INGAA Comments on Subpart OOOOa Appendix A

In June 2018, INGAA provided several documents to EPA regarding fugitive emissions data to substantiate its position that fugitive emissions monitoring at compressor stations should be less frequent than quarterly. EPA’s review of that material is provided in an EPA memo titled “EPA Analysis of Fugitive Emissions Data Provided by INGAA” (docket document EPA-HQ OAR-2017-0483-0038).

This memo is an attachment to INGAA’s comments on Subpart OOOOa proposed amendments…

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