Arkansas Air Regulations: Arkansas Department of Environmental Quality Seeks Input on Pre-Proposal for Streamlining

Mitchell, Williams, Selig, Gates & Woodyard, P.L.L.C.

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The Arkansas Department of Environmental Quality announced in a May 29th news release that it is:

. . . seeking feedback on a pre-proposal draft regulation, prior to initiation with the Arkansas Pollution Control and Ecology Commission (APC&EC), which would streamline Arkansas air quality regulations.

The pre-proposal draft regulation (“Draft”) is stated to be a product of the agency’s multi-year Air Integrated Regulation (“AIR”) Streamlining Project effort.

The air regulations that are referenced as potentially being consolidated include:

  • Regulation No. 18 – Arkansas Air Pollution Control Code
  • Regulation No. 19 – Regulations of the Arkansas Plan of Implementation for Air Pollution Control
  • Regulation No. 26 – Regulations of the Arkansas Operating Air Permit Program
  • Regulation No. 31 – Nonattainment New Source Review Requirements

These four regulations would be consolidated into a single regulation styled “Regulation No. 35 – Arkansas Air Quality Regulation.”

By way of background, the current substantive structure of the Arkansas air pollution control programs is provided by these four key regulations. For example, Regulation No. 19 represents the substantive provisions of the Arkansas State Implementation Plan as applicable to state sources in the air permit process. Further, Arkansas promulgated Regulation No. 26 to qualify for delegation of the Clean Air Act Title V operating permits program. Regulation No. 26 is generally a state codification of the federal regulations promulgated to implement the federal Title V program. Permitting pursuant to Regulation No. 18 generally applies to minor sources of pollutants.

ADEQ noted in its May 29th news release that the purpose of the “regulatory streamlining project” is:

. . . to clarify Arkansas air pollution control requirements by simplifying the regulatory provisions, consolidating overlapping provisions, and revising or removing confusing language. The consolidation is expected to facilitate continued trends in achieving clean air by providing additional regulatory clarity to our stakeholders and facilities in order to foster compliance with air quality regulations. ADEQ anticipates the streamlined regulation to ultimately result in reduced costs both for the State and for the facilities covered under the consolidated regulation.

A copy of the news release is attached and contains a link providing information on a public meeting to be held, along with information regarding submission of comments on the Draft.

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Mitchell, Williams, Selig, Gates & Woodyard, P.L.L.C.
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