ALL4 is keeping a pulse on changes to the rules and regulations impacting the chemical industry and will provide updates as new information becomes available. ALL4 can assist clients in the chemical industry with gap analyses, project permitting strategy, compliance support, fenceline monitoring program management, continuous monitoring systems, and more! For more information or questions about how ALL4 can help with your chemical needs, please contact Katie Fritz at kfritz@all4inc.com or 610-422-1116.
Current Opportunity
Emissions Pro
Emissions Pro is a new software solution powered by Mapistry and backed by ALL4’s regulatory expertise. This solution integrates best-in-class software with proven environmental knowledge to help facilities streamline compliance, optimize data collection, and generate accurate reports with ease.
Recent Industry Headlines
- On June 3, 2026, the U.S. EPA finalized amendments to the NESHAP for Hazardous Waste Combustors (HWC) as part of its Residual Risk and Technology Review (RTR). Read More
- On May 18, 2026, the U.S. EPA announced proposed revisions to the per- and polyfluoroalkyl substances (PFAS) drinking water rules. Read More
- On April 20, 2026, the U.S. PA published the latest version of the “Interim Guidance on the Destruction and Disposal of PFAS and Materials Containing PFAS” document. Read More
- On March 28, 2026, the U.S. EPA finalized amendments to the NESHAP for Chemical Manufacturing Area Sources (CMAS). Read More
- On March 13, 2026, the U.S. EPA finalized amendments to the NESHAP for Polyether Polyols (PEPO) production. Read More
- On March 6, 2026, the U.S. EPA proposed amendments to the NESHAP for marine tank vessel loading operations (MTVLO) based on the Agency’s technology review. Read More.
- On February 24, 2026, the U.S. EPA published proposed revisions to the Risk Management Program (RMP) rule titled “Common Sense Approach to Chemical Accident Prevention.” Read More
- On February 12, 2026, the U.S. EPA finalized its rescission of the 2009 Greenhouse Gas Endangerment Finding. Read More
Relevant Webinars, Workshops, and Other Events
Upcoming:
- Chemical Sector MACT Update // July 2026
- Kentucky Environmental Permitting & Reporting Conference // July 14-16, 2026
- Florida Chamber’s 40th Annual Environmental Permitting Summer School // July 21-24, 2026
Past:
- TRI Reporting 2026 // Webinar // May 6, 2026
- Ethylene Oxide – Federal Air Regulations Update // Webinar // April 29, 2026
- NPDES Permitting 2026 // Webinar // April 15, 2026
- EPCRA – Tier II Reporting 2026 // Webinar // February 11, 2026
- EHS Workshop: Multimedia Compliance in Chemical & Refining // in Chicago on November 20th, 2025
- Workshop: From Policy to Practice: EHS Compliance in Chemical and Refining // in Houston on November 11th, 2025
- A&WMA Louisiana Section Annual Fall Conference // October 29th, 2025 – October 30th, 2025
- CAPCA Fall Meeting // October 22nd, 2025 – October 24th, 2025
Services Spotlight:
ALL4 specializes in water quality consulting and can assist the chemical industry with navigating the water regulatory landscape. In ALL4’s experience, there are few manufacturing facilities that are completely immune from water permitting, compliance, or operational concerns. ALL4’s experts can support facilities with interpreting and complying with applicable stormwater, wastewater, drinking water, or natural/water resources requirements across the United States and beyond.
Visit our Water Quality Compliance and Permitting Services landing page for a complete list of our water-related services; common services applicable to the chemical sector include:
- Strategy and advocacy
- Industrial Wastewater NPDES Permitting and Compliance
- Industrial and Construction Stormwater NPDES Permitting and Compliance
- Other contingency plans including SPCC and FRPs
For further questions on ALL4’s water services, please contact our Water Tech Team at water@all4inc.com.
Recent Relevant 4 The Record Articles:
- North Carolina Takes Decisive Action in Regulating PFAS in Wastewater – 2026 Update
- U.S. EPA Issues Back-to-Back Title V Guidance Memos
- Proposed Revisions to “Begin Actual Construction” Definition
- Final Updates to the Chemical Manufacturing Area Source Rule
- Understanding the Final PEPO NESHAP: Key Changes and Implications
- U.S. EPA’s Proposed Amendments to the Ethylene Oxide Sterilizer Rule and Their Implications for Other Rules
- Proposed Revisions to the NESHAP for Marine Tank Vessel Loading
- Proposed Changes to the Risk Management Program: Common Sense Approach to Chemical Accident Prevention
