MMEX-scam’s TCEQ Type O AQP is very specific - d
Post# of 4466
All PBR’s follow this same plan - basically the application contains an inventory of every component in the installation that can produce emissions in any form.
Altering this voids the permit.
This is why the MMEX-scam existing permit is useless - the “forgotten” desalter, pre-flash, and other critical components required to operate a crude unit can’t be tacked on to the existing permit, and there is no mechanism to amend it, other than by petition to TCEQ.
So the even more hysterical fantasy that MMEX-scam will include any technology from CRG (or anyone else), is exactly that - a hysterical fantasy. As I pointed out, MMEX-scam has no business relationship with CRG, the permit would not support use of CRG’s technology, even if MMEX-scam had project financing to license it.
The TCEQ permit is an operating permit - no permit from TCEQ is required to build a facility, other than the Construction Notice and SWPP filing - these are not permits. The Type O AQP would allow MMEX-scam to operate exactly what was applied for to obtain the permit.
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It's information. If you don't believe it than you may need to look into it further to become familiar with terms and operation procedures. btw they already have a permit to build the facility. I've said it many times but I can repeat it if needed. You can go to the TCEQ website and easily look it up. Why would they need an operating permit, besides how are they supposed to get that until they can show operation to inspectors? Aren't you getting a little ahead of yourself? Your misinformation campaign is pretty slow.