Air Toxics Notebook
Gasoline Dispensing Facilities -  Subpart CCCCCC

Applicability: eCFR Subpart CCCCCC [ecfr.gov]

This subpart applies to:
  1. The loading of gasoline storage tanks at gasoline dispensing facilities.
Affected Sources:
  1. Each gasoline dispensing facility that is located at an area source.
    • Includes gasoline cargo tank, and equipment necessary to unload product, during delivery of product.
    • Includes each storage tank and associated equipment components.
An area source of HAP has the potential to emit :
  • <10 tons per year (tpy) of a single HAP; or
  • <25 tpy of a combination of HAPs.

Not subject to this subpart:
  1. Equipment used for the refueling of motor vehicles.
  2. The loading of aviation gasoline into storage tanks at airports, and the subsequent transfer of aviation gasoline within the airport.
  3. Affected sources which elect to comply with another applicable Federal rule having more stringent provision(s).
Rules apply to small, area sources? Yes
Known Sources in NDEQ Jurisdiction:
(See attached file: 6C - NESHAP Initial Notifications Received - 2013-04-19.pdf)

SizeFile Name
384 KB 6C - NESHAP Initial Notifications Received - 2013-04-19.pdf
Date of Original Final Rule: 1/10/08
Amendments Dates: 06/10/2022 - Proposed Rule
01/24/2011 - Final Amendments & Clarifications
03/07/2008 - Correction
01/10/2008 - Final Rule
State Regulations (Title 129): As of September 28, 2022: Title 129, Chapter 13, Section 002.95

Previously: Title 129, Chapter 28, Section 001.106.

Sources are also responsible for ensuring they are in compliance with current federal requirements found for this subpart in the CFR.
Federal Regulations: 40 CFR 63.11110
Related Rules:

NSPS – 40 CFR Part 60

Subpart Ka or Kb - Petroleum Liquid Storage
Subpart XX – Bulk Gasoline Terminals (loading racks)

NESHAP - 40 CFR Part 63
Subpart BBBBBB - Gas Distribution Facilities
Regulations and Federal Registers:
eCFR Subpart CCCCCC [ecfr.gov]
(See attached file: 6C - Fed. Reg. 06-10-2022 - Proposed Rule.pdf)
(See attached file: 6B, 6C - Fed. Reg. 01-24-2011 - final amendments.pdf)

(See attached file: 6B, 6C - Correction 03-07-08.pdf)

(See attached file: 6B, 6C - Final Rule 01-10-08.pdf)

SizeFile Name
407 KB 6C - Fed. Reg. 06-10-2022 - Proposed Rule.pdf
270 KB 6B, 6C - Fed. Reg. 01-24-2011 - final amendments.pdf
49 KB 6B, 6C - Correction 03-07-08.pdf
273 KB 6B, 6C - Final Rule 01-10-08.pdf
Forms: (See attached file: 6C - Initial Notification and Compliance Status Form.docx)(See attached file: 6C - Initial Notification and Compliance Status Form.pdf)
SizeFile Name
46 KB 6C - Initial Notification and Compliance Status Form.docx
149 KB 6C - Initial Notification and Compliance Status Form.pdf
Important Dates: Source Classification
  • Existing Source = constructed or reconstructed on or before 11/9/06
  • New Source = constructed or reconstructed after 11/9/06
Initial Notification
  • None
    • <10,000 gallon monthly throughput
    • 10,000 – 100,000 gallon monthly throughput & only underground storage tanks - if complying with NE State Fire Marshall law for submerged fill and only have underground storage tanks
    • > 100,000 gallon monthly throughput
      • if operating vapor balance system that achieves 90% emission reduction or complying with management practices as stringent at Table 1 of rule and
      • above are required by enforceable state law or permit
  • Existing source = 5/9/08
  • New source = 5/9/08 or upon startup
  • Only load gasoline into nonroad engine or vehicle = 5/24/11
Compliance Dates
  • Existing source = 1/10/11
    • Only load gasoline into nonroad engine or vehicle = 1/24/14
  • New source = 1/10/08 or upon startup
    • > 100,000 gallon monthly throughput
      • Startup between 11/9/06 - 9/23/08 = 9/23/08
      • Startup after 9/23/08 = upon startup
    • Only load gasoline into nonroad engine or vehicle = 1/24/11
Compliance Status Notification
  • None
    • <10,000 gallon monthly throughput
    • 10,000 – 100,000 gallon monthly throughput & only underground storage tanks - if complying with NE State Fire Marshall law for submerged fill and only have underground storage tanks
    • > 100,000 gallon monthly throughput
      • if operating vapor balance system that achieves 90% emission reduction or complying with management practices as stringent at Table 1 of rule and
      • above are required by enforceable state law or permit
  • Within 60 days of compliance date (all sources)
Notification of Performance Test
  • 60 days prior to test
Compliance Reports
  • Annual - all sources
    • If malfunction caused or may have caused exceedence
    • By March 15 each year
  • > 100,000 gallon monthly throughput
    • Results of volumetric efficiency tests
    • Within 180 days of test date
**** Please check with LLCHD or OAQC if you are located within Omaha city limits or Lancaster County. They may have notification and/or report requirements that differ from NDEQ.

FAQs, Fact Sheets, and Rule Summaries: (See attached file: 6C - EPA Brochure 01-2011.pdf)

(See attached file: 6C - EPA Summary - 01-2011.pdf)

SizeFile Name
103 KB 6C - EPA Brochure 01-2011.pdf
24 KB 6C - EPA Summary - 01-2011.pdf
Presentations, Training and Articles: (See attached file: 6C - KDHE SBEAP ppt 01-22-09.pdf)
SizeFile Name
225 KB 6C - KDHE SBEAP ppt 01-22-09.pdf
Other Information and Resources:
(See attached file: 6C - EPA email - Poppet Valves for compliance.pdf)

Iowa DNR Area Source NESHAP website [iowadnr.gov] - fact sheets, guidance documents, webinars, compliance calendars, and presentations

(See attached file: 6B, 6C - Proposed Settlement 06-30-09.pdf)
California Air Resource Board (CARB) Test Methods [arb.ca.gov]

EPA's Area Source Rule Website [epa.gov] contains federal register notices and implementation tools

Texas CEQ Subpart CCCCCC Webpage [tceq.texas.gov]

SizeFile Name
17 KB 6C - EPA email - Poppet Valves for compliance.pdf
64 KB 6B, 6C - Proposed Settlement 06-30-09.pdf
Notes:
Page Last Updated: 11/1/22