2050-0086 Expiration Date: 12-31-2011 Continuous Release Reporting Form SECTION II: SOURCE INFORMATI-2026

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  1. Click ‘Get Form’ to open it in the editor.
  2. Locate the CR-ERNS Number field and enter your assigned number, which identifies your facility.
  3. In Part B, specify the environmental medium affected by the release (air, surface water, soil, or ground water).
  4. If air is affected, indicate whether it’s a stack or ground-based area source and provide the stack height if applicable.
  5. For surface water, name the affected body of water and provide details such as stream order or average flow rate.
  6. If soil or ground water is impacted, indicate the distance to the nearest public water supply well within two miles.
  7. Optionally, provide additional information like gas exit velocity and temperature for air releases or average velocity for surface water.

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There are three standard reporting requirements: the initial telephone notification; the initial written report; and the written first anniversary follow-up report. In all cases, each facility must submit these reports.
The Reportable Quantity identifies the quantities of substances that if released require notification and sets forth the notification requirements for releases of these substances. The CERCLA List of Hazardous Substances and their Reportable Quantities are found in 40 CFR part 302, Table 302.4 .
Regulations set specific requirements about what is legal and what isnt. For example, a regulation issued by EPA to implement the Clean Air Act might explain what levels of a pollutant - such as sulfur dioxide - adequately protect human health and the environment.

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People also ask

In general, the annual reporting threshold is 25,000 lbs per site. However, a reduced reporting threshold (2,500 lbs) applies to chemical substances subject to certain TSCA actions. Find out how to identify if your chemical substance is one of those affected.
On August 9, 2023, the EPA proposed a docHub revision to the Air Emissions Reporting Requirement (AERR). The revision would expand the number of small entities subject to the AERR and increase the amount of information that would need to be reported.

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