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Permitting Advice & Guidelines

 

Permit Application Advice Documents

These documents are intended to help applicants prepare permit applications and certifications with a reduced amount of effort, yielding clearer and more accurate applications. We hope to steer new applicants around some common points of confusion and mistakes, allowing them to prepare applications which are complete on their first try.

We assume that the reader has a moderate level of knowledge in air pollution regulation procedures before they commence in writing a permit application. Taking the time to go over these guides should pay great dividends in time savings later on.

 

  • Asphalt Plant Advice .doc/.pdf
  • Compressor Station Advice .doc/.pdf
  • Permit Application Guide for Facilities with Coating/Painting Operations .doc/.pdf
  • Permit Application Guidance for Non-Metallic Mineral Processing Facilities (NMPF-GP) .doc/.pdf
  • Major Construction Permit Advice .doc/.pdf
  • Minor Source General Permit for Oil and Gas Facilities (GP-OGF) .doc/.pdf
  • Rock Crusher Advice .doc/.pdf
  • Storage Tank Advice .doc/.pdf

Other Guidance & Permitting Advice Resources

  • Advice on Permit Exempt Applicability Determinations .doc/.pdf
  • Air Dispersion Modeling Guidelines - Revised June 2017 .pdf
  • Calculation of Flashing Losses/VOC Emissions from Hydrocarbon Storage Tanks .pdf
    Vasquez-Beggs Equation (VBE) Spreadsheet .xls Updated March 1, 2016
  • Estimating Condensate and Crude Oil Loading Losses from Tank Trucks .pdf NEW
  • General Permits Web Page
  • Greenhouse Gas Emissions Permitting Guidance .doc/.pdf
  • Guidance on CAM Plan for Compressor Engines .doc/.pdf
    This Fact Sheet is intended to assist in developing Compliance Assurance Monitoring plans (under 40 CFR Part 64) for oil & gas facilities. CAM affects only major sources with relatively large emissions. The Fact Sheet discusses issues and emission sources common to these facilities. Its focus is on compressor engines equipped with either Non-Selective Catalytic Reduction (NSCR) or catalytic oxidation. Example CAM plans for these two systems are included in the appendices.
  • Minor Source Permitting Guidance for Facilities Subject to Federal Standards .doc/.pdf
  • Permitting Collocated Facilities: Contact Air Quality Permitting Managers for guidance
    (405) 702-4100
    .
  • Permitting Glossary
  • Portable Emission Analyzer Guidance .doc/.pdf
  • Potential to Emit Guidance .doc/.pdf
  • Prevention of Significant Deterioration (PSD) – Increment Consumption Baseline Areas for Oklahoma .pdf
  • Subpart OOOO and General Permits Guidance .doc/.pdf
  • Title V Program Guidance .doc/.pdf

EPA Guidelines Control of Volatile Organic Emissions from Solvent Metal Cleaning Available Electronically

 

The EPA OAQPS Guidelines document EPA-450/2-77-022 (OAQPS NO. 1.2-079) Control of Volatile Organic Emissions from Solvent Metal Cleaning is now available for viewing in .pdf format.

These guidelines are cited in OAC 252:100-39-42 (a)(4) as follows:
252:100-39-42. Metal cleaning

(a) Cold cleaning facility.
(4) Compliance and recordkeeping. Compliance shall be determined in accordance with EPA guidance document "Control of Volatile Organic Emissions from Solvent Metal Cleaning," 450/2-77-022. Test reports and maintenance and repair records of control equipment shall be maintained by the source for at least two years.

Page last updated: September 7, 2017
 

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