PUBLIC NOTICE | Issue Air Quality Control Significant Revision Permit Number 65397 to Novo Biopower, LLC

ADEQ proposes to issue Air Quality Control Significant Revision Permit Number 65397 to Novo Biopower, LLC for the power generation facility. The facility is subject to the requirements of the Federal Clean Air Act, Code of Federal Regulations, Arizona Revised Statute 49-426, and the Arizona Administrative Code, Title 18, Chapter 2. The facility emits the following air contaminants: carbon monoxide (CO), particulate matter nominally less than 10 microns (PM10 ), nitrogen oxide (NOX ), particulate matter (PM), volatile organic compounds (VOC), sulfur dioxide (SO2 ), and hazardous air pollutants (HAPs). This permit will reset the facility wide emission limit of carbon monoxide.


Novo Biopower, LLC
P. O. Box 2649
Snowflake, Arizona 85937


4764 W. Highway 277, Snowflake, Navajo County, Arizona

Permit Type

Air Quality Control Significant Revision Permit No. 65397

Review Documents

Original Published Public Notice | View/Print >
Draft Permit | View >
Draft Technical Support Document | View >

Documents may also be reviewed in person at the ADEQ Record Center | Learn More >

Public Comment Period 

Dates: Feb. 22, 2017 – March 23, 2017

Comments may be submitted as follows:
     Email | Send Email > 
     Mail (Must be postmarked or received by March 23, 2017):

       Balaji Vaidyanathan
       Facilities Emissions Control Section
       1110 W. Washington Street, 3415A-1
       Phoenix, AZ  85007 

ADEQ will consider all comments received in making a final decision on the proposed permit.  Everyone commenting will receive notification of the final decision.  People who file comments on the permit will have the right to appeal the final decision as an appealable agency action to the Office of Administrative Hearing (OAH) pursuant to §41.1092.03, and the appeal must be filed within thirty (30) days after the issuance of the final decision. 

The written comment must include the name, mailing address, signature of commenter and/or their agent or attorney and clearly set forth reasons why the permit should or should not be issued. Grounds for comment are limited to whether the permit meets the criteria for issuance spelled out in the state air pollution control laws or rules.