Description: This is the 2022 report of point source emissions in Oklahoma. See below for an explanation of the data fields.Column HeadingsAdditional NotesHeadingDescriptionCompany_IDThe unique identifier assigned to the company by Oklahoma DEQCompany The name of the companyFacility_IDThe unique identifier assigned to the facility by Oklahoma DEQFacility The name of the facilitySICThe Standard Industrial Classification Code for the facilitySIC codes can be found at this site https://www.sec.gov/info/edgar/siccodes.htmCountyThe county in which the facility is locatedFacility_AddressPhysical address of the facilityCityCity in which the facility is locatedStateOklahomaZip_CodeZIP code for the facilityLatitudeLatitude of the facilityLongitudeLongitude of the facilityStatusThe Operating Status of the facility in the year in which the emissions were reported. See right and Year_Emissions_Reported below.Not Yet Built facilities have not begun operations and have no air emissions. Operating facilities are facilities that had any regulated emissions during the year of record. Temporarily Shutdown facilities had no emissions in the year of record, but may have emissions again in the future. Permanently Shutdown facilities are closed with no emissions and would require a new permit to resume operations.SOx_TonsTons of Sulfur Oxides emittedNOx_TonsTons of Nitrogen Oxides emittedCO_TonsTons of Carbon Monoxide emittedPM10_TonsTons of PM-10 emitted. PM-10 is particulate matter with aerodynamic diameter less than or equal to 10 micrometersPM25_TonsTons of PM-2.5 emitted. PM-2.5 is particulate matter with aerodynamic diameter less than or equal to 2.5 micrometers. PM 2.5 is a subset of PM 10HAP_TonsTotal emissions of all Hazardous Air Pollutants in tons. See right.One of the compounds on EPA's Hazardous Air Pollutants List, except those that overlap with Toxics. The list of Hazardous Air Pollutants can be found at this site https://www.epa.gov/haps/initial-list-hazardous-air-pollutants-modificationsTox_TonsTotal emissions of all air Toxics in tons. See right.Any compound listed in OAC 252:100 Appendix O except those that overlap with HAPs. https://www.deq.ok.gov/wp-content/uploads/deqmainresources/100.pdfHAP_Tox_TonsTotal emissions of all pollutants that are both a HAP and an air Toxic in tons. See right.A compound that is both a HAP and is in Appendix OVOC_Total_TonsTons of Total Volatile Organic Compounds emitted.Other_TonsTons of emissions of Regulated Air Pollutants that do not fall into another category. Currently, this is ozone and hydrogen sulfide. See right.Regulated Air Pollutants are found in OAC 252:100 Appendix P. https://www.deq.ok.gov/wp-content/uploads/deqmainresources/100.pdfFacility_ClassificationMajor means a facility is a major source. Syn-Min means a facility is a synthetic minor. Min means the facility is a minor source.A facility is a major source if it has the potential to emit at least one of the following: 100 tons or more of a regulated air pollutant, 10 tons or more of a single HAP, or 25 tons or more of all HAPs. Facilities with potential emissions below major source levels will be classified as either Syn-Min or Min based on the type of permit that the facility has. Additionally, Air Curtain Incinerators, large Municipal Solid Waste Landfills, and some sources subject to National Emisions Standards for Hazardous Air Pollutants (NESHAPs) are required to obtain a major source permit even if their emissions are below major source levels (see 40 CFR 60 Subpart XXX, 40 CFR 60 Subpart CCCC, and OAC 252:100-8-3 respectively). For this reason, they are classified as Majors. A facility with a minor or synthetic minor permit will be listed as a Major if the facility's emissions are above the major source threshold in the year of record.Year_Emissions_ReportedThe year in which the emissions were reported. This should be 2022 for nearly all facilities. For facilities registered under a PBR, that may not have reported, the most recently reported emissions are carried forward until a new inventory is reported.Facilities registered under a PBR must submit an emissions inventory the first year that they register under the PBR then according to EPA's National Emissions Inventory schedule. The schedule for reporting for facilities registered under a PBR can be found in OAC 252:100-5-2.1. https://www.deq.ok.gov/wp-content/uploads/deqmainresources/100.pdf
Description: HeadingDescriptionAdditional NotesCompany_IDThe unique identifier assigned to the company by Oklahoma DEQCompany The name of the companyFacility_IDThe unique identifier assigned to the facility by Oklahoma DEQFacility The name of the facilitySICThe Standard Industrial Classification Code for the facilitySIC codes can be found at this site https://www.sec.gov/info/edgar/siccodes.htmCountyThe county in which the facility is locatedFacility_AddressPhysical address of the facilityCityCity in which the facility is locatedStateOklahomaZip_CodeZIP code for the facilityLatitudeLatitude of the facilityLongitudeLongitude of the facilityStatusThe Operating Status of the facility in the year in which the emissions were reported. See right and Year_Emissions_Reported below.Not Yet Built facilities have not begun operations and have no air emissions. Operating facilities are facilities that had any regulated emissions during the year of record. Temporarily Shutdown facilities had no emissions in the year of record, but may have emissions again in the future. Permanently Shutdown facilities are closed with no emissions and would require a new permit to resume operations.SOx_TonsTons of Sulfur Oxides emittedNOx_TonsTons of Nitrogen Oxides emittedCO_TonsTons of Carbon Monoxide emittedPM10_TonsTons of PM-10 emitted. PM-10 is particulate matter with aerodynamic diameter less than or equal to 10 micrometersPM25_TonsTons of PM-2.5 emitted. PM-2.5 is particulate matter with aerodynamic diameter less than or equal to 2.5 micrometers. PM 2.5 is a subset of PM 10HAP_TonsTotal emissions of all Hazardous Air Pollutants in tons. See right.One of the compounds on EPA's Hazardous Air Pollutants List, except those that overlap with Toxics. The list of Hazardous Air Pollutants can be found at this site https://www.epa.gov/haps/initial-list-hazardous-air-pollutants-modificationsTox_TonsTotal emissions of all air Toxics in tons. See right.Any compound listed in OAC 252:100 Appendix O except those that overlap with HAPs. https://www.deq.ok.gov/wp-content/uploads/deqmainresources/100.pdfHAP_Tox_TonsTotal emissions of all pollutants that are both a HAP and an air Toxic in tons. See right.A compound that is both a HAP and is in Appendix OVOC_Total_TonsTons of Total Volatile Organic Compounds emitted.Other_TonsTons of emissions of Regulated Air Pollutants that do not fall into another category. Currently, this is ozone and hydrogen sulfide. See right.Regulated Air Pollutants are found in OAC 252:100 Appendix P. https://www.deq.ok.gov/wp-content/uploads/deqmainresources/100.pdfFacility_ClassificationMajor means a facility is a major source. Syn-Min means a facility is a synthetic minor. Min means the facility is a minor source.A facility is a major source if it has the potential to emit at least one of the following: 100 tons or more of a regulated air pollutant, 10 tons or more of a single HAP, or 25 tons or more of all HAPs. Facilities with potential emissions below major source levels will be classified as either Syn-Min or Min based on the type of permit that the facility has. Additionally, Air Curtain Incinerators, large Municipal Solid Waste Landfills, and some sources subject to National Emisions Standards for Hazardous Air Pollutants (NESHAPs) are required to obtain a major source permit even if their emissions are below major source levels (see 40 CFR 60 Subpart XXX, 40 CFR 60 Subpart CCCC, and OAC 252:100-8-3 respectively). For this reason, they are classified as Majors. A facility with a minor or synthetic minor permit will be listed as a Major if the facility's emissions are above the major source threshold in the year of record.Year_Emissions_ReportedThe year in which the emissions were reported. This should be 2023 for nearly all facilities. For facilities registered under a PBR, that may not have reported, the most recently reported emissions are carried forward until a new inventory is reported.Facilities registered under a PBR must submit an emissions inventory the first year that they register under the PBR then according to EPA's National Emissions Inventory schedule. The schedule for reporting for facilities registered under a PBR can be found in OAC 252:100-5-2.1. https://www.deq.ok.gov/wp-content/uploads/deqmainresources/100.pdf