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  • DEP Accepting Applications for Environmental Education Projects

    Good news alert: The Department of Environmental Protection (DEP) has made nearly $1 million available for projects that will promote environmental education and stewardship across Pennsylvania. Many of last year’s awardees also supported people in environmental justice communities , communities composed of Pennsylvanians that are more threatened by climate change, air pollution, and water pollution (example: Clairton and other Mon Valley communities).   DEP’s 2025 Environmental Education Grants Program is accepting applications through Nov. 15.  Up to $1 million worth of grants may be awarded for environmental education projects that engage people about clean water and climate change, especially projects that focus on environmental justice areas. Eligible applicants include schools, colleges, nonprofit community and environmental organizations, county conservation districts, and businesses.    “Environmental Education grants are some of the best ways to teach people about the water they drink and the air they breathe. The projects that these grants support strengthen the bonds between people and their environment so they are able to make informed decisions and take responsible actions for their communities,” said DEP Acting Secretary Jessica Shirley. “These projects are especially important to communities that have been disproportionately impacted by pollution.”   Interested? Wanna learn more? Then mark your calendar for a free 2025 Environmental Education Grants Program webinar that will be from 11:30 a.m. to 1 p.m. Oct. 10. DEP staff will provide proposal tips and instructions for completing required application forms. The program will conclude with a Q&A session. Please note that registration by Sept. 30 , is required: 2025 EE Grants Program Webinar Registration .    Projects with a local focus may receive up to $5,000 and regional or statewide initiatives may receive up to $30,000. Projects that engage students and teachers from at least 60 Pennsylvania counties at three levels, local, state, and national, may be awarded up to $65,000.   Funding is provided on a reimbursement basis. Projects must be implemented during the period July 1, 2025 - June 30, 2026.     Information about the grants program is available at Environmental Education Grants . Electronic applications must be submitted through the Keystone Login (first-time users will need to register).    The Environmental Education Grants Program has supported a wide range of activities from tours and workshops to hands-on field experiences and action projects. Go to 2024 EE Grant Awards for a listing of projects that were awarded funding in Spring 2024.

  • Join Our Team: GASP is Hiring a Full-Time Field Technician

    Group Against Smog and Pollution (GASP) is seeking a full-time field technician to join our team. The field technician is responsible for the regular collection of air samples in support of an EPA-funded regional air quality monitoring project in partnership with several community partner organizations. The Field Technician reports to our executive director and works closely with the project manager. The ideal candidate will have a strong background in environmental science or a related field and an interest in air quality. Please note that training will be provided. Field Technician is a grant-funded and currently temporary position lasting the duration of the project, until Summer 2027. Responsibilities: Complete training in the project’s air quality monitoring equipment, including placement, maintenance, and calibration, and the project’s reporting requirements. Collect air samples from 6 locations within Allegheny County. Maintain air sampling and monitoring equipment . Support preparation of semiannual reports on air quality findings. Assist community partners in conducting outreach and education activities to raise awareness about air quality issues. Work independently and as part of a team. Comply with all safety regulations. Qualifications: Bachelor's degree or work experience related to environmental science, public health, chemistry, or other relevant field. Excellent data collection and analysis skills. Strong written and verbal communication skills. Excellent organizational skills and the ability to manage several tasks and meet deadlines. Ability to work independently and as part of a team. Valid driver's license. Benefits and Salary: This is a full-time, salaried position at $40,000 annually. Our benefits package includes: paid holidays and benefit days a medical insurance reimbursement, and a pension plan beginning after one year of employment Mileage reimbursement for approved work-related travel Opportunity to work on a meaningful project that makes a difference in the community Chance to work with a team of dedicated professionals Apply: Please submit your resume and cover letter to patrick@gasp-pgh.org on or before Sept. 15.

  • EPA Announces Enhancements to Indoor Air Quality Program Aimed at Healthier Homes by Design

    The U.S. Environmental Protection Agency (EPA) on Monday announced enhancements to a program designed to advance indoor air quality protection and expand market accessibility. Known as Indoor AirPlus, the voluntary partnership and labeling program is designed to improve indoor air quality in homes.  Builders that participate in the program use construction practices designed to minimize exposure to airborne pollutants and contaminants in the home. Strategies include: mold and moisture control radon resistance pest management improved heating, ventilating and air-conditioning systems combustion venting healthier building materials and homeowner education Labeled homes can help reduce the likelihood of common and serious health problems like infectious disease, heart disease, cancer, asthma, allergies, respiratory issues, headaches and more. This new version encourages broad industry participation, substantially advances indoor air quality protections, and strengthens third-party verification and quality assurance. Under this program update, builders may choose to build Indoor AirPlus Certified homes, or Indoor AirPlus Gold Certified homes. With no other certification prerequisites, the Indoor AirPlus Certified home is built with key strategies targeting improved indoor air quality.  The Indoor AirPlus Gold Certified home is designed to include more advanced protections for improved indoor air quality in conjunction with the energy efficiency benefits of ENERGY STAR certification. Wanna take a deeper dive into this particular program? Here are some helpful links: Indoor AirPlus Indoor AirPlus Version 2 Find an Indoor AirPlus builder or rater in your area Join the Indoor AirPlus program

  • PA DEP Announces New Practice for Determining Air Quality Permitting Application Deadlines

    The Pennsylvania Department of Environmental Protection (DEP) on Saturday published notice of a new practice regarding the deadlines for sources to submit their initial applications for Title V Operating Permits, something that is required under the Clean Air Act for major sources of air pollution. It’s good news! According to DEP’s new practice, new Title V sources in Pennsylvania will, moving forward, be required to submit applications for their initial Title V Operating Permits within 12 months of beginning operations.   Note, however, that new Title V sources that are already operating will be required to submit their applications by Nov. 25 if they have not already done so. “DEP’s existing regulations provide that a Title V source must submit its initial application for an operating permit within 120 days of the department providing notice that the application is due, but do not proscribe what, if anything, triggers DEP’s obligation to provide such notice,” GASP senior attorney John Baillie explained.  He continued: “Accordingly, the new practice announced over the weekend should reduce the number of major sources across Pennsylvania that are operating under temporary authorizations according to the limits in their pre-construction permits.”   In our region, it appears that two sources may be affected by the new practice, including Hunter Panels in Fayette County and the Tri-County Landfill in Mercer County.   Additionally, two new major sources in our region have submitted applications for their initial Title V Operating Permits in the last several months, perhaps in anticipation of the announcement DEP’s new practice: Shell Chemical Appalachia in Beaver County and Hill Top Energy Center in Greene County How will major sources of air pollution in Allegheny County be impacted? They won’t. Here’s why: Sources in Allegheny County are regulated by the Allegheny County Health Department (ACHD) rather than DEP and therefore are not affected by the new practice. ACHD’s rules and regulations for Title V Operating Permits, like DEP’s, do not specify what, if anything, triggers a new source’s obligation to file its initial application for a Title V Operating Permit.

  • Allegheny County Health Department Announces Application Window is Open for Clean Air Fund Projects

    The Allegheny County Health Department (ACHD) announced today that its Air Quality Program is seeking applications for the funding of fleet electrification, tree canopy expansion, equipment electrification, and climate resiliency/adaptation projects with $5 million in total allocated for the initiatives. Data collected and analyzed by the Pennsylvania Department of Environmental Protection shows that vehicle PM2.5 emissions contribute approximately 25 percent of all air pollution in Allegheny County. Projects for 2024 are aimed at reducing this pollution and building resiliency against the effects of climate change. This year, municipalities, Council of Governments, special districts, and others across the county - with preference given to environmental justice communities, especially those in the Mon Valley - are eligible to apply for fleet electrification projects.  The projects must replace diesel fueled vehicles with zero-emission equivalents, and/or acquire the necessary infrastructure to support a zero-emission fleet. The maximum award for an individual fleet electrification grant is $800,000. It is anticipated that multiple projects will be accepted.  Funding will also be used for projects that will obtain, plant, and maintain the tree population throughout Allegheny County. Proposed projects must prioritize areas with lower percentage of tree canopy. Applicants, which may include both municipalities and community organizations, must provide both an in-depth cost-benefit analysis of adding trees and a specific maintenance plan for sustaining the project for a minimum of five years. Projects must be located on public land, located near pollution sources or in pollution corridors, and utilize tree species that are drought tolerant and provide maximum pollution reduction.  Multiple projects are anticipated to be selected, each with a maximum award of $50,000.  Two new projects are being introduced this year: Electrification of Municipal Equipment and Climate Resiliency/Climate Adaptation.  The electrification of municipal equipment is open to municipal governments, Councils of Government, special districts and others. Funding is for replacement of diesel or gasoline fueled equipment such as lawn mowers and weed whackers. Projects must be between $10,000 to $75,000 each. Up to six grants will be awarded. The climate resiliency/climate adaptation projects are open to nonprofit organizations, local governments, Council of Governments, and academic institutions in Allegheny County. These grants are for designing and constructing/installing projects that both offset the effects of climate related impacts and to improve air quality. Priority will be given to environmental justice areas and municipalities in the Mon Valley. Up to two grants will be awarded, each at up to $1 million. Municipalities and community organizations interested in learning more about these two grant opportunities can find more information, as well as application materials on the Health Department's Clean Air Fund webpage. The Allegheny County's Clean Air Fund, in part, supports activities and projects that: Improve air quality by reducing, eliminating or preventing air pollution Broaden understanding of air quality effects through health studies Educate the public on issues concerning air pollution Provide special purpose ambient air monitoring Complete any other project consistent with the provisions of Article XXI and the mission of the Board of Health The funding will come from the Clean Air Fund, which is funded through penalties collected from air pollution emitters by the Air Quality Program's enforcement efforts. No tax dollars will be utilized to fund projects. Applications and all supporting materials are due by 5 p.m. Sept. 23. To learn more about the ACHD's air quality efforts, visit: alleghenycounty.us/airquality

  • UPDATED: ACHD Announces Monitoring Failure Led to H2S & Sulfur Dioxide Data Removal; GASP Seeking Further Info

    UPDATE: ACHD monitoring staff got back to GASP Wednesday afternoon with an update. The department said that multiple municipalities via 911 had been receiving an especially high volume of complaints about sulfur-like odors in the Mon Valley over this period. While the H2S concentrations were higher than usual during this time period, the instruments passed all quality assurance and quality control checks while the H2S data appeared to generally match the conditions we were receiving from the public.  It was through evaluation of the data (especially as it relates to the ratio of SO2 to H2S) that an anomaly was spotted in the SO2 concentrations over this time period.   They recommended folks take a look at the FAQ section ACHD developed, which will hopefully address those questions. https://www.alleghenycounty.us/Services/Health-Department/Air-Quality/Air-Quality-Dashboards/Hydrogen-Sulfide ACHD also noted that dates were being mulled for a subcommittee meeting, where the subject will be discussed at length. We will keep you posted on that meeting date when it's announced. --- The Allegheny County Health Department (ACHD) announced in a press release Tuesday afternoon that hydrogen sulfide (H2S) and sulfur dioxide (SO2) data has been removed from the website after monitoring equipment at the Liberty Monitoring Station was discovered to be not fully functional. The equipment failure impacts data from March 20, 2024, to May 14, 2024, and on May 17, 2024. ACHD stressed that only sulfur dioxide and hydrogen sulfide data were affected during this time period. Here’s what the press release said: The issue was discovered as part of the quality assessment and quality control process of the data. A probe line became dislodged from its exterior housing on the sulfur dioxide monitor causing readings to deviate from the norm despite the instrument passing all regular instrument quality assurance checks.  No current enforcement actions are impacted by this data removal and the specific data affected during this time period will not be used in any future enforcement action(s).  To learn more please visit the Hydrogen Sulfide webpage . For hourly data from all monitoring stations, including the Liberty Monitoring Station, visit the Hourly Air Quality Data . “It’s concerning anytime there is an equipment failure that leads to data being invalidated,” GASP Executive Director Patrick Campbell said. “Given how much H2S emissions have impacted the area in general and Mon Valley residents in particular, we hope the health department releases more detailed information about what happened and what the ramifications might be.” GASP on Wednesday morning reached out to ACHD monitoring staff to glean more information and to inquire about the date of the next Air Quality Monitoring Subcommittee meeting, where these issues are generally discussed in great detail.  We will keep you posted on what we find out.

  • SCOTUS tells EPA its Good Neighbor Plan is “Arbitrary and Capricious;” Stays the Plan

    The Clean Air Act spent some time in the headlines recently thanks to the U.S. Supreme Court’s decision  to stay the EPA’s “Good Neighbor” plan, which would have required certain sources that emit oxides of nitrogen (NOx) in 23 states to reduce their emissions.     If you need a little more background info on all that,  we blogged about those specific measures and what they would mean to sources in Pennsylvania in March 2023 .   Today, we want to share an explanation of how the Supreme Court may have decided as it did. But first some legal background to put things in context…   The Clean Air Act requires that EPA set National Ambient Air Quality Standards (NAAQS) for certain air pollutants. Once EPA sets or revises a NAAQS, the law requires that states submit State Implementation Plans (or SIPs) that provide for the “implementation, maintenance, and enforcement” of the NAAQS within their boundaries.    The Clean Air Act also contemplates that the states, not EPA, will bear primary responsibility for determining how the NAAQS will be implemented, maintained, and enforced.    However, it also requires that each SIP prohibit emissions that “contribute significantly to nonattainment in, or interfere with maintenance by, any other State” of a NAAQs; this is referred to as the Act’s “Good Neighbor Provision.”   If a state does not submit a SIP or submits a SIP that does not meet all applicable requirements, the Clean Air Act authorizes EPA to issue what’s known as a Federal Implementation Plan for the state after giving the state an opportunity to submit a valid SIP.    Further, if the SIP initially submitted by a state is insufficient, EPA must give the state a chance to cure the deficiency by submitting a revised SIP, unless the deadline for doing so has passed.   Now, back to the “Good Neighbor” plan itself.   In 2022, EPA determined that some 23 states’ SIPs (including Pennsylvania’s) ran afoul of the Act’s Good Neighbor Provision because they did not adequately limit emissions from sources that contributed to high levels of ozone in downwind states (and either contributed to nonattainment of the 2015 ozone NAAQS or interfered with attainment of the 2015 ozone NAAQS).   However, rather than give those states the opportunity to revise their SIPs to fix their deficiencies, EPA imposed a single, uniform Federal Implementation Plan on all 23 of them.    That Federal Implementation Plan, which is called the “Good Neighbor” plan, required that certain control measures be used by certain sources of NOx emissions. EPA determined that those control measures were cost-effective based on the premise that they would be applied to all subject sources in all twenty-three states and made no determination that the measures would be cost-effective if applied in fewer than all of the 23 states.    The failure to make such a determination proved to be fatal to the “Good Neighbor” plan. After the plan was issued, it was successfully challenged in court by a number of states and thus did not go into effect in those states.    Consequently, the Supreme Court found that the cost-effectiveness determination that EPA used to justify the plan was no longer valid because that determination depended on the plan going into effect in all twenty-three states.    That rendered the plan itself – because it was based on an invalid determination – “arbitrary and capricious” and thus illegal and unenforceable.   “By trying to do an end run around the Clean Air Act provisions that give states the first and second cracks at imposing emission limits to attain the ozone NAAQS, EPA may have squandered an opportunity to get better controls in place, said GASP’s Senior Attorney John Baillie.    He continued:   “However, even after the Supreme Court’s decision EPA is still left with the options of making the cost-effectiveness determinations necessary to justify the plan or giving the states the opportunity to revise their SIPs to reduce their emissions of ozone-forming pollutants as necessary to protect air quality in downwind states.”   GASP continues to follow this issue closely and will keep you posted.

  • A Small Victory for Clean Air In & Around Neville Island

    We have some good news to share, friends: Back in March, we commented  on the draft Title V Operating Permit for Neville Chemical Company, which is located on Neville Island in Allegheny County.    Our comments noted that the draft permit’s testing, monitoring, and recordkeeping requirements were not sufficient to assure compliance with emission limits on three sources within the facility (specifically, the facility’s packaging centers) as the Clean Air Act requires.   “A permit limit is just ink on paper unless there is a way to ascertain that the source is operating in compliance with it,” GASP attorney John Baillie said.   We are pleased to report that the Allegheny County Health Department heeded our comments and has issued a final permit that incorporates new testing and recordkeeping requirements for Neville Chemical’s packaging centers  that should help assure compliance with the permit’s emission limits.    Although the packaging centers are not large sources of air pollution, it is still important to be able to make sure they are operating within legal limits.    Chalk the revisions to the permit up as a victory for clean air!

  • Understanding Emissions Points, Operations at U.S. Steel’s Edgar Thomson Plant

    UPDATE: The Allegheny County Health Department (ACHD) and U.S. Environmental Protection Agency (EPA) finalized a consent decree with U.S. Steel regarding years' long emissions issues at its Edgar Thomson facility. You can read all about that decree here. GASP has been vocal in demanding transparency regarding when and how the Allegheny County Health Department (ACHD) and Environmental Protection Agency (EPA) will force U.S. Steel to get its Edgar Thomson Plant back into compliance with local and federal air quality regulations. While the public is STILL waiting for an update on a compliance plan promised way back in 2017, those living near the facility continue to deal with smoke, dust, and malodors emanating from Edgar Thomson. GASP wanted to encourage residents to continue to be vigilant and make air quality complaints to ACHD each and every time you experience foul odors or see dark, thick plumes stretching into the sky from Edgar Thomson. We also wanted to remind folks that the most effective air quality complaints include the time and date of the incident, as well as a quick narrative of what you saw and where. Because we get that most people probably aren’t well-versed in the steel-making process, we put together some visuals to help you better understand operations at the plant and more effectively pinpoint where the emissions you’re seeing are coming from – check it out: #EdgarThomson #USSteel #emissions #AlleghenyCountyHealthDepartment #ACHD #airqualityreport #EPA #airquality

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