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Samuel Short, Manager Air Permits Division Texas Commission on Environmental Quality Advanced Air Permitting Seminar 2015.

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Presentation on theme: "Samuel Short, Manager Air Permits Division Texas Commission on Environmental Quality Advanced Air Permitting Seminar 2015."— Presentation transcript:

1 Samuel Short, Manager Air Permits Division Texas Commission on Environmental Quality Advanced Air Permitting Seminar 2015

2 Topics for Discussion Submitting Applications ePermits Updates to NSPS Draft CTG for the Oil and Natural Gas Industry Aggregation of Oil and Gas Sites

3 Mild to Moderately Hot Topics

4 Administrative Documents The preferred order for your administrative documents is: 1. Cover letter 2. Core Data Form 3. PI-7;PI-7CERT;APD-CERT 4. Copy of your check or ePay voucher Cover Letter Core Data Form PI-7; PI-7CERT; APD-CERT Copy of check or ePay voucher

5 Technical Documents The preferred order for technical documents is: 1. Introduction 2. Table of Contents 3. Process and flow diagram 4. Summary of emissions 5. Emission calculations 6. Impacts analysis/NAAQs 7. Applicability 8. Lab analysis 9. Maps 10.Tables and ePay voucher Introduction Table of Contents Process & Flow Diagram Emissions Summary Emission Calculations Impacts Analysis/NAAQS Applicability Lab Analysis Maps Tables

6 STEERS ePermitting System What can I register with it? All PBRs Oil and Gas Standard Permits Am I required to use it?

7 STEERS – How fast is it? All 75 PBRs that don’t require registration will have a same-day response.

8 STEERS – Oil and Gas Projects New! Same-day response (if specific parameters) Company will receive authorization letter Staff will periodically review these submittals manually

9 Rule Selection What if I select the wrong rule? Can I edit my application after I have received my authorization letter? Example: Registered for §106.352(l) instead of §106.352(a)-(k)

10 STEERS Screenshot

11 STEERS What Not to Do No Level 1 or Level2 option

12 Displays Rule Compliance No (a)-(k)

13 Hotter Topics

14 Methane and VOC Standards Proposal to amend NSPS OOOO and OOOOa by setting standards for methane and VOC Proposal published in Federal Register on September 18, 2015

15 Sources Affected Compressors (centrifugal and reciprocating) Pneumatic controllers and pumps Hydraulically fractured wells (well completions) Well site and compressor station fugitives Natural gas processing plant equipment leaks

16 Pneumatic Pumps New, modified, and reconstructed natural gas- driven and diaphragm pumps Requires emission control by 95% in all source categories except natural gas processing plants For natural gas processing plants, emissions of methane and VOC must be zero

17 Hydraulically Fractured Wells Non-exploratory & non-delineation wells Reduced emissions completions, aka green completion Combustion device Exploratory & delineation wells Combustion device

18 Fugitive Emissions Monitoring Defines fugitive emission components Requires use of optical gas imaging Sets leak monitoring schedule: Includes incentives for minimizing leaks Includes requirements for repairing leaks and resurveying

19 Electronic Reporting Requires electronic submittal of reports (CEDRI) May require reporting quantitative environmental results on corporate websites

20 Control Techniques Guidelines

21 Draft published in Federal Register on September 18, 2015 Recommendations for evaluation of VOC RACT for existing sources in ozone nonattainment areas classified as moderate or above

22 Sources Affected by Control Changes Storage vessels Equipment leaks from natural gas processing plants Compressors and pneumatics Fugitive emissions

23 Source Determination EPA Proposal Option 1 - within ¼ mile Option 2 - within ¼ mile or greater than ¼ mile with functional interrelatedness Texas Statute Within ¼ mile and operationally dependent

24 Contact Information Samuel Short Air Permits Division (512) 239-5363 samuel.short@tceq.texas.gov Air Permits Main Line: (512) 239-1250 airog@tceq.texas.gov


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