After June 1, 2023, any petroleum storage facility that submits an air emission license application for new or modified equipment shall, as a condition of licensure, at a minimum, comply with best practical treatment (as used in 38 M.R.S. §590(1)) requirements for petroleum storage facilities as determined by the Department. This requirement does not absolve the owner or operator from performing a Best Available Control Technology (BACT) analysis as required by 06-096 C.M.R. ch. 115. The BACT analysis may supersede best practical treatment requirements if the Department determines it to be more stringent.
06-096 C.M.R. ch. 171, § 9