CICI understands that no sources subject to the current Subpart U have received
allocations of NOx allowances for the 2009 ozone season, nor for any subsequent years.
Nor, even if sufficient, could our
members demonstrate compliance with the requirement, due to their inability to obtainCAIR compliance accounts from the USEPA Clean Air Markets Division (“CAMD”),absent a federally approved trading program in Illinois. Thank you for your time and consideration in understanding this issue.
Allowed
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