ARCIMOTO, INC.
Cleaner Air Oregon ProfileHexion, Inc.
Cleaner Air Oregon (CAO) is a health-based permitting program that regulates emissions of toxic air contaminants from facilities based on risk to nearby communities. CAO requires facilities to report toxic air contaminant emissions, assess potential health risks to people nearby and reduce toxic air contaminant risk if it exceeds legal limits.
As part of the Cleaner Air Oregon process, each facility has a dedicated web page to provide communities access to facility information and updates on where it is involved in the process.
- Each step of the CAO risk assessment process has a section that includes LRAPA’s communications and deliverables from the facility.
- A color-coded graphic shows where a facility is in the Cleaner Air Oregon Process.
- For additional information and history of the program, visit the DEQ Cleaner Air Oregon website.
Document Type | Anticipated Submittal Date | Approval Date |
---|---|---|
Emissions Inventory | 11/05/2021 | 04/25/2022 |
Modeling Protocol | N/A | N/A |
Risk Assessment Report | 01/15/2022 | 03/25/2022 |
Risk Reduction Plan | N/A | N/A |
CAO Completed | 11/05/2021 | 04/25/2022 |
Emissions Inventory
For an introduction to emissions inventories and why they matter, please see EPA’s Fact Sheet. A facility-specific emissions inventory timeline and associated documents are linked below.
Arcimoto is a new source, meaning the facility is not yet operating in Lane County and must complete a Cleaner Air Oregon Risk Assessment prior to being issued an air permit. The following Cleaner Air Oregon documentation was provided to LRAPA with the submission of their Simple Air Contaminant Discharge Permit application.
November 5, 2021: Arcimoto submits Cleaner Air Oregon Application to LRAPA.
- Arcimoto’s Initial Simple ACDP Application.
- Arcimoto’s Initial Cleaner Air Oregon Application
January 19, 2022: Arcimoto submits Plant Site Emission Summary
- Arcimoto’s Emission Inventory Calculations (.pdf).
- Arcimoto’s Emission Inventory Calculations (.xlxs).
Modeling Protocol & Risk Assessment
Arcimoto is a new source, meaning the facility is not yet operating in Lane County and must complete a Cleaner Air Oregon Risk Assessment prior to being issued an air permit. The following Cleaner Air Oregon documentation was provided to LRAPA with the submission of their Simple Air Contaminant Discharge Permit application.
November 5, 2021: Arcimoto submits Cleaner Air Oregon Application to LRAPA.
- Arcimoto’s CAO Modeling Protocol (Page 2-5)
Risk Assessment Report
Arcimoto is a new source, meaning the facility is not yet operating in Lane County and must complete a Cleaner Air Oregon Risk Assessment prior to being issued an air permit. The following Cleaner Air Oregon documentation was provided to LRAPA with the submission of their Simple Air Contaminant Discharge Permit application.
November 5, 2021: Arcimoto submits Cleaner Air Oregon Application to LRAPA.
- Arcimoto’s CAO Risk Assessment Report (Page 3-1)
Risk Reduction Plan
Arcimoto is a new source, meaning the facility is not yet operating in Lane County and must complete a Cleaner Air Oregon Risk Assessment prior to being issued an air permit. A Risk Reduction Plan is not applicable to new sources because they are subject to more stringent Risk Action Levels.
CAO Progress Completed
Arcimoto is a new source, meaning the facility is not yet operating in Lane County and must complete a Cleaner Air Oregon Risk Assessment prior to being issued an air permit. The following Cleaner Air Oregon documentation was provided to LRAPA following review and feedback on Arcimoto original Cleaner Air Oregon documentation provided with the submission of their Simple Air Contaminant Discharge Permit application.
April 25, 2022: LRAPA approves Arcimoto’s Cleaner Air Oregon Application.
FACILITY
Arcimoto, Inc. is an electric vehicle company headquartered in Eugene, Oregon that manufactures and sells tandem two-seat, three-wheeled electric vehicles. Production of these electric vehicles consists of fabrication, welding, coating, and assembly. Arcimoto is new facility in Lane County and moving through the Cleaner Air Oregon program prior to being issued a Simple Air Contaminant Discharge Permit (ACDP).
Site Address
311 Chambers St,
Eugene, Oregon, 97402
Current Air Permit
Permit type: Standard ACPD
Source Number: 200510
LRAPA Contact
Jonathan Wright
541-736-1056, ext. 231
Site Address
470 S. 2nd St.
Springfield, OR
Current Air Permit
Permit type: Standard ACDP
Source Number: 200510
LRAPA Contact
Jonathan Wright
541-736-1056, ext. 236
Legend
Facility
Hexion Inc. operates a resin manufacturing facility at 470 South Second Street in Springfield, Oregon. Formaldehyde is produced on-site and used primarily as a raw material for various types of resins. Wax emulsions are also produced at this facility. The facility uses boilers, scrubbers and baghouses to control emissions from various portions of the operation. Learn more about LRAPA’s regulation of Hexion by viewing their current air permit below.
Emissions Inventory
For an introduction to emissions inventories and why they matter, please see EPA’s Fact Sheet. A facility-specific emissions inventory timeline and associated documents are linked below.January 4, 2021: LRAPA calls Hexion, Inc. into the program
- LRAPA’s call in letter to Hexion, Inc.
January 29, 2021: Hexion requested an extension on the submittal date for the Emission Inventory because they have a new owner audit agreement with US EPA related to their Toxic Release Inventory emissions. This audit may affect Hexion’s emission calculations of compounds regulated by Cleaner Air Oregon
- Hexion’s Emission Inventory extension request letter.
February 12, 2021: After confirming with US EPA that Hexion is participating in a new owner audit agreement, LRAPA granted an extension on the due date for the Emission Inventory.
- LRAPA’s extension request response letter.
June 18, 2021: Hexion requested a second extension to the submittal date for the Emission Inventory because US EPA extended the due date for completion of the TRI new owner audit report.
- Hexion’s second Emissions Inventory extension request letter.
June 29, 2021: After confirming that US EPA has extended the due date for the TRI new owner audit report, LRAPA granted a second extension of the submittal date of the Emission Inventory.
- LRAPA’s second extension request response letter.
October 25, 2021: LRAPA extends Hexion’s Emissions Inventory to aligned with a December 10, 2021, due date listed in Stipulation and Final Order (SFO) No. 21-3839 signed on September 3, 2021.
- LRAPA’s third extension request response letter.
December 10, 2021: Hexion submits their emissions inventory.
- Hexion’s Compiled CAO Inventory.
- Hexion’s AQ520 Form.
March 7, 2022 and March 11, 2022: LRAPA reviewed Hexion’s submitted emissions inventory and requested modifications and clarifications. LRAPA expects a response to these requests by June 1, 2022.
Modeling Protocol & Risk Assessment
Hexion, Inc. – was called in into the Cleaner Air Oregon Program in January of 2021 and entered the Emissions Inventory Step of the Cleaner Air Oregon process. This field will be updated once the facility reaches this portion of CAO.
Risk Assessment Report
Hexion, Inc. – was called in into the Cleaner Air Oregon Program in January of 2021 and entered the Emissions Inventory Step of the Cleaner Air Oregon process. This field will be updated once the facility reaches this portion of CAO.
Risk Reduction Plan
Hexion, Inc. – was called in into the Cleaner Air Oregon Program in January of 2021 and entered the Emissions Inventory Step of the Cleaner Air Oregon process. This field will be updated once the facility reaches this portion of CAO.
CAO Progress Completed
Hexion, Inc. – was called in into the Cleaner Air Oregon Program in January of 2021 and entered the Emissions Inventory Step of the Cleaner Air Oregon process. This field will be updated once the facility reaches this portion of CAO.