CAA Program Reporting Clarification Regarding Federally-Reportable Violations for Clean Air Act Stationary Sources (March 2010) (FRV Clarification Memo)

Slides:



Advertisements
Similar presentations
Alternative Test Method and Monitoring Approval Robin Segall Measurement Technology Workshop December 6 – 8, 2010.
Advertisements

AWMA Meeting October 15, 2013 Stack testing issues and questions Dennis Thielen.
Clean Water Act Integrated Planning Framework Sewer Smart Summit October 23, 2012.
HPV Policy Evaluation Update on Workgroup Progress R4 Air Enforcement Workshop November 2012.
1 Comprehensive Management Plan for East Hampton Airport  Safety, Noise and Operations Peter J. Kirsch December 1, 2011.
IDEM OFFICE OF AIR QUALITY PRIORITIES FOR Accomplishments In 2003 Achieved federal approval of Prevention of Significant Deterioration Permit.
2015 NCMA EPA Enforcement Policies and How They Affect Your Facility Michael Pjetraj, P.E. DAQ Stationary Source Compliance Branch Supervisor.
Environmental Management Systems An Overview With Practical Applications.
NCMA Workshop March 19 and 24, 2015 Betty Gatano, P.E. Permitting Section North Carolina Division of Air Quality, Raleigh, NC (919)
Overview of the Tribal New Source Review (NSR) Rule U.S. Environmental Protection Agency Office of Air Quality Planning and Standards (OAQPS) Research.
Air Quality Regulations and Academic Institutions Steve Hall Environmental Engineer II NC DENR – Division of Air Quality Raleigh Regional Office.
Canada vs. USA Environmental Regulation (Why Canadians are better known for hockey) Georgia Basin-Puget Sound International Airshed Strategy Meeting September.
Electronic Reporting for Clean Air Act NSPS and NESHAP Regulations
AFS: The Year in Review AFS 2007, August 7-9, 2007 San Francisco, CA Betsy Metcalf.
1 Improving Environmental Protection and Reducing Administrative Burden North Carolina Division of Air Quality Improving Environmental Protection and Reducing.
Update on EPA Oil and Gas Activities Greg Green, Outreach and Information Division, OAQPS.
Compliance Assistance and Ambient Air Monitoring Brian Hutchins Supervisor, Air Quality Bureau July 2014.
UTILITY NSR REFORM TIMEFRAMES EARLY 90’SBEGIN CAAA IMPLEMENTATION MID 90’SNSR REFORM DEVELOPMENT - S/A Principles - EPA Proposals.
Where to find Information About Facilities. Overview of Title V Permits.
CANDACE CARRAWAY OFFICE OF AIR QUALITY PLANNING AND STANDARDS US EPA JUNE 2013 General Permits and Permits by Rule 1.
Air Quality Policy Division D P A Q PM 2.5 Final NSR Implementation Rule Nat’l Tribal Air Assoc. July 16, 2008.
Targeting Tools United States Environmental Protection Agency Office of Enforcement and Compliance Monitoring Air Enforcement Division.
Treatment of Natural Events WESTAR Planning Committee & WESTAR NEP Workgroup March 28, 2006.
Title V Operating Permit Program 1 Section 1: Intro to Title V Laura McKelvey U.S. EPA.
Sound solutions delivered uncommonly well Understanding the Permitting Impacts of the Proposed Ozone NAAQS Pine Mountain, GA ♦ August 20, 2015 Courtney.
Compliance Assurance and Title V Monitoring A Summary of Rules and Permitting Issues Peter Westlin, EPA, OAQPS.
EPA’s DRAFT SIP and MODELING GUIDANCE Ian Cohen EPA Region 1 December 8, 2011.
Setting the scene World Resources Institute Overview of Registries Concepts, Lessons, and Guiding Design Principles Presented by: Pankaj Bhatia, Director,
Best Available Retrofit Technology Rule - Colorado David R. Ouimette Colorado Air Pollution Control Division.
NYSDEC Efforts to Promote Environmental Excellence John M. Vana New York State Department of Environmental Conservation Pollution Prevention Unit Presented.
Greenhouse Gas (GHG) Permit Training Other Aspects of PSD Title V Permitting.
Title V Operating Permits: A Compliance and Enforcement Tool Candace Carraway US Environmental Protection Agency Office of Air Quality Planning and Standards.
COMPLIANCE MONITORING and INSPECTIONS Or, how to run an effective program through an adequate field presence.
Final Clean Air Fine Particle Implementation Rule Briefing for NTAA EPA Office of Air Quality Planning and Standards April 17, 2007.
Jessica Montanez Environmental Protection Agency NEW SOURCE REVIEW (NSR) PROGRAM.
Proposed Revisions to the Guideline on Air Quality Models
Air Quality Policy Division D P A Q 1 Regional Haze Update WESTAR September 17-19, 2007 EPA Office of Air Quality Planning & Standards.
1 Modeling Under PSD Air quality models (screening and refined) are used in various ways under the PSD program. Step 1: Significant Impact Analysis –Use.
NSR and Title V Activities WESTAR Business Meeting May 2005.
Carrie Paige – EPA Region 6, Dallas David Cole – EPA OAQPS, RTP, NC Introduction to Air Permits Introduction to Air Permits.
Update on Methane Regulations Affecting Landfills Pat Sullivan Senior Vice President SCS Engineers Nov. 10, 2015.
Compliance and Enforcement: Investigation Overview.
AFS Modernization NACAA Meeting – May 5, AFS Modernization Status  Long agreed upon need to modernize  Efficiencies and cost savings from modernization.
1 US EPA Straw Proposals for Modifying the 12/2005 draft Policy Statement Jim Hanlon, Director Office of Wastewater Management, OW Expanded Steering Committee.
1 What Program Requirements Drive Data Needs James Hanlon, Director Office of Wastewater Management Office of Water US EPA Expanded Steering Committee.
TRIBAL DECISION ON IMPLEMENTATION TAS/DELEGATION/TIP TIP/TAS Training December 3, 2012.
ork ork Work – Part 261 ä Individual Responsibility ä State Accountability ä Work Activities ä Caseload Reduction Credit ä Work Penalties ä Waivers ä.
How Tribes Can Influence State Title V Permits Virgil Frazier Southern Ute Indian Tribe Virgil Frazier Southern Ute Indian Tribe.
AFS Overview, the Universal Interface, and AFS Modernization Plans Network Operations Board (NOB) Meeting October 25, 2006 David Hindin, Director Enforcement.
1 Update on Efforts to Reduce Emissions and Risks at High Risk Railyards February 25, 2010 BNSF San Bernardino California Environmental Protection Agency.
REVISIONS TO THE FEDERAL WATER QUALITY STANDARDS RULE JILL CSEKITZ, TECHNICAL SPECIALIST TEXAS COMMISSION ON ENVIRONMENTAL QUALITY.
DRAFT USEPA Office of Compliance Update: 90 CWA Action Plan, State Review Framework, & OECA National Priority Selection Presentation to NACAA Chris Knopes.
1 Understanding the ICIS-NPDES Policy Statement Betsy Smidinger, Deputy Director Enforcement Targeting and Data Division Office of Compliance Office of.
Miscellaneous Stuff William Harnett WESTAR Spring Meeting April 3, 2007.
Pulp & Paper Sector Strategy & New Source Performance Standards Strategy Peter Tsirigotis, Director Sector Policies & Programs Division National Association.
Proposed Rulemaking: Additional RACT Requirements for Major Sources of NO x and VOCs (25 Pa. Code Chapters 121 and 129) Environmental Quality Board November.
Department of Environmental Quality
New Source Review (NSR) Program Basics
Preparing for Permit Review
WESTAR Increment Recommendations
Clean Air Act (CAA) Purpose
Department of Environmental Quality
ICIS-NPDES Expanded Steering Committee Meeting EPA Opening Remarks
Revising the State/Local Air Grant Allocation Methodology
Budget and Planning Update
Region 4 Air Directors Spring Meeting May 20, 2015
Air Quality Committee May 13, 2015
Best Available Control Technology for Greenhouse Gas Emissions Sources
EPA Compliance & Enforcement Expectations
Understanding EPA’s FY National Compliance Initiative: Reducing Significant Noncompliance with CWA-NPDES Permits U.S. Environmental Protection.
Presentation transcript:

CAA Program Reporting Clarification Regarding Federally-Reportable Violations for Clean Air Act Stationary Sources (March 2010) (FRV Clarification Memo) The Timely and Appropriate Enforcement Response to High Priority Violations (December 1998) AFS Information Collection Request (ICR) Minimum Data Requirements 1

Why is State and Local Agency Reporting Important? Nationally manage CAA monitoring and enforcement activities Level playing field/national consistency Input to regulatory analyses/design Enhances targeting Focus on most serious sources and significant noncompliance Wise use of limited resources Increases transparency/meet public expectations for accessible, detailed and timely information Important for public to have access to national level data Helps drive facility and government performance 2

Why is State and Local Agency Reporting Important? Informs oversight responsibilities and improve evaluative efforts Assesses progress in meeting CAA goals Provides context (Eg. FRV and HPV identification) Provides foundation for policymaking and respond to public and congressional inquiries Demonstrates value of our compliance and enforcement programs 3

FRV OECA committed to reopen FRV Policy and engage with states/locals to more fully understand concerns with the current policy Multiple discussions with state/local air agencies and associations Working to reconcile shared commitment to transparency and making information accessible to the public about pollution and violations affecting their communities with the understanding for the need to reduce reporting burden 4

FRV AFS Modernization is a high priority EPA has seriously considered concerns about burden and resources Recognizing limitations, EPA proposes to: Revise the FRV Policy so that it applies only to the CMS universe (Title V major sources, SM-80s, or sources included in alternative CMS plans) Finalize the new HPV Policy and implement the changes developed by the joint workgroup. Initiate development of the FY2015 ICR which will only change to address the reporting reductions caused by the FRV and HPV Policies. 5

Current FRV Policy (2010 FRV Clarification Memo) Applicable source universes: (1) Major sources (2) All synthetic minor sources (3) Sources included in a CAA CMS (4) Part 61 NESHAP minors (5) Active HPV sources (6) Sources subject to a formal enforcement action Expectation: Focus complete, timely, accurate reporting on Tier 1 and enforcement actions Tiered reporting for violations: Tier I FRVs: Emissions/significant procedural violation Continuing, or likely to, for at least 7 days Federally-enforceable requirement Sources listed in adjacent #1-5. Tier II FRVs: Emissions/significant procedural violation Continuing, or likely to, for at least 7 days Federally-enforceable requirement Sources not in Tier 1 but subject to formal enforcement (#6) 6

Draft Revised FRV Policy Reduce burden associated with FRV reporting Proposed policy revisions for consideration based on input: Limit the universe/scope of FRV reporting Define FRVs as violations of federally enforceable CAA requirements at CMS sources which include violations of any emission limitation, standard or surrogate parameter; any procedural violation Continue linking of activities and actions to HPV reporting only In accordance with ICR, report FRVs within 60 days of determination 7

8 Summary of the HPV Policy Revisions Six states and all EPA regions participated in the workgroup that made recommendations for the revisions. EPA consulted with the two tribes that could be affected by the revisions. Revised the criteria to six categories of violations that EPA should track and provide additional oversight Revised the process for addressing the violations that Emphasizes early identification and notification. Recognizes that not every violation that meets an HPV criterion warrants tracking and attention at the national level. Provides flexibility on timeline to address violations to acknowledge that enforcement actions can be quite varied.

9 HPV Definition- Revised Criteria Criterion 1- Failure to obtain a NSR permit (and/or install BACT/LAER) for any major stationary source or a modification of a major stationary source Criterion 2- A continuing violation (7 days or more) of any NSR or NSPS emission limit or parameter that is a surrogate for emissions Criterion 3- A continuing violation (7 days or more) of any NSPS emission limit or parameter that is a surrogate for emissions Criterion 4- A continuing violation (7 days or more) of any NESHAP emission limit or parameter that is a surrogate for emissions Criterion 5- A violation that involves work practices, testing requirements, monitoring requirements, recordkeeping or reporting that substantially interferes with enforcement Criterion 6 - Any other violations identified by the Director, Air Enforcement Division, U.S. EPA or as mutually agreed upon between the enforcement agency and corresponding EPA Region.

10 Revised HPV Definition Eliminated the following General Criteria Title V certification violations Failure to submit Title V application violations Violation of any local, state or federal order Violation of synthetic minors where actual emissions do not exceed major or significant thresholds Immediate Stack Test Failures if source can re-test within 7 days and show in compliance Eliminated the Matrix Accommodated emission violations into Criteria Opacity violations will be handled via the Discretionary Criteria

11 HPV Definition- Revised Process For Addressing the Violation ____________________________________________________________________________________________________ -90 daysDay Zero45 days180 days225 days270+ days

ICR EPA will soon initiate the development of the FY2015 ICR: Only changes to include the reductions associated with the revisions to the FRV and HPV Policies. 12