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sj? Volume III No. 3 Quarterly Newsletter
RMP/EPCRA Review
What is RMP?
Risk Management Plan (RMP) facilities are a vital part of our
national infrastructure. The RMP regulation is designed to
prevent accidental releases to the air of substances that
may cause immediate, serious harm to public health and
the environment and to mitigate the effects of releases that
do occur. The regulation applies to facilities that have more
than a threshold of any of 77 acutely toxic substances and
63 highly volatile flammable substances that will present
off-site consequences in a release or accident scenario. The regulation requires facilities
subject to the regulation to develop and implement risk management programs that
incorporate three elements:
Contents:
Mercury Spill: Pg 3
Training & Exercises:
Pg 5
Environmental Train-
ing: Pg 5
40-Hour HAZWOPPER
Course-Billings: Pg 6
RMP News: Pg 6-7
1)	Hazard assessment;
2)	A prevention program;
3)	An emergency response program.
Under the Clean Air Act, the EPA requires Risk Management Plans from these facilities. These plans explain
how each company plans to prevent chemical accidents at its facility, minimize the consequences of any
accidents which do occur, protect personnel within the facility, and protect people and the environment
"beyond the facility fence line."
The regulations not only apply to petrochemical plants but also to stores selling propane, cold storage
facilities, municipal drinking water and wastewater treatment plants, chemical warehouses, and other
businesses which store large quantities of specified chemicals.
The RMP regulation is intended to protect the community from catastrophic accidents at facilities handling
hazardous materials. That goal is achieved in part by reducing the likelihood or the severity of accidental
chemical releases.
CHEMICAL HAZARD INFORMATION:
Federal Reading Rooms provide members of the public with "read-only" access to paper
copies of Risk Management Plans (RMPs), including Off-Site Consequences Analysis (OCA)
information submitted by chemical facilities, pursuant to the Chemical Safety Information,
Site Security and Fuels Regulatory Relief Act (Pub. L No. 106-40). Although all Federal
Reading Rooms provide the same information, some reading rooms are operated by the
Department of Justice (DOJ) and others are the responsibility of the Environmental
Protection Agency (EPA). Check the Environmental Protection Agency's (EPA) Federal
Reading Rooms website for the location nearest you.
All DOJ Reading Rooms are operated on an "appointment-only" basis. Contact the
Department's toll-free appointment line, 1-888-442-9267, at least 7 days prior to the
date you wish to review RMPs. You will be asked to provide your full name; a daytime
telephone number; the reading room location you wish to visit; and the names of the
facilities whose RMPs you wish to view. In addition, you must provide a home or work
address in order to receive access to those RMPs that could be provided by your Local
Emergency Planning Committee.
A Reading Room Representative will contact you by telephone prior to the requested
appointment date. This Representative will confirm the date and time of the (cont. pg 2)
Partner Corner
Want more
localized info?
Check out these
sites:
•	Montana
•	Wyoming
•	North Dakota
•	South Dakota
•	Utah
•	Colorado
•	Denver

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Page 2
RMP/EPCRA Review (cont.)
reading room visit and wiil provide the address of the reading room
site. Please immediately notify the Reading Room Appointment Center
if you are unable to visit the reading room at the scheduled time.
For additional information, please see EPA's Risk Management Plan.
EPCRA
The Emergency Planning and Community Right-to-Know Act (EPCRA)
says that the local community has a right to know what hazardous
chemicals are stored in their communities. It established State
Emergency Response Commissions (SERC), Tribal Emergency
Response Commissions (TERC), and Local Emergency Response
Committees (LEPC) to ensure facilities that store hazardous materials
report what kind and how much on a yearly basis. EPCRA requires
these facilities to submit Tier II reports; which include general facility
information, the facility location, which chemicals they have over a
certain threshold, how much they store, etc. This information is to be
used by the community, and emergency responders to know the hazards associated with the
chemicals. The LEPC receives these yearly reports, reviews them, and creates emergency plans for
the community accordingly. The community can request to view Tier II reports from their local LEPCs
information concerning the chemical hazards in their community.
Regional RMP
On a more local note, an analysis of RMP facilities has been conducted in EPA Region VIII. The
analysis has several categories—among which are included toxic and flammable chemicals. The
following charts give us a quick look at how we are Region-wide concerning these chemicals:
Region 8 Top 10 Toxic Chemicals (tons)
(Flammable Chemical
Chart on Page 3)
* Numbers represent multiple processes
Chemical (Toxic)
Total
Ammonia (anhydrous)
705,225
Chlorine
4,031
Sulfur dioxide (anhydrous)
1,587
Ammonia (cone 20% or greater)
1,340
Titanium tetrachloride [Titanium chloride (TiC!4) (T-4)-]
1,153
Formaldehyde (solution)
880
Hydrogen fluoride/Hydrofluoric acid (cone 50% or greater) [Hydrofluoric acid]
714
Hydrochloric acid (cone 37% or greater)
270
Hydrogen sulfide
102
Toluene diisocyanate (unspecified isomer) [Benzene, 1,3-diisocyanatomethyl-]
94

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Page 3
RMP/EPCRA Review (cont.)
Region 8 Top 10 Flammable
Chemicals (tons)
*Numbers represent multiple processes
Chemical (Flammable)
Total
Flammable Mixture
322,085
Butane
49,607
Propane
42,729
Pentane
6,117
Isobutane [Propane, 2-methyl]
3,946
1-Butene
507
Methane
355
Isopentane [Butane, 2-methyl-]
328
Ethane
208
1,3-Butadiene
193
To find out about
chemicals in your state
click on the following link:
Tod Reqion8 chemicals bv
state
Colorado, South Dakota,
North Dakota, Montana,
Wyoming, Utah.
Wyoming School Mercury Spill
Mercury Spill Evacuates Wyoming School
After finding out the mercury vapor concentration at the entrance of
Big Piney High School, the business manager for Subiette School
District #9 (District 9) evacuated some 180 students and staff on
Thursday, February 28, 2013. The day before approximately one
cup (7 lbs.) of elemental (metallic) mercury was spilled in a storage
closet. The spill was not reported immediately and mercury was
tracked to other parts of the school including a pep rally.
At a distance of about 1,000 feet from the spill location and with 4
sets of sealed doors in between, EPA On-Scene Coordinator (OSC)
Mercury containers to be disposed	Shun-Ping Chau (Ping) and a contractor obtained a mercury vapor
reading in excess of 1,000 nanograms per cubic meter (parts per billion or ppb) immediately inside the
school's main entrance and at breathing level. Prior to EPA's arrival at the scene, the Wyoming Region 4
Response Team (Wyoming Team) from Rock Springs, Wyoming initiated cleanup of spill.
Ping said the decision to evacuate was a precautionary measure due to the presence of sensitive
populations -young children at an on-site daycare and pregnant women. Once the school was evacuated,
Ping and two contractors entered into the spill area and measured air concentrations of mercury ranging
from 100,000 to over 1,000,000 ppb.
While mercury is a liquid at normal room temperature, it easily becomes a vapor as the temperature
rises and becomes concentrated in enclosed spaces. Elemental mercury in vapor form is both colorless
and odorless, while being extremely toxic and easily inhaled. (Cont. Page 4)

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Page 4
Wyoming School Mercury Spill (cont.)
Classes were also cancelled for Friday. Extensive
cleanup efforts by EPA over the weekend led to the
school's partial reopening on Monday, although 25% of
the school remained sealed off with plastic sheeting
while further decontamination efforts continued.
Mitigation efforts included removal and cleaning or
disposal of the contents of the storage closet, removal
of ceiling and floor tiles, and vacuuming and washing
surface areas with mercury soap. Two coats of sealant
paint were applied to the walls and two coats of epoxy
to the floor of the storage closet. The classroom floor
next to the storage closet was washed with mercury
soap, had the floor wax scrubbed off, vacuumed,
washed again, and had two coats of wax applied.
Desks and stools were taken to a heated area to drive off the mercury vapor and then washed. The
building was vented strategically by section to allow airflow from the areas with lower mercury levels to
higher levels and eventually to the outside.
Attempts were made to decontaminate various high-value items such as a telescope, microscopes, a
human skeleton, a plastic human anatomy model, laptop computers and other electronics. After multiple
cleanings and ventings, the telescope and microscopes still had high readings, ranging from 20,000 to
30,000 ppb, and were disposed of. The remaining items were successfully decontaminated by
vacuuming, cleaning, heating and venting.
Before the school's partial reopening on Monday, the EPA OSC, with the supervision of the District 9
business manager, removed all belongings in the lockers along the hallway near the spill area. All food
items, water bottles, cups, vuvuzelas (plastic horn noise makers), makeup and personal care items were
disposed of as a precautionary measure. Other materials were bagged and screened. The highest
reading on these bagged items was 292 nanograms per cubic meter and, therefore, were deemed safe to
be returned to the students. District 9 took possession of these items and made arrangements for
students to claim their belongings.
During EPA's cleanup actions, it was discovered that members of the Wyoming Team had been exposed
to the mercury contamination. Unfortunately, the Wyoming Team did not have equipment to
appropriately measure mercury vapor concentrations which resulted in their use of inappropriate
respiratory protection while working in the spill area.
EPA non-residential clearance levels are set at 3,000 ppb or below. Due to the sensitive populations at
the school and after consultation with an ATSDR physician, Ping hoped to achieve the lower residential
occupancy clearance levels of 1,000 ppb and, as of Wednesday at 7 a.m., all readings were below 150
ppb, and the school was completely cleared. In conjunction with the cleanup, OSC Ping led an effort in
community outreach to persuade local residents to turn in mercury stored in their homes and, as a
result, the quantity of mercury sent for disposal grew to nearly three times the original amount reported.
Venting of hallway.

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Page 5
Training & Exercises
Region 8 creates an annual Training and Exercise Plan (TEP) to address our current
priorities and methodologies in training and exercise (T&E) activities. A schedule listing our
regional trainings and exercises is developed for each year showing the type of T&E,
location, time, sponsor, participants and regional priorities being addressed (see attached
T&E Schedule).
We are always open to assist and participate in exercises that relate to or have a
component of our ESF 10 responsibilities including: chemical, biological, radiological,
nuclear or explosive (CBRNE) events, as well as other hazardous materials incidents.
Please contact Luke Chavez rchavez.luke@epa.aov, 320-312-6512) - Exercise Coordinator if
you have any questions regarding EPA Region 8 T&E or have an exercise that we may assist
you in. Planning and Exercise Schedule
Environmental Training at Southern Ute Indian Tribe and
Ute Mountain Ute Tribe
The EPA Region 8 Emergency Preparedness Unit in coordination with
the Environmental Programs at Southern Ute Indian Tribe and Ute
Mountain Ute Tribe provided Hydrogen Sulfide (H2S) Awareness
Training in April 2013. Thirty participants attended the % day ses-
sion at the Southern Ute Environmental Office and 90 attended at
least one of two Vi day sessions at the Ute Mountain Ute Casino
Conference Center. Attendees represented a variety of disciplines
including fire, law, rescue, public works, rangers, parks, energy,
natural resources, health, environmental programs, GIS, Tribal oil
and gas enterprises, private sector oil and gas companies, BIA, and
the Tribal Historic Preservation Office.
EPA presenters provided technical information on the chemical
characteristics, health effects, hazards and general response
procedures for H2S exposures. EPA also discussed its resources for
assisting with responses to emergencies, conducting training courses
and exercises, and demonstrated a plume modeling program for
chemical releases. Tribal programs and responders displayed maps
showing potential H2S risk locations (Fruitland coal methane
outcropping and coal fires on Southern Ute Indian Reservation and
the Barker Dome gas production area on the Ute Mountain Ute
Reservation) and discussed response procedures including several
case studies. BIA Fire summarized its updated protocol on
responding to wildland fires that also addresses H2S issues. The
private oil and gas companies and Tribal enterprises spoke about safety procedures, responses and
maintenance practices. There was discussion and demonstration of various monitoring equipment, its
best use, effectiveness, maintenance requirements and costs.
EPA Preparedness Unit Chief Kathleen
Atencio conducting a one-on-one
Enthralled Students

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Page 6
40 Hour HAZWOPER Course - Billings, Montana
The United States Environmental Protection Agency (EPA), Environmental Response
Team sponsored a 40-hour HAZWOPER training course for EPA Region 8 specifically to
support the needs of some of the Northern Indian tribes. The course was presented by
ERT's contractor HazTrain, Inc. and held in Billings, Montana. Native Americans from
various tribes from Arizona, Idaho, North and South Dakota and Montana participated in
the training, representing a variety of disciplines from environmental specialists to
hazardous waste engineers. Individuals from the Chippewa-Cree, Northern Cheyenne, Crow, Navajo,
3 Affiliated Tribes and Fort Berthold Indian Reservation were represented. The Bureau of Indian Affairs,
Bureau of Land Management and US Fish and Wildlife were also supported in this training.
This is the fifth course, recently, that ERT has assisted tribal governments and coalitions through support
of training for Native American environmental personnel. In addition to this course, one was presented
for Inter-Tribal Environmental Professionals coalition in April 2013 in Memphis,
Tennessee. In April 2012, a course was also presented for ITEP in Tempe, Arizona
and an EPA 40-Hour HAZWOPER course was presented to the Native American
Environmental Protection Coalition (NAEPC) in January, 2012 in Alpine, California
at the Viejas Band of Kumeyaay Indians. Before that, ERT sponsored a 40-hour
HAZWOPER training course for the ITEP in Tempe, Arizona in October of 2011.
All of these courses have been so well received and such strong praise has come
for both the curriculum and the instructors, which both sponsoring
organizations have inquired about hosting future courses. In fact, NAEPC
has already inquired about scheduling a course somewhere in Southern
California in the Summer of 2013 and ITEP has expressed interest about
hosting another 40 Hour course in Denver sometime in 2014. These
courses demonstrate the strong relationship being built between the
Native American Nations and the Environmental Protection Agency.
A special thanks to Mark Wullstein our Region VIII EPA training guru, and
the Billings, MT Fire Department for their great support!
RMP News
Ethanol producer to pay $136,500 for risk management
and chemical reporting violations at Aberdeen and Huron,
S.D. facilities
The U.S. Environmental Protection Agency (EPA) announced that
Advanced BioEnergy, LLC, based in Bloomington, Minn., has agreed to
pay penalties totaling $136,500 to settle claims related to violations at
its Huron and Aberdeen, S.D. ethanol production facilities. The
violations are related to the facilities' risk management programs and
the failure to properly file Toxic Release Inventory (TRI) forms
detailing the use and management of chemicals.
"Risk management plans help prevent and reduce the impacts of potentially catastrophic accidents
involving flammable and toxic chemicals," said Mike Gaydosh, EPA enforcement director in Denver.
"These plans, along with timely reporting about the use of chemicals, are vital to keeping workers and
communities safe. Advanced BioEnergy has been responsive in correcting the violations and coming into
compliance, and we will continue to ensure they do so."
EPA inspections conducted in January, 2012 found Advanced BioEnergy's ethanol plants had deficiencies
in their Risk Management Plans associated with the use and storage of hazardous (Cont. Page7)

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Page 7
RMP News (Cont.)
chemicals. Under the Clean Air Act, facilities like the Huron and Aberdeen ethanol plants are required to
have viable plans in place to reduce the risks associated with toxic and/or flammable chemicals. These
plans help companies, industries and municipalities operate responsibly and assist emergency responders
by providing vital information necessary to address accidents and other incidents. By agreeing to the
settlements, the company has agreed to come into compliance with federal risk management program
regulations within 180 days.
Advanced BioEnergy also failed to accurately file TRI forms detailing the chemicals processed,
manufactured or used at its facilities. These forms are required under the federal Emergency Planning and
Community Right to Know Act. EPA's actions are expected to encourage better compliance with TRI
reporting requirements and to ensure that residents and responders have complete information about
chemicals present in their neighborhoods. This information also supports health studies based on the TRI
database and helps federal, state, and local authorities plan for cleaning up industrial pollution spills.
Reddy Ice Corporation to pay penalty and improve accident prevention and preparedness at
Denver facility
The U.S. Environmental Protection Agency (EPA) announced a Clean Air Act settlement in which the Reddy
Ice Corporation (Reddy Ice), based in Dallas, Texas, has agreed to pay a $61,500 penalty and correct
deficiencies associated with the risk management program at its facility in Denver, Colo.
According to the settlement, Reddy Ice allegedly violated the risk management plan provisions of the
Clean Air Act by failing to ensure storage vessels containing hazardous chemicals were constructed
according to industry standards and providing insufficient documentation in plans designed to mitigate
on-site hazards. These deficiencies were discovered during an EPA inspection of the ice manufacturer's
facility in north Denver on December 5, 2010.
"Facilities that use chemicals and substances that pose a potential danger are responsible for having a
robust risk management program in place," said Mike Gaydosh, director of EPA's enforcement program in
Denver. "Failure to do so places the environment, employees, and nearby communities at risk."
The Reddy Ice facility is subject to the risk management provisions of the Clean Air Act due to its on-site
quantity of anhydrous ammonia, an acutely toxic chemical. As a result of the agreement, the company will
take steps to ensure that process vessels containing ammonia are properly constructed and will update
the facility's risk management plan. Ready Ice has agreed to correct the deficiencies within 60 days.
Under the Clean Air Act, operations such as the Reddy Ice facility must develop and implement a risk
management plan to assist with emergency preparedness, chemical release prevention, and minimization
of releases that occur. EPA Inspectors found that the facility had not adequately implemented these
regulations.
EPA's action will benefit residents, including significant low-income and minority populations, in the
vicinity of the Reddy Ice facility by reducing the possibility of exposure to anhydrous ammonia. This
settlement will also ensure proper safety practices are in place to protect employees and first responders
from the threat of dangerous chemical releases.
For more information on the Clean Air Act and risk management requirements: http://www.epa.aov/
emergencies/content/rmp/

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Page 8

Preparedness Unit Mission Statement:
We will increase EPA Region 8 preparedness through:
•	Planning, Training, Exercising, and developing outreach relations with federal agencies,
states, tribes, local organizations and the regulated community.
•	Assisting in the development of EPA Region 8 preparedness planning and response
capabilities through the RSC, IMT, RRT, OP A, RMP, etc.
•	Working with facilities to reduce accidents and spills through education, inspections and
enforcement. To view our programs, or contact a member of our team:
(Click here for Org Charts
Acronym List
IMT Incident Management Team
OPA Oil Pollution Act
RRT Regional Response Team
RSC Response Support Corps
SPCC Spill Prevention, Control, and Countermeasures
Emergencies
Reported or
chemical spills al
800-424-8802
More ...
1 (800) 424-8802
National
Response
Center
www.nrc.uscg.m
Need More info on the Risk Management Program (RMP)?
RMP Reporting Center
The Reporting Center can answer questions about software or installation problems. The RMP Reporting
Center is available from 8:00 a.m. to 4:30 p.m., Monday through Friday, for questions on the Risk
Management Plan program: (703) 227-7650 (phone) RMPRC@epacdx.net (e-mail)
Chemical Emergency Preparedness & Prevention Office (CEPPO) http://www.epa.gov/oem
Compliance and Enforcement: http://www2.epa.gov/enforcement
Compliance Assistance: http://www.epa.gov/oecaertli/assistance/index.html
Call our hotline, the Superfund, TRI, EPCRA, RMP, and Oil Information Center (800) 424-9346 or (703) 412-9810 TDD (800)
553-7672 or (703) 412-3323 Mon-Thurs 10:00 am to 3:00 pm ET (except Federal Holidays) or see
www.epa.gov/superfund/contacts/iiifocenter/
You can also call or write to:
U.S. EPA Region 8
1595 Wynkoop Street (8EPR-ER)
Denver, CO 80202-1129
800-227-8917
CO, MT, ND, SD, UT, and WY
To report an oil or chemical spill, call the National Response Center at (800) 424-8802.
This newsletter provides information on the EPA Risk Management Program, EPCRA, SPCC/FRP (Facility Response Plan) and
other issues relating to Accidental Release Prevention Requirements. The information should be used as a reference tool, not as
a definitive source of compliance information. Compliance regulations are published in 40 CFR Part 68 for CAA section 112(r)
Risk Management Program, 40 CFR Part 355/370for EPCRA, and 40 CFRPart 112.2 for SPCC/FRP.

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