EPA Shortens Air Pollution Permit Application Processair1999
「EPA Shortens Air Pollution Permit Application Processair1999」於資料集「Environmental Policy Monthly」由單位「行政院環境保護署」的楊先生所提供,聯繫電話是(02)23117722#2217,(02)23117722#2216,最近更新時間為:2022-01-15 01:13:03。 欄位編號的內容是260 , 欄位標題的內容是EPA Shortens Air Pollution Permit Application Process , 欄位摘要的內容是The EPA has steadily improved the efficiency of air pollution permit processing work. In recent years installation and operation permit processing time has decreased by 46% and 48% respectively. The process will soon be streamlined further by combining initial review and reevaluation procedures and by merging application review, and permit issuance into a single service window. Some test conditions will also be loosened.
The EPA recently launched a new study that compared air pollution permit processing work efficiency of various environmental authorities for various industries. The study will be conducted in successive rounds on a yearly basis and will serve as a reference for improving the air pollution permitting system. , 欄位全文的內容是The EPA has steadily improved the efficiency of air pollution permit processing work. In recent years installation and operation permit processing time has decreased by 46% and 48% respectively. The process will soon be streamlined further by combining initial review and reevaluation procedures and by merging application review, and permit issuance into a single service window. Some test conditions will also be loosened.
The EPA recently launched a new study that compared air pollution permit processing work efficiency of various environmental authorities for various industries. The study will be conducted in successive rounds on a yearly basis and will serve as a reference for improving the air pollution permitting system.
Statistics indicate that review times averaged 108 and 105 days respectively when the first and second round of application for stationary pollution source permits. Several factors contributed to the length of these review times. As these stationary pollution sources were major targets, these targets had relatively large quantities of pollution and complicated production processes. In addition, environmental authorities were not adequately experienced in permit review work. The review times of subsequent rounds gradually decreased to an average 72 days during the fifth round for an overall improvement of 32% compared with the first round.
In 1997, permit review regulations were amended and review time improved drastically. Review time for installation permits took 54 days on average before the amendment and only 29 days after or a 46% improvement. Review time for operating permits took 100 days on average before the amendment and only 52 days after or a 48% improvement.
Although review efficiency is gradually improving, the number of cases exceeding the legal time limit remains high. The EPA therefore proposed that some permit work procedures be streamlined further.
The current approach includes combining initial review and reevaluation procedures at the local level and merging application review, and permit issuance into a single service window. In addition, permit application for small scale and temporary pollution sources would be simplified and controls on internal administrative agency work would be strengthened. The following is a list of some work regulations that would be changed:
1.Review meetings attended by academics and experts would not need to be convened for pollution cases that are not large.
2.If production capacity achieved after trial-run monitoring cannot in a short period of time achieve the highest production capacity for which the business applied, it can use the production capacity conditions reached at the time as the permit conditions. Otherwise, it can carry out monitoring at 80% of the highest production capacity reached to avoid a delay in permit issuance due to trial monitoring.
3.If the pollution sources, production processes, equipment, operating conditions and scale of a business when applying for a second permit are the same as those for the first, the review process should be simplified (including referring to the circumstances of the first permit) to help fast growing sectors like the semiconductor industry get the permits they need.
The EPA also plans to get local environmental authorities to establish Unified Permit Assistance Windows to help businesses resolve difficulties associated with permit application and additional document submission. , 欄位年度的內容是1999 , 欄位月份的內容是2 , 欄位卷的內容是2 , 欄位期的內容是6 , 欄位順序的內容是1 , 欄位倒序的內容是2 , 欄位分類的內容是air , 欄位標題2的內容是EPA Shortens Air Pollution Permit Application Process , 欄位檔案位置的內容是print/V2/V2-06 。
編號
260
標題
EPA Shortens Air Pollution Permit Application Process
摘要
The EPA has steadily improved the efficiency of air pollution permit processing work. In recent years installation and operation permit processing time has decreased by 46% and 48% respectively. The process will soon be streamlined further by combining initial review and reevaluation procedures and by merging application review, and permit issuance into a single service window. Some test conditions will also be loosened. The EPA recently launched a new study that compared air pollution permit processing work efficiency of various environmental authorities for various industries. The study will be conducted in successive rounds on a yearly basis and will serve as a reference for improving the air pollution permitting system.
全文
The EPA has steadily improved the efficiency of air pollution permit processing work. In recent years installation and operation permit processing time has decreased by 46% and 48% respectively. The process will soon be streamlined further by combining initial review and reevaluation procedures and by merging application review, and permit issuance into a single service window. Some test conditions will also be loosened. The EPA recently launched a new study that compared air pollution permit processing work efficiency of various environmental authorities for various industries. The study will be conducted in successive rounds on a yearly basis and will serve as a reference for improving the air pollution permitting system. Statistics indicate that review times averaged 108 and 105 days respectively when the first and second round of application for stationary pollution source permits. Several factors contributed to the length of these review times. As these stationary pollution sources were major targets, these targets had relatively large quantities of pollution and complicated production processes. In addition, environmental authorities were not adequately experienced in permit review work. The review times of subsequent rounds gradually decreased to an average 72 days during the fifth round for an overall improvement of 32% compared with the first round. In 1997, permit review regulations were amended and review time improved drastically. Review time for installation permits took 54 days on average before the amendment and only 29 days after or a 46% improvement. Review time for operating permits took 100 days on average before the amendment and only 52 days after or a 48% improvement. Although review efficiency is gradually improving, the number of cases exceeding the legal time limit remains high. The EPA therefore proposed that some permit work procedures be streamlined further. The current approach includes combining initial review and reevaluation procedures at the local level and merging application review, and permit issuance into a single service window. In addition, permit application for small scale and temporary pollution sources would be simplified and controls on internal administrative agency work would be strengthened. The following is a list of some work regulations that would be changed: 1.Review meetings attended by academics and experts would not need to be convened for pollution cases that are not large. 2.If production capacity achieved after trial-run monitoring cannot in a short period of time achieve the highest production capacity for which the business applied, it can use the production capacity conditions reached at the time as the permit conditions. Otherwise, it can carry out monitoring at 80% of the highest production capacity reached to avoid a delay in permit issuance due to trial monitoring. 3.If the pollution sources, production processes, equipment, operating conditions and scale of a business when applying for a second permit are the same as those for the first, the review process should be simplified (including referring to the circumstances of the first permit) to help fast growing sectors like the semiconductor industry get the permits they need. The EPA also plans to get local environmental authorities to establish Unified Permit Assistance Windows to help businesses resolve difficulties associated with permit application and additional document submission.
年度
1999
月份
2
卷
2
期
6
順序
1
倒序
2
分類
air
標題2
EPA Shortens Air Pollution Permit Application Process
檔案位置
print/V2/V2-06
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