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  • Posts by Jennifer Thompson
    Partner

    Jennifer Thompson is a partner in the Environmental and Natural Resources Practice Group of Bingham Greenebaum Doll LLP. Jennifer represents industrial, commercial and governmental clients and provides compliance counseling ...

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Last Thursday, a handful of Bingham Greenebaum Doll LLP’s female attorneys took over the large conference room in Indianapolis – normally reserved for educational presentations and department meetings – and went through a much more colorful type of training… painting! A happy hour social event combined with a painting lesson lead by a local artist, the results were, uh ...

On Sept. 14, 2011, the Indiana Department of Environmental Management released for public notice its Findings of Amendments to Rules Concerning References to the Code of Federal Regulations in the Indiana Register. The rule proposes to update several CFR references from the 2010 edition of the CFR to the 2011 edition. The rulemaking has been brought in accordance with Indiana’s ...

On July 6, 2011 the U.S. EPA finalized the Cross-State Air Pollution Rule (CSAPR). The rule addresses the “good neighbor” provision of the Clean Air Act (CAA) which generally requires that State Implementation Plans contain adequate provisions prohibiting any source within the state from emitting any air pollutant in amounts which will contribute significantly to ...

On January 20, 2011, the D.C. Circuit Court of Appeals rejected the U.S. Environmental Protection Agency’s (EPA) request to extend the court-ordered deadline to issue the final National Emission Standards for Hazardous Air Pollutants for Industrial, Commercial, and Institutional Boilers and Process Heaters (Boiler MACT) and the New Source Performance Standards for ...

On November 3, 2010, the Indiana Air Pollution Control Board (APCB) passed an emergency rule to incorporate the changes included in the federal Prevention of Significant Deterioration and Title V Greenhouse Gas Tailoring Rule, 75 Fed. Reg. 31514 (June 3, 2010). The Greenhouse Gas (GHG) Emergency Rule, once effective, will temporarily amend 326 IAC 2-2-1, 326 IAC 2-2-4, and 326 IAC 2-7-1 concerning the Prevention of Significant Deterioration (PSD) and Title V permitting programs. In summary, the GHG Emergency Rule regulates GHG as carbon dioxide equivalents (CO2e) in the PSD and Title V permitting programs as follows:

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