I am writing on behalf of Bunge North America, Inc.
Admin.
Code Part 217.Subpart U).
3.
IEPA inadvertently excluded the Bunge facility in Danville from the NOx SIP
Call budget trading program when Subpart U was originally established, In a letter fromLaurel Kroack of the IEPA, dated August 17, 2006, IEPA petitioned US EnvironmentalProtection Agency (EPA) and the Clean Air Markets Division (CAMD) requestingadditional allowances for Bunge and that upon receipt of these additional allowances,IEPA would amend Subpart U to include the Bunge facility in Danville in the rule. Howeve...
Allowed
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