Use all 4 addresses listed below on your email to TCEQ 📧 [email protected] — Attn: Sarah Castillo, Review Engineer, Project #412300 📧 [email protected] — Team Leader - Expedited Team 📧 [email protected] — Office of Public Interest Counsel 📧 [email protected] — Office of the Chief Clerk
Sample Letter to use when writing to TCEQ - support for update #105B
I understand TCEQ's position that this ESOC1 extension request is not subject to public comment. I'm writing regarding a related provision in the same rule governing this extension. Under 30 TAC §116.120(b), permits that receive an extension are subject to revision based on current Best Available Control Technology. I respectfully ask TCEQ to apply that BACT revision to Permit #176835/Project #412300 (Asphalt Inc., LLC, Burnet Crushing Plant, 3221 FM 3509, Burnet County) — specifically requiring enclosed dry baghouse dust collection in place of wet spray suppression, and confirming the permit reflects the EPA's updated PM2.5 standards. This technology is proven and already in successful use at a comparable facility in Hays County. Burnet County's groundwater and air quality should not be extended forward under outdated permit terms when the rule itself contemplates a BACT update at this stage.
Respectfully, [Add your Name, and Address]
Copy of response you may have or will receive from TCEQ
30 TAC §116.120(b). Voiding and Extension of Air Permits and §116.111. General Application.