Rob Barton RMB Consulting & Research, Inc. EPRI CEM User Group Conference May 8, 2013



Similar documents
Guidance and Reporting Instructions on Temporary E-reporting for the MATS Rule


INDUSTRIAL BOILER MACT FACTSHEET

Continuous Emission Monitoring Guide

By Robert Bivens. RMB Consulting & Research, Inc. Raleigh, NC (919)

Texas Commission on Environmental Quality Page 1 Chapter Control of Air Pollution from Nitrogen Compounds

Continuous Monitoring Manual

PROCEDURE 1. QUALITY ASSURANCE REQUIREMENTS FOR GAS CONTINUOUS EMISSION MONITORING SYSTEMS USED FOR COMPLIANCE DETERMINATION

Keywords: PEMS, CEMS, turbine

Part 75 Emissions Monitoring Policy Manual. U.S. Environmental Protection Agency Clean Air Markets Division Washington, D.C.

Chapter 2 Compliance Branch CEMS Guidance Manual Table of Contents. Applicability

Emission monitoring, reporting, and verification (MRV) for U.S. cap and trade programs. Jeremy Schreifels US EPA

Continuous Emissions Monitoring - Program 77

SMALL ENTITY COMPLIANCE GUIDE FOR MAJOR SOURCE BOILERS AND PROCESS HEATERS

SLMA Meeting. Boiler MACT and Related Rules. Atlanta, GA March 2, Martin Rollins, P. E. H. M. Rollins Company, Inc. Gulfport, Mississippi

U.S. EPA Part 75 Emissions Monitoring Policy Manual and Updates Copy can be downloaded at:

Comparative Cap and Trade Programs: U.S. SO 2 and NO x, EU CO 2

Site Identification No.: AAO Application No.:

Technical Support Document for the Soda Ash Manufacturing Sector: Proposed Rule for Mandatory Reporting of Greenhouse Gases

Electronic Reporting to BTS

Environmental Compliance using CEMS

IVISIONS STEAM PLANT DIVISIONS TOTAL TURNKEY SOLUTIONS. INDUSTRIAL BOILER & MECHANICAL

GUIDELINE FOR THE INSTALLATION AND OPERATION OF CONTINUOUS EMISSION MONITORING SYSTEMS (CEMS) AND THEIR USE FOR REPORTING UNDER THE PROVISIONS OF

GUIDELINES FOR SOURCE TESTING

ATTACHMENT B California Energy Commission Air Quality Self-Certification Checklist for Simple-Cycle Gas Turbine Generation Units

Energy Efficient Operations and Maintenance Strategies for Boilers

Fuel Burning Equipment. Maximum Firing Rate (gal/hr)

MATHESON STACK EMISSION CALIBRATION PROGRAM. Experience the MATHESON Commitment to Supply Chain Excellence

Employing a Data Acquisition Handling System (DAHS) for New Source Performance Standards (NSPS) Ja Rule Reporting of Petroleum Refinery Emissions

Air Quality PERMIT TO CONSTRUCT

NetDAHS Edge Software A proactive and centralized control hub for air compliance reporting

Resolution of Natural Gas and Pipeline Natural Gas Definition Issues

Title V Compliance Verification Process

QA Transactions and Reports

Roadmap Performance Target Best technology Capability

INDEX GENERAL

Common Compliance Violations. The state belongs to all of us - "Kansas Don't Spoil It"

1.0 What Are the Purpose and Applicability of Performance Specification 11?

Document Control Program

AIR EMISSION PERMIT NO IS ISSUED TO MULTEK FLEXIBLE CIRCUITS INC

COMMONWEALTH OF MASSACHUSETTS DEPARTMENT OF ENVIRONMENTAL PROTECTION 310 CMR 7.00 AIR POLLUTION CONTROL REGULATIONS

Series of CEMS Guidelines

PRE-PERMIT CONSTRUCTION APPROVAL GUIDANCE DOCUMENT

FINAL UPDATES TO REQUIREMENTS FOR STORAGE TANKS USED IN OIL AND NATURAL GAS PRODUCTION AND TRANSMISSION

REQUEST FOR QUOTATIONS

Application Note 12: TrendView Recorders Continuous Emissions Monitoring

CONTINUOUS MONITORING MANUAL. DEPARTMENT OF ENVIRONMENTAL QUALITY AIR QUALITY DIVISION 811 SW SIXTH AVENUE Portland, Oregon 97204

Flue Gas Desulfurization CEMS Design Lessons Learned and Monitoring Technologies to Meet the New Mercury and Air Toxics (MATS) Rule

CONSTRUCTION PERMIT OFFICE OF AIR MANAGEMENT. Lone Star Industries, Inc South County Road 150 West Greencastle, Indiana 46135

Notification of RCRA Subtitle C Activity

NSPS Subpart OOOO: Applicability and Compliance Basics

Advance unedited version

Bill Younger, Manager Business Energy Management Puget Sound Energy Bellevue, Washington

Phoenix Process Engineering, Inc. Project Experience Helping Clients Achieve MACT Compliance

A Guide to Calculating Your Boiler Emissions. A step-by-step manual for your convenience

AIR EMISSION PERMIT NO Major Amendment IS ISSUED TO. Mesabi Nugget Delaware LLC Steel Dynamics Inc

2. Do I have to certify? 1. What is the ERP Installation Compliance Certification? 3. How do I submit a Compliance Certification?

Technical Guidance for Offset Verifiers Verification of Offset Project Data Reports:

SULFURIC ACID MIST PERFORMANCE TEST PROTOCOL. Duke Energy Florida, Inc. Crystal River Power Plant Units 4&5 Crystal River, Citrus County, Florida

3. 1 Five things DrChecks can do for you.

Energy Efficiency Operations & Maintenance Plan August 25, 2010

E2E Project Management Process Governance (Electric Capital)

Safe Operating Procedure

PM Planning Configuration Management

REQUEST FOR PROPOSAL CONSTRUCTION MANAGEMENT SERVICES

Air Quality Performance Test Guidelines. Kansas Department of Health and Environment Bureau of Air and Radiation

What is a successful Steam Trap Management Program?

(a) Method 1 Sample and Velocity Traverses for Stationary Sources.

Can I Recycle Some of My Industrial or Hazardous Wastes?

Transcription:

Rob Barton EPRI CEM User Group Conference May 8, 2013

Unique Reporting Challenges Compilation of various reporting requirements Electronic submittal of most data/records Adapting existing tools to new types of data Reporting Elements Emissions Data Initial/Ongoing QA Test Results Compliance Reports Other (Notifications/Monitoring Plan) Still Significant Uncertainty in Reporting Requirements

Emissions Collection and Monitoring Plan System Client Tool (ECMPS) Acid Rain Program/Clean Air Interstate Rule Electronic Reporting Tool (ERT) MATS Information Collection Request (ICR) Compliance and Emissions Data Reporting Interface (CEDRI) Legacy system accessed through EPA Central Data Exchange (CDX) website (cdx.epa.gov) None of these Tools Fully Support MATS at this Time

Compliance Based on 30-Boiler Operating Day (BOD) Rolling Averages BOD = any fuel combusted in any 24-hour period Calculated at the end of each BOD Based on all available quality assured hourly data No Missing Data Substitution No Bias Adjustment Factors Exclude Startup/Shutdown Periods Quarterly Data Reporting

PM CEMS/CPMS 30-BOD averages only Submit all PM data through CEDRI Electronic form/template for data submittal Deadline - 60 days after the end of the quarter All other CEMS/Hg Sorbent Trap Systems Hourly data only Submit data using ECMPS Deadline - 30 days after the end of the quarter Submittal Process/Deadlines for Initial Compliance Data is Unclear

Initial Certification/Ongoing QA Activities All Data Submitted Using CEDRI Deadline - 60 days after completion of each test Daily Calibration Records Standardized form? All Other QA Data Emissions Reporting Tool (ERT)/CEDRI ERT does not currently support PS-11 or Procedure 2 Likely a Time Consuming Process PM CPMS Quality Assurance Data/Records are Retained Onsite

Initial Certification/Ongoing QA Activities All Data Submitted Using ECMPS Deadline Prior to/concurrent with quarterly report SO 2 /CO 2 /O 2 /Flow Data Already Submitted* HCl/HF/Hg CEMS/Sorbent Trap Systems New/modified ECMPS records RATA Data Submitted Using ERT/CEDRI Deadline 60 days after completion of testing Method 30B not supported by ERT

ECMPS/CEDRI/ERT Do Not Fully Support MATS Work in progress ECMPS Draft (4/2013) DAHS vendors need time to implement changes PM CEMS Issues Conditionally valid data procedures Diluent cap Startup Data Exclusion SUSD definition not tied to control device operation

Quarterly Stack Testing for HCl/HF/PM/TSM Submit using ERT/CEDRI Reference Methods 5, 26, 26A and 29 are supported ERT-compatible templates for raw data Unit/control device operating data Deadline - 60 days after completion of testing

HCl/HF/PM/TSM Same procedures as quarterly testing Notification of Compliance Status Dates of last 3 tests, results, no changes in operation Hg (annual) Reporting requirements are unclear Summary included in ECMPS monitoring plan records Detailed test results submitted through CEDRI ERT does not support Method 30B

Semi-Annual Compliance Report CEMS Summary Report Tune Up Report

Contents CEMS Summary Report Total fuel use per calendar month Description of fuels/justification as non-waste Dates of most recent tune-up/burner inspection Description of excess emissions Breakdown of malfunction periods Statements of compliance with work practice standards or emissions limitations Report Submitted through CEDRI

Initial Reporting Period Begins on compliance date and ends June 30 or December 31 (whichever first occurs after 180 days) Existing units: April 16, 2015* December 31, 2015 (due January 31, 2016) Ongoing Reporting Period January 1 June 30 (due July 31) July 1 December 31 (due January 31) Title V Report Could Satisfy Requirements

Contents General unit/cems information Date of latest CEMS certification or audit Total operating time Breakdown of excess emissions Breakdown of monitor downtime Changes in CEMS, process, or controls Much of the Content is Redundant Submit with Semi-Annual Compliance Report

Contents CO/NO x concentrations before and after tune-up Correction action taken as part of tune-up Types and amounts of fuel used over the 12 calendar months prior to tune-up (multi-fuel units only) Information necessary to demonstrate that all tuneup activities were conducted Submittal Requirements Date of initial/next scheduled tune-up Notification of Compliance Status/Semi-Annual Report Submittal of tune-up report is unclear

Site-Specific Monitoring Plan Differences in Part 63/Part 75 terminology Part 60/75 CEMS Exempt Submit 60 days prior to certification (if requested) Submit within 21 days of compliance date for Hg CEMS/sorbent trap and HCl/HF CEMS using ECMPS Existing units - March 26, 2015 Notifications Compliance status, performance tests, QA tests Deadlines may conflict with Title V requirements

MATS Reporting is a Work in Progress Reporting tool updates PM data requirements Inconsistencies on other requirements Timely Guidance Needed to Implement Solutions for Vendors/Utilities Other Issues Likely to Be Identified Further Rule Revisions? MATS Policy Manual?