March 2010 Edition : Diagnostic & Electronic Repair / Automotive Training & Education
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Clock ticking toward deadline for shops to comply with new federal paint regulation

By John Yoswick
placed Mon, Feb 1st, 2010
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Did you meet last month’s deadline to file a special notification with the federal Environmental Protection Agency (EPA) or your local environmental agency?

 

The notification is the first of several deadlines for collision repair shops under a new EPA automotive refinishing and stripping regulation. The complete compliance deadline is March 2011.

 

Here’s a primer on what shops and their suppliers need to understand about the new regulation.

 

What’s required
The new regulation is a result of the Clean Air Act of 1990, which requires the EPA to identify sources that emit one or more of the 188 listed toxic air pollutants.  Specifically included in the regulation are stricter requirements for “area sources” engaged in paint stripping or various surface coating operations, including autobody refinishing.

 


Area sources affected by the rule will need to implement equipment and management practices to comply with the new standards, if they have not already done so.  But the practices are designed to reduce overall toxic material consumption, which generally results in a savings to the business as well.

 


The regulation places a number of requirements on collision repair shops.  In terms of training, shops will be responsible for ensuring all painters have completed hands-on training in the proper application of surface coatings.  The training must cover specific items such as spray gun setup, surface prep, spray booth and filter maintenance, transfer efficiency, and environmental compliance.  Painters must be certified (the shop owner “certifies” the training was received) within 180 days of hire and recertified every five years.

 


In terms of equipment, all painting of vehicles must be done in a spray booth (or, in the case of painting of some vehicle parts, a prep station) that meets the regulation’s requirements. The booth, for example, must be fully enclosed with four complete walls and a full roof, and use a filter system fitted with polyester fiber or fiberglass filters (or the equivalent) that capture at least 98 percent of paint overspray. Compliance for spray booth filter efficiency can be satisfied through data provided by the filter manufacturer.

 

Prep stations must have a full roof, at least three complete walls or complete side curtains, and must be ventilated so that air is drawn into the booth.

 


The regulation also requires that all spraying of coatings be done with a high-volume, low-pressure (HVLP) spray gun (or in some way that has an equivalent transfer efficiency).

 


All paint spray gun cleaning must be done either with solvents that do not contain the hazardous air pollutants, or within a fully enclosed spray gun cleaner.  Hand cleaning of parts with solvent is permitted but spraying solvent through the gun is prohibited.

 


By January 10, 2010, shops were to submit an initial notification stating whether they already are in compliance with the requirements or that they plan to be in compliance by the required date. 

 

 Any shop indicating it is not yet in compliance must report by January 2011 that they will be in compliance by March 2011.  Annual compliance reports will need to be submitted only if there is a change in any of the initial notification information.

 


While there are no federal fees involved in the new regulation, state environmental agencies in some cases have enacted stricter requirements or, more commonly, made the registration and federal requirements part of a local or state permitting process.  This permit may involve a fee to the state agency.

 

Exempting yourself?
Are any collision repair operations exempt from compliance with the regulation?  There are exemptions for “hobbyists,” but if you spray more than two of your own cars, or even one car in exchange for compensation, you are subject to the regulation. Much to the chagrin of many in the industry, scratch-and-dent operators can still spray in the open provided they are using a spray cup that holds three ounces or less.

 


Collision repair shops that also use no spray products (for painting or stripping) that contain the five heavy metals (cadmium, chromium, lead, manganese, and nickel) targeted in the regulation could also be exempted.  Whether this is a good approach was a matter of some debate during NACE-week meetings in Las Vegas last November.

 

During the Collision Industry Conference (CIC), for example, I-CAR regional Manager Gene Lopez said that though the paint companies have removed or are removing the heavy metals from their products (yellow and orange toners, for example, have often contained lead), shops may have older or other hazard-containing products that could show up in any subsequent testing of booth filters.

 


“You had better be ready for an inspection, because saying ‘We’re exempt,’ is probably the biggest red flag you can send up to the EPA to say, ‘You had better go check these guys out,’” Lopez said.  “To me, the exemption is not the answer.  It’s too easy to comply.”

 


But just a day later at a Society of Collision Repair Specialists’ open board meeting, Tony Pendola of the North Carolina Small Business Environmental Assistance Program, said that although collision repair shops are “guilty until proven innocent as far as the EPA is concerned with this rule,” they shouldn’t rule out going for an exemption.

 


“Just like there are exemptions to the tax laws, there are exemptions to this, and I don’t fault you if you use them,” Pendola said.  “They were put in the rule for a reason.  Take advantage of them.  Some shops are just going to say, ‘We’ve got the booth.  We’ve got all this stuff.  We’ll just go ahead and be subject (to the regulation).’  If it were me, I’d rather not be subject (to the regulation) and still do all the right things.”

 


What enforcement of the regulation will look like is anyone’s guess.  But speaking at a joint press conference with Holly Wilson, who is leading the EPA’s collision repair campaign, The Automotive Service Association's (ASA’s) Ron Pyle called for serious and public enforcement.

 


“In front of all of you today, I’m going to encourage Holly to conduct sting operations,” Pyle said, saying that such efforts enforcing other automotive environmental regulations in the past have been “visible and well-publicized activities that put the fear in the general repair marketplace that this can happen to you if you don’t comply.”

 


EPA offers help with new reguirements
The EPA says there are many sources of help available for shops looking for more information about complying with the new requirements.

 

Those sources include:
- The EPA’s “Collision Repair Campaign” website (www.epa.gov/collisionrepair), which offers a summary of the regulation, a 19-minute video featuring NASCAR driver Jeff Gordon, and information on free workshops about the rule throughout the country.

 

- I-CAR (www.i-car.com) offers an hour-long online training course explaining the regulation and the products that fall under it, as well as tips and techniques for reducing the amount of hazardous products used.

 

- The EPA has “Small Business Complaints Assistance Programs” (www.epa.gov/smallbusiness) in most states with staffs that offer confidential, non-regulatory help for business owners working to comply with environmental regulations.

 





Reader Feedback
I just wrote a long reply to this article, but lost it when my captcha code didn't match. Rather than try to recall it all, I will say that one point I wanted to make was that the dates should be reversed for the 2011 deadlines; January is the deadline for compliance and March is the deadline to get paperwork in. Otherwise, John, you've done a thorough job, as always.

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