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Non-Attainment NSR Program

Non-Attainment NSR Program. Donald Law EPA Region 8. Major Topics. Applicability NA NSR Program Requirements Lowest Achievable Emissions Rate (LAER) Offsets Statewide Compliance Certification Alternatives Analysis. What is Non-Attainment NSR?. NSR is a

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Non-Attainment NSR Program

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  1. Non-Attainment NSR Program Donald Law EPA Region 8

  2. Major Topics • Applicability • NA NSR Program Requirements • Lowest Achievable Emissions Rate (LAER) • Offsets • Statewide Compliance Certification • Alternatives Analysis

  3. What is Non-Attainment NSR? • NSR is a Pre-construction review program required for New Major Sources or Major Modifications at existing Major Sources locating in areas designated as not attaining a National Ambient Air Quality Standard (NAAQS). • An NSR program must beapproved by the Administrator and incorporated into the State Implementation Plan (SIP) - Plan requirements are codified in 40 CFR Part 51.165. • State implementation Plans (SIP) and Tribal Implementation Plans (TIP) must meet these requirements

  4. Non-Attainment NSR Applicability Like PSD, follow the 4 steps to determine whether new construction or modification project is subject to non-attainment NSR. Unlike PSD, however, review is only for the non-attainment pollutant. Being major for PSD does not trigger non-attainment NSR review

  5. Major Source Thresholds – NA Areas

  6. Applicability – Example 1 • New Age Widgets wants to construct a new widget making plant in a serious Ozone non-attainment area and a moderate PM10 non-attainment area. All other pollutants are in attainment • Widget making is not one of the 28 source categories. • Source’s potential to emit is shown on the table below • Is this source subject to PSD or Non-attainment NSR? • If so, for which pollutants?

  7. Applicability: Example 1 Solution – New Age Widgets

  8. Applicability – Example 2 • Old World Skidgets wants to construct a new skidget making plant in a moderate Ozone non-attainment and a serious PM10 non-attainment area. All other pollutants are in attainment. • Skidget making is not one of the 28-source categories • Old World Skidgets potential to emit is shown below • Is Old World Skidgets subject to PSD, Nonattainment NSR, or both? • If so, for which pollutants?

  9. Applicability: Example 2 Solution – Old World Skidgets

  10. Major Modification Significant emissions increase of a regulated NSR pollutant and (2) A significant net emissions increase of that pollutant from the major stationary source

  11. Net Emissions Increase The increase in emissions from a particular physical change or change in the method of operation at a stationary and Any other increases and decreases in actual emissions at the major stationary source that are contemporaneous with the particular change and are otherwise creditable

  12. Actual Emissions Actual emissions as of a particular date shall equal the average rate, in tons per year, at which the unit actually emitted the pollutant during a consecutive 24-month period which precedes the particular date and which is representative of normal source operation Reviewing authority shall allow use of a different time period upon a determination that it is more representative of normal source operation (cont.)

  13. Actual Emissions (cont.) A different consecutive 24-month period can be used for each regulated NSR pollutant When a project involves multiple emissions units, only one consecutive 24-month period must be used to determine the baseline actual emissions for the emissions units being changed

  14. Major Modification Thresholds

  15. Applicability for Modification • Modern Day Smidgets wants to expand by constructing a new Smidget making production line. The plant currently is a major source for NOx, CO and PM10 and is located in a moderate ozone non-attainment area and a moderate PM10 non-attainment area. All other pollutants are in attainment. • Smidget making is not one of the 28 source categories. • Source’s potential to emit before and after is shown on the table below.

  16. Applicability for ModificationSolution

  17. Non-Attainment NSR Requirements • Program has 4 basic requirements • Lowest Achievable Emissions Rate (LAER) • Offsets • Statewide Compliance Certification • Alternatives Analysis

  18. LAER- Federal Definition • Lowest achievable emission rate (LAER)means, for any source, the more stringent rate of emissions based on the following; • (A) The most stringent emissions limitation which is contained in the implementation plan of any State for such class or category of stationary source, unless the owner or operator of the proposed stationary source demonstrates that such limitations are not achievable; or • (B) The most stringent emissions limitation which is achieved in practice by such class or category of stationary sources. This limitation, when applied to a modification, means the lowest achievable emissions rate for the new or modified emissions units within or stationary source. In no event shall the application of the term permit a proposed new or modified stationary source to emit any pollutant in excess of the amount allowable under an applicable new source standard of performance.

  19. LAER Basics • The most stringent emission limitation contained in the SIP of any State for such class or category or source; or • The most stringent emissions limitation achieved in practice by such class or category of source • Does not consider: economic, energy, environmental or other factors

  20. LAER • Achieved in Practice • Usually defined as 1 year • Ability to be purchased • Class or category of source • Simple cycle turbine versus a combined cycle turbine • Can include process changes or basic equipment • LAER changes over time • Databases for BACT and LAER Determinations • CARB, California Air Districts, Other States • U.S. EPA RBLC

  21. Offsets • Sources must provide emissions reductions that demonstrate the following • Must offset the emissions increase from the new source or modification • Provide a net air quality benefit

  22. Required Offset Ratios Marginal at least 1.1:1 Moderate at least 1.15:1 Serious at least 1.2:1 Severe at least 1.3:1* Extreme At least 1.5:1* *may be 1.2:1 if approved plan requires all major sources to use BACT

  23. Milestones for Securing Offsets A complete offset package identified and quantified at the time of submission. Letters of intent signed by the time of public notice. Offsets secured and in place prior to operation of the power plant.* *Some emission trades may include emission reductions that are contemporaneous; that is, occurring within a designated period ending shortly after commencement of operation.

  24. Offset Criteria • (Real) • Must be emissions that have occurred. Cannot take credit for stopping emissions that never occurred in the first place. • Federally Enforceable • The manner in which the offsets are created must be enforceable as a practical matter and legally enforceable. • E.g. Conditions on a permit • Permanent • The reductions have to be permanent. If they can be emitted again, then they are not permanent. • Elastic sources (gas stations, dry cleaners)

  25. Offset Criteria (cont.) • Quantifiable • Must be able to quantify the emissions. If not quantifiable, then they can not be used to mitigate emissions increases. • Requires records to substantiate claims • Surplus • Must be reductions that are not already required by an air quality plan, a compliance document, a permit, or have been used elsewhere. • Surplus at the time of use versus creation

  26. Creating Offsets • An existing source wants to create emissions reductions that are eligible for offsets. What are the steps? • Determine baseline actual emissions • Determine new potential to emit • Subtract new PTE from baseline actual emissions • Subtract reductions that were federally required such as an approved rule, enforcement action, or another permitting action

  27. Creating Offsets (cont.) Submit Application/Fees to District within required timeframe. District analysis including discount factors (if required) Public Notice Response to comments ERC’s are “Banked”

  28. Offset Programs • SIP approved NSR rules usually contain offsets banking rules. • Regulates generation, transfer, use • Non-traditional offset generation to be used for a major source requires a SIP approved rule

  29. Baseline Actual emission for offsets Average actual emissions in TPY of the last 24 month period prior to actual reduction Another 2-year period within the last 5 may be chosen if justified

  30. Statewide Compliance Certification Source must certify to permitting authority that all sources owned or operated within that state are in compliance or on a schedule of compliance

  31. Alternatives Analysis • Source must submit an analysis of alternative • Sites • Sizes • Production processes • Environmental control techniques • Source must consider multiple locations and demonstrate that chosen location is best for project, considering its impacts

  32. Using the Alternatives Analysis to Raise Potential “Costs” to the Tribe Section 173(a)(5) of the CAA requires the permitting authority to determine whether “an analysis of alternative sites, sizes, production processes, and environmental control techniques … demonstrates that benefits of the proposed source significantly outweigh the environmental and social costs imposed as a result of its location, construction, or modification. This section has been used to successfully to challenge projects

  33. Summary NA NSR rules apply to major sources located in non-attainment areas Applicability is based on a source’s emissions of the pollutant for which the area is in nonattainment Major sources must achieve LAER (Lowest Achievable Emission Rate), which is more restrictive than BACT Major sources must get offsets and demonstrate that benefits of the source outweigh costs

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