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The Environmental Compliance Program Area encompasses compliance related issues such as auditing, sources of regulations, executive orders, acceasible policies applicable to Federal Facilities. For an overview of the environmental compliance auditing processincluding EPA’s perspective on compliance auditing and compliance auditing at federal facilities, click here.

For compliance accessibls tools and documentsclick here. This site provides access to the Code of Federal Regulations CFRThe Federal Register, the e-CFR a prototype of a daily updated version of the CFRthe system where you can comment on proposed regulations, and a discussion on how the rulemaking process works Federal Register Published by the Office of the Federal Acxessible, National Archives and Records Administration NARAthe Federal Register is the official daily publication for rules, proposed rules, and notices of Federal agencies and organizations, as well as executive orders and other presidential documents.

Laws, Regulations, Guidance and Dockets This site enables users to search and comment on EPA regulations and significant guidance documents, and to learn how environmental regulations are written.

The site also includes new sections for finding regulations and related documents, plus regulatory history, statutory authority, supporting analyses, compliance information, and guidance for implementation. Searches for regulatory information can be conducted by environmental topics, such as water or air, or by business sectors, such as transportation or construction. It is divided into 50 titles that represent broad areas subject to Federal regulation. Each volume of the CFR is updated once each calendar year and is issued on a quarterly basis.

The e-CFR prototype is a demonstration project. It is not an official legal edition of the CFR. The OFR updates the material in the e-CFR on a frequent basis with the most recent date of update displayed on the home page. Port Compliance This web site was put together as part of a port industry focus group effort. This tool emphases environmental, land-based, regulatory issues facing port tenants and authorities. Included are common port operations cross referenced with regulatory requirements; audit program incentive opportunities; enforcement case studies and updates; inspector checklists.

Executive Orders Acessible These are presidential documents which require Federal facilities to perform an action, participate in an activity, or develop and implement an environmental-related policy. Factors in Decisions on Criminal Prosecutions for Environmental Violations in the Context of Significant Voluntary Compliance or Disclosure Efforts by the Violator This memo includes factors that DOJ considers important in evaluating whether to prosecute environmental violations.

These factors include voluntary disclosure of the violation, cooperation, preventative measures and compliance programs, persuasiveness of non-compliance, internal disciplinary action, and subsequent compliance efforts.

It was the intent of DOJ to encourage self-auditing, self-policing, and voluntary disclosure gss environmental violations stating that these activities are considered from factors in the Department’s environmental enforcement activities.

The necessity of having a thorough environmental auditing program cannot be overemphasized. The priority that DOJ assigns to auditing and self-disclosure as critical mitigating factors in environmental criminal prosecutions is an indication of how important it is for federal facilities to develop and implement sound and thorough auditing programs. Note these documents are only available to U.

Note this document is only available to U. These written responses are broadly termed “applicability determinations”. The ADI, a computerized database of such letters and memoranda, allows users to search by date, office of issuance, subpart, citation, control number, or string word searches. With the new guidance, sources of hazardous air pollutants previously classified as “major sources” may be reclassified as “area” sources at any time, provided the facility limits its potential to emit below major source thresholds.

It was written by Bill Frank from the U. This includes reciprocating internal combustion engines RICEstationary compression ignition engine internal combustion engines, and stationary spark ignition internal combustion engines.

Interpreting the Scope of Certain Monitoring Requirements for State and Federal Operating Permits Programs The final interpretation is that the plain language and structure of certain sections of the operating permits regulations 40 CFR 70 and 71 do not provide an independent basis for requiring or authorizing review and enhancement of existing monitoring in title V permits.

EPA believes that other rules establish a basis for such review and enhancement. The final rule interpretation is effective on 16 January Title V Operating Permit Policy and Guidance Document Index EPA has issued over policy and guidance documents that help to interpret the Part 70 and 71 permit requirements and are available to view in a sortable index. Alternative Water Sources This map provides information about rainwater harvesting regulations throughout the United States. FEMP designed the map to help agencies decide where to implement rainwater harvesting projects.

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The interactive map lets users click on a state to learn about the state’s rainwater harvesting regulations and technical resources. Strategic Plan and Guidance This site details the steps to be taken towards meeting the EPA water program’s strategic plans.

The lists do not include states, territories or tribes covered only by federal standards applicable to multiple states, such as the Bacteria Rule for Coastal and Great Lakes Waters, and the National Toxics Rule.

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Each fact sheet describes the types of facilities included in the sector, typical pollutants associated with the sector, and types of stormwater control measures used to minimize the discharge of the pollutants. Environmental Protection Agency’s EPA’s Office of Water prepared this guidance document to assist municipalities that own or operate publicly owned treatment works POTWs in developing and implementing local pretreatment programs. It discusses issues such as how to determine pollutants of concern, the data needed to develop local limits, and implementing local limits.

MS4 Permit Compendium While written for MS4 permit writers and aficionados, each compendium has examples of permits with some provisions that include green infrastructure.

The first two compendia “Six Minimum Control Measure Provisions” and “Post-Construction Standards” feature examples from existing MS4 permits of clear, specific and measurable requirements. For Part 3, “Water Quality-Based Requirements” EPA reviewed existing state and EPA permits and identified different ways of implementing TMDLs through quantitative requirements or pollutant-specific management measures such as green infrastructure, or a combination of both.

This guidance will assist CSO permittees in developing post construction compliance monitoring plans that collect sufficient data for evaluating the effectiveness of CSO controls and assessing compliance with the Clean Water Act requirements. This provision offers the opportunity to increase administrative efficiencies in the stormwater program by formally recognizing local construction management programs that meet or exceed the provisions in EPA’s construction general permit.

SPCC Guidance for Regional Inspectors Issued Augustthe guidance document is intended to assist regional inspectors in reviewing a facility’s implementation of the Spill Prevention, Control, and Countermeasure SPCC rule at 40 CFR part and understanding the rule’s applicability, and to help clarify the role of the inspector in the review and evaluation of the performance-based SPCC requirements.

The guidance document is also available to owners and operators of facilities that may be subject to the requirements of the SPCC rule and the general public on how EPA intends the SPCC rule to be implemented. The document is designed to provide a consistent national policy on several SPCC-related issues.

Any federally proposed or promulgated replacement water quality standards are also identified.

Please note the water quality standards may contain additional provisions outside the scope of the Clean Water Act, its implementing federal regulations, or EPA’s authority. In some cases, these additional provisions have been included as supplementary information.

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Guidance for CERCLA Cleanups at Federal Facilities This website provides information about contaminated federal facility sites in specific communities, access to technical fact sheets and tools and resources to help government agencies and their contractors fulfill cleanup obligations.

It enhances environmental compliance assistance by providing links to documents, tools, information and other related and linked Web sites for compliance with environmental requirements related to EPCRA. Revised Agricultural Worker Protection Standard This site provides information on the revised standard and how best to comply. RCRA Online This is a database is designed to enable users to locate documents, including publications and other outreach materials, that cover a wide range of RCRA issues and topics.

State authorization is a rulemaking process through which the EPA delegates the primary responsibility of implementing the RCRA hazardous waste program to individual states in lieu of the EPA. Topics include, but are not limited to: CCPs are not solid waste if they are appropriately stored or managed for use, legitimately reclaimed, or appropriately stored or managed for legitimate reclamation; CCPs are solid waste if they are abandoned by being accumulated, or by being stored, or treated before, or as a means of, being disposed.

The checklist is designed to assist in applying this regulatory structure to specific situations and evaluating whether a particular CCP, managed in a particular way, is a solid waste. The objective of this document is to consolidate and streamline the information on listing regulations to help Environmental Protection Agency EPA staff, state staff, industrial facilities, and the public understand hazardous waste listing regulations.

The Regulatory Bulletin discusses the LDR treatment standard established for these mixed waste batteries, the DOE petition that requested the treatability variance, the gea for granting the variance, and implementation at the State level. Solvents in the Workplace: How to Determine if They Are Hazardous Waste Thousands of American workers use fomr every day in industrial, commercial, and other non-residential settings.

Many of these solvents become hazardous wastes when they can no longer be used for their intended purpose and are discarded.

A hazardous waste must be managed safely from its point of generation through recycling or disposal. When one of your solvents can no longer be used, it is your responsibility to determine whether it is a hazardous waste.

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The purpose of this guide is to make people who use and discard solvents aware of the Resource Conservation and Recovery Act RCRA hazardous waste regulations and for,net them in making correct hazardous waste determinations for solvents.

State Authorization Tracking System StATS This ysa an information management system designed to document the progress of each state forknet territory in establishing and maintaining RCRA-authorized hazardous waste management programs.

Strategy for Addressing the Retail Sector Under RCRA The Retail Strategy lays out a cohesive and effective formney to address the unique challenges the retail sector has with complying with the hazardous waste regulations while reducing burden and protecting human health and the environment.

Must for USTs Updated to reflect the revisions to the UST regulations, this page booklet summarizes federal UST requirements for installation, reporting, spill and overfill prevention, corrosion protection, release detection, walkthrough inspections, compatibility, operator training, repairs, financial responsibility, release response, and closure.

Drinking Water Rule Quick Reference Guides These documents provide a simple and straightforward description of the rule and requirements. The documents include critical deadlines for drinking water systems and states and monitoring requirements.

The portal enables the user to work through a decision tree and educate themselves about treatment options before committing to any given treatment. Revised Total Coliform Rule: A Quick Reference Guide Overview of the new requirements for public water systems related to total coliforms management.

The new requirements go into effect 1 April Stage 1 and Stage 2 Disinfectants and Disinfection Byproducts Rules This website provides background information, guidance, fact sheets, and tools to facilitate understanding the requirements of the Stage 1 and Stage 2 rules as well as implementing them.

Compliance monitoring activities for the RRP Rule include work site inspections, records reviews of renovation firms, and auditing training provider courses that certify renovators. While directed at schools, it applies to any other building owner or operator as well. Guidance for EPA Programs Enforcement and Compliance at Federal Facilities Formerly known as the “Yellow Book” this website compendium of information provides field-level personnel a primer for complying with environmental requirements and understanding the enforcement and compliance processes used by EPA at federal facilities.

Included on the site is a definition of what is included in the terminology “federal facilities,” summaries of the enforcement process for federal facilities, and information on available assistance for achieving compliance.

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Federal Facilities Enforcement Policies and Guidance Key policy and guidance documents for EPA’s compliance and enforcement program at federal facilities. Unified Agenda of Regulatory and Deregulatory Actions This website provides access to information on the status of regulatory actions by Agency.

Users can select the EPA and review accesible titles of rules fomr are in the pre-rule, proposed rule, or final rule stage. Links are provided for the text of the rule and information provided on expected publication dates. Formneet by State Information Tools EnvCAP has prepared state resource locators for a wide range of topics to help you find important environmental compliance information specifically for your state.

State Environmental Agencies This provides a link to the state environmental regulatory agencies. The site includes calculators to estimate emissions from boilers fired by: Each information resource has a record in READ. The record also gsx basic information about the resource such as: Title, Acronym, Description, Contact information, and Organization that owns or operates it.

Life cycle information, user types, and access information are other data that can be found in a READ record. Drinking Water Treatability Database The TDB can forrmnet drinking water utilities, water treatment process design engineers, researcher organizations, federal and state regulators, professional organizations, environmental groups, and academicians. Fogmnet can be used to identify effective drinking water treatment processes, to plan for future treatment plant upgrades, to provide information to first responders to spills or emergencies, to recognize research needs, to complement literature reviews and literature searches, and to assist regulators in Best Available Technology and Contaminant Forjnet List CCL decisions.

Economic Guidance for Water Quality Standards The gas of this web-based tool is to help a variety of stakeholders evaluate the economic and social impacts of pollution controls needed to meet water quality standards set for specific uses for a waterbody, such as swimming or fishing. This tool could be used by states, territories, tribes, local governments, industry, municipalities and stormwater management districts. The tool will help stakeholders identify and organize the necessary information, and perform calculations to evaluate the costs of pollution control requirements necessary to meet specific water quality standards.

The tool prompts users to submit treatment technology information, alternative pollution reduction techniques and their costs and efficiencies, and financing information, as well as explain where that information can be found. The changes will result in faster and more efficient resolution of self-disclosures, while saving considerable time and resources for regulated entities and EPA.