NSR and Title V Activities WESTAR Business Meeting May 2005.

Slides:



Advertisements
Similar presentations
METAL COIL SURFACE MACT COMPLIANCE ASSURANCE 40 CFR PART 63, SUBPART SSSS May 2006 May 2006.
Advertisements

New Source Review NSR Reforms Oklahoma Department of Environmental Quality Air Quality Council Presented by Matt Paque, Attorney, ODEQ - AQD April 20,
The Entergy facility is a boiling water reactor with a rated core thermal power level of 1912 MW, providing a gross electrical output of 620 MW. The facility.
© Jeffer, Mangels, Butler & Marmaro LLP CAA Title V Regulatory Requirements Malcolm C. Weiss, Esq. (310) Jeffer, Mangels, Butler.
HPV Policy Evaluation Update on Workgroup Progress R4 Air Enforcement Workshop November 2012.
Air Protection Branch 1. 2 Air Quality Activities Support the Mission of the Air Protection Branch Monitor and Report Air Quality Data Analysis and Planning.
2015 NCMA EPA Enforcement Policies and How They Affect Your Facility Michael Pjetraj, P.E. DAQ Stationary Source Compliance Branch Supervisor.
Orientation to the Accreditation Internal Evaluation (Self-Study) Flex Activity March 1, 2012 Lassen Community College.
Overview of the Tribal New Source Review (NSR) Rule U.S. Environmental Protection Agency Office of Air Quality Planning and Standards (OAQPS) Research.
New Source Review Reform Vera S. Kornylak, Associate Regional Counsel EPA Region 4 Office of Regional Counsel and Gregg Worley, Chief, Air Permits Section,
How Ozone is Regulated under the Clean Air Act Darcy J. Anderson AZ Dept. of Environmental Quality.
NAAQS UPDATE SIP Steering Committee January 13, 2011.
Air Pollution Control Board October 1, 2008 Thomas W. Easterly, P.E., DEE, QEP Commissioner, Indiana Department of Environmental Management We Protect.
1 An Update on EPA Attainment Modeling Guidance for the 8- Hour Ozone NAAQS Brian Timin EPA/OAQPS/EMAD/AQMG November 16, 2005.
Air Quality Beyond Ozone and PM2.5 Sheila Holman North Carolina Division of Air Quality 6 th Annual Unifour Air Quality Conference June 15, 2012.
National Ambient Air Quality Standards (NAAQS) and State Implementation Plan (SIP) Updates October 30, 2013 Lynorae Benjamin, Chief Regulatory Development.
Tribal Benefits from State Implementation Plan (SIP) Process Involvement Rosanne Sanchez New Mexico Environment Department Air Quality Bureau.
A&WMA Georgia Regulatory Update Conference Current State of the Air in GA Jac Capp, GA EPD, Branch Chief, Air Protection Branch April 16, 2013.
IOWA Department of Natural Resources Air Quality Program Development Jim McGraw Environmental Program Supervisor  8 hr Ozone and PM2.5 NAAQS Implementation.
NEW SOURCE REVIEW REFORM/SIMPLIFICATION JOHN A. PAUL STAPPA/ALAPCO MAY, 2002.
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.
Indiana New Source Review Reform Plantwide Applicability Limitations (PALs) IDEM/Office of Air Quality September 7, 2004.
Mississippi Air Update Mississippi Dept. of Environmental Quality September 12, 2012.
Leslie S. Ritts, Partner 1 New Source Review & Title V Permit Update: American Public Power Association 2005 Engineering and Operations.
Distinguishing: Clean Air Act, EPA Rules, Regulations and Guidance David Cole U.S. EPA, OAQPS Research Triangle Park, NC.
Title V Operating Permit Program 1 Section 1: Intro to Title V Laura McKelvey U.S. EPA.
Title V: The Big Picture
Sound solutions delivered uncommonly well Understanding the Permitting Impacts of the Proposed Ozone NAAQS Pine Mountain, GA ♦ August 20, 2015 Courtney.
Stationary and Area Source Committee Update OTC Committee Meeting September 13, 2012 Washington, D.C. Hall of the States 1.
1 Public Involvement, Access, and Petitions DJ Law EPA Region 8.
Title V Operating Permits: A Compliance and Enforcement Tool Candace Carraway US Environmental Protection Agency Office of Air Quality Planning and Standards.
Jessica Montanez Environmental Protection Agency NEW SOURCE REVIEW (NSR) PROGRAM.
Minor NSR Program and Highlights of the Proposed Tribal Major Nonattainment and Minor NSR Rules Jessica Montañez U.S. Environmental Protection Agency Office.
New Source Review Rules Update Jessica Montanez U.S. Environmental Protection Agency Office of Air Quality Planning and Standards Air Quality Policy Division.
Brad Miller Anna Kelley. National Ambient Air Quality Standard Update New Sulfur Dioxide Non-Attainment Area – Effective October 4, 2013 Ozone Secondary.
Air Quality Policy Division D P A Q 1 Regional Haze Update WESTAR September 17-19, 2007 EPA Office of Air Quality Planning & Standards.
CAA Program Reporting Clarification Regarding Federally-Reportable Violations for Clean Air Act Stationary Sources (March 2010) (FRV Clarification Memo)
1 Status of SO 2 Implementation and Modeling Issues Michael Ling Associate Director, Air Quality Policy Division U.S. EPA, Office of Air Quality Planning.
Current State Issues in Title V Permitting Matthew A. Paque Environmental Attorney Supervisor Oklahoma Department of Environmental Quality Office of General.
2005 NSR Regulation Changes Dwight Wylie. Old Units vs. New Units  There is a broad disparity between air pollution control requirements and emissions.
Compliance and Enforcement: Investigation Overview.
ENVIRONMENTAL PROGRAMS Air Quality Update Regional Council February 28, 2007.
Air Quality Technical Advisory Committee Meeting September 27, 2006 Virendra Trivedi Chief, New Source Review/Title V Section Division of Permits Bureau.
OAQPS Update WESTAR Fall Meeting October 2, 2008.
How Tribes Can Influence State Title V Permits Virgil Frazier Southern Ute Indian Tribe Virgil Frazier Southern Ute Indian Tribe.
PM2.5 NAAQS Implementation Interactive Session NACAA Annual Meeting May 8, 2013 St. Louis, MO 1.
Nonattainment New Source Review (NA NSR) Program Raj Rao US Environmental Protection Agency Office of Air Quality Planning and Standards ,
Indiana Chamber of Commerce Environmental Roundtable August 25, 2008 Thomas W. Easterly, P.E., DEE, QEP Commissioner, Indiana Department of Environmental.
OAQPS Update WESTAR April 3,  On March 12, 2008, EPA significantly strengthened the National Ambient Air Quality Standards (NAAQS) for ground-level.
NAAQS Status in GA & PSD Inventory Update James W. Boylan Georgia EPD – Air Protection Branch Manager, Planning & Support Program AWMA Regulatory Update.
1 Update on New Source Review (NSR) Activities and Priorities for Information Transfer and Program Integration Division April 7, 2004.
Regional Haze, PM, and Permits Update WESTAR Fall Meeting September 26, 2006.
Concept – 15A NCAC 2D.0535 Start-up, Shutdown, Malfunction SSM SIP Call EMC – Air Quality Committee January 13, 2016.
SSM SIP Call Georgia’s Response
Department of Environmental Quality
Developing a Tribal Implementation Plan
Preparing for Permit Review
Final Rulemaking Nonattainment Source Review 25 Pa. Code, Chapter 121
WESTAR Increment Recommendations
Bill Harnett WESTAR Spring Meeting April 8, 2009
CAIR Replacement Rule and Regional Haze
WESTAR Fall Meeting October 2, 2008
Overview of New Source Review (NSR)
Department of Environmental Quality
90-Day NSR Study and NSR Improvements
New Source Review Update
Budget and Planning Update
Best Available Control Technology for Greenhouse Gas Emissions Sources
Wildland Fire Policy Revision
Presentation transcript:

NSR and Title V Activities WESTAR Business Meeting May 2005

NO2 Increments -EPA/Environmental Defense Letter – September 29, 2004 Identified 3 alternatives to using increment approach Cap-and-trade program Protection of ecosystems based on critical loads State planning program for protecting and enhancing air quality in attainment areas Commitment to propose one or more of alternatives in a balanced way Proposal – February 14, 2005

NO2 Increments Cap-and-trade program Clean Air Interstate Rule Western Cap (?) Regional Haze Best Available Retrofit Technology requirements Protection of ecosystems based on critical loads Critical Loads (CL) = deposition level above which there is an adverse effect on ecosystem Current status of developing science State planning program for protecting and enhancing air quality in attainment areas

Title V Implementation Experience Task Force Reminder: Purpose of Task Force Answer Two Questions How well is the title V program performing? What elements of the program are working well/poorly? Reflect real world experience, examples Report to CAAAC reflecting all views Possible recommendations Task Force has set a goal to complete report by end of 2005

Title V Implementation Experience Task Force Where Process Stands 18-member task force Public Outreach Completed March 31 Public Meetings/Conference Calls Written Comments (docket OAR ) Regular task force meetings/calls ongoing Prioritizing and discussing key topics Very constructive participation Next face-to-face meeting in May

Title V Implementation Experience Task Force Issues for Discussion and Potential Inclusion in Report Compliance Certifications & Compliance Schedules Deviation Reporting Public Notice/Public Access to Documents Throughout Process Public Hearings Responses to Public Comments on Draft Permits Permit Revisions/Flexible Permits EPA’s Permit Review Role Petitions and Appeals of Permits Incorporation of Applicable Requirements (e.g., MACT, SIP gap, old NSR, Insignificant Emissions Units, etc.) Startup, Shutdown, and Malfunction issues Statement of Basis Monitoring Program Costs and Benefits

IG Report on Title V Implementation EPA’s IG issued report March 9, 2005 “Substantial Changes Needed in Implementation and Oversight of Title V Permits If Program Goals Are to be Fully Realized” (2005-P-00010) Based on review of permit documents and interviews with EPA and States, the IG identified concerns with 5 key aspects: 1. Permit Clarity 2. Statements of Basis 3. Monitoring Provisions 4. Annual Compliance Certifications 5. Practical Enforceability

IG Report on Title V Implementation (Cont.) Report focused on EPA Oversight Role Oversight has led to some improvements EPA must do more Recommendations: Issue national guidance/rulemaking: periodic monitoring, compliance certifications, intermittent/continuous compliance, statements of basis, order of sanctions Assist public in locating guidance Review monitoring in underlying SIP rules Work with State/locals to improve permit clarity (conciseness, minimize IBR, clear citations, etc). Review permits and permit programs Continue program evaluations on 5 year cycle Review monitoring in permits; assure practical enforceability Increase review of CAM, MACT incorporation, permit clarity Streamline petition process Form a stakeholder advisory group, possibly working with CAAAC

Permit Issuance Data (as of 12/31/04) 95 percent of permits have been issued 16,566 permits for 17,404 sources Figure rises to 98 percent if the 17,784 synthetic minor sources are included in totals 25 percent of renewals have been issued 2210 renewals issued, 8697 were due

NSR Litigation (December 2002 Rules) Plantwide Applicability Limits, Clean Unit Test, Pollution Control Projects, Calculation of “emissions increase.” Court denied stay request States facing January 2006 deadline for revising programs Programs must be “no less stringent” than EPA rules Court Briefs Complete; Oral argument occurred January 2005 Decision – May to July 2005

ERP Reconsideration and Litigation Equipment replacements that are like-for-like or functionally equivalent, are below 20 percent of the cost of the unit and do not exceed basic design parameters are routine maintenance ERP rule is stayed by Court Pre-2003 rules and policies in effect EPA reviewing Reconsideration Comments Legal basis 20 percent cutoff Proposal on Reconsideration published July 1, 2004 Final action expected in June 2005 Litigation Schedule Pending Completion of Reconsideration First briefs due 90 days after EPA responds EPA brief due 90 days later Briefing completed 77 days after that

NSR Revisions: Next Steps Possible NSR Revisions Ahead Include: 8-hour Ozone Implementation Phase 1 reconsideration 8-hour Ozone Implementation Phase 2 package PM 2.5 implementation proposal Interim Nonattainment NSR Rule (Appendix S) NSR Reform - Debottlenecking, Aggregation, and Allowables PALs Tribal NSR rule