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1 Title V Permitting and CAM Planning Title V Permitting and CAM Planning APPA E&O Technical Conference April 19, 2005 Robert M. Iwanchuk, C.C.M. ENSR.

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Presentation on theme: "1 Title V Permitting and CAM Planning Title V Permitting and CAM Planning APPA E&O Technical Conference April 19, 2005 Robert M. Iwanchuk, C.C.M. ENSR."— Presentation transcript:

1 1 Title V Permitting and CAM Planning Title V Permitting and CAM Planning APPA E&O Technical Conference April 19, 2005 Robert M. Iwanchuk, C.C.M. ENSR International Westford, MA 978-589-3265/riwanchuk@ensr.com

2 2 Title V Permitting and CAM Planning Overview of Topics n Title V Monitoring Principles n Part 64/CAM rule summary n CAM applicability n Guidance on Establishing CAM Monitoring n CAM Plan example n Technical resources

3 3 Title V Permitting and CAM Planning Enhanced Monitoring Rule History n 1990 - CAAA requires EPA to publish monitoring rules for major sources n 1992 - EPA proposes Enhanced Monitoring rules  CEMS based  All major sources subject n 1995 - EPA changes direction  Reasonable Assurance of Compliance  Focus on add-on control devices

4 4 Title V Permitting and CAM Planning CAM Goals / Principles n Monitoring to provide a reasonable assurance of compliance  Ensure control device is properly operated and maintained  Define operational criteria (indicator ranges) for good O&M of control equipment  Take corrective action before it becomes a pollution problem  Compliance can be assumed if indicators within acceptable range or value

5 5 Title V Permitting and CAM Planning Compliance Assurance Monitoring n Impact on Industry  Risk of enforcement action will increase  Compliance costs will increase  Increased scrutiny of existing control devices  Marginal control devices will present higher risk

6 6 Title V Permitting and CAM Planning What is required in Title V for Monitoring? n Monitoring requirements from applicable rules  Includes CAM rule requirements  CAM only applies to certain units with control devices n Periodic monitoring  Gap filling if applicable rule 1) has no monitoring, 2) no frequency, or 3) initial testing only  If CAM not applicable, PM can still be required

7 7 Title V Permitting and CAM Planning What is CAM Rule? n 40 CFR Part 64  Federal register citation n Regulation implementing the Title V monitoring principle n Targets facilities with add-on pollution control devices n Requires monitoring plan for affected units  Monitoring elements reflected in Title V permit

8 8 Title V Permitting and CAM Planning Who is Affected by CAM? n Facility is a major source subject to Title V n Emission unit subject to an emissions limitation or standard  Pollutant-specific emission unit (PSEU) n PSEU uses “active” control device to achieve compliance n Pre-control PTE > major source size threshold n Not otherwise exempt

9 9 Title V Permitting and CAM Planning Major Pollutant and CAM Applicability Thresholds Nonattainment Major Source CAM PSEU Pollutant StatusThreshold (TPY) Applicability Level (TPY) 1 Criteria/NSPSAttainmentAttainment 100/250 100 VOC/NO x Marginal 100 100 Serious 50 50 Severe 25 25 Extreme 10 10 All Other Areas in OTR 50 (VOC only) 50 COSerious 50 50 PMSerious 70 70 1 Potential Pre-Control Device Emissions

10 10 Title V Permitting and CAM Planning Who is exempt from CAM? n Rule-based exemptions:  Acid rain rules  Post-1990 EPA rules (e.g. MACT standards)  Rules with continuous compliance determinations methods (e.g., Subpart Da facilities for SO2) n One non-rule based exemption  Municipally-owned peaking units

11 11 Title V Permitting and CAM Planning What is an “active” control device? n Equipment used to destroy or remove air pollutants  Inherent process equipment not included n Active controls - e.g., fabric filters, scrubbers, incinerators, catalytic oxidizer  Includes any capture system n Passive controls exempt

12 12 Title V Permitting and CAM Planning Examples of control techniques NOT covered n Combustion design features (e.g., lean-burn IC engine) n Low solvent coatings and sprays n Low pollution fuel n Low pollution materials n Low NO x burners n Roofs / covers / lids / storage tank seals

13 13 Title V Permitting and CAM Planning How are pre-control device emissions calculated? n Similar to PTE calculations for Title V except:  Capture and control efficiency not counted n May account for enforceable operational restrictions:  Hours of operation, throughput restrictions n Testing for applicability unnecessary

14 14 Title V Permitting and CAM Planning Estimating pre-control emissions PSEU Control Device Pre-controlled Emissions Annual emissions = restrictions X emissions rate Post-control Emissions

15 15 Title V Permitting and CAM Planning When does CAM apply? n For large PSEUs (post control > major source threshold):  With initial Title V application, if submitted after April 20, 1998  Significant Title V permit revision (only with respect to the PSEUs for which the revision is applicable)  Title V permit renewal n For non-large PSEUs  Title V permit renewal

16 16 Title V Permitting and CAM Planning Applicability Logic Diagram

17 17 Title V Permitting and CAM Planning CAM Plan Implementation n CAM approved via Title V permit n CAM monitoring upon issuance of Title V permit  May be delayed if test program is necessary n Monitoring during all periods when unit is operating  Repair, maintenance, QA/QC excluded n Part 70 Periodic Monitoring remains in effect prior to CAM

18 18 Title V Permitting and CAM Planning What Must Be In The Permit? n Description of the monitoring approach  What is measured, how, frequency, averaging time n Definitions of exceedances or excursions  (e.g., excursion triggers corrective action/reporting) n QA/QC schedule and procedures n CAM Plan is a separate document

19 19 Title V Permitting and CAM Planning CAM Approach n Demonstrate controls’ ability to achieve compliance n Indicators define “envelope” of good O&M for control device n Monitor indicators n Compliance can be assumed if indicators within acceptable range or value  Basis for Title V compliance certification

20 20 Title V Permitting and CAM Planning CAM Approach, Cont. n Indicators outside of accepted range triggers:  investigation, corrective action, QIP (if necessary) n Response depends on whether an excursion or an exceedance n Report exceedances/excursions in Title V Compliance Certification

21 21 Title V Permitting and CAM Planning CAM Plan n Excursion: Departure from “indicator” range established in accordance with part 64 n Exceedance: Condition detected by monitoring (in units of pollutant emissions) that emissions are beyond limit Note: Excursions lead to corrective actions and may or may not be exceedances

22 22 Title V Permitting and CAM Planning CAM Plan Contents n Background information  Unit ID, applicable requirement, control device n Monitoring approach  General criteria  Performance criteria n Justification  Selection of monitoring approach  Indicator range(s)

23 23 Title V Permitting and CAM Planning Selection of Monitoring Approach n Identify Potential Performance Indicators (or Combination of Indicators) and Choose Most Reasonable Approach  Emphasis on current procedures n Consider Level of Confidence and Costs n Establish Indicator Ranges n Establish Monitoring Frequency

24 24 Title V Permitting and CAM Planning Selection of Monitoring Approach n Site-Specific Factors to Consider:  Existing monitoring equipment  Data representation of emissions or parameter being monitored  Adequate QA/QC practices  Frequency, collection procedures, and averaging period  Monitor’s ability to account for operational variability  Reliability of control technology  Actual emissions vs. limit

25 25 Title V Permitting and CAM Planning Performance Indicators n Selection Considerations  Direct or predicted emissions  Process and control device parameter  Recorded findings of inspection and maintenance activities n Performance Criteria  Representative data  Verification procedures  QA/QC practices  Monitoring frequency

26 26 Title V Permitting and CAM Planning Frequency of CAM Monitoring n Large PSEUs  4 or more data values equally spaced over each hour and average the values n Other PSEUs  At least one data value per 24-hour period n Be practical  Frequency should be consistent with averaging times in the permit limits  Short enough to identify problems and do corrective action  Long enough so that minor perturbations resulting from normal variations are not flagged as excursions/exceedances

27 27 Title V Permitting and CAM Planning Establishing Indicator Ranges n Parameter data collected during testing n Historical data n Design or engineering data n From similar operations

28 28 Title V Permitting and CAM Planning Indicator Ranges n Establish range(s) or condition(s) such that operation within the ranges provides a reasonable assurance of ongoing compliance with the emissions limitations or standards within the anticipated range of operating conditions n If detailed data or test information are not readily available, a source must:  Submit an implementation plan and schedule with detailed activities  Perform activities as expeditiously as possible, but not later than 180 days after approval of the permit

29 29 Title V Permitting and CAM Planning Establishing Indicator Range

30 30 Title V Permitting and CAM Planning Part 64 applicability examples

31 31 Title V Permitting and CAM Planning Quality Improvement Plan n Agency discretion to require based on:  Failure to take proper corrective action or  Threshold of accumulated excursions/exceedances as specified in Title V permit n QIP elements - procedures to evaluate control problem and implementation schedule  Improved PM, process changes, improved control method  More frequent or improved monitoring

32 32 Title V Permitting and CAM Planning CAM Reporting and Recordkeeping n Semi annual monitoring reports  Number, duration and cause of exceedances/excursions; corrective actions  Monitoring equipment downtime (other than QA)  QIP actions n Annual compliance certifications n Records of monitoring data, monitor performance, corrective actions, QIP actions  Alternative media (computer files, microfiche, magnetic tape)

33 33 Title V Permitting and CAM Planning CAM Plan Examples Emission UnitCoal-Fired Boiler Equip ID PB01 Lime Silo Equip ID SSIL Control DeviceScrubber for SO 2 Stack ID: PB1EP Baghouse for PM Stack ID: SSILEP Applicable Requirement Reg. 61-62.1, Sec II, H (PSD avoidance) Reg. 61-62.5, Std 4, Sec VIII PM emission limit based on hourly raw material rate Emission Limit1132 tpy SO 2 35.43 lbs/hr PM Is the unit a major source post-control? YesNo

34 34 Title V Permitting and CAM Planning CAM Plan Examples (continued) Emission UnitCoal-fired BoilerLime Silo I. CAM IndicatorScrubber pressure drop and liquid flow rate Pressure Drop Measurement Approach Differential pressure gauge and liquid flow meter Differential pressure gauge Monitoring FrequencyContinuous (once every 15- minute period Daily JustificationAdequate pressure drop and liquid flow indicate proper gas to liquid contact in scrubber An increase in pressure drop could indicate that the cleaning cycle is not frequent enough or that the bags need to be replaced II. Indicator RangeThe operational ranges developed during performance testing will be used for SO 2 CAM indicator ranges. Maximum pressure drop of 10 psi.

35 35 Title V Permitting and CAM Planning CAM Plan Examples (continued) Emission UnitCoal-fired BoilerLime Silo III. Performance Criteria Data Representativeness Pressure drop measured across scrubber, scrubbing liquid flow meter installed in scrubbing liquid supply line. Pressure drop across the baghouse is measured at the baghouse inlet and exhaust. QA/QC Practices and Criteria Semi-annual calibration of gauges. Accuracy of pressure gauge must be within +2 in. H 2 O. Accuracy of flow meter must be within +5% of design flow rate. Annual calibration of pressure gauge. Data Collection Procedures Once every 15-minute period and each 3-hour average. Differential pressure is recorded once per day in the plant’s data system.

36 36 Title V Permitting and CAM Planning Examples of Presumptively Acceptable Monitoring n Table 3-3 of CAM Guidance  www.epa.gov/ttn/emc/cam.html www.epa.gov/ttn/emc/cam.html n CEMS, COMS, PEMS satisfying Part 64 n Part 75 monitoring n Monitoring required by NSPS or NESHAP proposed after 11/15/90 (must satisfy Part 64)

37 37 Title V Permitting and CAM Planning Summary n Start planning now  TV renewals are upcoming  Modify test programs to accommodate CAM data needs  Initiate dialogue with state agency n Ongoing issues  Corrective action for excursions/exceedances  Planning for QIP, if necessary  Consider impact of actions on compliance certifications

38 38 Title V Permitting and CAM Planning CAM Guidance Documents n Working draft October 1997  Rule Overview  Description of monitoring approaches  Monitoring equipment technical reference  Appendices: Example CAM plans & Illustrations n EPA Website  www.epa.gov/ttn/emc/cam.html

39 39 Title V Permitting and CAM Planning Questions


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