Nay, number itself in armies importeth not much, where the people is of weak courage; for, as Virgil saith, It never troubles the wolf how many the sh
Register for free to join our community of investors and share your ideas. You will also get access to streaming quotes, interactive charts, trades, portfolio, live options flow and more tools.
Register for free to join our community of investors and share your ideas. You will also get access to streaming quotes, interactive charts, trades, portfolio, live options flow and more tools.
You may get your wish, If the law suit goes bad.
The head of the lobstermen association Bernie up in south Boston would help spread the word for you. The price of fuel and bait is up,and lobster stays the same price. He has many contacts in the industry.
The BS never stops. I guess we all have to make a living.
You may want to send a tech for the trip with a spare unit just so things go well seeing this could bring in a load of biz. two is one,one is none. Always have a backup.
There is no john dear deal.
Just spoke with the girl that answers the phone at highline. April or May i was told for the Hoss
That was removed quick ???/
What's the latest on the Hoss.????
I can just imagine how many PM,S he fired off LOL
Hopefully it wont be the soup line.
Good luck to you, I used to live 1/2 a mile from Galilee. Point Judith RD, Did some diveing work on fishing boats years ago In Galilee.Also did a bit of salavage on the U-853 U-Boat off Block Island. Good Luck
They sure do. We shall see what it is soon
They we can due one on the DUELSAW to see if we can cut HUMP out of fed prison in a amazing 5 minutes.
As paid programming.Billy Mays would have been great for the show. We will get that dope from england to fill in.
If humphries were not in the picture this would be in good shape.He is like dragging a anchor. Boy the damages he has done.
Were did you hear that the prs are backed up,Can you back this info up.
And a roll of the dice.
Share it with us, every one likes good news tell us the Intel that you have.
Half Ass, Change the date makes you look like you dont give a shit Chad
All New Hoss Design
&
All New Website
Coming JAN 2011
"How about coming soon"
In my post I used the word documentation.
So 3rd party testing is hearsay at this point. Unless the company puts out documents to show such testing is underway
My question is do we know for fact that the unit is undergoing testing with a 3 party. Or is it your best guess
Do we know this as fact or are we guessing "independent verification" i have been hearing this for a long time ???
Third party verification is everything. They will need 3 shifts working 7 days. I would put the hoss on the back burner and steal from the church donation box to get it done.Right Mel
I hope so,I have 8mil plus betting on it.
SHILL bidding thats the last straw for me.I hope you have made your report with the ebay Gestapo Headquarters
I would say they are pretty damn close with the numbers. I dont think he wants to back to the joint.One would think.
If this is the bottom, I can live with that.
Loanguy. Anything to say
Very valid points
Do your own DD. You have know idea who the people on this board are or who they work for. This world is full of scumbags and scams. They will tell you anything.I have already found the players with the PMs trying to sell there BS. Do your own DD and go from there.And dont invest money you cant afford to lose
Good Luck
Yes, just as you can identify a tree by its fruit, so you can identify people by their actions.
Dont bet the house on it.
This is what they have to say
HIGHLINE TECHNICAL INNOVATIONS (NASDAQ:HLNT)
Smart Scan Chart Analysis confirms that a strong downtrend is in place and that the market remains negative longer term. Strong Downtrend with money management stops. A triangle indicates the presence of a very strong trend that is being driven by strong forces and insiders.
Based on a pre-defined weighted trend formula for chart analysis, HLNT scored -100 on a scale from -100 (strong downtrend) to +100 (strong uptrend):
-10 Last Hour Close Below 5 hour Moving Average
-15 New 3 Day Low on Friday
-20 Last Price Below 20 Day Moving Average
-25 New 3 Week Low, Week Ending February 19th
-30 New 3 Month Low in February
-100 Total Score
Ok. Probably etmm dumping
looks as if people are dumping.
Scare Tactics – coercing a favorable response by preying upon the audience’s fears.
Scare tactics are not direct threats, but are coerced conclusions. Instead of threatening a consequence onto a person, scare tactics highlight the possible negative outcomes to the extreme, while merely suggesting causality. The audience is supposed to use its own logic to draw the obvious negative conclusions. This is dangerous, for people often believe their own faulty logic because we feel that we can trust our own decisions (simply because they belong to us). If we base these conclusions on fear, however, then we have committed a logical fallacy.
I think you should add a "S"
Capt Phil Harris, Nice to see a Boston fan.
I'll make her an offer she can't refuse.
Background The US Clean Air Act requires that new source performance standards (NSPS) be established to control emissions from new stationary sources [CAA, Section 111(b)]. An NSPS requires these sources to control emissions to the level achievable by best demonstrated technology (BDT), considering costs and any non-air quality health and environmental impacts and energy requirements. New sources are defined as those whose construction, reconstruction, or modification begins after a standard for them is proposed.
In 1979, the EPA proposed NSPS standards for stationary engines, but they were never finalized. In the absence of federal regulations, emissions from stationary engines gradually became subject to a complex system of state and/or local regulations and permit policies, such as those in California, Texas, or the NESCAUM states.
The NSPS standards for stationary engines were adopted through several regulations. The following are some of the important regulatory steps:
•On July 11, 2006, the EPA promulgated emission regulations for stationary diesel engines, which require that most new stationary diesel engines meet the Tier 1-4 emission standards for mobile nonroad engines.
•On January 18, 2008, EPA promulgated emission standards for stationary spark ignition (SI) internal combustion engines.
•On May 21, 2010, the EPA proposed amendments to the 2006 rule to strengthen the standards for engines of 10-30 liters per cylinder to levels required by marine engines of the same sizes. The proposed rule would also align emission standards for engines above 30 liters per cylinder with those for marine engines. The proposal also includes minor revisions to the SI engine requirements.
In addition the NSPS standards, emission requirements for certain categories of new stationary engines are also specified by the National Emission Standards for Hazardous Air Pollutants (NESHAP). Since the NSPS and NESHAP emission standards were adopted through a number of rules—in some cases prompted by court actions against EPA by various environmental or industry groups—the structure of the regulations is complex. This summary covers the NSPS standards for new diesel engines (SI engines are currently not covered). Also available is a summary of NESHAP requirements for existing stationary engines.
Emission regulations for stationary diesel engines are published in Title 40 Chapter I, Part 60 of the Code of Federal Regulations (CFR).
Applicability The NSPS standards apply to stationary compression ignition internal combustion engines (CI ICE) as defined below:
•A stationary internal combustion engine means any internal combustion engine, except combustion turbines, that converts heat energy into mechanical work and is not mobile. Stationary ICE differ from mobile ICE in that a stationary internal combustion engine is not a nonroad engine as defined at 40 CFR 1068.30, and is not used to propel a motor vehicle or a vehicle used solely for competition. Stationary ICE include reciprocating ICE, rotary ICE, and other ICE, except combustion turbines.
•A compression ignition engine means a type of stationary internal combustion engine that is not a spark ignition (SI) engine. An SI engine means a gasoline, natural gas, or liquefied petroleum gas fueled engine or any other type of engine with a spark plug (or other sparking device) and with operating characteristics significantly similar to the theoretical Otto combustion cycle. Spark ignition engines usually use a throttle to regulate intake air flow to control power during normal operation. Dual fuel engines in which a liquid fuel (typically diesel fuel) is used for CI and gaseous fuel (typically natural gas) is used as the primary fuel at an annual average ratio of less than 2 parts diesel fuel to 100 parts total fuel on an energy equivalent basis are SI engines.
Typical examples are stationary diesel engines used to generate electricity and operate compressors and pumps at power and manufacturing plants. The rule also covers stationary engines that are used in emergencies, including emergency generators of electricity and water pumps for fire and flood control. The emission standards apply to new, modified, and reconstructed stationary diesel engines (i.e., existing in-use engines are not affected).
Timing. The emission standards apply to engines whose construction, modification or reconstruction commenced after July 11, 2005—the date the proposed rule was published in the Federal Register. Compliance with Tier 1 standards is delayed to April 1, 2006 for non-fire pump engines and to July 1, 2006 for fire pump engines.
Emission Standards The standards apply to emissions of NOx, PM, CO, and NMHC. They are expressed in units of g/kWh and smoke standards as a percentage. No new emission limits were developed for stationary engines. Rather, the engines are required to meet emission standards for various types of mobile engines, depending on the engine size and application:
i.Engines of displacement below 10 liters per cylinder must meet Tier 1 through Tier 4 emission standards for mobile nonroad diesel engines (almost all stationary engines in the USA belong to this size category). Engines used only for emergencies, for example stand-by generator sets, are exempted from the most stringent Tier 4 emission requirements.
ii.Engines of displacement above 10 liters per cylinder must meet emission standards for marine engines.
Two groups of standards have been adopted: (1) for engine manufacturers, and (2) for engine owners/operators. Beginning with model year (MY) 2007, engine manufactures are required to emission certify stationary engines, and so they are responsible for compliance. During the transitional period before the MY 2007, engines can be sold that are not emission certified. In that case, the engine owner/operator is responsible for emission compliance.
Standards for Engine Manufacturers. Emission certification requirements for stationary non-emergency diesel engines are summarized in Table 1. From 2007, all stationary engines below 30 liters per cylinder must be certified to the respective standards, as applicable for the model year and maximum engine power (and displacement per cylinder in marine standards).
Table 1
Emission Requirements for Non-Emergency Stationary Engines Displacement (D) Power Year Emission Certification
D < 10 L per cylinder = 3000 hp 2007+ Nonroad Tier 2/3/4
> 3000 hp 2007-2010 Nonroad Tier 1
2011+ Nonroad Tier 2/4
10 = D < 30 L per cylinder All 2007+ Marine Cat. 2 Tier 2/3/4 (Tier 3/4 proposed)
D = 30 L per cylinder All 2010-2011 Marine Cat. 3 Tier 1 (proposed)
2012+ Marine Cat. 3 Tier 2/3 (proposed)
Emission certification requirements also apply to emergency engines from 2007, but the certification levels are less stringent:
•Emergency engines that are not fire pump engines must be certified to the standards shown in Table 1, with the exception of standards (including nonroad Tier 4 and marine Category 3 Tier 3) that require “add-on” controls such as diesel particulate filters or NOx reduction catalysts.
•Emergency fire pump engines must be certified to standards that are generally based on nonroad Tier 1 and Tier 2, with Tier 2 becoming effective around 2008-2011, depending on the engine power category.
The time allowed for maintenance and testing of emergency engines is 100 hours per year.
Standards for Engine Owners/Operators. Depending on the engine category, owners and operators are responsible for emission compliance as follows:
•Engines < 30 liters per cylinder ?Pre-2007: ¦Engines < 10 liters per cylinder must meet nonroad Tier 1 emission standards.
¦Engines = 10 liters per cylinder must meet MARPOL Annex VI NOx limits (Tier 1 marine standards)
?2007 and later: owners/operators must buy emission certified engines
•Engines = 30 liters per cylinder: ?Under the 2006 rule, owners/operators are required to reduce NOx emissions by 90%, or alternatively they must limit NOx to 1.6 g/kWh (1.2 g/hp-hr). Owners/operators are also required to reduce PM emissions by 60%, or alternatively they must limit PM to 0.15 g/kWh (0.11 g/hp-hr).
? Under the 2010 proposal, engines must be certified to the standards shown in Table 1.
Owners/operators of pre-2007 engines < 30 liters per cylinder can demonstrate compliance by purchasing a certified engine. If a non-certified engine is purchased, compliance may be demonstrated using emission test results from a test conducted on a similar engine; data from the engine manufacturer; data from the control device vendor; or conducting a performance test. If in-use performance test is conducted, the owner would be required to meet not-to-exceed (NTE) emission standards instead of the respective certification emission standards. Pre-2007 engines must meet NTE standards of 1.25 × the applicable certification emission standard. The information which demonstrates engine compliance and the appropriate maintenance records must be kept on site.
Owners/operators of engines = 30 liters per cylinder must conduct an initial performance test to demonstrate emissions compliance (NOx is measured using EPA Method 7E, PM using EPA Method 5 [40 CFR part 60 appendix A]). The NTE standards do not apply to engines = 30 liters per cylinder.
Fuel Program. The affected engines would also have to switch to low sulfur fuels:
•Engines below 30 liters per cylinder: ?No more than 500 ppm sulfur by October 2007,
?Ultra-low sulfur diesel (15 ppm sulfur) by October 2010.
•Engines = 30 liters per cylinder: 1,000 ppm sulfur fuel from 2014 (proposed).
These fuel requirements are consistent with those for mobile nonroad engines and marine engines. Some of the fuel quality requirements are delayed in areas of Alaska.
Economic Impact The EPA estimated that the 2006 rule will affect 81,500 new stationary diesel engines. Emission reductions will occur gradually from 2005 to 2015, with the total nationwide annual costs for the rule to be $57 million in 2015.
The following are EPA estimates of the price increase for the compliant equipment due to the added cost of emission controls (year 2015):
•Irrigation systems: 2.3%
•Pumps and compressors: 4.3%
•Generator sets and welding equipment: 10.0%