A review of Title V operating permit application requirements caused by the use of waste-derived fuel at cement plants
The Clean Air Act Amendments of 1990 required the USEPA to establish a comprehensive operating permit program which is being administered by the states. Most major air pollution sources will be required to submit operating permit applications by November 15, 1995 or earlier. Portland cement plants that burn waste-derived fuel face some special permitting problems that need to be addressed during the permit application process. This paper presents a brief summary of the Title V application with special emphasis on the permitting requirements incurred by the utilization of waste fuel at cement plants.
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- Conference: Waste combustion in boilers and industrial furnaces, 1994, Kansas City, MO (United States), 20-22 Apr 1994; Other Information: PBD: 1994; Related Information: Is Part Of Waste combustion in boilers and industrial furnaces; PB: 326 p.
- Air and Waste Management Association, Pittsburgh, PA (United States)
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- United States
- 32 ENERGY CONSERVATION, CONSUMPTION, AND UTILIZATION; 54 ENVIRONMENTAL SCIENCES; 29 ENERGY PLANNING AND POLICY; 09 BIOMASS FUELS; CLEAN AIR ACTS; COMPLIANCE; CEMENT INDUSTRY; AIR POLLUTION ABATEMENT; REFUSE DERIVED FUELS; COMBUSTION; COMBUSTION PRODUCTS; LICENSE APPLICATIONS; POLLUTION SOURCES