Recent Blog Posts
Let’s be honest… you work a lot. Sometimes too much. You do it because you take your job seriously and want it done right. The reality however, is you are stretched thin and on the verge of burnout. The big question then becomes, “How can you accomplish all your regular responsibilities AND maintain a sufficiently […]
Let’s be honest… you work a lot. Sometimes too much. You do it because you take your job seriously and want it done right. The reality however, is you are stretched thin and on the verge of burnout. The big question then becomes, “How can you accomplish all your regular responsibilities AND maintain a sufficiently […]
Let’s be honest… you work a lot. Sometimes too much. You do it because you take your job seriously and want it done right. The reality however, is you are stretched thin and on the verge of burnout. The big question then becomes, “How can you accomplish all your regular responsibilities AND maintain a sufficiently […]
If a process modification occurs that reduces a chemical inventory below the RMP threshold quantity, the facility is no longer subject to the requirements of USEPA’s Risk Management Program (Title 40 CFR §68). The proper protocol for notifying USEPA of this change is to submit a De-Registration Form which is contained within the RMP eSubmit Users Manual (Page 112). Once received […]
This is a continuation of our blog series titled Overview of Federal and California Process Safety Regulations. Part 1 and Part 2 of our series can be accessed here and here. RMP vs. CalARP The California Accidental Release Prevention (CalARP) regulation is similar to USEPA’s Risk Management Program (RMP) with a few exceptions. The following is […]