Virginia Air Pollution Control Board: Difference between revisions

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* Any owner to comply with chapter provisions and department decisions
* Any owner to comply with chapter provisions and department decisions


=== Enforcement and Civic Penalties (§ 10.1-1309, 1316) ===
==== Enforcement and Civic Penalties (§ 10.1-1309, 1316) ====
* Violators may be compelled to comply by injunction (e.g. special court order compelling a party to do or refrain from doing act), mandamus ( court order to a government official to perform their duty or correct an abuse of discretion) or other appropriate remedy.
* Violators may be compelled to comply by injunction (e.g. special court order compelling a party to do or refrain from doing act), mandamus ( court order to a government official to perform their duty or correct an abuse of discretion) or other appropriate remedy.
* Violators may choose to have the DEQ levy civil charges rather than pay civil penalties under a court. Civil charges are subject to the same conditions (though the DEQ may consider further factors that can allow for up to a 30% reduction in the fine), and paid into the state treasury into the Virginia Environmental Emergency Response Fund.<ref>[[:File:Enforcement Manual DEQ.pdf|Virginia Department of Environmental Quality. Guidance Memorandum. January 3, 2022.]] </ref>
* Violators may choose to have the DEQ levy civil charges rather than pay civil penalties under a court. Civil charges are subject to the same conditions (though the DEQ may consider further factors that can allow for up to a 30% reduction in the fine), and paid into the state treasury into the Virginia Environmental Emergency Response Fund.<ref>[[:File:Enforcement Manual DEQ.pdf|Virginia Department of Environmental Quality. Guidance Memorandum. January 3, 2022.]] </ref>
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* Payment goes into the treasure of the locality when the violation occurred (unless the locality is responsible, in which case it goes into the Virginia treasury)
* Payment goes into the treasure of the locality when the violation occurred (unless the locality is responsible, in which case it goes into the Virginia treasury)


'''Emergency special orders:'''
==== Emergency special orders: ====
 
* Allowed without hearing if unreasonable threat to health, safety, welfare, or environment
* Allowed without hearing if unreasonable threat to health, safety, welfare, or environment
* Must be followed by hearing within 10 days to affirm, modify, amend, or cancel
* Must be followed by hearing within 10 days to affirm, modify, amend, or cancel

Revision as of 17:48, 14 August 2025

The Virginia Air Pollution Control Board (APCB) is the citizen board responsible for adopting regulations related to air quality and emissions standards in the state. It plays an important role in setting the regulatory framework for coal dust and other airborne pollutants.

The Board has faced criticism for its failure to adopt more stringent regulations to control coal dust pollution in Hampton Roads. Advocacy groups have called for the board to implement stronger air quality standards and for more aggressive action to reduce coal dust exposure. Given its regulatory authority, the APCB plays a key role in determining how effectively Virginia addresses coal dust pollution in the future.

Role and Jurisdiction

The APCB has the authority to establish air quality standards, including those related to coal dust. It reviews and approves permits for coal-handling facilities and is responsible for ensuring that air quality standards are met. The board also has the power to implement stricter controls on emissions if warranted by the data on coal dust pollution.

The Code of Virginia that gives the VACB its power defines air pollution as "the presence in the outdoor atmosphere of one or more substances which are or may be harmful or injurious to human health, welfare or safety, to animal or plant life, or to property, or which unreasonably interfere with the enjoyment by the people of life or property."(§ 10.1-1300)[1]

Special Orders (§ 10.1-1309)

Under § 10.1-1309, the Board has the power to issue special orders.[2] Orders issued after hearing before a hearing officer, appointed by the Supreme Court.[3] Orders may require:

  • Owners causing air pollution to cease and desist
  • Owners failing to build or comply with approved air pollution control plans to do so
  • Owners violating department orders or directives to comply
  • Owners violating adopted air quality standards and policies to comply
  • Any owner to comply with chapter provisions and department decisions

Enforcement and Civic Penalties (§ 10.1-1309, 1316)

  • Violators may be compelled to comply by injunction (e.g. special court order compelling a party to do or refrain from doing act), mandamus ( court order to a government official to perform their duty or correct an abuse of discretion) or other appropriate remedy.
  • Violators may choose to have the DEQ levy civil charges rather than pay civil penalties under a court. Civil charges are subject to the same conditions (though the DEQ may consider further factors that can allow for up to a 30% reduction in the fine), and paid into the state treasury into the Virginia Environmental Emergency Response Fund.[4]
  • Up to $32,500 per violation, max $100,000 per order
  • Each day of violation constitutes separate offense
  • Conditions:
    • At least two written notices of alleged violation for the same or related violations at the same site
    • Violations unresolved by proof of no violation, department order, or other means
    • At least 130 days since first notice
    • Finding of violations after hearing
  • Penalty factors: severity, environmental harm, compliance history, economic benefit, ability to pay
  • Payment goes into the treasure of the locality when the violation occurred (unless the locality is responsible, in which case it goes into the Virginia treasury)

Emergency special orders:

  • Allowed without hearing if unreasonable threat to health, safety, welfare, or environment
  • Must be followed by hearing within 10 days to affirm, modify, amend, or cancel

Limitations

Meetings and Membership

The APCB is composed of seven members appointed by the Governor for four-year terms. Vacancies (other than by term expiring) are also filled by the Governor appointment for the remainder of the term.[5] Members are required to be citizens of Virginia and selected based on merit (such as education, training, and experience), not politics (§ 10.1-1301, 1302.).

Members in 2025: (note that terms expire on the listed date or upon appointment of a replacement, whichever is later)[6]

  • Kimberly Beamer (term expires 6/30/2027), from Roanoke, VA
  • David Hudgins (term expires 6/30/2025), from Richmond, VA
  • James Patrick Guy II (6/30/2026), from Saxe, VA
  • Emily Domenech (6/30/2028), from Alexandria, VA
  • Ronald Jefferson (6/30/2028), from Moneta, VA
  • Crystal Bazyk (6/30/2029), from Meadowview, VA

Meetings are held

  • Public Comment

History and Documents

The first publicly available meeting of the APCB online is from December 13, 1999.[7] However, the Repair Lab has digitized documents from the collection of the Library of Virginia containing the earliest recorded complaints about coal dust in Hampton Roads and the earliest recorded study by the Air Pollution Control Board (1977-1978)

Coal Dust

Environmental Justice

In Hampton Roads

References