower fish survival assessments at the individual- and population-level have progressed over the past decade with development of turbine simulation software and improvements in telemetry systems, in particular, micro-transmitters, cabled and autonomous receivers, and advanced statistical designs that provide precise estimates of passage routes and dam-passage survival. However, these approaches often ignore fish condition as a variable in passage and survival analyses. To account for fish condition effects on survival results, compliance statistical models often require increased numbers of tagged fish. For example, prior to and during migration, fish encounter numerous stressors (e.g., disease, predation, contact with structures, decompression events), all of which can cause physical and physiological stress, altering the probability of survival after passage through a dam or a series of dams. In addition, the effects of surgical transmitter implantation process or the transmitter itself may cause physiological stress, alter behavior, and/or decrease survival. Careful physiological evaluations can augment survival model assumptions, resultant data, and predictive scenarios. To exemplify this, surgeons concurrently noted fish condition and surgical implantation during a multi-dam compliance study in 2011. The analyses indicted that surgeon observations on fish condition and surgical outcomes were related to 24 h holding mortalities and fish that never detected after release. Short reach and long reach survival were related to surgical outcomes and fish condition, respectively.

  12. ALTERNATE CITY:

    Office of Legacy Management (LM)

    E;;;: 61c F &&I-&&- ALTERNATE --___-----~~~~~-----~~~~~~~--~~~~~~~--- CITY: w _______ STATE:-&- -------- - NAfiE: +~;--- c I 7-b-q Current: Owner contacted 0 yes m no; if yes, date contacted TYPE OF OPERATION ~~_-----~~~~----- q Research & Development cl Facility Type 0 Production sgale testing 0 Pilat Scale 0 Manufacturing 0 Bench Scale Process r~ University i Theoretical Studies 0 Research Organization 0 Government Sponsored Facility Sample & Analysis f$ Other -U-h-

  13. DOE Requires Manufacturer and Labeler to Cease Sale of Incandescent...

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    of Non-Compliance Determination to Westinghouse Lighting Corporation and Fuzhou Sunlight Lighting Electrical Appliance Company requiring that they halt the sale of 8 basic...

  14. Use of acceptable knowledge to demonstrate TRAMPAC compliance

    SciTech Connect (OSTI)

    Whitworth, J. (Julia); Becker, B. (Blair); Guerin, D. (David); Shokes, T. (Tamara)

    2004-01-01

    Recently, Los Alamos National Laboratory-Carlsbad Operations (LANL-CO) has supported the Central Characterization Project (CCP) managed by the U.S. Department of Energy (DOE) in the shipment of transuranic (TRU) waste from various small-quantity TRU waste generators to hub sites or other DOE sites in TRUPACT-II shipping containers. This support has involved using acceptable knowledge (AK) to demonstrate compliance with various requirements of Revision 19 of the TRUPACT-II Authorized Methods of Payload Compliance (TRAMPAC). LANL-CO has worked to facilitate TRUPACT-II shipments from the University of Missouri Research Reactor (MURR) and Lovelace Respiratory Research Institute (LRRI) to Argonne National Laboratory-East (ANL-E) and Los Alamos National Laboratory (LANL), respectively. The latter two sites have TRU waste certification programs approved to ship waste to the Waste Isolation Pilot Plant (WIPP) for disposal. In each case, AK was used to satisfy the necessary information to ship the waste to other DOE facilities. For the purposes of intersite shipment, AK provided data to WIPP Waste Information System (WWIS) transportation modules to ensure that required information was obtained prior to TRUPACT-II shipments. The WWIS modules were used for the intersite shipments, not to enter certification data into WWIS, but rather to take advantage of a validated system to ensure that the containers to be shipped were compliant with TRAMPAC requirements, particularly in the evaluation of quantitative criteria. LANL-CO also assisted with a TRAMPAC compliance demonstration for homogeneous waste containers shipped in TRUPACT-II containers from ANL-E to Idaho National Engineering and Environmental Laboratory (INEEL) for the purpose of core sampling. The basis for the TRAMPAC compliance determinations was AK regarding radiological composition, chemical composition, TRU waste container packaging, and absence of prohibited items. Also, even in the case where AK is not used to

  15. Transportation Infrastructure Requirement Resources | Department...

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Find infrastructure requirement resources below. DOE Resource Alternative Fuels Data Center: Natural Gas Fueling Infrastructure Development. Other Resource National Governors ...

  16. Appendix IGP: Individual and Groundwater Protection Requirements

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    IGP-2014 Individual and Groundwater Protection Requirements United States Department of Energy Waste Isolation Pilot Plant Carlsbad Field Office Carlsbad, New Mexico Compliance Recertification Application 2014 Appendix IGP-2014 Individual and Groundwater Protection Requirements Table of Contents IGP-1.0 Introduction IGP-2.0 Individual Protection Requirements IGP-2.1 Compliance Assessment of Undisturbed Performance IGP-2.2 Dose Calculation IGP-2.2.1 Transport Pathway IGP-2.2.2 Bounding Analysis

  17. DOE`s approach to groundwater compliance on the UMTRA project

    SciTech Connect (OSTI)

    Metzler, D.; Gibb, J.P.; Glover, W.A.

    1993-03-01

    Compliance with the mandate of the Uranium Mill Tailings Radiation Control Act (UMTRCA) at Uranium Mill Tailings Remedial Action (UMTRA) Project sites requires implementation of a groundwater remedial action plan that meets the requirements of Subpart B of the US Environmental Protection Agency`s proposed groundwater protection standards (40 CFR 192). The UMTRA Groundwater Project will ensure that unacceptable current risk or potential risk to the public health, safety and the environment resulting from the groundwater contamination attributable to the UMTRA sites, is mitigated in a timely and cost-efficient manner. For each UMTRA processing site and vicinity property where contamination exists, a groundwater remedial action plan must be developed that identifies hazardous constituents and establishes acceptable concentration limits for the hazardous constituents as either (a) alternate concentration limits (ACL), (b) maximum concentration limits (MCLs), (c) supplemental standards, or (d) background groundwater quality levels. Project optimization is a strategy that will aggressively work within the current regulatory framework using all available options to meet regulatory requirements. This strategy is outlined within.

  18. Environmental management compliance reengineering project, FY 1997 report

    SciTech Connect (OSTI)

    VanVliet, J.A.; Davis, J.N.

    1997-09-01

    Through an integrated reengineering effort, the Idaho National Engineering and Environmental Laboratory (INEEL) is successfully implementing process improvements that will permit safe and compliant operations to continue during the next 5 years, even though $80 million was removed from the Environmental Management (EM) program budget. A 2-year analysis, design, and implementation project will reengineer compliance-related activities and reduce operating costs by approximately $17 million per year from Fiscal Year (FY) 1998 through 2002, while continuing to meet the INEEL`s environment, safety, and health requirements and milestone commitments. Compliance reengineer`s focus is improving processes, not avoiding full compliance with environmental, safety, and health laws. In FY 1997, compliance reengineering used a three-phase approach to analyze, design, and implement the changes that would decrease operating costs. Implementation for seven specific improvement projects was completed in FY 1997, while five projects will complete implementation in FY 1998. During FY 1998, the three-phase process will be repeated to continue reengineering the INEEL.

  19. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    High Occupancy Vehicle (HOV) Lane Exemption States are allowed to exempt certified alternative fuel vehicles (AFVs) and plug-in electric vehicles (PEVs) from HOV lane requirements within the state. Eligible AFVs are defined as vehicles operating solely on methanol, denatured ethanol, or other alcohols; a mixture containing at least 85% methanol, denatured ethanol, or other alcohols; natural gas, propane, hydrogen, or coal derived liquid fuels; or fuels derived from biological materials. PEVs are

  20. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Aftermarket Alternative Fuel Vehicle (AFV) Conversions Conventional original equipment manufacturer vehicles altered to operate on propane, natural gas, methane gas, ethanol, or electricity are classified as aftermarket AFV conversions. All vehicle conversions, except those that are completed for a vehicle to run on electricity, must meet current applicable U.S. Environmental Protection Agency (EPA) standards. For more information about vehicle conversion certification requirements, see the

  1. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Independence and Security Act of 2007 Enacted December 19, 2007 The Energy Independence and Security Act (EISA) of 2007 (Public Law 110-140) aims to improve vehicle fuel economy and reduce U.S. dependence on petroleum. EISA includes provisions to increase the supply of renewable alternative fuel sources by setting a mandatory Renewable Fuel Standard, which requires transportation fuel sold in the United States to contain a minimum of 36 billion gallons of renewable fuels annually by 2022. In

  2. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Alternative Fuel Vehicle (AFV) Emissions Inspection Exemption Vehicles powered exclusively by electricity, propane, or natural gas are exempt from state motor vehicle emissions inspections after receiving a one-time verification inspection. Emissions testing is required in certain counties in the Cleveland and Akron area. For more information, see the Ohio Environmental Protection Agency's E-Check website. (Reference Ohio Administrative Code 3745.26

  3. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Alternative Fuel Vehicle (AFV) and Hybrid Electric Vehicle (HEV) Insurance Discount Farmers Insurance provides a discount of up to 10% on all major insurance coverage for HEV and AFV owners. To qualify, the automobile must be a dedicated AFV using ethanol, compressed natural gas, propane, or electricity, or be a HEV. A complete vehicle identification number is required to validate vehicle eligibility. For more information, see the Farmers California Insurance Discounts website.

  4. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Emissions Reductions Grants The Carl Moyer Memorial Air Quality Standards Attainment Program (Program) provides incentives to cover the incremental cost of purchasing engines and equipment that are cleaner than required by law. Eligible projects include heavy-duty fleet modernization, light-duty vehicle replacements and retrofits, idle reduction technology, off-road vehicle and equipment purchases, and alternative fuel and electric vehicle infrastructure projects. The Program provides funds for

  5. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Vehicle Acquisition and Petroleum Reduction Requirements The California Department of General Services (DGS) is responsible for maintaining specifications and standards for passenger cars and light-duty trucks that are purchased or leased for state office, agency, and department use. These specifications include minimum vehicle emissions standards and encourage the purchase or lease of fuel-efficient and alternative fuel vehicles (AFVs). On an annual basis, DGS must compile information

  6. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Alternative Fuel Use and Vehicle Acquisition Requirements State agency fleets with more than 15 vehicles, excluding emergency and law enforcement vehicles, may not purchase or lease a motor vehicle unless the vehicle uses compressed or liquefied natural gas, propane, ethanol or fuel blends of at least 85% ethanol (E85), methanol or fuel blends of at least 85% methanol (M85), biodiesel or fuel blends of at least 20% biodiesel (B20), or electricity (including plug-in hybrid electric vehicles).

  7. Low Standby Power Product Purchasing Requirements and Compliance...

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    include products that consume relatively large amounts of energy and are prevalent in the federal sector. ... Incorporate Federal Acquisition Regulation Language in Contracts These ...

  8. TYPES OF COMPLIANCE REQUIREMENTS: CFDA Number Program Title

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Number Program Title Activities Allowed or Unallowed Allowable Costs/Cost Principles Cash Management Davis Bacon Act Eligibility Equipment and Real Property Management Matching, Level of Effort, Earmarking Period of Availability of Federal Funds Procurement/ Suspension/ Debarment Program Income Real Property Acquisition/ Relocation Reporting Subrecipient Monitoring NEPA National Historic Preservation Act Special Tests and Provisions 81.036 Inventions and Innovations Yes Yes Yes Yes Yes Yes Yes

  9. Federal Facilities Compliance Act, Conceptual Site Treatment Plan. Part 1

    SciTech Connect (OSTI)

    1993-10-29

    This Conceptual Site Treatment Plan was prepared by Ames Laboratory to meet the requirements of the Federal Facilities Compliance Act. Topics discussed in this document include: general discussion of the plan, including the purpose and scope; technical aspects of preparing plans, including the rationale behind the treatability groupings and a discussion of characterization issues; treatment technology needs and treatment options for specific waste streams; low-level mixed waste options; TRU waste options; and future waste generation from restoration activities.

  10. 300 Area TEDF NPDES Permit Compliance Monitoring Plan

    SciTech Connect (OSTI)

    Loll, C.M.

    1994-10-13

    This monitoring plan describes the activities and methods that will be employed at the 300 Area Treated Effluent Disposal Facility (TEDF) in order to ensure compliance with the National Discharge Elimination System (NPDES) permit. Included in this document are a brief description of the project, the specifics of the sampling effort, including the physical location and frequency of sampling, the support required for sampling, and the Quality Assurance (QA) protocols to be followed in the sampling procedures.

  11. certification, compliance and enforcement regulations for Commercial

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Refrigeration Equipment (CRE) | Department of Energy certification, compliance and enforcement regulations for Commercial Refrigeration Equipment (CRE) certification, compliance and enforcement regulations for Commercial Refrigeration Equipment (CRE) The current certification, compliance and enforcement regulations for Commercial Refrigeration Equipment (CRE) "simply makes no sense". The regulations define the basic model as any product that has a different energy use or efficiency

  12. WICF Certification, Compliance and Enforcement webinar | Department...

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    14, 2011 2014-10-06 DOE Certification, Compliance, and Enforcement Overview for Refrigerators, Refrigerator-Freezers, Freezers, Dehumidifiers, Room Air Conditioners, Clothes ...

  13. DOE - NNSA/NFO -- Environmental Compliance

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    The compliance status of these drivers is summarized in Chapter 2 of the most recently published Nevada National Security Site Environmental Report. National Environmental Policy ...

  14. FERC Compliance Handbook | Open Energy Information

    Open Energy Info (EERE)

    search OpenEI Reference LibraryAdd to library PermittingRegulatory Guidance - GuideHandbook: FERC Compliance HandbookPermittingRegulatory GuidanceGuideHandbook...

  15. FAQS Reference Guide – Environmental Compliance

    Office of Energy Efficiency and Renewable Energy (EERE)

    This reference guide addresses the competency statements in the June 2011 edition of DOE-STD-1156-2011, Environmental Compliance Functional Area Qualification Standard.

  16. Point of Compliance | Department of Energy

    Office of Environmental Management (EM)

    Generic Technical Issue Discussion on Point of Compliance More Documents & Publications Long-Term Grout Performance Concentration Averaging Sensitivity and Uncertainty Analysis...

  17. Arelik A.?: Compliance Determination (2010-SE-0105)

    Broader source: Energy.gov [DOE]

    DOE issued a Notice of Compliance Determination after test results revealed that Arelik's Blomberg BRFB1450 refrigerator-freezer complies with the applicable energy conservation standards.

  18. Lawrence Livermore National Laboratory Federal Facility Compliance...

    Office of Environmental Management (EM)

    Federal Facility Compliance Act Order for Lawrence Livermore National Laboratory ... treatment of mixed waste at Lawrence Livermore National Laboratory Parties DOE; State ...

  19. Compliance with the Aerospace MACT Standard at Lockheed Martin

    SciTech Connect (OSTI)

    Kurucz, K.L.; Vicars, S.; Fetter, S.; Mueller, T.

    1997-12-31

    Actions taken and planned at four Lockheed Martin Corporation (LMC) facilities to comply with the Aerospace MACT Standard are reviewed. Many LMC sites have taken proactive steps to reduce emissions and implement low VOC coating technology. Significant administrative, facility, and material challenges remain to achieve compliance with the upcoming NESHAP and Control Technology Guideline (CTG) standards. The facilities discussed herein set up programs to develop and implement compliance strategies. These facilities manufacture military aircraft, missiles, satellites, rockets, and electronic guidance and communications systems. Some of the facilities are gearing up for new production lines subject to new source MACT standards. At this time the facilities are reviewing compliance status of all primers, topcoats, maskants and solvents subject to the standard. Facility personnel are searching for the most efficient methods of satisfying the recordkeeping, reporting and monitoring, sections of the standards while simultaneously preparing or reviewing their Title V permit applications. Facility decisions on paint booths are the next highest priority. Existing dry filter paint booths will be subject to the filtration standard for existing paint booths which requires the use of two-stage filters. Planned paint booths for the F-22 program, and other new booths must comply with the standard for new and rebuilt booths which requires three stage or HEPA filters. Facilities looking to replace existing water wash paint booths, and those required to retrofit the air handling equipment to accommodate the two-stage filters, are reviewing issues surrounding the rebuilt source definition.

  20. Emissions trading and compliance: Regulatory incentives and barriers

    SciTech Connect (OSTI)

    South, D.W.; Bailey, K.A. ); McDermott, K.A. . Center for Regulatory Studies)

    1992-01-01

    The Title IV of the Clean Air Act Amendments of 1990 (P.L. 101-549) authorizes the use of transferable emission allowances to achieve reductions in the power generating industry's SO{sub 2} emissions at a minimum possible cost. All electricity generators (greater than 25 MW) are required to hold emissions allowances equal to the amount (tons) of SO{sub 2} emitted during a given year, and meet NO{sub x} reduction levels indicated by the Revised New Source Performance Standards (NSPS). This paper will examine the multifaceted goals and problems of states and utilities relative to compliance with Title IV, and in particular as they pertain to the development and functioning of the allowance market together with utility pollution control and power generation technology choice. Section 2 presents possible utility compliance strategies along with possible barriers that utilities may confront regarding the development of a SO{sub 2} allowance market. Section 3 discusses current regulatory barriers and requirements being implemented by state public utility commissions, and Section 4 offers some policy recommendations to achieve the goals of Title IV. Finally, Section 5 presents a summary and conclusions; Appendix A provides programs/mandates developed to data by high sulfur coal states in response to Title IV compliance requirements.

  1. Emissions trading and compliance: Regulatory incentives and barriers

    SciTech Connect (OSTI)

    South, D.W.; Bailey, K.A.; McDermott, K.A.

    1992-04-01

    The Title IV of the Clean Air Act Amendments of 1990 (P.L. 101-549) authorizes the use of transferable emission allowances to achieve reductions in the power generating industry`s SO{sub 2} emissions at a minimum possible cost. All electricity generators (greater than 25 MW) are required to hold emissions allowances equal to the amount (tons) of SO{sub 2} emitted during a given year, and meet NO{sub x} reduction levels indicated by the Revised New Source Performance Standards (NSPS). This paper will examine the multifaceted goals and problems of states and utilities relative to compliance with Title IV, and in particular as they pertain to the development and functioning of the allowance market together with utility pollution control and power generation technology choice. Section 2 presents possible utility compliance strategies along with possible barriers that utilities may confront regarding the development of a SO{sub 2} allowance market. Section 3 discusses current regulatory barriers and requirements being implemented by state public utility commissions, and Section 4 offers some policy recommendations to achieve the goals of Title IV. Finally, Section 5 presents a summary and conclusions; Appendix A provides programs/mandates developed to data by high sulfur coal states in response to Title IV compliance requirements.

  2. Alternative transportation fuels

    SciTech Connect (OSTI)

    Askew, W.S.; McNamara, T.M.; Maxfield, D.P.

    1980-01-01

    The commercialization of alternative fuels is analyzed. Following a synopsis of US energy use, the concept of commercialization, the impacts of supply shortages and demand inelasticity upon commercialization, and the status of alternative fuels commercialization to date in the US are discussed. The US energy market is viewed as essentially numerous submarkets. The interrelationship among these submarkets precludes the need to commercialize for a specific fuel/use. However, the level of consumption, the projected growth in demand, and the inordinate dependence upon foreign fuels dictate that additional fuel supplies in general be brought to the US energy marketplace. Commercialization efforts encompass a range of measures designed to accelerate the arrival of technologies or products in the marketplace. As discussed in this paper, such a union of willing buyers and willing sellers requires that three general conditions be met: product quality comparable to existing products; price competitiveness; and adequate availability of supply. Product comparability presently appears to be the least problematic of these three requirements. Ethanol/gasoline and methanol/gasoline blends, for example, demonstrate the fact that alternative fuel technologies exist. Yet price and availability (i.e., production capacity) remain major obstacles. Given inelasticity (with respect to price) in the US and abroad, supply shortages - actual or contrived - generate upward price pressure and should make once-unattractive alternative fuels more price competitive. It is noted, however, that actual price competitiveness has been slow to occur and that even with price competitiveness, the lengthy time frame needed to achieve significant production capacity limits the near-term impact of alternative fuels.

  3. In-service Inspection Ultrasonic Testing of Reactor Pressure Vessel Welds for Assessing Flaw Density and Size Distribution per 10 CFR 50.61a, Alternate Fracture Toughness Requirements

    SciTech Connect (OSTI)

    Sullivan, Edmund J.; Anderson, Michael T.; Norris, Wallace

    2012-09-17

    Pressurized thermal shock (PTS) events are system transients in a pressurized water reactor (PWR) in which there is a rapid operating temperature cool-down that results in cold vessel temperatures with or without repressurization of the vessel. The rapid cooling of the inside surface of the reactor pressure vessel (RPV) causes thermal stresses that can combine with stresses caused by high pressure. The aggregate effect of these stresses is an increase in the potential for fracture if a pre-existing flaw is present in a material susceptible to brittle failure. The ferritic, low alloy steel of the reactor vessel beltline adjacent to the core, where neutron radiation gradually embrittles the material over the lifetime of the plant, can be susceptible to brittle fracture. The PTS rule, described in the Code of Federal Regulations, Title 10, Section 50.61 (§50.61), “Fracture Toughness Requirements for Protection against Pressurized Thermal Shock Events,” adopted on July 23, 1985, establishes screening criteria to ensure that the potential for a reactor vessel to fail due to a PTS event is deemed to be acceptably low. The U.S. Nuclear Regulatory Commission (NRC) completed a research program that concluded that the risk of through-wall cracking due to a PTS event is much lower than previously estimated. The NRC subsequently developed a rule, §50.61a, published on January 4, 2010, entitled “Alternate Fracture Toughness Requirements for Protection Against Pressurized Thermal Shock Events” (75 FR 13). Use of the new rule by licensees is optional. The §50.61a rule differs from §50.61 in that it requires licensees who choose to follow this alternate method to analyze the results from periodic volumetric examinations required by the ASME Code, Section XI, Rules for Inservice Inspection (ISI) of Nuclear Power Plants. These analyses are intended to determine if the actual flaw density and size distribution in the licensee’s reactor vessel beltline welds are bounded

  4. Waste Isolation Pilot Plant Biennial Environmental Compliance Report

    SciTech Connect (OSTI)

    Washinton TRU Solutions LLC

    2002-09-30

    This Biennial Environmental Compliance Report (BECR) documents environmental regulatory compliance at the Waste Isolation Pilot Plant (WIPP), a facility designed for the safe disposal of transuranic (TRU) radioactive waste, for the reporting period of April 1, 2000, to March 31, 2002. As required by the WIPP Land Withdrawal Act (LWA)(Public Law [Pub. L.] 102-579, as amended by Pub. L. 104-201), the BECR documents U.S. Department of Energy (DOE) Carlsbad Field Office's (CBFO) compliance with applicable environmental protection laws and regulations implemented by agencies of the federal government and the state of New Mexico. In the prior BECR, the CBFO and the management and operating contractor (MOC)committed to discuss resolution of a Letter of Violation that had been issued by the New Mexico Environment Department (NMED) in August 1999, which was during the previous BECR reporting period. This Letter of Violation alleged noncompliance with hazardous waste aisle spacing, labeling, a nd tank requirements. At the time of publication of the prior BECR, resolution of the Letter of Violation was pending. On July 7, 2000, the NMED issued a letter noting that the aisle spacing and labeling concerns had been adequately addressed and that they were rescinding the violation alleging that the Exhaust Shaft Catch Basin failed to comply with the requirements for a hazardous waste tank. During the current reporting period, WIPP received a Notice of Violation and a compliance order alleging the violation of the New Mexico Hazardous Waste Regulations and the WIPP Hazardous Waste Facility Permit (HWFP).

  5. AT-400A compliance test report

    SciTech Connect (OSTI)

    Glass, R.E.

    1998-06-01

    In 1993 Sandia was directed to design containers for the long-term storage and transport of nuclear weapons origin fissile material. This program was undertaken at the direction of the US Department of Energy and in cooperation with Lawrence Livermore National Laboratory and Los Alamos National Laboratory. Lawrence Livermore National Laboratory and Los Alamos National Laboratory were tasked with developing the internal fixturing for the contents. The hardware is being supplied by AlliedSignal Federal Manufacturing and Technologies, and the packaging process has been developed at Mason and Hanger Corporation`s Pantex Plant. The unique challenge was to design a container that could be sealed with the fissile material contents; and, anytime during the next 50 years, the container could be transported with only the need for the pre-shipment leak test. This required a rigorous design capable of meeting the long-term storage and transportation requirements. This report addresses the final testing that was undertaken to demonstrate compliance with US radioactive materials transport regulations.

  6. 300 Area dangerous waste tank management system: Compliance plan approach. Final report

    SciTech Connect (OSTI)

    1996-03-01

    In its Dec. 5, 1989 letter to DOE-Richland (DOE-RL) Operations, the Washington State Dept. of Ecology requested that DOE-RL prepare ``a plant evaluating alternatives for storage and/or treatment of hazardous waste in the 300 Area...``. This document, prepared in response to that letter, presents the proposed approach to compliance of the 300 Area with the federal Resource Conservation and Recovery Act and Washington State`s Chapter 173-303 WAC, Dangerous Waste Regulations. It also contains 10 appendices which were developed as bases for preparing the compliance plan approach. It refers to the Radioactive Liquid Waste System facilities and to the radioactive mixed waste.

  7. Relevant Studies for NERC’s Analysis of EPA's Clean Power Plan 111 (d) Compliance

    SciTech Connect (OSTI)

    Ahlstrom, Mark; Smith, Charlie; Piwko, Dick; Lew, Debra; Bloom, Aaron; Mai, Trieu; Clark, Kara; Milligan, Michael

    2015-06-12

    The purpose of this paper is to describe multiple studies of wind and solar integration that have found CO2 reductions of approximately 30%. These studies can be viewed in several ways, including as viable paths to compliance with the EPA rule, alternative ''bookend cases'' to compare to compliance based largely on natural gas, or something in between. The studies in this paper represent a body of work that can help inform the public discussion surrounding the cost and reliability impacts of complying with the proposed EPA CPP.

  8. Davis-Bacon Compliance and Performance | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Davis-Bacon Compliance and Performance Davis-Bacon Compliance and Performance PDF icon Davis-Bacon Compliance and Performance More Documents & Publications DOE Order 350.3 CHAPTER...

  9. EnergyPlus Analysis Capabilities for Use in California Building Energy Efficiency Standards Development and Compliance Calculations

    SciTech Connect (OSTI)

    Hong, Tianzhen; Buhl, Fred; Haves, Philip

    2008-03-28

    nonresidential Alternative Calculation Method (ACM) of the Title-24 Standards. The AEC team identified gaps between EnergyPlus modeling capabilities and the requirements of Title 24 and ACMs. AEC's evaluation was based on the 2005 version of Title 24 and ACMs and the version 1.2.1 of EnergyPlus released on October 1, 2004. AEC's evaluation is useful for understanding the functionality and technical merits of EnergyPlus for implementing the performance-based compliance methods described in the ACMs. However, it did not study the performance of EnergyPlus in actually making building energy simulations for both the standard and proposed building designs, as is required for any software program to be certified by the CEC for use in doing Title-24 compliance calculations. In 2005, CEC funded LBNL to evaluate the use of EnergyPlus for compliance calculations by comparing the ACM accuracy test runs between DOE-2.1E and EnergyPlus. LBNL team identified key technical issues that must be addressed before EnergyPlus can be considered by the CEC for use in developing future Nonresidential Title-24 Standards or as an ACM tool. With Title 24 being updated to the 2008 version (which adds new requirements to the standards and ACMs), and EnergyPlus having been through several update cycles from version 1.2.1 to 2.1, it becomes crucial to review and update the previously identified gaps of EnergyPlus for use in Title 24, and more importantly to close the gaps which would help pave the way for EnergyPlus to be adopted as a Title 24 compliance ACM. With this as the key driving force, CEC funded LBNL in 2008 through this PIER (Public Interest Energy Research) project with the overall technical goal to expand development of EnergyPlus to provide for its use in Title-24 standard compliance and by CEC staff.

  10. Waste Form Qualification Compliance Strategy for Bulk Vitrification

    SciTech Connect (OSTI)

    Bagaasen, Larry M.; Westsik, Joseph H.; Brouns, Thomas M.

    2005-01-03

    The Bulk Vitrification System is being pursued to assist in immobilizing the low-activity tank waste from the 53 million gallons of radioactive waste in the 177 underground storage tanks on the Hanford Site. To demonstrate the effectiveness of the bulk vitrification process, a research and development facility known as the Demonstration Bulk Vitrification System (DBVS) is being built to demonstrate the technology. Specific performance requirements for the final packaged bulk vitrification waste form have been identified. In addition to the specific product-performance requirements, performance targets/goals have been identified that are necessary to qualify the waste form but do not lend themselves to specifications that are easily verified through short-term testing. Collectively, these form the product requirements for the DBVS. This waste-form qualification (WFQ) strategy document outlines the general strategies for achieving and demonstrating compliance with the BVS product requirements. The specific objectives of the WFQ activities are discussed, the bulk vitrification process and product control strategy is outlined, and the test strategy to meet the WFQ objectives is described. The DBVS product performance targets/goals and strategies to address those targets/goals are described. The DBVS product-performance requirements are compared to the Waste Treatment and Immobilization Plant immobilized low-activity waste product specifications. The strategies for demonstrating compliance with the bulk vitrification product requirements are presented.

  11. Automating the management of environmental compliance reporting: Making the complex simple

    SciTech Connect (OSTI)

    Perkins, S.

    2000-03-09

    Environmental compliance reporting requirements are notoriously complex. This reporting complexity is compounded by organizational and functional complexity at Rocky Mountain Arsenal (RMA), where the Department of the Army has undertaken a multi billion dollar environmental cleanup action. This site is subject to both fixed and contingent federal, state, and local reporting requirements. Management and operation of the site is characterized by numerous organizational layers, and compliance information is generated by many different contractors and subcontractors. This information must be compiled by various managers and reported to either regulators or Department of the Army offices. The RMA Environmental Compliance Office and top-level management must be assured that these reports are being promptly generated and submitted. With over 1,500 individual reporting requirements forecasted for over the next 11 years, the managerial challenge is immense. To facilitate the collation of data and issuance of compliance reports, an intranet-based database is being developed. This database is designed to be available to all personnel with access to the site's environmental compliance intranet. It presents all applicable reporting requirements in an easily sortable format. Information available for each report includes deadlines, report status, recipients, individuals responsible for report generation, and other relevant data fields. Reports can be generated that are pertinent to a specific project, office, individual, or timeframe. Because the database is an integral component of the RMA environmental compliance intranet site, reporting requirements can be linked to the regulatory or site-specific document that is driving the report. As a given report is issued, those responsible for its issuance update the database and certify that the report has been transmitted, thus enabling the RMA Environmental Compliance Office and site managers to keep real-time track of a report

  12. Executive Order 12088: Federal Compliance with Pollution Control...

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    2088: Federal Compliance with Pollution Control Standards Executive Order 12088: Federal Compliance with Pollution Control Standards The head of each Executive agency is ...

  13. Carbon Compliance Acquisition 5 Limited | Open Energy Information

    Open Energy Info (EERE)

    Compliance Acquisition 5 Limited Jump to: navigation, search Name: Carbon Compliance Acquisition 5 Limited Place: Greater London, United Kingdom Zip: EC2M 2TD Sector: Carbon...

  14. CBEI: Improving Code Compliance with Change of Occupancy Retrofits...

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Code Compliance with Change of Occupancy Retrofits - 2015 Peer Review CBEI: Improving Code Compliance with Change of Occupancy Retrofits - 2015 Peer Review Presenter: Jennifer ...

  15. Technical Assistance: Increasing Code Compliance - 2014 BTO Peer...

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Assistance: Increasing Code Compliance - 2014 BTO Peer Review Technical Assistance: ... View the Presentation PDF icon Technical Assistance: Increasing Code Compliance - 2014 BTO ...

  16. Carbon Compliance Acquisition 16 Limited | Open Energy Information

    Open Energy Info (EERE)

    Compliance Acquisition 16 Limited Jump to: navigation, search Name: Carbon Compliance Acquisition 16 Limited Place: United Kingdom Zip: LS12DS Product: Security broking and fund...

  17. Energy Storage System Guide for Compliance with Safety Codes...

    Office of Environmental Management (EM)

    Guide for Compliance with Safety Codes and Standards 2016 Energy Storage System Guide for Compliance with Safety Codes and Standards 2016 Under the Energy Storage Safety Strategic ...

  18. New Code Compliance Briefs Assist in Resolving Codes and Standards...

    Energy Savers [EERE]

    New Code Compliance Briefs Assist in Resolving Codes and Standards Concerns in Energy Innovations New Code Compliance Briefs Assist in Resolving Codes and Standards Concerns in ...

  19. Poster — Thur Eve — 50: Common Regulatory Non-Compliances and How to Avoid Them

    SciTech Connect (OSTI)

    Heimann, M.

    2014-08-15

    The Accelerators and Class II Facilities Division (ACFD) of the Canadian Nuclear Safety Commission (CNSC), is responsible for the oversight of radiotherapy facilities containing Class II prescribed equipment in Canada. Over the past several years, ACFD has been performing compliance inspections of Class II nuclear facilities across the country (medical and otherwise), and in that time, has issued several hundred corrective actions to licensees due to non-compliance with regulatory requirements. Recently, a study was done to determine the most common regulatory non-compliances. The purpose of this poster presentation is to disseminate information to the licensee community about the nature of these non-compliances, and how they can be avoided by licensees in the future.

  20. Environmental Compliance and Protection Program Description Oak Ridge, Tennessee

    SciTech Connect (OSTI)

    Bechtel Jacobs

    2009-02-26

    The objective of the Environmental Compliance and Protection (EC and P) Program Description (PD) is to establish minimum environmental compliance requirements and natural resources protection goals for the Bechtel Jacobs Company LLC (BJC) Oak Ridge Environmental Management Cleanup Contract (EMCC) Contract Number DE-AC05-98OR22700-M198. This PD establishes the work practices necessary to ensure protection of the environment during the performance of EMCC work activities on the US Department of Energy's (DOE's) Oak Ridge Reservation (ORR) in Oak Ridge, Tennessee, by BJC employees and subcontractor personnel. Both BJC and subcontractor personnel are required to implement this PD. A majority of the decontamination and demolition (D and D) activities and media (e.g., soil and groundwater) remediation response actions at DOE sites on the ORR are conducted under the authority of the Comprehensive Environmental Response, Compensation, and Liability Act of 1980 (CERCLA). CERCLA activities are governed by individual CERCLA decision documents (e.g., Record of Decision [ROD] or Action Memorandum) and according to requirements stated in the Federal Facility Agreement for the Oak Ridge Reservation (DOE 1992). Applicable or relevant and appropriate requirements (ARARs) for the selected remedy are the requirements for environmental remediation responses (e.g., removal actions and remedial actions) conducted under CERCLA.

  1. Using compliance audits as the basis for developing an effective mechanical integrity program

    SciTech Connect (OSTI)

    Kiihne, E.J.; Mannan, M. [RMT/Jones and Neuse, Inc., Austin, TX (United States)

    1996-08-01

    The OSHA Process Safety Management (PSM) rule requires all covered facilities to conduct a compliance audit every three years. In addition, all the audit findings must be resolved within a reasonable time period. The process industry as a whole is lagging behind in compliance with mechanical integrity program requirements as demonstrated by the high number of OSHA citations issued to-date on mechanical integrity-related issues. This paper analyzes the findings of several PSM compliance audits and develops recommendations for developing effective mechanical integrity programs. The six explicit requirements of mechanical integrity, i.e. covered equipment, written procedures, training, inspection and testing, equipment deficiencies, and quality assurance are analyzed in the following manner: Number of OSHA citations in mechanical integrity and the distribution of these citations between the six specific requirements. Comparison of the OSHA citations with the audit findings from PSM compliance audits conducted by the authors. Using the conclusions from the OSHA citations and PSM compliance audits as a basis for developing effective mechanical integrity programs.

  2. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Local Examples Printable Version Share this resource Send a link to Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... More in this section... Search Federal State Local Examples

  3. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Search Printable Version Share this resource Send a link to Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... More in this section... Search Federal State Local Examples Summary

  4. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Tools Printable Version Share this resource Send a link to Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... Fuel Properties Search Fuel Properties Comparison Create a custom chart

  5. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    About the Data Printable Version Share this resource Send a link to Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... More in this section... Search Federal State Local Examples

  6. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    State Printable Version Share this resource Send a link to Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... More in this section... Search Federal State Local Examples Summary

  7. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Incentives Printable Version Share this resource Send a link to Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... More in this section... Search Federal State Local Examples

  8. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Summary Tables Printable Version Share this resource Send a link to Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... More in this section... Search Federal State Local Examples

  9. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Federal Printable Version Share this resource Send a link to Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... More in this section... Search Federal State Local Examples Summary

  10. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    State Printable Version Share this resource Send a link to Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... More in this section... Search Federal State Local Examples Summary

  11. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Tools Printable Version Share this resource Send a link to Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... Truckstop Electrification Truck Stop Electrification Locator Locate

  12. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    AFDC Printable Version Share this resource Send a link to Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... Vehicle and Infrastructure Cash-Flow Evaluation Model VICE 2.0: Vehicle

  13. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Incentives Printable Version Share this resource Send a link to Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... More in this section... Search Federal State Local Examples

  14. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Incentives » Federal Printable Version Share this resource Send a link to Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... More in this section... Search Federal State Local

  15. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Incentives Printable Version Share this resource Send a link to Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... More in this section... Search Federal State Local Examples

  16. Waste management R&D Quality Assurance: An alternative approach

    SciTech Connect (OSTI)

    Brosseau, D.A.; Harlan, C.P.; Cochrell, R.C.

    1991-02-01

    This paper summarizes the development and initial implementation of a Quality Assurance (QA) Program for technical activities associated with assessing compliance of an existing DOE nuclear waste site with applicable environmental regulations. The requirements for establishing the QA program are defined, along with the approach and emphasis used to develop the program. The structure of the program and the various levels of QA plans and procedures are briefly discussed. Initial implementation efforts are summarized. The QA program was developed by and for the project participants and was structured according to the major technical requirements of the project. The QA plans and procedures are written for the convenience and use of the technical staff and not merely to satisfy auditor expectations. Every effort was made to avoid an 18-point approach typical of many QA programs patterned after the dictates of the industry recognized ``national consensus standards.`` Flexibility is emphasized due to the nature of the research and development activities associated with the technical program. Recommendations are provided for using this alternative approach to QA program development for similar technical efforts elsewhere. 10 refs., 1 fig., 5 tabs.

  17. Waste Isolation Pilot Plant Biennial Environmental Compliance Report

    SciTech Connect (OSTI)

    Washington Regulatory and Environmental Services

    2006-10-12

    This Biennial Environmental Compliance Report (BECR) documents compliance with environmental regulations at the Waste Isolation Pilot Plant (WIPP), a facility designed and authorized for the safe disposal of transuranic (TRU) radioactive waste. This BECR covers the reporting period from April 1, 2004, to March 31, 2006. As required by the WIPP Land Withdrawal Act (LWA) (Public Law [Pub. L.] 102-579, as amended by Pub. L. 104-201), the BECR documents United States (U.S.) Department of Energy (DOE) compliance with regulations and permits issued pursuant to the following: (1) Title 40 Code of Federal Regulations (CFR) Part 191, Subpart A, "Environmental Standards for Management and Storage"; (2) Clean Air Act (CAA) (42 United States Code [U.S.C.] §7401, et seq.); (3) Solid Waste Disposal Act (SWDA) (42 U.S.C. §§6901-6992, et seq.); (4) Safe Drinking Water Act (SDWA) (42 U.S.C. §§300f, et seq.); (5) Toxic Substances Control Act (TSCA) (15 U.S.C. §§2601, et seq.); (6) Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA) (42 U.S.C. §§9601, et seq.); and all other federal and state of New Mexico laws pertaining to public health and safety or the environment.

  18. Ecological Monitoring and Compliance Program 2006 Report

    SciTech Connect (OSTI)

    David C. Anderson; Paul D. Greger; Derek B. Hall; Dennis J. Hansen; William K. Ostler

    2007-03-01

    The Ecological Monitoring and Compliance program (EMAC), funded through the U.S. Department of Energy, National Nuclear Security Administration Nevada Site Office (NNSA/NSO), monitors the ecosystem of the Nevada Test Site (NTS) and ensures compliance with laws and regulations pertaining to NTS biota. This report summarizes the program's activities conducted by National Security Technologies LLC (NSTec) during the Calendar Year 2006. Program activities included: (a) biological surveys at proposed construction sites, (b) desert tortoise compliance, (c) ecosystem mapping and data management, (d) sensitive plant species monitoring, (e) sensitive and protected/regulated animal monitoring, (f) habitat monitoring, (g) habitat restoration monitoring, and (h) monitoring of the Nonproliferation Test and Evaluation Complex (NPTEC). Sensitive and protected/regulated species of the NTS include 44 plants, 1 mollusk, 2 reptiles, over 250 birds, and 26 mammals protected, managed, or considered sensitive as per state or federal regulations and natural resource agencies and organizations. The threatened desert tortoise (Gopherus agassizii) is the only species on the NTS protected under the Endangered Species Act. Biological surveys for the presence of sensitive and protected/regulated species and important biological resources on which they depend were conducted for 34 projects. A total of 342.1 hectares (ha) (845.37 acres [ac]) was surveyed for these projects. Sensitive and protected/regulated species and important biological resources found included: 2 inactive tortoise burrows, 2 western burrowing owls (Athene cunicularia hypugaea), several horses (Equus caballus), 2 active predator burrows, mature Joshua trees (Yucca brevifolia), yuccas and cacti; and also 1 bird nest (2 eggs), 1 barn owl (Tyto alba) and 2 great-horned owls (Bubo virginianus). NSTec provided a written summary report of all survey findings and mitigation recommendations, where applicable. All flagged burrows were

  19. Ecological Monitoring and Compliance Program 2006 Report

    SciTech Connect (OSTI)

    David C. Anderson; Paul D. Greger; Derek B. Hall; Dennis J. Hansen; William K. Ostler

    2007-03-01

    The Ecological Monitoring and Compliance program (EMAC), funded through the U.S. Department of Energy, National Nuclear Security Administration Nevada Site Office (NNSA/NSO), monitors the ecosystem of the Nevada Test Site (NTS) and ensures compliance with laws and regulations pertaining to NTS biota. This report summarizes the program's activities conducted by National Security Technologies LLC (NSTec) during the Calendar Year 2006. Program activities included: (a) biological surveys at proposed construction sites, (b) desert tortoise compliance, (c) ecosystem mapping and data management, (d) sensitive plant species monitoring, (e) sensitive and protected/regulated animal monitoring, (f) habitat monitoring, (g) habitat restoration monitoring, and (h) monitoring of the Nonproliferation Test and Evaluation Complex (NPTEC). Sensitive and protected/regulated species of the NTS include 44 plants, 1 mollusk, 2 reptiles, over 250 birds, and 26 mammals protected, managed, or considered sensitive as per state or federal regulations and natural resource agencies and organizations. The threatened desert tortoise (Gopherus agassizii) is the only species on the NTS protected under the Endangered Species Act. Biological surveys for the presence of sensitive and protected/regulated species and important biological resources on which they depend were conducted for 34 projects. A total of 342.1 hectares (ha) (845.37 acres [ac]) was surveyed for these projects. Sensitive and protected/regulated species and important biological resources found included: 2 inactive tortoise burrows, 2 western burrowing owls (Athene cunicularia hypugaea), several horses (Equus caballus), 2 active predator burrows, mature Joshua trees (Yucca brevifolia), yuccas and cacti; and also 1 bird nest (2 eggs), 1 barn owl (Tyto alba) and 2 great-horned owls (Bubo virginianus). NSTec provided a written summary report of all survey findings and mitigation recommendations, where applicable. All flagged burrows were

  20. Utah Compliance Implementation and Evaluation Guide

    SciTech Connect (OSTI)

    Cole, Pamala C.

    2012-08-30

    This Guide is designed to assist state and local code jurisdictions in achieving statewide compliance with the 2009 International Energy Conservation Code (IECC) for residential buildings and ANSI/ASHRAE/IESNA Standard 90.1-2007 for commercial buildings.

  1. Nevada Compliance Implementation and Evaluation Guide

    SciTech Connect (OSTI)

    Cole, Pamala C.

    2012-08-30

    This Guide is designed to assist state and local code jurisdictions in achieving statewide compliance with the 2009 International Energy Conservation Code (IECC) for residential buildings and ANSI/ASHRAE/IESNA Standard 90.1-2007 for commercial buildings.

  2. Iowa Compliance Implementation and Evaluation Guide

    SciTech Connect (OSTI)

    Cole, Pamala C.

    2012-09-04

    This Guide is designed to assist state and local code jurisdictions in achieving statewide compliance with the 2009 International Energy Conservation Code (IECC) for residential buildings and ANSI/ASHRAE/IESNA Standard 90.1-2007 for commercial buildings.

  3. Whirlpool: Compliance Determination (2010-SE-0103)

    Broader source: Energy.gov [DOE]

    DOE issued a Notice of Compliance Determination to Whirlpool Corporation after DOE testing confirmed that the Maytag refrigerator-freezer model MSD2578VE comports with the applicable energy conservation standard.

  4. Compliance with the Clean Air Act Amendments: Challenge of the 90's

    SciTech Connect (OSTI)

    Odegard, G.J.; Van, H. )

    1993-01-01

    With its 17,593 miles of pipeline, El Paso Natural Gas Company is one of the country's largest interstate natural gas transmission companies. To keep the gas continually moving through the pipeline, it is compressed back to high pressures at 73 stations comprising 1,210,120 horsepower located along the pipeline route. These compressor stations, which operate 24 hours a day every day, house 316 reciprocating engines and 92 gas turbines. As fuel, these engines and turbines burn natural gas. Natural gas combustion releases emissions of nitrogen oxides and carbon monoxide with small amounts of particulates, sulfur dioxide and volatile organic compounds. This presentation will describe how one large energy company plans to comply with these new requirements over the next several years. El Paso has developed an extensive Air Program designed to obtain all needed operating permits by the November 1995 deadline. Work is underway to quantify and document emissions at every operating facility. Emissions tests will measure NOx, CO, oxygen, CO[sub 2], water, stack temperature, stack velocity and fuel flow rate. Data generated by the Emissions Inventory System will be used not only for permit applications, but to develop alternative emission reduction strategies at facilities located in nonattainment areas. Dispersion modeling will be performed to analyze compliance with PSD increments and National Ambient Air Quality Standards.

  5. Engineered alternatives cost/benefit study. Draft report

    SciTech Connect (OSTI)

    1995-09-01

    The Waste Isolation Pilot Plant (WIPP) is a United States Department of Energy (DOE) project designed to demonstrate the safe disposal of Transuranic (TRU) waste in deep, geologic, bedded salt. The WIPP site is located in southeastern New Mexico. By law the WIPP site has been withdrawn from public use and has been set aside for use in the safe disposal of TRU waste. Also by law, disposal of TRU waste must comply with rules and regulations promulgated by the U.S. Environmental Protection Agency (EPA). The disposal system design consists of multiple barriers, both natural and man-made, located in a geologic salt deposit, 2,150 feet (655.3 meters) below ground. These barriers were selected because of their ability to permanently isolate the waste from the accessible environment as required to comply with subparts B and C of Title 40 Code of Federal Regulations Part 191 (40 CFR 191). As a part of the assurance requirements, 40 CFR {section}191.14 requires that barriers of different types shall be used to isolate the waste. The WIPP design uses both a geologic (natural) and engineered barriers for waste isolation as specified by these regulations. However, to provide additional confidence in containment prediction calculations used to demonstrate compliance with the containment requirements, Engineered Alternatives (EA) could be used as additional assurance measures beyond those used to meet the containment requirements. This report uses the term EA to represent engineered barriers that are technically feasible processes, technologies, methods, repository designs, or waste from modifications which make a significant positive impact on the disposal system in terms of reducing uncertainty in performance calculations or improving long-term performance. These EAs, if used, function as barriers to the release of radioactive material.

  6. LANL in Compliance with Clean Water Act

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    disputes citizens' lawsuit February 7, 2008 LANL in Compliance with Clean Water Act LOS ALAMOS, NM, Feb. 7, 2008-Los Alamos National Laboratory officials today expressed surprise to a lawsuit alleging noncompliance with the federal Clean Water Act filed today by citizens groups against Los Alamos National Security LLC and the U.S. Department of Energy. "The Laboratory is in compliance with its storm water permit under the federal Clean Water Act," said Dick Watkins, associate director

  7. Implications of Scheduled ITC Reversion for RPS Compliance: Preliminary Results

    SciTech Connect (OSTI)

    Lowder, Travis; Miller, John; O'Shaughnessy, Eric; Heeter, Jenny

    2015-09-14

    This poster presents DRAFT initial results of a forthcoming NREL analysis. The analysis investigates the impacts of the scheduled investment tax credit (ITC) reversion from 30 percent to 10 percent for certain solar photovoltaic projects. Specifically, it considers whether the reversion will result in increased use of alternative compliance payments (ACPs) in lieu of solar renewable energy credits (SRECs) for renewable portfolio standard (RPS) compliance. The analysis models the effect of a 10 percent ITC on power purchase agreement (PPA) prices for non-residential systems in the eight states with solar carve-outs and solar ACPs. Our preliminary results suggest that states will likely install sufficient capacity to meet long-term targets through SRECs rather than ACPs following the ITC reversion. However, the analysis shows that the ITC reversion could affect project economics such that capacity shortfalls in certain states could temporarily increase the use of ACPs. NREL anticipates publishing a full report of this analysis in fall 2015. credits (SRECs) for renewable portfolio standard (RPS) compliance. The analysis models the effect of a 10 percent ITC on power purchase agreement (PPA) prices for non-residential systems in the eight states with solar carve-outs and solar ACPs. Our preliminary results suggest that states will likely install sufficient capacity to meet long-term targets through SRECs rather than ACPs following the ITC reversion. However, the analysis shows that the ITC reversion could affect project economics such that capacity shortfalls in certain states could temporarily increase the use of ACPs. NREL anticipates publishing a full report of this analysis in fall 2015.

  8. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Center to someone by E-mail Share Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center on Delicious Rank Alternative Fuels Data Center on Digg Find More places to share Alternative Fuels Data Center on AddThis.com... More in this section... Search Federal State Local Examples Summary Tables Key Federal Legislation The information below includes a brief chronology and

  9. Environmental Assessment of Ground Water Compliance at the Gunnison, Colorado, UMTRA Project Site

    SciTech Connect (OSTI)

    N /A

    2002-08-13

    The U.S. Department of Energy (DOE) is in the process of selecting a ground water compliance strategy for the Gunnison, Colorado, Uranium Mill Tailings Remedial Action (UMTRA) Project site. This Environmental Assessment (EA) discusses two alternatives and the effects associated with each. The two alternatives are (1) natural flushing coupled with institutional controls and continued monitoring and (2) no action. The compliance strategy must meet U.S. Environmental Protection Agency (EPA) ground water standards defined in Title 40 ''Code of Federal Regulations'' Part 192, Subpart B, in areas where ground water beneath and around the site is contaminated as a result of past milling operations. It has been determined that contamination in the ground water at the Gunnison site consists of soluble residual radioactive material (RRM) as defined in the Uranium Mill Tailings Radiation Control Act (UMTRCA).

  10. Alternative Fuels Data Center

    Broader source: All U.S. Department of Energy (DOE) Office Webpages (Extended Search)

    License Fee Effective July 1, 2015, each alternative fuel supplier, refiner, distributor, terminal operator, importer or exporter of alternative fuel used in motor vehicles must...

  11. Compliance and Special Report Orders | Department of Energy

    Office of Energy Efficiency and Renewable Energy (EERE) Indexed Site

    Compliance and Special Report Orders Compliance and Special Report Orders Compliance Orders July 12, 2007 Compliance Order, Los Alamos National Security, LLC - July 12, 2007 Issued to Los Alamos National Security, LLC related to the Unauthorized Reproduction and Removal of Classified Matter from the Los Alamos National Laboratory May 26, 1999 Preliminary Notice of Violation and Compliance Order, EA-1999-04 Issued to Fluor Daniel Hanford, Inc., relating to events at the Spent Nuclear Fuels

  12. Revised ground-water monitoring compliance plan for the 300 area process trenches

    SciTech Connect (OSTI)

    Schalla, R.; Aaberg, R.L.; Bates, D.J.; Carlile, J.V.M.; Freshley, M.D.; Liikala, T.L.; Mitchell, P.J.; Olsen, K.B.; Rieger, J.T.

    1988-09-01

    This document contains ground-water monitoring plans for process-water disposal trenches located on the Hanford Site. These trenches, designated the 300 Area Process Trenches, have been used since 1973 for disposal of water that contains small quantities of both chemicals and radionuclides. The ground-water monitoring plans contained herein represent revision and expansion of an effort initiated in June 1985. At that time, a facility-specific monitoring program was implemented at the 300 Area Process Trenches as part of a regulatory compliance effort for hazardous chemicals being conducted on the Hanford Site. This monitoring program was based on the ground-water monitoring requirements for interim-status facilities, which are those facilities that do not yet have final permits, but are authorized to continue interim operations while engaged in the permitting process. The applicable monitoring requirements are described in the Resource Conservation and Recovery Act (RCRA), 40 CFR 265.90 of the federal regulations, and in WAC 173-303-400 of Washington State's regulations (Washington State Department of Ecology 1986). The program implemented for the process trenches was designed to be an alternate program, which is required instead of the standard detection program when a facility is known or suspected to have contaminated the ground water in the uppermost aquifer. The plans for the program, contained in a document prepared by the US Department of Energy (USDOE) in 1985, called for monthly sampling of 14 of the 37 existing monitoring wells at the 300 Area plus the installation and sampling of 2 new wells. 27 refs., 25 figs., 15 tabs.

  13. Alternative Fuels Data Center: Test Your Alternative Fuel IQ

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Test Your Alternative Fuel IQ to someone by E-mail Share Alternative Fuels Data Center: Test Your Alternative Fuel IQ on Facebook Tweet about Alternative Fuels Data Center: Test Your Alternative Fuel IQ on Twitter Bookmark Alternative Fuels Data Center: Test Your Alternative Fuel IQ on Google Bookmark Alternative Fuels Data Center: Test Your Alternative Fuel IQ on Delicious Rank Alternative Fuels Data Center: Test Your Alternative Fuel IQ on Digg Find More places to share Alternative Fuels Data

  14. Integration of Environmental Compliance at the Savannah River Site - 13024

    SciTech Connect (OSTI)

    Hoel, David; Griffith, Michael

    2013-07-01

    The Savannah River Site (SRS) is a large federal installation hosting diverse missions and multiple organizations with competing regulatory needs. Accordingly, there was a need to integrate environmental compliance strategies to ensure the consistent flow of information between Department of Energy-Savannah River (DOE-SR), the regulatory agencies and other interested parties. In order to meet this objective, DOE and major SRS contractors and tenants have committed to a strategy of collaboratively working together to ensure that a consistent, integrated, and fully coordinated approach to environmental compliance and regulator relationships is maintained. DOE-SR and Savannah River Nuclear Solutions, LLC, the SRS management and operations contractor, have established an environmental compliance integration process that provides for the consistent flow down of requirements to projects, facilities, SRS contractors, and subcontractors as well as the upward flow of information to assist in the early identification and resolution of environmental regulatory issues and enhancement of compliance opportunities. In addition, this process strongly fosters teamwork to collaboratively resolve complex regulatory challenges, promote pollution prevention and waste minimization opportunities to advance site missions in a manner that balances near-term actions with the long-term site vision, while being protective of human health and the environment. Communication tools are being utilized, some with enhancements, to ensure appropriate information is communicated to all levels with environmental responsibility at SRS. SRS internal regulatory integration is accomplished through a variety of informational exchange forums (e.g., Challenges, Opportunities and Resolution (COR) Team, DOE's Joint Site Regulatory Integration Team, and the Senior Environmental Managers Council (SEMC)). SRS communications and problem-solving with the regulatory agencies have been enhanced through formation of an

  15. Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Alternative Fuels Technician Certificates The Department of Labor (DOL) will issue a certificate to any person who has successfully passed the appropriate alternative fuels equipment, alternative fuels compression, or electric vehicle technician examination as provided in the Alternative Fuels Technician Certification Act. A certification fee applies. For companies, partnerships, or corporations involved in the business of installing, servicing, repairing, modifying, or renovating equipment used

  16. Alternative multimedia regulatory programs for next-generation refineries

    SciTech Connect (OSTI)

    Elcock, D.; Gasper, J.; Arguerro, R.; Emerson, D.

    2000-06-22

    Protection Agency (EPA) reinvention efforts, which seek results in 12 to 18 months, this ETI effort assumes a time frame of 20 years or more. It also assumes that existing laws and regulations can be changed. An iterative and interactive process was used by the project team to develop the alternative approaches. Information and stakeholder input were integrated to provide for constant revision and improvement. First, guidelines and principles were established to bound the study and set parameters for developing the approaches. Next, existing and projected environmental laws and regulations affecting petroleum refineries were examined to identify areas needing change. Then, to understand future challenges and opportunities, the projected refinery operating environment was described in terms of feedstock, product, technology, and economics. Finally several goals and indicators for assessing and comparing the alternatives were identified. On the basis of this background information, more than 60 options that could efficiently and effectively protect human health and the environment were identified. These options ranged from fundamental changes in program philosophy to procedural improvements. After the options were evaluated against the goals and indicators, many of them were integrated into two separate thematic paradigms: a risk-based paradigm and a goal-based paradigm. Elements common to both approaches include the following: (1) Establish the baseline--In establishing the baseline, the refinery and the regulator jointly identify residuals for which release limits must be established; (2) Set residual release limits--The refinery and the regulator jointly specify release limits on a facility-wide rather than a source-specific basis. A facility-wide permit documents the release limits; and (3) Assure compliance--Incentives provide the basis for assuring compliance, and flexibility in the compliance method is encouraged. Penalties apply if releases exceed the limits, and

  17. Preserving Envelope Efficiency in Performance Based Code Compliance

    SciTech Connect (OSTI)

    Thornton, Brian A.; Sullivan, Greg P.; Rosenberg, Michael I.; Baechler, Michael C.

    2015-06-20

    The City of Seattle 2012 Energy Code (Seattle 2014), one of the most progressive in the country, is under revision for its 2015 edition. Additionally, city personnel participate in the development of the next generation of the Washington State Energy Code and the International Energy Code. Seattle has pledged carbon neutrality by 2050 including buildings, transportation and other sectors. The United States Department of Energy (DOE), through Pacific Northwest National Laboratory (PNNL) provided technical assistance to Seattle in order to understand the implications of one potential direction for its code development, limiting trade-offs of long-lived building envelope components less stringent than the prescriptive code envelope requirements by using better-than-code but shorter-lived lighting and heating, ventilation, and air-conditioning (HVAC) components through the total building performance modeled energy compliance path. Weaker building envelopes can permanently limit building energy performance even as lighting and HVAC components are upgraded over time, because retrofitting the envelope is less likely and more expensive. Weaker building envelopes may also increase the required size, cost and complexity of HVAC systems and may adversely affect occupant comfort. This report presents the results of this technical assistance. The use of modeled energy code compliance to trade-off envelope components with shorter-lived building components is not unique to Seattle and the lessons and possible solutions described in this report have implications for other jurisdictions and energy codes.

  18. Ecological Monitoring and Compliance Program 2008 Report

    SciTech Connect (OSTI)

    Hansen, Dennis J.; Anderson, David C.; Hall, Derek B.; Greger, Paul D.; Ostler, W. Kent

    2009-04-30

    The Ecological Monitoring and Compliance Program, funded through the U.S. Department of Energy, National Nuclear Security Administration Nevada Site Office (NNSA/NSO), monitors the ecosystem of the Nevada Test Site (NTS) and ensures compliance with laws and regulations pertaining to NTS biota. This report summarizes the program’s activities conducted by National Security Technologies, LLC (NSTec), during calendar year 2008. Program activities included (a) biological surveys at proposed construction sites, (b) desert tortoise compliance, (c) ecosystem mapping and data management, (d) sensitive plant species monitoring, (e) sensitive and protected/regulated animal monitoring, (f) habitat monitoring, (g) habitat restoration monitoring, and (h) monitoring of the Nonproliferation Test and Evaluation Complex (NPTEC).

  19. Methods for ensuring compliance in an international greenhouse gas trading system

    SciTech Connect (OSTI)

    Hargrave, T.; Helme, E.A.

    1998-12-31

    At the third Conference of the Parties to the UN Framework Convention on Climate Change held in December, 1997, the international community established binding greenhouse gas (GHG) emissions obligations for industrialized countries. The Parties to the new Kyoto Protocol also agreed on the use of a number of market-based mechanisms, including international GHG emissions trading. These market mechanisms were of critical to the importance because they have the potential to significantly reduce the costs of treaty compliance. In principle, an international cap-and-trade system appears to be one of the most cost-effective means of reducing GHG emissions. Maintaining the integrity of the trading system is of primary importance in ensuring that trading helps countries to meet their GHG commitments. This paper explores methods for ensuring compliance in an international greenhouse gas trading system, starting with a discussion of preconditions for participation in trading and then moving to features of an international compliance system. Achieving maximum compliance with international requirements may best be accomplished by limiting participation in trading to Annex I countries that maintain strong domestic compliance systems. Prior to the climate negotiations in Kyoto in December 1997, the US Administration proposed a number of preconditions for participation in trading, including the adoption of international measurement standards and the establishment of domestic compliance and enforcement programs. This paper explores these and other preconditions, including the establishment of tough domestic financial penalties on companies that exceed allowed emissions and seller responsibility for the delivery of real reductions. The paper also discusses several necessary features of the international compliance system.

  20. Compliance review for the UNH Storage Tank

    SciTech Connect (OSTI)

    Low, J.M.

    1992-05-19

    The purpose of Project S-4257, USF-UNH 150,000 Gallon Storage Tank, is to provide interim storage for the liquid uranyl nitrate (UNH) product from H-Canyon until the UNH can be processed in the new Uranium Solidification Facility (Project S-2052). NPSR was requested by Project Management and DOE-SR to perform a design compliance review for the UNH Storage Tank to support the Operational Readiness Review (ORR) and the Operational Readiness Evaluation (ORE), respectively. The project was reviewed against the design criteria contained in the DOE Order 6430.1A, General Design Criteria. This report documents the results of the compliance review.

  1. Alternatives to traditional transportation fuels: An overview

    SciTech Connect (OSTI)

    Not Available

    1994-06-01

    This report presents the first compilation by the Energy Information Administration (EIA) of information on alternatives to gasoline and diesel fuel. The purpose of the report is: (1) to provide background information on alternative transportation fuels and replacement fuels compared with gasoline and diesel fuel, and (2) to furnish preliminary estimates of alternative transportation fuels and alternative fueled vehicles as required by the Energy Policy Act of 1992 (EPACT), Title V, Section 503, ``Replacement Fuel Demand Estimates and Supply Information.`` Specifically, Section 503 requires the EIA to report annually on: (1) the number and type of alternative fueled vehicles in existence the previous year and expected to be in use the following year, (2) the geographic distribution of these vehicles, (3) the amounts and types of replacement fuels consumed, and (4) the greenhouse gas emissions likely to result from replacement fuel use. Alternative fueled vehicles are defined in this report as motorized vehicles licensed for on-road use, which may consume alternative transportation fuels. (Alternative fueled vehicles may use either an alternative transportation fuel or a replacement fuel.) The intended audience for the first section of this report includes the Secretary of Energy, the Congress, Federal and State agencies, the automobile manufacturing industry, the transportation fuel manufacturing and distribution industries, and the general public. The second section is designed primarily for persons desiring a more technical explanation of and background for the issues surrounding alternative transportation fuels.

  2. Environment, safety and health compliance assessment, Feed Materials Production Center, Fernald, Ohio

    SciTech Connect (OSTI)

    Not Available

    1989-09-01

    The Secretary of Energy established independent Tiger Teams to conduct environment, safety, and health (ES H) compliance assessments at US Department of Energy (DOE) facilities. This report presents the assessment of the Feed Materials Production Center (FMPC) at Fernald, Ohio. The purpose of the assessment at FMPC is to provide the Secretary with information regarding current ES H compliance status, specific ES H noncompliance items, evaluation of the adequacy of the ES H organizations and resources (DOE and contractor), and root causes for noncompliance items. Areas reviewed included performance under Federal, state, and local agreements and permits; compliance with Federal, state and DOE orders and requirements; adequacy of operations and other site activities, such as training, procedures, document control, quality assurance, and emergency preparedness; and management and staff, including resources, planning, and interactions with outside agencies.

  3. Ecological Monitoring and Compliance Program Fiscal/Calendar Year 2004 Report

    SciTech Connect (OSTI)

    Bechtel Nevada

    2005-03-01

    The Ecological Monitoring and Compliance program, funded through the U.S. Department of Energy, National Nuclear Security Administration Nevada Site Office, monitors the ecosystem of the Nevada Test Site and ensures compliance with laws and regulations pertaining to Nevada Test Site biota. This report summarizes the program's activities conducted by Bechtel Nevada during the Fiscal Year 2004 and the additional months of October, November, and December 2004, reflecting a change in the monitoring period to a calendar year rather than a fiscal year as reported in the past. This change in the monitoring period was made to better accommodate information required for the Nevada Test Site Environmental Report, which reports on a calendar year rather than a fiscal year. Program activities included: (1) biological surveys at proposed construction sites, (2) desert tortoise compliance, (3) ecosystem mapping and data management, (4) sensitive species and unique habitat monitoring, (5) habitat restoration monitoring, and (6) biological monitoring at the Hazardous Materials Spill Center.

  4. Status and Trends in U.S. Compliance and Voluntary Renewable Energy Certificate Markets (2010 Data)

    SciTech Connect (OSTI)

    Heeter, J.; Bird, L.

    2011-10-01

    This report documents the status and trends of 'compliance'--renewable energy certificate (REC) markets used to meet state renewable portfolio standard (RPS) requirements--and 'voluntary' markets--those in which consumers and institutions purchase renewable energy to match their electricity needs on a voluntary basis. Today, 29 states and the District of Columbia have an RPS, more than half of all U.S. electricity customers have an option to purchase some type of green power product directly from a retail electricity provider, and all consumers have the option to purchase RECs. This report documents REC activities and trends in the United States. The compliance REC market analysis includes analysis of REC trading, regional REC markets, REC tracking systems, types of compliance RECs, compliance REC pricing trends, and an overview of compliance with RPS polices. The voluntary REC analysis presents data and analysis on voluntary market sales and customer participation, products and premiums, green pricing marketing and administrative expenses, voluntary REC pricing, and the voluntary carbon offsets market. The report concludes with a discussion of upcoming guidance from the Federal Trade Commission on green marketing claims, the emergence of community solar programs, and the potential impact of Dodd-Frank regulations on the REC market.

  5. Alternative Fuels Data Center: About the Alternative Fuels Data Center

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    About Printable Version Share this resource Send a link to Alternative Fuels Data Center: About the Alternative Fuels Data Center to someone by E-mail Share Alternative Fuels Data Center: About the Alternative Fuels Data Center on Facebook Tweet about Alternative Fuels Data Center: About the Alternative Fuels Data Center on Twitter Bookmark Alternative Fuels Data Center: About the Alternative Fuels Data Center on Google Bookmark Alternative Fuels Data Center: About the Alternative Fuels Data

  6. Alternative Fuels Data Center: Alternative Fuels and Advanced Vehicles

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Vehicles Printable Version Share this resource Send a link to Alternative Fuels Data Center: Alternative Fuels and Advanced Vehicles to someone by E-mail Share Alternative Fuels Data Center: Alternative Fuels and Advanced Vehicles on Facebook Tweet about Alternative Fuels Data Center: Alternative Fuels and Advanced Vehicles on Twitter Bookmark Alternative Fuels Data Center: Alternative Fuels and Advanced Vehicles on Google Bookmark Alternative Fuels Data Center: Alternative Fuels and Advanced

  7. Alternative Fuels Data Center: Biodiesel Offers an Easy Alternative for

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Fleets Biodiesel Offers an Easy Alternative for Fleets to someone by E-mail Share Alternative Fuels Data Center: Biodiesel Offers an Easy Alternative for Fleets on Facebook Tweet about Alternative Fuels Data Center: Biodiesel Offers an Easy Alternative for Fleets on Twitter Bookmark Alternative Fuels Data Center: Biodiesel Offers an Easy Alternative for Fleets on Google Bookmark Alternative Fuels Data Center: Biodiesel Offers an Easy Alternative for Fleets on Delicious Rank Alternative Fuels

  8. Alternative Fuels Data Center: Technician Training for Alternative Fuels

    Alternative Fuels and Advanced Vehicles Data Center [Office of Energy Efficiency and Renewable Energy (EERE)]

    Technician Training for Alternative Fuels to someone by E-mail Share Alternative Fuels Data Center: Technician Training for Alternative Fuels on Facebook Tweet about Alternative Fuels Data Center: Technician Training for Alternative Fuels on Twitter Bookmark Alternative Fuels Data Center: Technician Training for Alternative Fuels on Google Bookmark Alternative Fuels Data Center: Technician Training for Alternative Fuels on Delicious Rank Alternative Fuels Data Center: Technician Training for

  9. Alternative Financing Guide

    Broader source: Directives, Delegations, and Requirements [Office of Management (MA)]

    2012-03-12

    This directive provides guidance for identification, planning and approval of alternatively-financed projects. Alternative Financing ("AF") is a process whereby DOE and its operational elements obtain the use of privately-developed capital assets through lease.

  10. Department of Energy - Office of NEPA Policy and Compliance ...

    Open Energy Info (EERE)

    Office of NEPA Policy and Compliance Jump to: navigation, search OpenEI Reference LibraryAdd to library Web Site: Department of Energy - Office of NEPA Policy and Compliance...