OMA Comments to Ohio EPA re. Startup, Shutdown, and Malfunction Emissions


Last week the OMA and other business allies submitted formal comments to Ohio EPA regarding the agency’s rulemaking in the response to U.S. EPA’s finding of “substantial inadequacy” and state implementation plan (SIP) call to amend provisions applying to excess emissions during startup, shutdown and malfunction (SSM) periods.  The OMA and its allies filed comments in 2013 to U.S. EPA in opposition to its proposed SSM SIP Call (combined at above link).