Thanks for your mail. The Method 319 test procedure is only required by those aerospace facilities that are subject to the EPAs Aerospace NESHAP. To fall into this regulation a facility must emit more than 10 tons/year of a single Hazardous Air Pollutant (HAP) as defined by the EPA, or more than 25 tons/year of a combination of HAPs.
I'm giving you a simple summary, but do this to tell you that most aerospace facilities in the US which use paints and coatings, are NOT subject to the regulation. In other words, their HAP emissions fall below these thresholds. Therefore, most aerospace facilities are NOT mandated to use spray booth filters that satisfy the requirements of Method 319.
Most of the large aerospace facilities that use paints do fall into this regulation. The EPA Aerospace NESHAP only applies to organization (government and commercial) that are located in the US and its territories. Therefore, this also applies to Hawaii, Alaska, Puerto Rico and other territories.
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