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Agency Documents , Alerts, Comments
AGA Alert: EPA Final Rule Exempts Most NOx Releases from Superfund Reporting (Oct. 4, 2006)
AGA Alert: Toxics Release Inventory Reporting Proposed Changes (Sept. 22, 2005)
AGA Comments on EPA's Proposed TRIC Reporting Modifications (Feb. 4, 2005)
AGA Alert: Proposed Changes to the Toxics Release Inventory Reporting Forms (Jan. 10, 2005)
AGA Alert: EPA Seeking Input on Revisions to Chemical Inventory Update Rule (IUR) Reporting Instructions (July 14, 2003)
EPA Final Rule Exempting Natural Gas from Inventory Update Rule Reports (Jan. 7, 2003)
AGA Alert: EPA Exempts Natural Gas from Inventory Update Rule (IUR) Reports in Final Rule (Jan. 7, 2003)
AGA Alert: Final Revised Federally Permitted Release Guidance Reduces Reporting Burdens for Distributed Energy & Gas Utilities (April 23, 2002)
AGA Alert: S.880 requires EPA to work with NFPA to revise Model Fire Code to address propane risks (August 5, 1999)
EPA Publishes Stay of Effectiveness of RMP Rule for Certain Flammable Hydrocarbon Fuels (May 28, 1999)
AGA Alert: Court Challenge on 112r Accident Release Rule (May 10, 1999)
AGA Letter Requesting Natural Gas Exemption from High Production Volume Chemical Testing (March 23, 1999)
AGA Alert: TSCA Reporting for Natural Gas, Oil or Chemical Imports Reports Due Dec. 23, 1998 (Oct. 2, 1998)
AGA Alert: Final 112r Accident Release Rule Clarifies Exemption of LNG and Underground Storage (Jan. 6, 1998)
AGA Memorandum Addressing Applicability of 112(r) to Propane Peak-shaving Facilities (Oct. 24, 1997)
AGA Alert: Memorandum on Clean Air Act 112r Accident Release Rule's Application to Propane Air Tanks and Underground Storage (April 17, 1997)
EPA Letter to Gas Processors Association Regarding Applicability of TSCA Inventory Reporting Requirements to Natural Gas Processing Industry (June 30, 1994)
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 EPA Letter to Gas Processors Association Regarding Applicability of TSCA Inventory Reporting Requirements to Natural Gas Processing Industry (June 30, 1994) 

On June 30, 1994, EPA sent a letter in response to the Gas Processors Association’s May 27, 1994 paper entitled “Applicability of the TSCA Inventory Reporting Requirements to the Natural Gas Processing Industry” (“white paper”). In the white paper, the Gas Processors Association maintains that natural gas processors as an industry are not subject to the reporting requirements of the TSCA inventory Update Rule (“IUR).
 

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