Yes. The facility ID number is used to generate the RIN, but the RIN can be separated and used for compliance on a company-wide aggregate basis, subject to any applicable restrictions in the regulations such as regulation Sections 80.1106(c) and 80.1129(b)(6).
Question and Answer was originally posted at http://www.epa.gov/otaq/renewablefuels/420f07041a.pdf
If a specific refinery is the producer of renewable diesel, I assume they need a facility ID number, but we can use the RINs for aggregate company compliance.
Have more questions? Submit a request