Below is a list of technical guidance documents for Iowa's air operating permit program.
The following two tables list the 187 Hazardous Air Pollutants (HAP's) as defined by EPA. Many of the chemicals regulated as HAP's are also Volatile Organic Compounds (VOC's) because they have volatile and photoreactive properties. Some HAP's are also considered particulate matter (PM). To make this clearer we've added a column that indicates which HAP's are also classified as VOC's or PM.
This guidance document was developed by the DNR and a committee of representatives from Title V facilities (finalized on 4/14/1997; revised on 6/11/1997 and 6/18/2001). Its purpose is to provide staff and industry with guidance on how to determine what constitutes acceptable periodic monitoring which must be included in each operating permit, as required by 40 CFR Part 70.
Operation & Maintenance (O&M) plans are sometimes required as part of a source's periodic monitoring. These are example O&M plans for different types of control equipment. It should be noted that these are generic O&M plans, and they may need to be modified to fit a specific source's needs.
This table identifies typical control efficiencies that would be achieved by different types of control equipment. It is used in reviewing Title V applications by comparing the applicant’s claimed control efficiency with the table’s value. These are conservative control efficiency values that are used in cases where the applicant has not provided further documentation to support a higher control efficiency (e.g. stack test data).
Glycol ethers is one of 187 listed hazardous air pollutants, as defined by EPA. A frequently asked question the DNR receives is what compounds are included in the glycol ethers category. The guidance document listed below discusses this question, lists a few commonly reported glycol ethers, and refers to an EPA document for further information.
This document is intended to increase the integrity of lead inventory data from point sources, provide several approaches to calculating lead emissions, and enhance awareness of what processes emit lead.
This document explains how to estimate emissions from stacks that have conducted more than one DNR-approved stack test during the emissions inventory year. Example estimations are provided for illustrative purposes only.