Cleaver-Brooks | Reference Center | EPA Compliance | Step 3
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Step 3: Compliance Requirements

Step 3

Under the Major Source and Area Source Rules, there are required actions ranging from regular tune-ups to emissions monitoring. The extent of actions and number of reports to be filed varies depending upon: amount of emissions emitted, boiler size, fuel subcategory and age. Under both rules, boilers are considered new if they commenced construction or reconstruction after June 4, 2010.

For Area Source boilers:  

To determine which records and reports are required for your Area Source boiler, consult this decision tree. The first deadline for Area Source boilers is submitting an Initial Notification of Applicability, which is due January 20, 2014 or within 120 days after startup. For instructions and a sample form, click  here.

For a summary of compliance requirements and dates specific to your boiler’s fuel type, click the applicable table below:  

For a list of tune-up requirements, click here.  

For a list of energy assessment requirements, click here.  

For a list of compliance notification documents, click here. 

For emissions limit requirements, click here. 

For Major Source Boilers:    

The first deadline for Major Source boilers is submitting an Initial Notification of Applicability, which is due May 31, 2013 or within 15 days after startup. For instructions and a sample form, click here 

For a summary of compliance requirements and dates specific to your boiler’s fuel type, click the applicable table below:  

For a list of tune-up requirements, click here. 

For a list of energy assessment requirements, click here. 

For a list of compliance notification documents, click here. 

For emissions limit requirements, click the applicable table below:   

  • Existing Boilers – commenced construction or reconstruction on or before June 4, 2010
  • New Boilers – commenced construction or reconstruction after June 4, 2010
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