A Title V Operating Permit is required of companies that have operations involving a major air contaminant source. These companies include the following:
» Facilities with the potential to emit 10 tons per year (tpy) of any hazardous air pollutant (HAP) or 25 tpy of any
combination of HAPs or 100 tpy of any regulated air pollutant
» Facilities subject to acid rain requirements under Title IV of the Clean Air Act
» Facilities with lower tpy limits in non-attainment areas
Presently, minor sources subject to New Source Performance Standards (NSPS) and National Emission Standards for Hazardous Air Pollutants (NESHAP) are deferred from the requirement to apply for a Title V Operating Permit.
All applicants must submit a Major Source Operating Permit Application (Form CN-1007). The following information is needed to complete the application:
» Facility identification information
» Description of processes and products
» Emissions of regulated air pollutants
» Fuels, fuel use, raw materials, production rates and operating schedules
» Emissions related information
» Information on air pollution control systems
» Certification of compliance with all applicable requirements
» Compliance methods for demonstration of compliance with applicable requirements
All existing Title V sources were required to submit Title V applications on or before August 28, 1997. Any source that becomes subject to this requrement must submit an application within the time specified on its construction permit.
|Title V Index & Truth and Accuracy Statement||CN-1007 (APC V.INDEX)||DOC||N/A||N/A|
|Facility Identification Form||CN-1007 (APC V1)||DOC||DOC|
|Operations and Flow Diagrams||CN-1007 (APC V2)||DOC||DOC|
|Stack Identification||CN-1007 (APC V3)||DOC||DOC|
|Fuel Burning Non-Process Equipment||CN-1007 (APC V4)||DOC||DOC|
|Stationary Gas Turbine or Internal Combustion Engine||CN-1007 (APC V5)||DOC||DOC|
|Storage Tanks||CN-1007 (APC V6)||DOC||DOC|
|Inceneration||CN-1007 (APC V7)||DOC||DOC|
|Printing Operations||CN-1007 (APC V8)||DOC||DOC|
|Printing and Coating Operations||CN-1007 (APC V9)||DOC||DOC|
|Miscellaneous Processes||CN-1007 (APC V10)||DOC||DOC|
|Control Equipment - Miscellaneous||CN-1007 (APC V11)||DOC||DOC|
|Control Equipment - Condensers||CN-1007 (APC V12)||DOC||DOC|
|Control Equipment - Adsorbers||CN-1007 (APC V13)||DOC||DOC|
|Control Equipment - Catalytic or Thermal Oxidation||CN-1007 (APC V14)||DOC||DOC|
|Control Equipment - Cyclones / Settling Chambers||CN-1007 (APC V15)||DOC||DOC|
|Control Equipment - Electrostatic Precipitator||CN-1007 (APC V16)||DOC||DOC|
|Control Equipment - Wet Collection Systems||CN-1007 (APC V17)||DOC||DOC|
|Control Equipment - Baghouses / Fabric Filters||CN-1007 (APC V18)||DOC||DOC|
|Compliance Certification - Monitoring and Reporting Description of Methods Used for Determining Compliance||CN-1007 (APC V19)||DOC||DOC|
|Compliance Demonstration by Continuous Emissions Monitoring||CN-1007 (APC V20)||DOC||DOC|
|Compliance Demonstration by Portable Monitors||CN-1007 (APC V21)||DOC||DOC|
|Compliance Demonstration by Monitoring Control System Parameters or Operating Parameters of a Process||CN-1007 (APC V22)||DOC||DOC|
|Compliance Demonstration by Monitoring Maintenaince Procedures||CN-1007 (APC V23)||DOC||DOC|
|Compliance Demonstration by Stack Testing||CN-1007 (APC V24)||DOC||DOC|
|Compliance Demonstration by Fuel Sampling and Analysis||CN-1007 (APC V25)||DOC||DOC|
|Compliance Demonstration by Recordkeeping||CN-1007 (APC V26)||DOC||DOC|
|Compliance Demonstration by Other Method(s)||CN-1007 (APC V27)||DOC||DOC|
|Emissions from Process Emission Source / Fuel Burning / INSTallation / Incinerator||CN-1007 (APC V28)||DOC||DOC|
|Emission Summary for the Facility or for the Sources Contained in this Application||CN-1007 (APC V29)||DOC||DOC|
|Current Emissions Requirements and Status||CN-1007 (APC V30)||DOC||DOC|
|Compliance Plan and Compliance Certification||CN-1007 (APC V31)||DOC||DOC|
|Major Source Air Monitoring Network||CN-1007 (APC V32)||DOC||N/A||N/A|
|Stage I and Stage II Vapor Recovery||CN-1007 (APC V33)||DOC||DOC|
|Open Burning||CN-1007 (APC V34)||DOC||N/A||N/A|
|Application Completeness Check List||CN-1007 (APC V35)||DOC||N/A||N/A|
The Division makes a completeness determination within 60 days of receipt of an application. Once a company's application is determined to be complete and a review of the application is made, a draft permit is prepared. The draft permit is then subject to review by the public, affected states and EPA. A notice giving general information about the permit will be published in a local newspaper. This notice will afford the public an opportunity to (a) comment on the proposed permit and (b) request a public hearing on the permit. The Division is required to take final action on complete applications within 18 months of the date of their submittal, except for initial Title V permit applications. The normal duration of an operating permit is three (3) to five (5) years.
Application Fees: None
Annual Emission Fees: Title V major sources are required to pay annual emission fees for each ton of regulated air pollutant except carbon monoxide. The major source fee is based on allowable emissions until the Title V operating permit is issued. Upon submission of the operating permit application, major sources are required to declare their fee choice: allowable emissions based fees, actual emissions based fees or a combination thereof. For the accounting year July 1, 1996, to June 30, 1997, emission based fees were $15.80 per ton of allowable hazardous air pollutants and regulated air pollutants, excluding carbon monoxide. An emission cap of 4,000 tons per year per regulated pollutant per major source SIC code applies to actual- or allowable-based emission fees.
The fee rate is adjusted annually and is determined by a work load analysis performed by the Division of APC for Title V related work. The allowable fee rate is set at 60% of the actual fee rate.
The air contaminant source must be operated in accordance with the terms of the permit. Administrative changes, such as changing the name of the responsible company official would not require any public comment. An operating permit is not transferable from one owner to another. Any modification to the source requires a construction permit.
Title V permittees are responsible for record-keeping, monitoring, submitting annual certified emission reports and certifying compliance.
The Division of Air Pollution Control is responsible for protecting Tennessee's air quality. Requiring a Source (or a business) to obtain an operating permit ensures that any existing, new, modified, replaced or relocated Source complies with all air pollution emission standards and will not have a detrimental impact on human health or the environment.
The Division has the right to conduct routine inspections as deemed necessary. The Division may suspend or revoke any operating permit if the permit holder fails to comply with the provisions, stipulations or compliance schedules specified in the permit. The Tennessee Air Quality Act provides for civil penalties of up to $25,000 per day for each day of violation.
EPA can object to the issuance of a permit, and there also are mechanisms in place for any person to petition the EPA Administrator to object to a permit. Any person initially may also seek administrative review of a Title V permit before the Board and later, judicial review in Chancery Court.
For air contaminant sources located in Davidson, Hamilton, Knox or Shelby counties, the applicant must contact and obtain a permit from the applicable county air permit agency. For all other counties, applications and assistance can be obtained by contacting the appropriate Tennessee Environmental Assistance Center - just call 1-888-891-TDEC.
» Tennessee Small Business Assistance Program - (800) 734-3619
» University of Tennessee Center For Industrial Services - (615) 532-8657
» EPA Small Business Ombudsman / Asbestos - (202) 554-1404
» EPA Air Quality Planning and Permits - (919) 541-2777
» EPA Air Toxic Control Technology - (919) 541-0800
» TN Dept. of Economic and Community Development: Air Permitting of Industrial Facilities
» TDEC Rule 1200-3-9-.02: Air Pollution Control Regulations - Major Stationary Source Operating Permits
» TDEC Rule 1200-3-9-.04: Air Pollution Control - Exemptions
» 40 CFR §60: Standards of Performance for New Stationary Sources
» 40 CFR §61: National Emission Standards for Hazardous Air Pollutants
» 40 CFR §63: National Emission Standards for Hazardous Air Pollutants for Source Categories