Alabama Proposed Title V Permits

The following permits have been submitted to EPA Region 4 as Proposed Title V permits. While EPA has the right to a 45-day review period for all Proposed Title V permits, EPA Region 4 targets only a subset of these permits for comprehensive review. To find out which permits have been targeted for EPA Region 4 review, please contact the Region 4 staff person(s) listed at the bottom of this page.



Title V Permits Undergoing Sequential Review**
State County Source Name PA Permit Number 45-Day Review Ends (sequential) Petition Deadline
           


Title V Permits Undergoing Parallel Review**
State County Source Name PA Permit Number 45-Day Review Ends (parallel) Petition Deadline
AL Choctaw Pruet Production Co. A230002_3_00 5/14/2016 8/12/2016
AL Escambia Swift Lumber Company A53S003_1_01 5/14/2016 8/12/2016
AL Monroe G-P Wood Products A99S010_2_03 5/15/2016 8/15/2016
AL Chilton West Fraser Inc A21S005_3_01 5/15/2016 8/15/2016
AL Montgomery Mobis AA10091_0_00 5/2/2016 8/30/2016

* Sequential Review means the EPA 45-day review period does not begin until the 30-day public comment period ends. The deadline for the public to petition EPA is 60 days after the EPA 45-day review period ends.

** Parallel Review means the EPA 45-day review period runs concurrently with the 30-day public comment period and ends no earlier than 15 days after the end of the public comment period. The deadline for the public to petition EPA is 60 days after the EPA 45-day review period ends, calculated as if the Title V permit was under sequential review (i.e., the petition deadline will be the same regardless of whether Parallel or Sequential Review is followed.)

For information about the contents of this page please contact Randy Terry


Top of Page