March 1st is an important deadline for some small businesses that may be subject to Air Quality Emissions Inventory or Hazardous Waste Biennial Reporting. The Annual Emission Statement (AES) report is required by the Pennsylvania DEP Bureau of Air Quality to report on point sources meeting certain thresholds for large emitters of air pollution. Facilities inventoried for emission statement purposes may include Non-Title V facilities, or smaller “area sources” of air emissions. Regional DEP air quality staff will often determine and notify which facilities are required to report on their air emissions. More often than not, this requirement will be listed in a facility’s State-Only Operating Permit. There are some emission reporting exemptions for small stationary sources. If you are a small business and question whether or not you are subject to air quality emissions reporting, please contact one of our EMAP environmental consultants for further assistance.
The Hazardous Waste Biennial Report is due March 1, 2022 and is required of any Pennsylvania hazardous waste Large Quantity Generator (LQG) for the calendar year ending December 31, 2021. A small business is considered a LQG of hazardous waste if your operation generates more than 2,200 lbs of hazardous waste or more than 2.2 lbs of acute hazardous waste per calendar month.
Small businesses with an obligation to report hazardous waste acitivities should use EPA’s RCRAInfo system for the electronic submission process.
Additional information on hazardous waste reporting requirements can be found on the Pennsylvania DEP’s website found here.
If you are a Pennsylvania small business that needs further assistance with air quality emissions reporting or the hazardous waste biennial report, contact EMAP by calling our toll-free environmental hotline at (877) ASK-EMAP or email us at email@example.com.