The Emissions Inventory provides information on all the Toxic Air Contaminant emissions from a facility, and includes information on a facility's operations and activities, as well as fuel and material usage rates. This is often the longest step in the CAO risk assessment process as DEQ needs to verify that all activities have been accounted for, and that the most representative emissions data available are used. In some cases, DEQ will require a facility to perform source testing at this stage if insufficient data is available to estimate emissions. For an introduction to emissions inventories and why they matter, please see EPA's Fact Sheet.
Sept. 5, 2025: Facility is called in to Cleaner Air Oregon
Nov. 18, 2025: Facility Requests Extension
Nov. 21, 2025: DEQ Responds to Extension Request
Dec. 4, 2025: Facility submitted the Emissions Inventory Part 1 and Supporting Information (currently in DEQ review)
Jan. 30, 2026: DEQ responds to the Emissions Inventory Part 1 submittal with request for revisions and additional information.
Jan. 30, 2026: DEQ sends ATI notification of the due date to submit the Emissions Inventory Part 2.