Facilities subject to EPA Section 114 Information Collection Requests (ICRs) or Consent Decrees involving air emissions may be asked to deploy Solar Occultation Flux (SOF) monitoring as part of a fenceline measurement strategy.
Before implementing any monitoring approach, it is important to understand what information EPA is seeking, how various measurement technologies generate data, and whether the resulting emissions estimates are scientifically appropriate and fit for regulatory, compliance, and legal purposes.
This is not a question of compliance versus non-compliance—it is about selecting measurement methods that align with regulatory intent, data quality objectives, and long‑term defensibility.
Solar Occultation Flux (SOF) techniques, including open-path FTIR and UV‑DOAS, are designed to estimate emissions by measuring path‑integrated atmospheric concentrations across a facility boundary and combining those measurements with meteorological models.
In certain contexts, SOF approaches can provide screening‑level or comparative insights. However, when applied to ground‑level fenceline monitoring under regulatory frameworks, there are important scientific characteristics to understand.
When SOF techniques are used to estimate facility emissions, the resulting data are influenced by several underlying assumptions:
This distinction matters because many EPA regulatory programs, consent decree terms, and enforcement proceedings ultimately rely on source‑specific, method-based emission data.
From a regulatory perspective, the challenge is not whether SOF produces data—but how that data can be used and interpreted. Facilities relying solely on modeled, integrated flux estimates may face challenges related to:
Once submitted, emissions data often become part of a permanent regulatory record, making early decisions about measurement strategy especially important.
To support EPA’s core objectives—accurate emissions characterization, transparency, and defensible data—many facilities incorporate empirical, source-resolved measurement techniques alongside or in place of integrated flux monitoring.
RJ Lee Group specializes in direct, empirical air emissions measurement strategies designed to produce:
These approaches focus on measured data rather than modeled approximations, supporting clearer attribution and higher confidence in reported results.
Across regulatory, compliance, and legal settings, decision-makers consistently prioritize:
A measurement strategy that reflects these priorities helps facilities meet regulatory expectations while reducing future uncertainty and risk. Facilities subject to EPA ICRs or consent decree requirements often have flexibility in how measurement objectives are achieved, provided the resulting data are robust, transparent, and scientifically defensible.
RJ Lee Group works with facilities that:
Our Environmental Forensics & Advanced Air Measurement expertise includes:
If SOF monitoring has been proposed or required for your facility, understanding the scientific strengths and limitations of each measurement option is essential.
Contact RJ Lee Group to discuss how an empirical, defensible measurement strategy can support compliance objectives—while ensuring the data you generate stands up to technical and regulatory scrutiny.