Fuel Wire, 2019-08-20
5 stories. Headlines link to the original source.
- For a refinery with an in-line gasoline blending exemption, can the annual in-line blending audit be conducted by the same attestation auditor as outlined under Subpart F of the RFG and Anti-dumping regulations? Must the auditor for an in-line blending op EPA News Releases
- Keeping Food Safe in the C-Store Environment Winsight foodservice (via GN)
- How does a renewable fuel producer document that the MSW feedstock that they are using to produce cellulosic ethanol meets the definition of separated MSW as defined in Section 80.1426(f)(5)(i)(C )? How does the producer quantify the portion of the final EPA News Releases
- Who actually calculates the RVO? The refinery or EPA? EPA News Releases
- We would describe ourselves as an ethanol marketer, but we import gasoline into one of the 48 contiguous United States. Does this make us an obligated party and, as an obligated party, are we able to separate RINs? | US EPA EPA News Releases