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Title V Operating Permits

Single Source Determination

Date Title EPA Office Author
02/12/2020 EPA's Response to Eastman Chemical Company's Request that EPA Reconsider Prior Source Determinations Region 3 Cristina Femandez
02/11/1998 Feb. 11, 1998 Letter to Terry Godar on MSW Landfills Region 3 Morris, Makeba
11/26/2019 Interpreting "Adjacent" for New Source Review and Title V Source Determinations in All Industries Other Than Oil and Gas OAR Idsal, Anne L.
07/23/2019 2019 Jaques Compressor Station Common Source Determination Region 8 Daly, Carl
08/27/1996 Analysis of the Applicability of PSD to the Anheuser-Busch, Incorporated Brewery and Nutri-Turf, Incorporated Landfarm at Fort Collins, Colorado OAQPS Kellam, Robert
08/02/1996 Major Source Determinations for Military Installations Under the Air Toxics, New Source Review, and Title V Operating Permit Programs of the Clean Air Act (Act) OAQPS

Seitz, John

05/19/1999

Applicability of Title V Permitting Requirements to Gasoline Bulk Terminals Owned by Williams Energy Ventures, Inc.

Region 4 Smith, Winston
01/28/2000 Applicability of PSD Permitting Requirements, Wellcraft Marine Corporation, Sarasota, Florida Region 4 Neeley, Douglas R.
04/14/2006 Single Source Determination for General Dynamics Region 5 Blakely, Pamela
09/22/2009 Withdrawal of William Wehrum's January 12, 2007 Issued Guidance Memo "Source Determinations for Oil and Gas Industries" OAR McCarthy, Gina
01/12/2007 Source Determinations for Oil and Gas Industries OAR Wehrum, William
07/15/1997 July 15, 1997 Region V Letter on LTV Steel, Stein, Inc., and Allega, Inc. Region 5 Harnett, William
10/12/2001 PSD Applicability for Frederickson Power L.P. Region 10 Cole, Doug
08/08/1997 Great Salt Lake Minerals Source Determination Region 8 Long, Richard
05/21/1998 Response to Request for Guidance in Defining Adjacent with Respect to Source Aggregation Region 8 Long, Richard
08/21/2001 Permitting of Forest Oil's Kustatan Production Facility and Osprey Platform Pursuant to the Alaska SIP Region 10 Hardesty, Douglas
02/18/1987 PSD Applicability Request, Valero Hydrocarbon Company Yoakum, DeWitt County Texas Region 6 Hathaway, William
08/07/1997 ESCO Corp. Source Determination Region 10 Cabreza, Joan
10/16/2018 Are JCL and Ameresco Under Common Control OAQPS Wood, Anna Marie
04/30/2018 Meadowbrook Energy and Keystone Landfill Common Control Analysis OAR Wehrum, William
02/01/2018 Pacific Ethanol, One or More Sources? Region 7 Weber, Rebecca
10/11/2000 St. Lawrence Cement... Two Facilities or One? Region 2 Riva, Steven
09/18/1995 Common Control, September 18, 1995 Letter to Peter Hamlin Region 7 Spratlin, William
10/18/2010 Summit Petroleum Corporation Single Source Determination Region 5 Newton, Cheryl
08/25/1999 Support Facility Determination... Oscar Mayer and Madison Gas & Electric Region 5 Miller, Robert
08/08/2001 Should DuPont and DUSA International be Considered a Single Source for Title V and PSD Region 4 Neeley, R. Douglas
03/29/2001 Single Source Determination for Gallitan Steel Co. and Heckett MultiServ OAQPS Thomas, Henry and Seitz, John
10/01/1999 Source Definition Issue for KN Power - Front Range Energy Associates, LLC/PSCo Generating Facility Region 8 Long, Richard
05/16/1980 Shell Oil Company Wilmington Complex Specification of Source SCCD Reich, Edward
11/12/1998 Single Source Determination for Coors/TriGen Region 8 Long, Richard
12/06/2004 Lincolnway Energy Cooperative & Co-location with Existing Grain Cooperative Region 7 Heiman, JoAnn
07/03/2001 PSD Question Concerning Common Control, Alliant Energy and Climax Molybdenum OAQPS Seitz, John
07/08/2004 Outstanding Issues at the Al Turi Landfill in Goshen, NY Region 2 Mugdan, Walter and Kenny, Jane
01/10/2012 GPC Single Source Letter Region 3 Cox, Kathleen
07/21/2005 Single Source Evaluation for the Hartford Working Group and Premcor Distribution Center Region 5 Blakely, Pamela
04/20/1999 American Soda Multi-facility Source Determination Region 8 Long, Richard
05/01/2002 Common Control for Maplewood Landfill and Industrial Power Generating Corporation Region 3 Katz, Judith
08/11/1989 PSD Applicability Determination for Multiple Owner/Operator Point Sources Within a Single Facility OAQPS Calcagni, John
01/15/1999 United Salt Northeast PSD Determination Region 3 Henry, Kathleen
  Georgetown Cogeneration Project as a Minor Source Region 3 Turlinski, Bernard
07/12/2019 Are Manchester Renewable Power Corp. and Ocean Energy Corp Under Common Control OAR Idsal, Anne L.
03/25/2016 Central Landfill Source Determination Region 1 Moraff, Ken
12/21/2012 Applicability of the Summit Decision to EPA Title V and NSR Source Determinations OAQPS Page, Stephen
12/16/2011 PowerSecure Common Control Determination Region 4 Worley, Gregg
08/09/2017 Source Determination Analysis for River Bend Dehydrator Site Region 8 Wortman, Eric
06/30/1981 PSD Definition of Source SSCD Reich, Edward
10/18/2010 BP American Production Company's Florida River Compression Facility Single Source Determination Region 8 Videtich, Callie
03/16/1979 Definition of Source SSCD Reich, Edward
05/11/2009 Common Control Determination for Ocean County Landfill and the Manchester Renewable Power Corp./LES Region 2 Borsellino, Ronald
07/20/1995 Site Specific Determination of Common Control United Technologies Corporation; Columbus G.A. Region 4 Harper, Jewell
06/05/1995 Watts Bar Nuclear Plant Title V Applicability Region 4 Harper, Jewell
04/05/1995 4/5/95 Letter on Definition of Major Source Region 2 Eng, Kenneth
03/13/1998 Guidance on Major Modification Provisions of PSD Rules as Applied to "Re-Permitting" at Acme Steel Co. Region 5 Newton, Cheryl
  Response to Appeal Dated May 21, 1992 From Reserve Coal Properties Company Region 3 Erickson, Edwin

Related Topics: Stationary Sources v. Mobile Sources

Return to Policy & Guidance Document Index

The “Relevant Guidance” index includes a collection of documents issued by EPA organized by topic area. These documents include memoranda, letters, orders, and other types of EPA actions that may provide guidance in one or more forms, such as an adjudication, statement of policy, interpretation of statutes or regulations, or technical information. Each collection is intended to be representative of EPA statements on the topic, but it may not be a complete listing of such statements. The collection does not reflect topic-specific statements that have been expressed by EPA though published rule preambles and Title V petition orders, nor does it include EAB decisions. Each document in the collection speaks for itself, and the inclusion or exclusion of a document in the collection is not intended by EPA to communicate anything more than what is expressed within each document. EPA makes no independent representations on this website as to the extent to which any document in the collection reflects EPA’s current views on the topic, is a final action by EPA, or has any legal effect or precedential weight. Readers are advised to review the documents in the collection and conduct their own assessment of such considerations based on the content of each document and other documents in the collection. Some of the information or views included in the documents may be affected by subsequent changes to the referenced statutory or regulatory language or by court decisions. In addition, many of the statements in these documents are based upon the federal regulations which may differ from rules that govern federally-approved programs. Permitting authorities are advised to consult with their EPA Regional Offices if there is a question as to the relevance of a particular statement to their Title V program.