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Flexible Permitting Workshop

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Title: Flexible Permitting Workshop


1
Flexible Permitting Workshop
  • Presented by
  • U.S. EPA Region 4
  • Air Permits Section

2
Workshop Overview
  • Prevention of Significant Deterioration
  • Plantwide Applicability Limits (PALs)
  • PSD-PAL Flexible Permits
  • Case Studies

3
PSD Scope
  • What triggers PSD applicability?
  • New Major stationary sources constructed in
    attainment areas
  • Major Modifications to existing major
    stationary sources in attainment areas
  • Attainment areas are those areas that are meeting
    the various NAAQS
  • SO2, NOX, PM10, CO, Ozone, Lead and now PM2.5

4
PSD Scope
  • What is a major stationary source under PSD?
  • One of 28 listed major source categories with
    PTE gt 100 tons per year (after control) of any
    pollutant regulated by the CAA including fugitive
    emissions (52.21(b)(1)(i)(a))
  • Any stationary source (other than the listed 28)
    with PTE gt 250 tons per year of any pollutant
    regulated by the CAA excluding fugitive emissions
    (52.21(b)(1)(i)(b))

5
PSD Scope
  • What is a major modification?
  • Any physical change in or change in the method of
    operation of a major stationary source that would
    result in a significant net emissions increase of
    any pollutant subject to regulation under the Act
    (52.21(b)(2)(i))

6
Determining PSD Applicability
  • Review and define the entire project (i.e.,
    new/modified equipment and affected equipment)
  • What project is being proposed?
  • What new equipment will be added?
  • Is the project part of previous changes?
  • Is the project part of future changes?
  • Will the operation or emissions from other
    facility emissions units be affected by the
    change (i.e., de-bottlenecking)?
  • Will existing equipment be changed/removed?

7
Determining PSD Applicability
  • If the proposed change does not affect other
    emissions units or if the affected emissions
    units do not emit regulated PSD pollutants
  • The project is limited to the change only
  • If the proposed change affects other emissions
    units
  • The project will include both the change and the
    equipment affected by the change

8
Determining PSD Applicability
  • Evaluate the project-related emissions
  • Determine whether the project by itself (i.e.,
    emissions from new or modified emissions unit
    plus incremental changes in emissions from
    affected units) will emit regulated PSD
    pollutants
  • Determine baseline actual emissions
  • Determine potential emissions increase following
    the modification
  • Determine the project-related emissions from new,
    modified and affected emissions units

9
Determining PSD Applicability
  • Evaluate the project emissions to determine if
    the project is a major modification using the
    actual to potential test
  • Actual emissions average emissions (tpy) over 2
    years preceding the project
  • Fugitive emissions must be quantified for 28
    listed source categories
  • Potential emissions PTE of the project (tpy)
  • Project potential emissions include PTE of
    new/modified sources and incremental increases at
    affected sources
  • Potential emissions minus actual emissions
    project emission increase

10
Determining PSD Applicability
  • If project emission increases are not
    significant, the project does not trigger PSD
  • If project emission increases are significant,
    evaluate contemporaneous changes in emissions
  • Contemporaneous changes are site-wide increases
    or decreases in actual emissions that have
    occurred at the site in the 5 years preceding the
    project
  • Determine whether the net change in emissions
    is significant

11
PSD Significant Emission Rates
12
PSD Permit Application Content
  • Description of proposed project
  • Summary of applicable requirements
  • Emissions inventory
  • Determination and defense of best available
    control technology (BACT) evaluation
  • Air quality impact analyses
  • Other Class II impacts analysis

13
What is BACT?
  • Any major stationary source or major modification
    subject to PSD must conduct an analysis to ensure
    the application of best available control
    technology (BACT)
  • BACT is defined at 40 CFR 52.21(b)(12)
  • BACT is fundamentally an emissions limitation

14
BACT Applicability (40 CFR 52.21(j))
  • (2) A new major stationary source shall apply
    BACT for each PSD-regulated pollutant that it
    would have the potential to emit in significant
    amounts
  • (3) A major modification shall apply BACT for
    each PSD-regulated pollutant for which it would
    result in a significant net emissions increase at
    the source. This requirement applies to each
    proposed emissions unit at which a net emissions
    increase in the pollutant would occur as a result
    of a physical change or change in the method of
    operation in the unit.

15
Final NSR Revisions
  • Revised Baseline Actual Emission Calculation
    Procedure
  • New Actual-to-Projected-Actual Applicability
    Test
  • Actuals Based Plantwide Applicability Limits
    (PALs)
  • New Clean Unit Designation Vacated June 2005
  • Pollution Control Project Exclusion Vacated
    June 2005
  • Routine Maintenance, Repair, and Replacement
    (October 27, 2003)

16
Baseline Actual Emissions
  • Revised Baseline Calculus for Non-Electric
    Utility Steam Generating Units (Non-EUSGUs)
  • The facility may use the annual average emissions
    that occurred during any consecutive 24-month
    period in the past 10 years
  • Emissions must be adjusted to reflect current
    emission factors/control requirements
  • Baseline emissions cannot exceed applicable
    standards/limits

17
Baseline Actual Emissions
  • Revised Baseline Calculus for Non-Electric
    Utility Steam Generating Units (Non-EUSGUs)
  • Adequate emissions data must be available
  • All emissions units are subject to same 24-month
    period for a given pollutant
  • Different 24-month periods may be used for
    different pollutants

18
Plantwide Applicability Limits
  • What is a PAL?
  • An annual, facility-wide, pollutant specific,
    emission limitation under which the facility can
    make any changes without triggering NSR for that
    pollutant
  • PALs ,as defined in 40 CFR Part 52, are
  • Set using actual facility baseline emissions
  • Pollutant-specific
  • Issued for a 10-year term
  • Renewable
  • A mechanism for increasing PALs is available

19
Actuals Plantwide Applicability Limits
  • Who is eligible for an Actuals Plantwide
    Applicability Limit (PAL)?
  • Existing major stationary sources that meet
    certain additional criteria
  • How does a PAL benefit a major facility?
  • Modifications under a PAL are not considered
    major modifications for the PAL pollutant
  • Modifications do not have to be approved through
    the major NSR program
  • Facility changes are not dictated by major NSR
    concerns

20
Actuals PALs
  • How does a facility obtain a PAL?
  • Interested facilities must submit a complete
    permit application specifically requesting a PAL
    or PALs
  • Minimum application requirements include
  • Listing of emissions units
  • Size of emissions units (small, significant or
    major)
  • All Federal/State applicable requirements
  • Emission limits/work practice requirements
  • Baseline actual emissions
  • Supporting documentation

21
Actuals PALs
  • What type of application is required for a PAL?
  • PALs must be established via a federally
    enforceable permit
  • Minor NSR construction permit
  • Major NSR permit (i.e., PSD permit)
  • SIP-approved operating permit program
  • Regulatory authority must provide opportunity for
    public participation
  • 30-day public notice
  • Opportunity for public comment

22
Actuals PALs
  • How are PAL levels established?
  • Establish baseline emissions - select any
    consecutive 24-month period within the 10-year
    period preceding the PAL (5-year period for
    EUSGUs)
  • Only one 24-month period may be used per
    pollutant
  • Differing baseline periods may be used for
    different pollutants
  • Identify all emissions units that were included
    in the baseline period
  • Identify any emissions units constructed since
    the baseline period

23
Actuals PALs
  • How are PAL levels established? (cont.)
  • For each emissions unit that existed during the
    baseline period
  • Calculate the average rate, in tons per year, at
    which each of the emissions units emitted the PAL
    pollutant
  • Sum the baseline actual PAL pollutant emission
    rates of each emissions unit at the source
  • Add an amount equal to the applicable significant
    level for the PAL pollutant

24
Actuals PALs
  • How are PAL levels established? (cont.)
  • Subtract baseline PAL pollutant emissions
    associated with emissions units that have been
    permanently shut down since the baseline period
  • Shutdowns of more than 2 years or that have
    resulted in the removal of the source from the
    States inventory are presumed to be permanent
  • Add potential PAL pollutant emissions from units
    from which construction began after the baseline
    period

25
Actuals PALs
  • How are PAL levels established? (cont.)
  • Baseline PAL pollutant emissions cannot exceed
    emission limits allowed by your permit or newly
    applicable requirements at the time the PAL is
    set
  • Adjust baseline PAL pollutants to reflect
    applicable requirements since the baseline period
  • RACT, NSPS, BACT, LAER, etc.

26
Actuals PAL Example
  • Surface coating facility with 7 emissions units
    defined as Units A through G
  • PAL pollutant is VOC
  • New State requirement in 1999 affected Unit D
  • Unit F was permanently shut down in 2000
  • Unit G was added in 2004
  • Unit C allowable VOC is 60 tpy

27
Actuals PAL Example
Choose representative baseline period (1997-1998)
1 Emissions in excess of 60 tons are subtracted
from baseline
28
Actuals PAL Example
Correct Unit D for new applicable requirement
(90 VOC control) and re-evaluate baseline periods
A
B
1 Emissions in excess of 60 tons are subtracted
from baseline
29
Actuals PAL Example
  • Calculate PAL level - A
  • Highest baseline 214 tpy (1997/1998)
  • Subtract Unit F baseline emissions (52 tons)
    162 tons
  • Add PTE of new Unit G (40 tons) 202 tons
  • Add major modification threshold (40 tons) 242
    tons
  • Evaluate Alternative Baseline Period - B
  • Baseline 205 tpy (1999/2000)
  • Subtract Unit F baseline emissions (30 tons)
    175 tons
  • Add PTE of new Unit G (40 tons) 215 tons
  • Add major modification threshold (40 tons) 255
    tons

30
Actuals PAL Example
  • Proposed VOC PAL 255 tons
  • Is a 255 tpy PAL viable?
  • Recent actual emissions are well below baseline
  • Abatement equipment was added to Unit D
  • Facility plans to switch to powder and/or
    waterborne coatings on Units A and C within 5
    years resulting in lower emissions
  • A 255 tpy PAL is viable for this facility

31
PAL Permits
  • What does a PAL permit look like?
  • PAL permits must include
  • Identification of PAL pollutant(s) and limits(s)
  • PAL effective and expiration dates
  • PAL renewal/transition provisions
  • Requirement to include emissions from start-ups,
    shutdowns,and malfunctions in compliance
    calculations
  • Requirement to comply with PAL expiration
    requirements

32
PAL Permits
  • PAL permits must include (continued)
  • PAL calculation procedures
  • Monitoring requirements
  • Record retention requirements
  • Reporting requirements
  • Other necessary requirements

33
PAL Permits
  • How long are PALs and PAL permits good for?
  • The effective period for a PAL is 10 years
  • Can PALs be re-opened by the regulatory
    authority?
  • Yes - mandatory reopening of PAL permits to
  • Correct errors
  • Reduce PAL for creditable reductions
  • Revise to reflect a PAL increase

34
PAL Permits
  • Can PALs be re-opened by the regulatory
    authority?
  • Yes - discretionary reopening of PAL permits to
  • Reduce PALs to reflect new federal requirements
  • Reduce PALs to reflect new state requirements
  • Reduce PALs if necessary to avoid causing or
    contributing to a NAAQS or PSD increment
    violation
  • Reopening must be in accordance with public
    participation requirements

35
PAL Permits
  • Do PALs/PAL permits expire?
  • Yes PALs/PAL permits not renewed expire at the
    end of their effective period (10 years)
  • What happens if a PAL is allowed to expire?
  • New emission limits are established
  • Source proposes distribution of PAL emissions to
    each emissions unit that existed under the PAL
  • The reviewing authority decides the ultimate
    distribution of PAL emissions to emissions units

36
PAL Permits
PAL emissions are distributed to individual
emissions units if the PAL expires
1 In this example, emissions were apportioned to
individual emissions units at PAL expiration
based on the distribution of emissions during the
baseline period
37
PAL Permits
  • PAL Expiration Notes
  • Compliance with new enforceable tpy limits is
    based on a 12-month rolling basis
  • Required monitoring systems may be similar to
    those under PALs
  • Compliance with a site-wide emissions cap,
    equivalent to the previous PAL, is required until
    a revised permit is issued
  • Physical changes or changes in the method of
    operation are subject to major NSR if change is a
    major modification
  • State or federal requirements (BACT, LAER, RACT,
    NSPS, etc.) remain applicable

38
PAL Permits
  • How are PALs renewed?
  • An application for a PAL renewal is required
  • The renewal process must include public notice
    and comment period
  • A timely renewal application (i.e., 6 months
    prior to expiration) is required
  • An application for a PAL renewal must include
  • A list of emissions units and classification as
    small, significant, or major
  • A list of applicable requirements for each
  • Calculations of baseline emissions
  • Proposed emission calculation procedures
  • Proposed PAL level
  • Sum of PTE of all emissions units under the PAL

39
PAL Permits
  • Are PALs adjusted when they are renewed?
  • Yes PALs are evaluated at renewal using the
    same process used to set the original PALs
  • If the new PAL level is gt or 80 of existing
    PAL level, PAL may be reset at original level
  • The reviewing authority has discretion in setting
    a new PAL level to
  • Be more representative of actual emissions
  • Be in accordance with local air quality needs
  • Accommodate anticipated economic growth
  • Represent advances in air pollution control
    technology

40
PAL Permits
  • PAL renewal adjustment notes
  • The new PAL may not exceed the facility PTE
  • New PAL cannot exceed original PAL level unless
    undergoing PAL modification (increase) procedure
  • The PAL must reflect all requirements that became
    applicable during PAL term and that PAL was not
    adjusted for

41
PAL Permits
  • How can PAL levels be increased?
  • An application for a PAL increase is required
    that
  • Identifies all emissions units contributing to
    the increase
  • Demonstrates a PAL exceedance after inclusion of
    proposed new/modified emissions units and an
    assumption of current BACT equivalent controls on
    all units
  • A major NSR permit is required for emissions
    units associated with the increase, regardless of
    the magnitude of the emissions increase
  • Facility must comply with any resulting BACT/LAER
    requirements

42
PAL Permits
  • How is a higher PAL level established?
  • The regulatory authority establishes a higher PAL
    level based on
  • The sum of the allowable emissions from
    new/modified emissions units - PLUS -
  • The sum of the baseline actual emissions from all
    significant/major emissions units assuming BACT
    control - PLUS -
  • The sum of baseline actual emissions from small
    emissions units
  • The end result - the magnitude of the proposed
    increase is minimized by the potential PAL
    decreases by assuming BACT control on significant
    and major emissions units

43
PAL Permits
  • What type of monitoring requirements are
    specified in PAL permits?
  • PAL general monitoring requirements specify that
  • PAL monitoring systems must be based on sound
    science
  • Must meet minimum legal requirements for
    admissibility in a judicial proceeding to enforce
    the PAL permit
  • Emissions must be quantifiable on an ongoing basis

44
PAL Permits
  • Acceptable PAL monitoring techniques include
  • Mass Balance Calculations
  • For sources using paints, coatings, and solvents
  • Continuous Emission Monitoring Systems (CEMS)
  • Continuous Parameter Monitoring Systems (CPMS)
  • Predictive Emission Monitoring Systems (PEMS)
  • Emission Factors
  • Alternative methods as approved by the
    administrator

45
PAL Permits
  • Mass Balance Calculations
  • Requirements include
  • A demonstrated means to validate pollutant
    content in material(s)
  • Assumption that emissions unit emits all of a
    pollutant if the pollutant cannot be accounted
    for
  • The use of the highest value of a pollutant where
    a range of the pollutant content is published
  • Mass balance calculations are acceptable and are
    widely used for activities using coatings or
    solvents

46
PAL Permits
  • Continuous Emission Monitoring Systems (CEMS)
  • Requirements
  • Systems must meet applicable Part 60, Appendix B
    Performance Specifications
  • Systems must sample, analyze, record data once
    every 15 minutes of operation

47
PAL Permits
  • Continuous Parameter Monitoring Systems (CPMS)
    and Predictive Emission Monitoring Systems (PEMS)
  • Requirements
  • The CPMS/PEMS system must demonstrate a
    correlation between monitored parameters and PAL
    pollutant emissions across the range of unit
    operation
  • The CPMS/PEMS system must sample, analyze, record
    data once every 15 minutes of operation

48
PAL Permits
  • Emission Factors
  • Requirements
  • If appropriate, factors must be adjusted for the
    uncertainty or limitations in the factors
    development
  • Emissions units must operate within the range of
    the factors development
  • If technically practicable, the emission factors
    for significant units must be re-validated within
    6 months of the PAL permit issuance
  • Unless reviewing agency determines that testing
    is not required

49
PAL Permits
  • How is missing monitoring data handled under a
    PAL?
  • Sources must record and report maximum potential
    emissions without considering enforceable
    limitations or operating restrictions
  • What happens when a source operates at
    non-correlated operating ranges?
  • A default value representing the highest
    potential emissions must be established and used,
    or
  • The source is deemed in violation when the unit
    is operating outside of a correlated parametric
    range

50
PAL Permits
  • Do emissions monitoring systems under a PAL ever
    have to be re-validated?
  • Yes - data re-validation is required once every
    5-years for all methods of monitoring
  • Re-validation is accomplished by emission testing
    or or other scientifically valid means
  • The PAL applicant may want to consider including
    a re-validation protocol with the PAL application
    addressing each type of monitoring and the
    proposed re-validation procedures

51
PAL Permits
  • How long must PAL related compliance records be
    retained?
  • Records necessary to demonstrate compliance with
    the PAL regulations must be retained for five (5)
    years from the date of the record
  • Other PAL related records must be retained for
    the duration of PAL plus 5 years
  • PAL application
  • PAL revision applications
  • Annual Title V certifications

52
PAL Permits
  • What are the reporting requirements under a PAL?
  • There are three basic reporting requirements
    under a PAL
  • Semi-annual compliance reports
  • Prompt deviation reports
  • Re-validation tests

53
PAL Permits
  • Semi-annual compliance report requirements
  • Reports are due 30 days from end of reporting
    period and must include
  • Owner/operator/permit number
  • Annual tpy emissions for each month (i.e.,
    rolling 12-month total)
  • All data relied upon
  • A list of new/modified emissions units
  • Number/duration/cause of deviations or monitoring
    malfunctions
  • Monitoring system shutdowns
  • Truth, accuracy and completeness certification

54
PAL Permits
  • Prompt deviation report requirements
  • Prompt is defined by the regulatory authority in
    accordance with 70.6(a)(3)(iii)(B)
  • Reports must include
  • Owner/operator/permit number
  • PAL condition associated with exceedance/deviation
  • Emissions associated with the exceedance/deviation
  • Truth, accuracy and completeness certification
  • Re-validation reports
  • The results of any re-validation tests must be
    submitted to the reviewing authority within 3
    months of testing

55
PAL Permits
  • Pennsylvanias PAL Program
  • The NSR Revision PAL rules are applicable in PA
    for attainment pollutants (PA is SIP-approved and
    the PSD rules are incorporated by reference)
  • The NSR Revision PAL rules are not applicable to
    non-attainment pollutants in PA (PA is
    SIP-approved with state specific non-attainment
    NSR rules)

56
PAL Permits
  • Pennsylvanias PAL Program (cont.)
  • The Pennsylvania Department of Environmental
    Protection (DEP) has been issuing PALs to
    facilities located in non-attainment regions for
    several years
  • Current DEP policy allows establishing PAL caps
    for individual non-attainment pollutants
  • The regulatory basis for PALs in PA
    non-attainment areas is found in the operating
    permit requirements emissions trading at
    facilities with a federally enforceable emissions
    cap

57
PAL Permits
  • Pennsylvanias PAL Program (cont.)
  • The PA PAL template is similar to the NSR
    Revision PAL rule
  • PAL cap established by summing baseline emissions
    and adding applicable significance level (tpy)
  • PA uses most recent 2-calendar year period to
    establish the PAL baseline

58
PAL Permits
  • Pennsylvanias PAL Program (cont.)
  • The PAL cap is adjusted by adding an amount
    slightly less than the major modification
    threshold
  • In moderate non-attainment areas, allowable
    emission increases since 1991 are subtracted from
    the major modification threshold
  • PAL term 5 years
  • Minor NSR applies to all changes under a PAL to
    ensure application of best available technology
    in accordance with current requirements

59
PAL Permits
  • Summary
  • Actuals PALs are useful tools, but are not
    universally beneficial to all major facilities
  • The decision to pursue an actuals PAL is a
    strategic decision dictated by individual
    facility circumstances

60
PSD-PALs
  • What are PSD-PALs?
  • A flexible permitting option that combines the
    permitting of a new major source or a major
    modification at an existing facility with an
    application for a PAL
  • The PALs are based on a combination of baseline
    emissions and projected future actual emissions
  • PSD-PALs are issued through a SIP approved NSR
    permitting program

61
PSD-PALs
  • There are currently two PSD-PALs in Region 4
  • Saturn Corporation - Spring Hill, Tennessee
  • BMW Greenville, South Carolina
  • The PSD-PAL discussion is based predominantly on
    EPA Region 4 experience with these two sources

62
PSD-PALs
  • What type of facility is ideal for a PSD-PAL
    permit?
  • Complex, well-controlled existing or new
    facilities with multiple, inter-dependant
    processes
  • New facilities are excluded from NSR PAL rules
  • Facilities subject to frequent changes with
  • A high potential to emit for one or more PSD
    regulated pollutants
  • Well characterized emissions
  • Effective monitoring systems
  • Examples include automobile manufacturers,
    chemical manufacturers, and Kraft pulp mills
  • These types of facilities are well represented in
    Region 4

63
PSD-PALs
  • What does well controlled mean?
  • BACT or equivalent control on new or modified
    sources

64
PSD-PALs
  • PSD-PAL Level equals
  • Baseline emissions from all unaffected emissions
    units (including shutdown sources where
    applicable)
  • PLUS
  • PTE from new or modified emissions units
  • MINUS
  • Baseline emissions from sources permanently
    shutdown

65
PSD-PALs
1 Unit 5 shut down in late 2000, Unit 6 shut down
in late 2004 2 Units 7, 8, and 9 are new units 3
Total corrected VOC excludes emissions from
affected units
66
PSD-PALs
  • Establish PAL Contributions
  • Unaffected source baseline
  • 73.5 tons
  • New/affected sources
  • 285 tpy
  • Shut-down sources in baseline
  • 123.5 tpy

67
PSD-PALs
  • Compute the PSD-PAL level
  • Baseline emissions from unaffected emissions
    units 73.5 tons
  • Baseline emissions from shutdown sources 123.5
    tons
  • Projected actual emissions from new and affected
    sources 285 tons
  • Compute PAL
  • 73.5 tons 123.5 tons 285 tons 123.5 tons
    358.5 tons

PAL LEVEL 358.5 TONS PER ROLLING 12-MONTH PERIOD
68
PSD-PALs
  • Can PSD-PALs be written with Flexibility
    provisions?
  • Yes - PSD-PALs may include flexibility provisions
  • Flexibility provisions are those conditions that
    reduce the administrative friction - costs,
    time, delay, uncertainty, and risks experienced
    by sources and permitting authorities when
    implementing a permit or making certain changes
    under a permit
  • Flexibility provisions are in addition to the
    inherent PAL benefits

69
PSD-PALs
  • What do flexible provisions include?
  • Pre-approved NSR
  • Ability to add new emissions units
  • Ability to make physical changes or changes in
    the method of operation
  • Certain requirements may be subsumed
  • For example, compliance with PAL levels may be
    deemed to also be in compliance with
  • Individual BACT emission limits
  • State SIP emission limits
  • Flexibility provided in PSD-PAL permits is
    largely dependent upon regulatory authority
    policy and is generally negotiated

70
PSD-PALs
  • Flexible components must include safeguards
  • Examples of safeguards include
  • BACT on all new units gt significance level
  • Minor source BACT or Best Available Technology
    (BAT) on all new units lt significance level
  • Streamlined registration and public notice for
    all new major units
  • Requirement to operate and monitor air pollution
    control systems relied on for BACT
  • Requirement to comply with NAAQS and PSD
    increments

71
PSD-PALs
  • What type of monitoring procedures are required
    under a PSD-PAL?
  • In general, monitoring procedures that are
    equivalent to those required under an NSR
    actuals PAL
  • Mass Balance Calculations
  • Credible Emission Factors
  • Continuous Emission Monitors (CEMs)
  • Continuous Parameter Monitoring Systems (CPMS)
  • Approved alternative monitoring methods

72
PSD-PALs
  • What level of air pollution control device
    monitoring is required?
  • In general, air pollution control device
    monitoring and recordkeeping should be equivalent
    to CAM requirements
  • Effective air pollution control device monitoring
    could be essential to flexibility provisions
  • Compliance with unit specific BACT requirements
    is based on compliance with PAL limits
  • BACT compliance is contingent upon proper
    operation of air pollution control equipment
  • An effective monitoring system is therefore
    essential to BACT/PAL compliance

73
PSD-PALs
  • Emission calculation procedures
  • The applicant should develop and propose emission
    calculation procedures to convert monitoring data
    to a mass emission basis
  • Calculations should be based on sound
    scientific/engineering principles and should
    compute emissions (tons) on a monthly basis
  • Monthly emissions (tons) are summed with the
    preceding 11 months worth of monthly data to
    demonstrate PAL compliance on t rolling 12-month
    basis
  • Calculations should be replicable

74
PSD-PALs
  • A draft PSD-PAL permit is recommended as part of
    a PSD-PAL application
  • Benefits of a draft permit in the application
  • Starting point for negotiating conditions
  • Clearly articulates source expectations and
    commitments
  • Compresses regulatory agency review time
  • Draft permit components include
  • PAL conditions
  • Monitoring requirements
  • Recordkeeping requirements
  • Calculations
  • Flexibility provisions

75
PSD-PALs
  • Environmental benefits of a PSD-PAL permit
  • Technology forcing
  • As the facility grows, actual emissions will
    approach PAL levels
  • To retain the flexibility afforded by the permit,
    the PALs must not be exceeded
  • To ensure that the PALs are not exceeded,
    pollution prevention, efficiency, and emissions
    abatement become key considerations with regard
    to growth projects

76
PSD-PALs
  • Environmental benefits of a PSD-PAL permit
    (cont.)
  • Pollution Prevention
  • Pollution prevention/pollution control projects
    are integral to the success of the permit
  • In order to grow and retain the PAL flexibility,
    the facility must strive to reduce emissions to
    remain under PAL levels
  • The dynamics of a PAL are similar to cap and
    trade programs - reductions will be achieved
    where they are most cost effective, not where
    they are mandated

77
PSD-PALs
  • Environmental benefits of a PSD-PAL permit
    (cont.)
  • Special conditions may be required in exchange
    for flexibility
  • Special conditions may include provisions that
    are important to state or regional regulatory
    authorities
  • Air toxics reductions
  • Pollution prevention targets
  • Automatic reductions in PAL levels
  • Supplementary environmental projects
  • Cross-media benefits

78
PSD-PALs
  • Facility benefits of a PSD-PAL permit
  • Certainty
  • Flexibility
  • Timing
  • Compliance
  • Planning

79
PSD-PALs
  • Facility benefits of a PSD-PAL permit (cont.)
  • Certainty
  • Applicability of major and minor NSR is defined
    within the permit
  • Major NSR (i.e., PSD) only required to increase
    PAL limits
  • Flexibility
  • Changes to existing emissions units are
    pre-approved under the PAL and may be initiated
    without prior agency notification
  • Eliminates confusion regarding routine repair,
    maintenance, and replacement exemption
  • Enables changes without administrative air
    permitting delays

80
PSD-PALs
  • Facility benefits of a PSD-PAL permit (cont.)
  • Timing
  • Product concept, design, engineering and
    production time frame has decreased significantly
    over last 10 years
  • Timing of pre-application air permit process
    (i.e., up to two years for PSD permit) has not
    changed
  • As long as emissions remain below PALs, the
    facility can effectively manage timing issues
    associated with new projects

81
PSD-PALs
  • Facility benefits of a PSD-PAL permit (cont.)
  • Simplified Compliance Determination
  • PAL limits can reflect rolled up compliance
    (i.e., compliance with PALs is compliance with
    major/minor NSR and BACT) in conjunction with
    effective pollution control device monitoring
    programs
  • Planning
  • Decisions regarding facility growth can be made
    on the merits of the change
  • Factors beyond facility control (schedule, BACT,
    permit application review, etc.) are neutralized

82
PSD-PALs
  • Regulatory authority benefits of a PSD-PAL
    permit
  • Reduced administrative burden
  • Rigorous source monitoring and recordkeeping
  • Simplified compliance determinations
  • Effective air pollution control device monitoring
  • Greater information regarding source operation

83
PSD-PALs
  • Regulatory authority benefits of a PSD-PAL permit
    (cont.)
  • Reduced Administrative Burden
  • Fewer permit applications to review
  • Rigorous Monitoring/Recordkeeping Requirements
  • Facility monitoring requirements increased as a
    result of emissions calculation requirements of
    the permit
  • Facility recordkeeping requirements (monthly)
    increased in response to need for accurate
    emissions calculation data

84
PSD-PALs
  • Regulatory authority benefits of a PSD-PAL permit
    (cont.)
  • Pollution Control Device Monitoring
  • Data on operation of all air pollution control
    systems at facilities
  • Greater Knowledge of Source Operations
  • Much more data regarding the source is available
    due the expanded information requirements of PAL
    compliance

85
Case Study A Saturn PSD/PAL
  • Overview of the PSD/PAL Permit for the Saturn
    Spring Hill, Tennessee Facility
  • The Saturn facility is comprised of three
    business units
  • Body Systems - body panels, body fabrication and
    paint shop
  • Vehicle Systems - vehicle interior systems and
    final vehicle assembly
  • Powertrain - machining, engine assembly, and
    final dress
  • Production of Saturn vehicles began in July of
    1990
  • The original PSD permit had 54 separate permitted
    emissions units and 333 separate permit
    conditions

86
Case Study A Saturn PSD/PAL
  • Planned facility changes for 2001
  • New vehicle assembly lines
  • Modified coating lines/conveyor changes
  • New engine machining/assembly operations
  • New AA stamping press
  • Overall facility production capacity increase
    from 360,000 to 595,350 vehicles per year

87
Case Study A Saturn PSD/PAL
  • Critical facility air permitting issues
  • Initial projects triggered PSD applicability
  • Facility projects are subject to frequent
    scope/schedule changes
  • NSR Revision status was in a state of flux in
    1999
  • Saturn air permit objectives
  • Obtain an innovative permit regardless of NSR
    Revision status
  • Base flexible permit on the PAL concept
  • Obtain allowable emissions adequate for 595,350
    vehicles/yr or more
  • Accommodate scope/schedule changes without
    triggering the need for a new permit
  • Simplify compliance demonstration

88
Case Study A Saturn PSD/PAL
  • Final air permitting concept
  • Innovative permit obtained through traditional
    PSD permitting process
  • PSD permit with BACT levels combined to establish
    multi-pollutant PALs
  • Streamlined monitoring and compliance
    determination
  • Expedited treatment of additional new units
  • Authorized changes to existing units provided
    PALs are not exceeded

89
Case Study A Saturn PSD/PAL
  • PSD-PAL permit application
  • Common PSD Components (BACT, modeling, etc.)
  • Innovative Components
  • Proposed PALs based on a combination of baseline
    and potential emissions for criteria pollutants
  • Single emissions unit for all combustion related
    emissions
  • Documentation of BACT equivalent technology for
    unaffected emissions units (e.g., clean units)
  • Sample draft permit language incorporating
    proposed PALs and other innovative provisions
  • Submitted application to TDEC in October 1999
  • Received final PSD/PAL permit in June 2000

90
Case Study A Saturn PSD/PAL
Emissions Summary, Tons/yr.
a Previous allowable emissions represent
conditions from Saturns original
operating/construction permits and subsequent
modifications. b Baseline actual is the average
1995/1996 annual emission rate c Net change
represents the difference between baseline
emission rates and PAL levels. The project
triggered PSD review for VOC, NOx, and PM10. d
Saturn utilizes natural gas as the sole fuel
on-site. There are no provisions for
alternative or back-up fuels.
91
Case Study A Saturn PSD/PAL
  • Permit Innovations
  • Operational Flexibility
  • Pre-approved new major emissions units
  • Registration and BACT requirement
  • Saturn may begin construction when BACT is
    approved (i.e., 45 days)
  • Pre-approved new minor emissions units
  • Registration and mBACT requirement
  • Saturn may begin construction when mBACT is
    approved (i.e., 30 days)
  • Changes to existing emissions units do not
    require TDEC approval

92
Case Study A Saturn PSD/PAL
  • Permit Innovations
  • Clear monitoring and recordkeeping requirements
  • Ability to increase PALs through the PSD
    permitting process
  • Termination provision with return to
    traditional permit
  • Streamlined compliance requirements

93
Case Study A Saturn PSD/PAL
Old PSD Versus New PSD/PAL Conditions
94
Case Study A Saturn PSD/PAL
  • Summary
  • The PAL permit provides significant operational
    flexibility to Saturn within current regulatory
    bounds
  • The permit streamlines compliance determinations
    for the facility, TDEC, and the public
  • VOC emissions per vehicle produced has declined
    since PAL issuance
  • The PSD/PAL permit has improved the environmental
    performance of the facility
  • The original PAL permit limits and flexibility
    are retained in the Title V operating permit

95
Case Study B Flexible Permit With Caps
  • Overview of a proposed flexible permit with
    emissions caps for a manufacturing facility in
    the upper Midwest
  • The facility includes a series of surface coating
    processes (spray and dip coating) and is well
    controlled (units are clean)
  • Facility emissions include VOC, PM10, HAPs, and
    products of natural gas combustion (NOx and CO)
  • The facility started up in 2001 and has had
    several PSD revisions

96
Case Study B Flexible Permit With Caps
  • Critical facility air permitting issues
  • NSR Revisions became effective in March 2003
  • Attainment status of the region changed
  • Baseline emissions were not representative of
    normal facility operations
  • Permitting timelines (major and minor) have been
    a recurring facility concern
  • Facility air permit objectives
  • Obtain a flexible permit with caps that reflect
    future projected actual emissions at maximum
    production
  • Obtain flexibility regarding facility
    modifications
  • Streamline facility compliance requirements and
    simplify compliance demonstrations

97
Case Study B Flexible Permit With Caps
  • Final air permitting concept
  • Acquire permit through the state minor NSR
    program
  • Re-express the original VOC BACT limits as a
    single site-wide performance limit in terms of
    lbs VOC/unit of production
  • Re-express the 112(g) limits on surface coating
    processes in terms of lbs HAP/unit of production
  • Establish a VOC cap reflective of projected
    actual emissions at full production
  • Permit streamlining to eliminate redundant
    requirements and simplify compliance
  • Expedited approval of additional new units
  • Allow changes to existing units provided caps are
    not exceeded

98
Case Study B Flexible Permit With Caps
  • Minor NSR permit application
  • Demonstration of compliance with BACT limits for
    all emissions units
  • Emissions inventory
  • Baseline calculations
  • Calculation of site-wide BACT, 112(g), and VOC
    cap
  • Innovative Components
  • Proposed site wide BACT and 112(g) limits
  • Proposed cap based on full production and
    allowable lb VOC/unit of production limit
  • Single emissions unit for all combustion related
    emissions
  • Pre-approved major/minor NSR
  • Sample draft permit language incorporating
    proposed PALs and other innovative provisions
  • Submitted application in July 2004
  • Application currently under review

99
Case Study B Flexible Permit With Caps
  • Permit Innovations
  • Operational Flexibility
  • Pre-approved new emissions units
  • Regulatory authority notification and
    contemporaneous BACT/LAER for like equipment
  • Construction may begin upon written regulatory
    authority approval or 30 days
  • Changes to existing emissions units do not
    require regulatory authority approval
  • Alternative limits for low production periods
    (e.g., tons VOC per month versus lb VOC/unit of
    production)

100
Case Study B Flexible Permit With Caps
  • Permit Innovations (cont.)
  • Termination provision with return to
    traditional permit
  • Streamlined compliance requirements
  • Site-wide VOC performance limit in terms of lb
    VOC/unit of production
  • Combined 112(g) limit in terms of lb HAP/unit of
    production
  • Site-wide VOC and NOx caps
  • Streamlined recordkeeping requirements
  • Elimination of redundant permit conditions

101
Case Study C Non-attainment PAL
  • Overview of a proposed PAL for an adhesive
    coating facility in Pennsylvania
  • The facility includes boilers, reactor vessels,
    mixing and formulation, multiple adhesive coaters
    and dryers, and research and development
    facilities
  • Facility emissions include VOC, PM10, HAPs, and
    products of combustion (NOx and CO)
  • The facility is well controlled using a vent
    condenser and two existing regenerative thermal
    oxidizers to abate VOC and vHAP emissions

102
Case Study C Non-attainment PAL
  • Critical facility air permitting issues
  • NSR Revisions became effective in March 2003 for
    attainment pollutants
  • The facility is located in an area classified as
    moderately non-attainment for ozone due to its
    location in the Northeast Ozone Transport Region
  • Permitting timelines and redundant NSR
    applicability analyses
  • Projects in the pipeline that include expedited
    installation schedules

103
Case Study C Non-attainment PAL
  • Facility air permit objectives
  • Obtain a VOC PAL that provides the facility with
    a manageable cushion between actual and allowable
    emissions
  • Obtain operating flexibility
  • Eliminate NSR applicability analyses for facility
    changes
  • Streamline facility compliance requirements and
    simplify compliance demonstrations

104
Case Study C Non-attainment PAL
  • Final air permitting concept
  • Acquire a VOC PAL through the Pennsylvania minor
    NSR program
  • Since facility is well controlled, use the 40 ton
    major NSR modification threshold to establish a
    VOC PAL
  • Ensure expedited state review and approval of
    facility modifications by eliminating required
    non-attainment NSR applicability determinations
  • Allow the facility to decide where and how VOC
    emissions are controlled within the facility in
    accordance with Pennsylvania Best Available
    Technology (BAT) requirements

105
Case Study C Non-attainment PAL
  • Minor Pennsylvania NSR permit application
  • BAT analysis not required since no emissions
    units were being modified
  • Emissions inventory
  • Baseline calculation - PA PAL policy requires the
    use of the most recent two calendar years to
    develop baseline emission rates or an alternative
    two year period within the past five year if the
    most recent two years is not representative
  • PAL calculation - The PAL was established by
    adding an amount slightly less than the major
    modification threshold (i.e., 39 tons for VOC) to
    the baseline minus allowable emission increases
    since 1991

106
Case Study C Non-attainment PAL
  • Non-attainment VOC PAL Calculation

107
Case Study C Non-attainment PAL
  • Innovative Components
  • Proposed site wide VOC PAL set using baseline VOC
    emissions plus adjusted NSR major modification
    threshold
  • The facility is well controlled and the VOC PAL
    provides a considerable growth cushion
  • For this facility, the ability to manage growth
    internally via a VOC PAL is sufficiently
    innovative
  • Submitted application in October 2004
  • A proposed draft permit is currently under review
    by DEP and the facility
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