1 / 43

507 Program Training

Introduction. PurposeUnderstand the 507 ProgramsIntroduce national network of 507 ProgramsKnow where to get help and resources. CAA 1990 Sec. 507. 1990 amendments Sec. 507. Small Business Stationary Source Technical and Environmental Compliance Assistance ProgramEach state must establish a progr

mallory
Download Presentation

507 Program Training

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


    1. 507 Program Training Tuesday May 3, 2011

    2. Introduction Purpose Understand the 507 Programs Introduce national network of 507 Programs Know where to get help and resources Welcome and introduction Welcome and introduction

    3. CAA 1990 Sec. 507 1990 amendments Sec. 507. Small Business Stationary Source Technical and Environmental Compliance Assistance Program Each state must establish a program to help small businesses Federal requirements The CAA amendments of 1990, section 507 required that the states establish a program to help small businesses. This program is required to as part of the state’s SIP or State Implementation Plan. Does everyone know what a SIP is? -- Under the CAA, each State has to submit an implementation plan for the State which specifies how national ambient air quality standards will be achieved and maintained within each air quality control region in the State. The section also lays out federal responsibilities related to the state programs, some of which we will discuss later. The CAA amendments of 1990, section 507 required that the states establish a program to help small businesses. This program is required to as part of the state’s SIP or State Implementation Plan. Does everyone know what a SIP is? -- Under the CAA, each State has to submit an implementation plan for the State which specifies how national ambient air quality standards will be achieved and maintained within each air quality control region in the State. The section also lays out federal responsibilities related to the state programs, some of which we will discuss later.

    4. CAA 1990 Sec. 507 Several names -- Small Business Stationary Sources Technical and Environnemental Compliance Assistance Programs (SBTCPs). 507 Programs Small Business Environmental Assistance Programs (SBEAP) The state programs have many names – all for the same program or set of programs The first name is the title of the section and also specified in the language of the section. Also referred to as the 507 Programs because, as you will learn shortly, there are 3 required elements in the program. And finally, the programs are called the SBEAPs, which is also the name of one of the components.The state programs have many names – all for the same program or set of programs The first name is the title of the section and also specified in the language of the section. Also referred to as the 507 Programs because, as you will learn shortly, there are 3 required elements in the program. And finally, the programs are called the SBEAPs, which is also the name of one of the components.

    5. CAA 1990 Sec. 507 Small Business: Employs 100 or fewer individuals Small Business Act definition Not a major stationary source Not emit 50 tons or more per year any regulated pollutant Emits less than 75 tons per year all regulated pollutants. Section 507 defines a small business as one that is” owned or operated by a person that employs 100 or fewer individuals small business as defined in the Small Business Act not a major stationary source; not emit 50 tons or more per year of any regulated pollutant emits less than 75 tons per year of all regulated pollutants. Section 507 defines a small business as one that is” owned or operated by a person that employs 100 or fewer individuals small business as defined in the Small Business Act not a major stationary source; not emit 50 tons or more per year of any regulated pollutant emits less than 75 tons per year of all regulated pollutants.

    6. CAA 1990 Sec. 507 The 507 programs required under the act consist of 3 elements : an Ombudsman, a SBEAP and a CAP. The 507 programs required under the act consist of 3 elements : an Ombudsman, a SBEAP and a CAP.

    7. SBO Advocates for small businesses Is a resource for small business Coordinates and facilitates issues at the state level In Section 507 – each state has to designate a State office to serve as an Ombudsman for small businesses in implementing the requirements of the Act. The role of an Ombudsman is generally to: Act as an advocate for small business within the regulatory agency Be a resource for small businesses Help In Section 507 – each state has to designate a State office to serve as an Ombudsman for small businesses in implementing the requirements of the Act. The role of an Ombudsman is generally to: Act as an advocate for small business within the regulatory agency Be a resource for small businesses Help

    8. SBEAP Provides compliance assistance Helps in determining applicable requirements Helps businesses receive permits in a timely and efficient manner CAA requirements include having a compliance assistance program to help small businesses in: CAA requirements include having a compliance assistance program to help small businesses in:

    9. SBEAP/SBO State environmental regulatory agency Small Business Development Centers (SBDC) Other state agency Other organizations such as a university Each state did things a bit differently and located the SBEAPs in different places. Most programs are located in the state regulatory agencies. Some states have the SBEAP in one organization and the SBO in another. And have the programs in the Small Business Development Centers. Some states also have programs at the county level for some counties. In some states the ombudsman and SBEAP are merged. Show of hands – how many of you have programs in the state regulatory agency….in an SBDC? What about another agency? [As for them to say where]. Each state did things a bit differently and located the SBEAPs in different places. Most programs are located in the state regulatory agencies. Some states have the SBEAP in one organization and the SBO in another. And have the programs in the Small Business Development Centers. Some states also have programs at the county level for some counties. In some states the ombudsman and SBEAP are merged. Show of hands – how many of you have programs in the state regulatory agency….in an SBDC? What about another agency? [As for them to say where].

    10. SBEAP Snapshot - Budget You can see that the size and budgets of the SBEAPs vary significantly. This data is from the 2007/8 report. As components of the Title V Air Permit program, SBEAPs are funded from annual emission fees that are collected from major state air sources. Some programs have other sources of funding. Does anyone here have other sources of funding? What is it?. Naturally, the programs all started as air only programs since they were established under the CAA. However, as we all know, small business need and often ask for assistance on other issues. So many programs expanded to offer help with other media like waste and water. How many people here offer multimedia assistance? You can see that the size and budgets of the SBEAPs vary significantly. This data is from the 2007/8 report. As components of the Title V Air Permit program, SBEAPs are funded from annual emission fees that are collected from major state air sources. Some programs have other sources of funding. Does anyone here have other sources of funding? What is it?. Naturally, the programs all started as air only programs since they were established under the CAA. However, as we all know, small business need and often ask for assistance on other issues. So many programs expanded to offer help with other media like waste and water. How many people here offer multimedia assistance?

    11. SBEAP Snapshot - FTEs

    12. SBEAP Snapshot - Multimedia Information from the 2007-2008 Status of State Small Business Compliance Assistance Programs that the EPA ASBO puts together from data collected in an annual survey of the 507 Programs. Naturally, the programs all started as air only programs since they were established under the CAA. However, as we all know, small business need and often ask for assistance on other issues. So many programs expanded to offer help with other media like waste and water. How many people here offer multimedia assistance? That wraps up the section about the SBO and SBEAPs. I am going to turn the program back to Tiffin. Tiffin: introduce Glenn and Dale (decide who will do what – maybe Dale here and Glenn for the NCAP) But both can provide insights about their state CAP here. Information from the 2007-2008 Status of State Small Business Compliance Assistance Programs that the EPA ASBO puts together from data collected in an annual survey of the 507 Programs. Naturally, the programs all started as air only programs since they were established under the CAA. However, as we all know, small business need and often ask for assistance on other issues. So many programs expanded to offer help with other media like waste and water. How many people here offer multimedia assistance? That wraps up the section about the SBO and SBEAPs. I am going to turn the program back to Tiffin. Tiffin: introduce Glenn and Dale (decide who will do what – maybe Dale here and Glenn for the NCAP) But both can provide insights about their state CAP here.

    13. CAP Provide advisory opinions on 507 programs Report to Administrator on compliance of state 507 Programs with specific Acts Review information for small businesses to make sure that it is understandable The 3rd element of the 507 programs are the Compliance Advisory Panels or the CAPS. To role of the CAPS are to provide advice on the 507 programs, compliance with specific acts, and make sure that information for small businesses is understandable. CAA language (A) render advisory opinions concerning the effectiveness of the small business stationary source technical and environmental compliance assistance program, difficulties encountered, and degree and severity of enforcement; (B) make periodic reports to the Administrator concerning the compliance of the State Small Business Stationary Source Technical and Environmental Compliance Assistance Program with the requirements of the Paperwork Reduction Act, the Regulatory Flexibility Act, and the Equal Access to Justice Act; (C) review information for small business stationary sources to assure such information is understandable by the layperson The 3rd element of the 507 programs are the Compliance Advisory Panels or the CAPS. To role of the CAPS are to provide advice on the 507 programs, compliance with specific acts, and make sure that information for small businesses is understandable. CAA language (A) render advisory opinions concerning the effectiveness of the small business stationary source technical and environmental compliance assistance program, difficulties encountered, and degree and severity of enforcement; (B) make periodic reports to the Administrator concerning the compliance of the State Small Business Stationary Source Technical and Environmental Compliance Assistance Program with the requirements of the Paperwork Reduction Act, the Regulatory Flexibility Act, and the Equal Access to Justice Act; (C) review information for small business stationary sources to assure such information is understandable by the layperson

    14. CAP Seven members Two representing the general public (selected by the Governor) Four owners or representing owners (selected by the state legislature) One agency representative Section 507 lays out requirements for the CAP members that represent the general public, small businesses and the state regulatory agency. State level of not less than 7 individuals. (D) (2) The Panel shall consist of- (A) 2 members, who are not owners, or representatives of owners, of small business stationary sources, selected by the Governor to represent the general public; (B) 2 members selected by the State legislature who are owners, or who represent owners, of small business stationary sources (1 member each by the majority and minority leadership of the lower house, or in the case of a unicameral State legislature, 2 members each shall be selected by the majority leadership and the minority leadership, respectively, of such legislature, and subparagraph (C) shall not apply); (C) 2 members selected by the State legislature who are owners, or who represent owners, of small business stationary sources (1 member each by the majority and minority leadership of the upper house, or the equivalent State entity); and (D) 1 member selected by the head of the department or agency of the State responsible for air pollution permit programs to represent that agency. Section 507 lays out requirements for the CAP members that represent the general public, small businesses and the state regulatory agency. State level of not less than 7 individuals. (D) (2) The Panel shall consist of- (A) 2 members, who are not owners, or representatives of owners, of small business stationary sources, selected by the Governor to represent the general public; (B) 2 members selected by the State legislature who are owners, or who represent owners, of small business stationary sources (1 member each by the majority and minority leadership of the lower house, or in the case of a unicameral State legislature, 2 members each shall be selected by the majority leadership and the minority leadership, respectively, of such legislature, and subparagraph (C) shall not apply); (C) 2 members selected by the State legislature who are owners, or who represent owners, of small business stationary sources (1 member each by the majority and minority leadership of the upper house, or the equivalent State entity); and (D) 1 member selected by the head of the department or agency of the State responsible for air pollution permit programs to represent that agency.

    15. CAP This chart provides information on the status of CAP programs in the states.This chart provides information on the status of CAP programs in the states.

    16. CAP AGENDA This chart provides information on the status of CAP programs in the states.This chart provides information on the status of CAP programs in the states.

    18. Other 507 Elements Mechanisms for notifying small business of their rights under the Act Mechanisms for informing small business of their obligations under the Act Program for referring sources to auditors or for to provide for compliance audits Expedited procedures to respond to requests for modifications related to compliance or milestones There are a few other elements of the 507 section that is supposed to be included in the state SIP. _________________________________ Adequate mechanisms for notifying small business stationary sources on a timely basis of their rights under the Act. Adequate mechanisms for informing small business stationary sources of their obligations under the Act, including a program for referring sources to qualified auditors or for the State to provide for audits of the operations of such sources to determine compliance with this Act. Expedited procedures to respond to requests from small business stationary sources for modification of any work practice or technical method of compliance, or schedule of milestones for implementing such work practice or method of compliance preceding any applicable compliance date, based on the technological and financial capability of any such small business stationary source. No such modification may be granted unless it is in compliance with the applicable requirements of the Act including the requirements of the SIP. There are a few other elements of the 507 section that is supposed to be included in the state SIP. _________________________________ Adequate mechanisms for notifying small business stationary sources on a timely basis of their rights under the Act. Adequate mechanisms for informing small business stationary sources of their obligations under the Act, including a program for referring sources to qualified auditors or for the State to provide for audits of the operations of such sources to determine compliance with this Act. Expedited procedures to respond to requests from small business stationary sources for modification of any work practice or technical method of compliance, or schedule of milestones for implementing such work practice or method of compliance preceding any applicable compliance date, based on the technological and financial capability of any such small business stationary source. No such modification may be granted unless it is in compliance with the applicable requirements of the Act including the requirements of the SIP.

    19. EPA SBO – 507 Program And the EPA SBO has the following responsibilities…. So basically it is a monitoring and oversight role. However, the EPA SBO was established in 1982, before the CAA Section 507. The EPA SBO also conducts an annual survey on the state of the SBEAPs and SBO. Data from the survey is used to publish a report about the programs and also to create a promotional fact sheet. (1) assist the States in the development of the program required under subsection (a) (relating to assistance for small business stationary sources); (2) issue guidance for the use of the States in the implementation of these programs that includes alternative control technologies and pollution prevention methods applicable to small business stationary sources; and (3) provide for implementation of the program provisions required under subsection (a)(4) in any State that fails to submit such a program under that subsection. Monitoring.- to monitor the small business stationary source technical and environmental compliance assistance program under this section. In carrying out such monitoring activities, the Ombudsman shall- (1) render advisory opinions on the overall effectiveness of the Small Business Stationary Source Technical and Environmental Compliance Assistance Program, difficulties encountered, and degree and severity of enforcement; (2) make periodic reports to the Congress on the compliance of the Small Business Stationary Source Technical and Environmental Compliance Assistance Program with the requirements of the Paperwork Reduction Act, the Regulatory Flexibility Act, and the Equal Access to Justice Act; (3) review information to be issued by the Small Business Stationary Source Technical and Environmental Compliance Assistance Program for small business stationary sources to ensure that the information is understandable by the lay- person; and (4) have the Small Business Stationary Source Technical and Environmental Compliance Assistance Program serve as the secretariat for the development and dissemination of such reports and advisory opinions. And the EPA SBO has the following responsibilities…. So basically it is a monitoring and oversight role. However, the EPA SBO was established in 1982, before the CAA Section 507. The EPA SBO also conducts an annual survey on the state of the SBEAPs and SBO. Data from the survey is used to publish a report about the programs and also to create a promotional fact sheet. (1) assist the States in the development of the program required under subsection (a) (relating to assistance for small business stationary sources); (2) issue guidance for the use of the States in the implementation of these programs that includes alternative control technologies and pollution prevention methods applicable to small business stationary sources; and (3) provide for implementation of the program provisions required under subsection (a)(4) in any State that fails to submit such a program under that subsection. Monitoring.- to monitor the small business stationary source technical and environmental compliance assistance program under this section. In carrying out such monitoring activities, the Ombudsman shall- (1) render advisory opinions on the overall effectiveness of the Small Business Stationary Source Technical and Environmental Compliance Assistance Program, difficulties encountered, and degree and severity of enforcement; (2) make periodic reports to the Congress on the compliance of the Small Business Stationary Source Technical and Environmental Compliance Assistance Program with the requirements of the Paperwork Reduction Act, the Regulatory Flexibility Act, and the Equal Access to Justice Act; (3) review information to be issued by the Small Business Stationary Source Technical and Environmental Compliance Assistance Program for small business stationary sources to ensure that the information is understandable by the lay- person; and (4) have the Small Business Stationary Source Technical and Environmental Compliance Assistance Program serve as the secretariat for the development and dissemination of such reports and advisory opinions.

    20. EPA SBO The EPA SBO has a broader role than just the elements outlined in Section 507. These include acting as an advocate for small businesses within the agency, particularly in the rulemaking process. Also to provide a gateway to the Agency for small businesses. The EPA SBO also manages a hotline for small businesses on a variety of compliance and environmental issues. The SBO is also Asbestos Ombudsman for the EPA and the designated Point of Contact under the Small Business Paperwork Relief Act of 2002. The EPA SBO also conducts an annual survey on the state of the SBEAPs and SBO. Data from the survey is used to publish a report about the programs and also to create a promotional fact sheet. And finally – the EPA SBO supports the national network of the 507 program – the conference is an example of the EPA SBO support. I will discuss this national network in a bit.The EPA SBO has a broader role than just the elements outlined in Section 507. These include acting as an advocate for small businesses within the agency, particularly in the rulemaking process. Also to provide a gateway to the Agency for small businesses. The EPA SBO also manages a hotline for small businesses on a variety of compliance and environmental issues. The SBO is also Asbestos Ombudsman for the EPA and the designated Point of Contact under the Small Business Paperwork Relief Act of 2002. The EPA SBO also conducts an annual survey on the state of the SBEAPs and SBO. Data from the survey is used to publish a report about the programs and also to create a promotional fact sheet. And finally – the EPA SBO supports the national network of the 507 program – the conference is an example of the EPA SBO support. I will discuss this national network in a bit.

    21. FEDERAL SBTAP The Office of Air Quality Planning and Standards (OAQPS) coordinates the Federal Small Business Technical Assistance Program (Federal SBTAP) Expands the use of electronic media as a tool for access to EPA information Prepares materials for the states to use to explain new EPA CAA rules in plain English Creates plain English brochures, sample notification forms, and other tools to help with compliance of area source rules The Federal SBAP is actively involved in expanding the use of electronic media as a tool for access to EPA information by small businesses, state SBEAPs, and the general public. The Office of Air and Radiation, Policy and Guidance home page contains proposed and final rules, background, guidance, plain-English fact sheets, and implementation strategy updates and schedules. (http://epa.gov/air). In addition, OAQPS has developed a web page that serves as a single portal of entry for area source rules, which affect a significant number of small businesses. (http://www.epa.gov/ttn/atw/area/arearules.html). On this page, there is a link for downloading numerous brochures and summary sheets pertinent to specific facility types (http://www.epa.gov/ttn/atw/area/arearules.html#imp). Plain English Guidance Materials The OAQPS prepares materials for use by the states to explain new EPA CAA rules in plain English. These include detailed guidebooks with options for compliance including pollution prevention, sample reporting, recordkeeping forms, and example calculations. Examples are: ? Halogenated Solvent Cleaning (completed May 1995) ? Chromium Electroplating and Anodizing (completed May 1995) ? Wood Furniture (completed September 1997) ? Potential-To-Emit (1999) ? Small Business Compliance Guide (EPA-456/R-05-005) for Reinforced Plastic Composites (2005) In addition, OAQPS has developed plain English brochures, sample notification forms, and other tools for states and sources alike, for assisting with compliance of the latest promulgated area source rules. Some examples are: ? Nine Metal Fabrication and Finishing Source Categories: Requirements via Flow Charts (August 2008) ? Plating and Polishing Area Source Brochure (August 2008) ? Paint Stripping and Miscellaneous Surface Coating Operations Brochure (July 2008)The Federal SBAP is actively involved in expanding the use of electronic media as a tool for access to EPA information by small businesses, state SBEAPs, and the general public. The Office of Air and Radiation, Policy and Guidance home page contains proposed and final rules, background, guidance, plain-English fact sheets, and implementation strategy updates and schedules. (http://epa.gov/air). In addition, OAQPS has developed a web page that serves as a single portal of entry for area source rules, which affect a significant number of small businesses. (http://www.epa.gov/ttn/atw/area/arearules.html). On this page, there is a link for downloading numerous brochures and summary sheets pertinent to specific facility types (http://www.epa.gov/ttn/atw/area/arearules.html#imp). Plain English Guidance Materials The OAQPS prepares materials for use by the states to explain new EPA CAA rules in plain English. These include detailed guidebooks with options for compliance including pollution prevention, sample reporting, recordkeeping forms, and example calculations. Examples are: ? Halogenated Solvent Cleaning (completed May 1995) ? Chromium Electroplating and Anodizing (completed May 1995) ? Wood Furniture (completed September 1997) ? Potential-To-Emit (1999) ? Small Business Compliance Guide (EPA-456/R-05-005) for Reinforced Plastic Composites (2005) In addition, OAQPS has developed plain English brochures, sample notification forms, and other tools for states and sources alike, for assisting with compliance of the latest promulgated area source rules. Some examples are: ? Nine Metal Fabrication and Finishing Source Categories: Requirements via Flow Charts (August 2008) ? Plating and Polishing Area Source Brochure (August 2008) ? Paint Stripping and Miscellaneous Surface Coating Operations Brochure (July 2008)

    22. EPA SBO Joan B. Rogers EPA Asbestos and Small Business Ombudsman (ASBO) http://www.epa.gov/sbo/ Section 507 also required EPA to establish an SBO. To discuss the EPA SBO we have Joan Rogers, the EPA ASBO [bio?] Section 507 also required EPA to establish an SBO. To discuss the EPA SBO we have Joan Rogers, the EPA ASBO [bio?]

    23. National Steering Committee (NSC) National Compliance Advisory Panel (NCAP) Joan can introduce the national network and turn the presentation back to Terry or Dan (if he can be here)Joan can introduce the national network and turn the presentation back to Terry or Dan (if he can be here)

    24. NSC Helps SBEAP/SBO programs: Disseminate information Keep in touch and network Discuss challenges and opportunities Respond to requests from partners, etc. Coordinate with EPA ASBO

    25. NSC Members

    26. NSC Activities Conduct monthly conference calls Disseminate information from: National SBEAP/SBO Other EPA programs States Gather feedback/votes from states on issues Provide forum for concerns, problems, issues facing 507 programs Submit comments reflecting concerns and issues as deemed appropriate by consensus

    27. NSC Subcommittees Awards Climate Change Measurement - Promotional Technical – Air Technical – Waste Technical - Water

    28. Awards Mission To identify awards that might be given or applied for to gain recognition for the achievements within the 507 programs, including the small businesses they serve, and trade associations representing small business to promote visibility for the services the programs provide. Award categories Small Business Environmental Assistance Program Award Small Business Environmental Stewardship Award Trade Association Environmental Leadership Award Karen V. Brown Environmental Leadership Award Award categories Small Business Environmental Assistance Program Award Small Business Environmental Stewardship Award Trade Association Environmental Leadership Award Karen V. Brown Environmental Leadership Award

    29. Climate Change Mission To work together to better understand the issues related to small business compliance with greenhouse gas/climate change legislation, work to influence GHG policy that may directly affect small businesses, and to assist these businesses in understanding and complying with GHG regulations/policy through guidance materials and other resources.

    30. Measurement-Promotional Mission To work cooperatively to support the SBEAP National Steering Committee, improve SBEAP measurement information, training, and resources, respond to SBEAP measurement needs in a timely manner, and to promote the activities of and exposure to the state SBEAPs. Future Plans Future plans include:  1) identifying outcome measures for data gathering in 2010, as a supplement to the Annual Reporting Form, 2) developing a tracking tool to assist with annual reporting, and 3) working cooperatively with other subcommittees to incorporate measurement issues.Future PlansFuture plans include:  1) identifying outcome measures for data gathering in 2010, as a supplement to the Annual Reporting Form, 2) developing a tracking tool to assist with annual reporting, and 3) working cooperatively with other subcommittees to incorporate measurement issues.

    31. Technical – Air Mission To review technical CAA issues and rulemakings that impact small business and consequently, the Small Business Environmental Assistance Programs and to represent the interests of small businesses in EPA's rulemakings, policy decisions, and guidance development, make recommendations to NSC on issues that warrant action on their part Co-Chairs Dan Nickey, IA, 319-273-8905, daniel.nickey@uni.edu Barb Johnson, KS, 785-452-9456, barblj@ksu.edu

    32. Technical - Waste To evaluate RCRA related policy issues and rulemakings that may impact small businesses, develop and maintain relationships with EPA staff in OECA, OAQPS, etc. that develop rules and policy, make recommendations to NSC on issues that warrant action on their part Chair Judy Mirro, VT, 802-241-3745, judy.mirro@state.vt.us

    33. Technical – Water Mission To evaluate CWA related policy issues and rulemakings that may impact small businesses, develop and maintain relationships with EPA staff in OECA, OAQPS, etc. that develop rules and policy, make recommendations to NSC on issues that warrant action on their part Co-Chairs Michelle Bost, TX, 512-239-5834, mbost@tceq.state.tx.us Alison Buemer, IN, 317-234-1191, abeumer@idem.in.gov

    34. Other Subcommittees Planning Subcommittee Helps plan the SBO/SBEAP National Conference every year EPA ad hoc workgroups Provide feedback to the EPA on various issues

    35. Wrap up slide. One way to look at the functions of the 507 programs is to think about the key customers of each element. identifying key customers helps to design and implement your program. Plus it helps in measuring the success of the program. [Can anyone think of other customers?] Of not agree with this list of customers.Wrap up slide. One way to look at the functions of the 507 programs is to think about the key customers of each element. identifying key customers helps to design and implement your program. Plus it helps in measuring the success of the program. [Can anyone think of other customers?] Of not agree with this list of customers.

    36. Resources Monthly NSC conference call Subcommittees and advisory committees EPA website www.epa.gov/sbo/ Small Biz Homepage www.smallbiz-enviroweb.org/ You are welcome to bring your topic, issues, or questions to the monthly NSC conference call. This gives you input from 10 EPA regional representatives and the Regional reps can pass information back to all 50 states The small biz website has a wealth of information and contacts. It also has a list serve. You are welcome to bring your topic, issues, or questions to the monthly NSC conference call. This gives you input from 10 EPA regional representatives and the Regional reps can pass information back to all 50 states The small biz website has a wealth of information and contacts. It also has a list serve.

    37. Small Biz Homepage Resource sharing—publications, videos, events, webinars, regulatory updates, new rules, compliance calendars, compliance tools, industry sector web sites, sustainability information, funding sites Programs helping programs—Multimedia Peer Center, performance measurement tools, success stories Helping national focus—central point for NSC, subcommittees, NCAP, state CAP Fostering communication—message board, listserves, contact information, newsletters, annual reports, awards

    38. Get Involved! Volunteer to be an NSC alternate representative Sit in on a monthly call Read the monthly minutes from calls Join a subcommittee Share your program’s information on Small Biz Homepage

    39. NCAP The NCAP purpose is to foster small business success through improved environmental performance by: Assisting in the development, implementation, and continued improvement of the state CAPs pursuant to Section 507 of the Clean Air Act as amended in 1990. Facilitating communication among businesses, state programs, Small Business Ombudsman (SBO)/Small Business Environmental Assistance Program (SBEAP) Steering Committee, and the US Environmental Protection Agency. Promoting and marketing existing state program components: SBOs, SBEAPs, and CAPs.

    40. NCAP NCAP members are selected by state CAPs within each EPA regional boundary. Must be a current member of a state CAP. State CAPs encouraged to select a CAP member who is a small business owner or small business representative Members-at-large selected by the NCAP Chair and confirmed by a majority vote NCAP members

    41. NCAP- Purpose Statements Assist in the formation and function of the CAPs  Support and advocate for the state SBOs and SBEAPs   Provide information to the EPA ASBO about the CAPs and environmental issues affecting small businesses  Review existing and proposed EPA rules that affect small businesses and recommend changes   Recommend to EPA, the US Senate, the US House of Representatives, and state executive and legislative bodies changes in procedure, rules or laws which would facilitate small business compliance with environmental laws   The following are the NCAP purpose statements:   Assist the states in the formation and function of the CAPs;   Support the state Small Business Ombudsmen (SBOs) and Small Business Environmental Assistance Programs (SBEAPs) and advocate for them;   Provide information to the U.S. EPA Asbestos and Small Business Ombudsman (ASBO) about the state CAPs, as well as environmental issues affecting small businesses;   Review existing and proposed EPA rules affecting small businesses and when necessary, recommend changes; and   Recommend to EPA, the United States Senate, the United States House of Representatives, and state executive and legislative bodies, as appropriate, changes in procedure, in rules or in the law which would facilitate small business compliance with environmental laws. Neither the U.S. EPA ASBO nor his/her designee will engage in or support (including the use of official employee time and Government resources) any activities that are intended or designed (directly or indirectly) to influence in any manner a member of Congress, a jurisdiction, or an official of any government (Federal, state or local) to favor or oppose any legislation, law or appropriation.   The following are the NCAP purpose statements:   Assist the states in the formation and function of the CAPs;   Support the state Small Business Ombudsmen (SBOs) and Small Business Environmental Assistance Programs (SBEAPs) and advocate for them;   Provide information to the U.S. EPA Asbestos and Small Business Ombudsman (ASBO) about the state CAPs, as well as environmental issues affecting small businesses;   Review existing and proposed EPA rules affecting small businesses and when necessary, recommend changes; and   Recommend to EPA, the United States Senate, the United States House of Representatives, and state executive and legislative bodies, as appropriate, changes in procedure, in rules or in the law which would facilitate small business compliance with environmental laws. Neither the U.S. EPA ASBO nor his/her designee will engage in or support (including the use of official employee time and Government resources) any activities that are intended or designed (directly or indirectly) to influence in any manner a member of Congress, a jurisdiction, or an official of any government (Federal, state or local) to favor or oppose any legislation, law or appropriation.  

    42. NCAP - Resources Small Biz Environmental Home Page www.smallbiz-enviroweb.org/CAP/default.aspx Regulations.gov www.regulations.gov/search/index.jsp Rulemaking Gateway http://yosemite.epa.gov/opei/RuleGate.nsf Action Initiation Lists www.epa.gov/lawsregs/search/ail.html

    43. 507 Program Training THANK YOU

More Related