DEQ must put protect public health first as their primary mission above
all else.
The emergency generator allowance should not be broadened to include
planned outage events.
o This will contribute to more unnecessary pollution and put us on a
slippery slope that could lead to these generators being used for
demand response during periods of grid stress, which is not their
intended use.
• If DEQ chooses to make this change, it should incorporate strict limitations
and regulations including:
o Not allowing Tier II generators to be run for planned outages
near “sensitive receptors” (e.g., schools, hospitals, parks, trails and
residential areas)
o The public should be given notice about where and when these
generators will be running and for how long.
o Each site where emergency generators are running should be
inspected daily to monitor fuel usage and should be equipped with
air quality monitoring for the duration of their usag