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For more than 20 years, Trinity Consultants has assisted facilities in the aerospace industry with regulatory compliance and environmental management issues.
Trinity has a long history of assisting facilities with their regulatory compliance and environmental management systems.
Trinity helps chemical and pharmaceutical manufacturers to achieve regulatory and environmental compliance.
Trinity provides dispersion modeling, permitting, and compliance support for coastal operations in the Outer Continental Shelf, Deepwater Ports, and liquefied natural gas terminals.
Trinity has assisted clients with nearly 500 power-related projects, offering an array of services.
Due to their nature, “general manufacturing” facilities are often faced with reviewing a wide range of regulations to determine applicability.
Trinity provides a variety of services to government entities, including environmental permitting and compliance management.
Trinity Consultants has long been committed to assisting lime and aggregates facilities with their regulatory compliance needs.
Trinity takes pride in understanding the regulatory issues affecting our clients’ facilities and their industry.
Oil and gas facilities must contend with a variety of regulatory compliance and environmental management demands.
Trinity helps petroleum refineries to achieve compliance with complex environmental regulatory requirements.
Trinity Consultants has long been committed to assisting cement facilities with their regulatory compliance and environmental management needs.
Trinity has extensive experience assisting the pulp and paper industry with its regulatory compliance and environmental management requirements.
Railroads are faced with rapidly evolving state, regional, and federal regulatory framework in the United States.
For more than 25 years, Trinity Consultants has assisted facilities in the semiconductor industry.
Trinity prepares hundreds of air quality compliance reports for landfills and industrial facilities across the United States on an annual basis.
Trinity Consultants has performed nearly 800 environmental permitting and compliance projects for clients with terminal operations, providing cost-effective, timely solutions that enhance compliance while maintaining operational flexibility.
For nearly 30 years, Trinity Consultants has assisted facilities such as those in the highly regulated wood products industry.
The June 2016 Lautenberg amendments to the Toxic Substances Control Act (TSCA) required EPA to improve the TSCA Inventory by identifying which "chemical substances" are actively in commerce in the United States, allowing the agency to better »
The Regional Haze Rule (RHR) establishes a comprehensive visibility protection program for Class I areas and requires states to set reasonable progress goals (RPGs) towards achieving natural visibility conditions in all Class I areas by 2064. EPA »
In January 2019, Trinity Consultants (Trinity) acquired The Redstone Group (Redstone), a consulting services provider of international chemical control laws, and EHS auditing, compliance and permitting.Redstone has deep expertise and advises clients »
In 2016, the U.S. Customs and Border Protection (CBP) revised its importer compliance monitoring approach, although the change garnered little press. The agency's new priority involves re-focusing existing resources and using methods that more »
Leak Detection and Repair (LDAR) involves finding facility components that are leaking and fixing them. The U.S. Environmental Protection Agency (EPA) has a long history of regulating industries (such as petroleum refining and chemical »
Trinity's Environmental Quarterly (EQ) magazine covers environmental regulatory developments as well as topics related to corporate environmental performance.
all issues from 2009
These papers, presentations, and articles were authored by the staff of Trinity Consultants for presentation at various conferences.
all papers & presentations
Since its founding in 1974, Trinity has expanded its geographic footprint and breadth of services. We attribute our continued growth to a focus on cornerstone values of top-notch technical performance and excellence in client service.
In 2018, the New Jersey Department of Environmental Protection (NJDEP) promulgated several changes, especially as related to emissions of Hazardous Air Pollutants (HAPs) from stationary »
On December 17, 2018, the New Jersey Department of Environmental Protection (NJDEP) published two rule proposals to facilitate the state's re-entry into the Regional Greenhouse Gas Initiative »
The NJDEP is proposing changes to their Toxic Catastrophe Prevention Act (TCPA) annual reporting. Currently, TCPA facilities are required to report extraordinarily hazardous substance (EHS) »
It's that time of the year to start planning for 2018 reports (due in 2019)! In accordance with N.J.A.C.7:27-21 (Emission Statement Rule), stationary resources in New Jersey need to report »
On September 7, 2018, the NJDEP held its quarterly Industrial Stakeholders Group (ISG) meeting. The meeting covered a range of pertinent issues. Two key items that were discussed at this »
Is your facility operating air emission sources under the old paper permits issued prior to 1998? The New Jersey Department of Environmental Protection (NJDEP) is beginning to review these air »
Some level of process-related odor and noise emissions can be expected as unavoidable byproducts of industrial operations. In New Jersey, private citizens can call in to report perceived excess »
Is your facility operating air emission sources under the old paper permits issued prior to 1998? The New Jersey Department of Environmental Protection (NJDEP) is beginning to review these air permits closely to ascertain the accuracy of the »
Some level of process-related odor and noise emissions can be expected as unavoidable byproducts of industrial operations. In New Jersey, private citizens can call in to report perceived excess levels of odor and noise eliminating from any »
The NJDEP recently published revisions to NJAC 7:27-16.3, Gasoline transfer operations. These changes will affect many gasoline dispensing facilities in the state, no longer requiring them to install Stage 2 vapor recovery systems. It has been found »
If you are a Title V facility in New Jersey, look out for the CY2016 Title V emissions fee invoices. This fee will be calculated based on the actual emissions you reported to the New Jersey Department of Environmental Protection (NJDEP) in the »
On August 07, 2017, the New Jersey Department of Environmental Protection (NJDEP) published a proposed new rulemaking in the NJ register titled, "Air Pollution Control: Air Emission Control and Permitting Exemptions, HAP Reporting Thresholds, and »
On January 16, 2018, the New Jersey Department of Environmental Protection (NJDEP) adopted new rulemaking (originally proposed on August 7, 2017) in the NJ register titled, “Air Pollution Control: Air Emission Control and Permitting Exemptions, HAP »
The New Jersey Department of Environmental Protection (NJDEP) has adjusted its Fiscal Year, FY2016 fees to owners and operators of facilities covered under the Toxic Catastrophe Prevention Act (TCPA). Facilities in New Jersey where an »
The Air Quality Permitting Program of the New Jersey Department of Environmental Protection (NJDEP) has announced two new Online Applications for General Operating Permit (GOP-004) for an Emergency Generator Burning Gaseous Fuels at a Title V Major »
Over the past several weeks, the NJDEP Air Quality Program has implemented three (3) new general permits – GP-005B (Emergency Generator burning Gaseous fuels – for minor facilities), GOP-004 (Emergency Generator Burning Gaseous Fuels – for major »
The New Jersey Department of Environmental Protection (NJDEP) is changing the fees that it charges for permitting stationary sources of air pollution (in some cases by as much as 44%). The Department is raising fees for permit applications for minor »
The New Jersey Department of Environmental Protection (NJDEP) held an Industrial Stakeholders Group (ISG) Meeting on September 5, 2014. Some highlights from the meeting include the following:Air Quality Planning Update:On December 14, 2012, the EPA »
As published in the New Jersey Register on August 18, 2014, the NJ Department of Environmental Protection is proposing rule amendments to increase the service fees that it charges for permitting stationary sources of air pollution.The proposed »
On July 7, 2014, the NJ DEP published a rules proposal in the state register to delete the provisions that implemented the Regional Greenhouse Gas Initiative (RGGI) program in New Jersey. New Jersey joined RGGI in December 2005, along with »
In the August 5, 2013 issue of the New Jersey Register, NJDEP announced that a new general operating permit for emergency generators was available for use. Based on the contents of the GOP and feedback from the NJDEP, the potential-to-emit (PTE) »
The NJDEP public comment period has ended (8/15/13) for the draft of a new general permit (GP-001A) for Solid Material Storage Equipment. The new general permit will replace the current general permit GP-001 entitled “Bulk Solid Materials Receiving »
On January 7, 2014, a notice of the annual percentage increase in the Consumer Price Index (CPI) relative to the 1989 CPI and the resultant dollar per-ton emission fee for FY 2014 was published in the New Jersey Register. The annual emission fee, »
On December 6, 2013, NJDEP held its quarterly ISG meeting which brings together representatives from industry, staff from the NJDEP Air Quality Permitting Program (AQPP), NJDEP Air Compliance & Enforcement, and other parties to discuss issues »
Managing Consultant Michael Trupin recently joined Trinity’s New Jersey team, bringing more than 15 years of experience in air quality and environmental services. He comes to Trinity from North America's largest waste management company where he »
The New Jersey Department of Environmental Protection (NJDEP) adopted new rules and amendments for the state specific NOx RACT (N.J.A.C. 7:27-19) in May 2009, and the deadlines to implement these regulations are in 2011-2012 based on the size of the »
NJDEP has announced a new general permit for Boiler(s) And Indirect Fired Process Heater(s) having a maximum heat input rating greater than or equal to 10 MMBTU/hr and less than 50 MMBTU/hr. The noteworthy items related to this general permit »
At the December 2nd Air Quality Permitting Industrial Stakeholders Group (ISG) meeting held at Trenton, NJ, the New Jersey Department of Environmental Protection (NJDEP) unveiled components of their plans for streamlining New Jersey’s air quality »
New and amended regulations concerning boilers are affecting smaller units and minor air emission sources. A summary of new requirements to report on the annual tuning of the combustion process of small boilers/process heaters and to regulate »
On June 7, 2011, New Jersey Governor Christie released the NJ draft 2011 Energy Master Plan. The plan provides a roadmap for the Governor’s administration to manage energy in the state while promoting renewable energy, stimulating the local »
It's that time of year again! Annual Emissions Statements (AES) reports are due on May 15, 2011 to the New Jersey Department of Environmental Protection (NJDEP) for the 2010 reporting year. Be sure to check the list of items below prior to the AES »