2025 - SB 318 (Becker, Josh), Air Pollution: Stationary Sources: Best Available Control Technology (Dead)
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Summary
Would have required CARB's executive officer to review a local air district’s submitted proposed permit for a Title V facility and, if the executive officer determines that the permit does not comply with the federal Clean Air Act or State law governing air pollution, to object to the issuance of that permit. The bill would have prohibited the local air district from finalizing the proposed permit without revising it to the satisfaction of CARB’s executive officer. The bill also would have established a public petition process regarding the proposed Title V permit, as specified.
The bill would have required an applicant to submit a technical feasibility analysis to the local air district as part of its permit renewal application for a Title V facility if its current operating permit includes equipment or control apparatus that meets certain criteria. The bill would have required a local air district to require best available retrofit control technology to be applied at each piece of equipment or source category identified in the technical feasibility analysis.
The bill would have revised CARB's precertification program, including requiring CARB to update criteria and guidelines for precertification at least once every eight years. The bill would have authorized the precertification program to include the identification of equipment, controls, fuels, and processes, as specified.
The bill would have revised requirements for a local air district’s expedited permit system. The bill, among other things, would have required CARB to issue determinations for best available control technology and best available retrofit control technology, and to establish best available control technology for toxic air contaminants. Held on suspense in the Senate Appropriations Committee.