80_FR_17071 80 FR 17010 - Promulgation of Air Quality Implementation Plans; Arizona; Regional Haze Federal Implementation Plan; Reconsideration

80 FR 17010 - Promulgation of Air Quality Implementation Plans; Arizona; Regional Haze Federal Implementation Plan; Reconsideration

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 80, Issue 61 (March 31, 2015)

Page Range17010-17020
FR Document2015-07233

The Environmental Protection Agency (EPA) is proposing to revise part of the Arizona Regional Haze (RH) Federal Implementation Plan (FIP) applicable to the Coronado Generating Station (Coronado). In response to a petition for reconsideration from the Salt River Project Agricultural Improvement and Power District (SRP), the owner/operator of Coronado, we are proposing to replace a plant-wide compliance method with a unit-specific compliance method for determining compliance with the best available retrofit technology (BART) emission limits for nitrogen oxides (NO<INF>X</INF>) from Units 1 and 2 at Coronado. While the plant-wide limit for the NO<INF>X</INF> emissions from Units 1 and 2 were established as 0.065 lb/MMBtu, we are proposing a unit-specific limit of 0.065 lb/MMBtu for Unit 1 and 0.080 lb/MMBtu for Unit 2. In addition, we are proposing to revise the work practice standard in the FIP for Coronado. Finally, we are proposing to remove the affirmative defense for malfunctions from the Arizona RH FIP, which applies to both Coronado and the Cholla Power Plant (Cholla).

Federal Register, Volume 80 Issue 61 (Tuesday, March 31, 2015)
[Federal Register Volume 80, Number 61 (Tuesday, March 31, 2015)]
[Proposed Rules]
[Pages 17010-17020]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-07233]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 52

[EPA-R09-OAR-2015-0165; FRL-9925-31-Region 9]


Promulgation of Air Quality Implementation Plans; Arizona; 
Regional Haze Federal Implementation Plan; Reconsideration

AGENCY: Environmental Protection Agency.

ACTION: Proposed rule.

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SUMMARY: The Environmental Protection Agency (EPA) is proposing to 
revise part of the Arizona Regional Haze (RH) Federal Implementation 
Plan (FIP) applicable to the Coronado Generating Station (Coronado). In 
response to a petition for reconsideration from the Salt River Project 
Agricultural Improvement and Power District (SRP), the owner/operator 
of Coronado, we are proposing to replace a plant-wide compliance method 
with a unit-specific compliance method for determining compliance with 
the best available retrofit technology (BART) emission limits for 
nitrogen oxides (NOX) from Units 1 and 2 at Coronado. While 
the plant-wide limit for the NOX emissions from Units 1 and 
2 were established as 0.065 lb/MMBtu, we are proposing a unit-specific 
limit of 0.065 lb/MMBtu for Unit 1 and 0.080 lb/MMBtu for Unit 2. In 
addition, we are proposing to revise the work practice standard in the 
FIP for Coronado. Finally, we are proposing to remove the affirmative 
defense for malfunctions from the Arizona RH FIP, which applies to both 
Coronado and the Cholla Power Plant (Cholla).

DATES: Written comments must be submitted to the designated contact on 
or before May 15, 2015. Requests for a public hearing must be received 
on or before April 15, 2015.

ADDRESSES: Submit your comments, identified by docket number EPA-R09-
OAR-2015-0165, by one of the following methods:

[[Page 17011]]

     Federal Rulemaking portal: http://www.regulations.gov. 
Follow the on-line instructions for submitting comments.
     Email: [email protected].
     Fax: 415-947-3579 (Attention: Thomas Webb).
     Mail, Hand Delivery, or Courier: Thomas Webb, EPA Region 
9, Air Division (AIR-2), 75 Hawthorne Street, San Francisco, California 
94105. Hand and courier deliveries are only accepted Monday through 
Friday, 8:30 a.m. to 4:30 p.m., excluding Federal holidays. Special 
arrangements should be made for deliveries of boxed information.
    See the SUPPLEMENTARY INFORMATION section for further instructions 
on where and how to learn more about this proposal, attend a public 
hearing, or submit comments.

FOR FURTHER INFORMATION CONTACT: Thomas Webb, U.S. EPA, Region 9, 
Planning Office, Air Division, Air-2, 75 Hawthorne Street, San 
Francisco, CA 94105. Thomas Webb can be reached at telephone number 
(415) 947-4139 and via electronic mail at [email protected].

SUPPLEMENTARY INFORMATION: 

Table of Contents

I. General Information
II. Background
III. Proposed FIP Revision
IV. EPA's Proposed Action
V. Statutory and Executive Order Reviews

I. General Information

 A. Definitions

    For the purpose of this document, we are giving meaning to certain 
words or initials as follows:
     The words or initials Act or CAA mean or refer to the 
Clean Air Act, unless the context indicates otherwise.
     The initials ADEQ mean or refer to the Arizona Department 
of Environmental Quality.
     The words Arizona and State mean the State of Arizona.
     The initials BART mean or refer to Best Available Retrofit 
Technology.
     The term Class I area refers to a mandatory Class I 
Federal area.\1\
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    \1\ Although states and tribes may designate as Class I 
additional areas which they consider to have visibility as an 
important value, the requirements of the visibility program set 
forth in section 169A of the CAA apply only to ``mandatory Class I 
Federal areas.''
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     The initials CBI mean or refer to Confidential Business 
Information.
     The initials EGU mean or refer to Electric Generating 
Unit.
     The words EPA, we, us, or our mean or refer to the United 
States Environmental Protection Agency.
     The initials FIP mean or refer to Federal Implementation 
Plan.
     The initials LNB mean or refer to low-NOX 
burners.
     The initials MMBtu mean or refer to million British 
thermal units.
     The initials MW mean or refer to megawatts.
     The initials NOX mean or refer to nitrogen 
oxides.
     The initials NP mean or refer to National Park.
     The initials OFA mean or refer to over fire air.
     The initials RMB mean or refer to RMB Consulting and 
Research.
     The initials S&L mean or refer to Sargent and Lundy, a 
consulting firm.
     The initials SCR mean or refer to Selective Catalytic 
Reduction.
     The initials SIP mean or refer to State Implementation 
Plan.
     The initials SRP mean or refer to the Salt River Project 
Agricultural Improvement and Power District.
     The initials UPL mean or refer to Upper Prediction Limit.

B. Docket

    The proposed action relies on documents, information, and data that 
are listed in the index on http://www.regulations.gov under docket 
number EPA-R09-OAR-2015-0165. Although listed in the index, some 
information is not publicly available (e.g., Confidential Business 
Information (CBI)). Certain other material, such as copyrighted 
material, is publicly available only in hard copy form. Publicly 
available docket materials are accessible either electronically at 
http://www.regulations.gov or in hard copy at the Planning Office of 
the Air Division, AIR-2, EPA Region 9, 75 Hawthorne Street, San 
Francisco, CA 94105. EPA requests that you contact the individual 
listed in the FOR FURTHER INFORMATION CONTACT section to view the hard 
copy of the docket from Monday through Friday, 9-5:00 PDT, excluding 
Federal holidays.

C. Instructions for Submitting Comments to EPA

    Written comments must be submitted on or before May 15, 2015. 
Submit your comments, identified by docket number EPA-R09-OAR-2015-
0165, by one of the following methods:
     Federal Rulemaking portal: http://www.regulations.gov. 
Follow the on-line instructions for submitting comments.
     Email: [email protected].
     Fax: 415-947-3579 (Attention: Thomas Webb).
     Mail, Hand Delivery, or Courier: Thomas Webb, EPA Region 
9, Air Division (AIR-2), 75 Hawthorne Street, San Francisco, California 
94105. Hand and courier deliveries are only accepted Monday through 
Friday, 8:30 a.m. to 4:30 p.m., excluding Federal holidays. Special 
arrangements should be made for deliveries of boxed information.
    EPA's policy is to include all comments received in the public 
docket without change. We may make comments available online at http://www.regulations.gov, including any personal information provided, 
unless the comment includes information claimed to be CBI or other 
information for which disclosure is restricted by statute. Do not 
submit information that you consider to be CBI or that is otherwise 
protected through http://www.regulations.gov or email. The http://www.regulations.gov Web site is an ``anonymous access'' system, which 
means EPA will not know your identity or contact information unless you 
provide it in the body of your comment. If you send an email comment 
directly to EPA, without going through http://www.regulations.gov, we 
will include your email address as part of the comment that is placed 
in the public docket and made available on the Internet. If you submit 
an electronic comment, EPA recommends that you include your name and 
other contact information in the body of your comment and with any disk 
or CD-ROM you submit. If EPA cannot read your comment due to technical 
difficulties and cannot contact you for clarification, EPA may not be 
able to consider your comment. Electronic files should not include 
special characters or any form of encryption, and be free of any 
defects or viruses.

 D. Submitting Confidential Business Information

    Do not submit CBI to EPA through http://www.regulations.gov or 
email. Clearly mark the part or all of the information that you claim 
as CBI. For CBI information in a disk or CD-ROM that you mail to EPA, 
mark the outside of the disk or CD-ROM as CBI and identify 
electronically within the disk or CD-ROM the specific information that 
is claimed as CBI. In addition to one complete version of the comment 
that includes information claimed as CBI, you must submit a copy of the 
comment that does not contain the information claimed as CBI for 
inclusion in the public docket. We will not disclose information so 
marked except in accordance with procedures set forth in 40 CFR part 2.

E. Tips for Preparing Your Comments

    When submitting comments, remember to:
     Identify the rulemaking by docket number and other 
identifying

[[Page 17012]]

information (e.g., subject heading, Federal Register date and page 
number).
     Explain why you agree or disagree; suggest alternatives 
and substitute language for your requested changes.
     Describe any assumptions and provide any technical 
information and/or data that you used.
     If you estimate potential costs or burdens, explain how 
you arrived at your estimate in sufficient detail to allow for it to be 
reproduced.
     Provide specific examples to illustrate your concerns, and 
suggest alternatives.
     Explain your views as clearly as possible, avoiding the 
use of profanity or personal threats.
     Make sure to submit your comments by the identified 
comment period deadline.

F. Public Hearings

    If anyone contacts EPA by April 15, 2015 requesting to speak at a 
public hearing, EPA will schedule a public hearing and announce the 
hearing in the Federal Register. Contact Thomas Webb at 
[email protected] or at (415) 947-4139 to request a hearing or to 
determine if a hearing will be held.

II. Background

A. Summary of Statutory and Regulatory Requirements

    Congress created a program for protecting visibility in the 
nation's national parks and wilderness areas in 1977 by adding section 
169A to the CAA. This section of the CAA establishes as a national goal 
the ``prevention of any future, and the remedying of any existing, 
impairment of visibility in mandatory Class I Federal areas which 
impairment results from man-made air pollution.'' \2\ It also directs 
states to evaluate the use of retrofit controls at certain larger, 
often uncontrolled, older stationary sources in order to address 
visibility impacts from these sources. Specifically, section 
169A(b)(2)(A) of the CAA requires states to revise their State 
Implementation Plans (SIPs) to contain such measures as may be 
necessary to make reasonable progress towards the natural visibility 
goal, including a requirement that certain categories of existing major 
stationary sources built between 1962 and 1977 procure, install, and 
operate best available retrofit technology (BART) controls. These 
sources are referred to as ``BART-eligible'' sources.\3\ In the 1990 
CAA Amendments, Congress amended the visibility provisions in the CAA 
to focus attention on the problem of regional haze, which is visibility 
impairment produced by a multitude of sources and activities located 
across a broad geographic area.\4\ We promulgated the Regional Haze 
Rule (RHR) in 1999, which requires states to develop and implement SIPs 
to ensure reasonable progress toward improving visibility in mandatory 
Class I Federal areas \5\ by reducing emissions that cause or 
contribute to regional haze.\6\ Under the RHR, states are directed to 
conduct BART determinations for BART-eligible sources that may be 
anticipated to cause or contribute to any visibility impairment in a 
Class I area.\7\
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    \2\ 42 U.S.C. 7491(a)(1).
    \3\ 40 CFR 51.301.
    \4\ See CAA section 169B, 42 U.S.C. 7492.
    \5\ Areas designated as mandatory Class I Federal areas consist 
of national parks exceeding 6000 acres, wilderness areas, and 
national memorial parks exceeding 5000 acres, and all international 
parks that were in existence on August 7, 1977. 42 U.S.C. 7472(a). 
When we use the term ``Class I area'' in this action, we mean a 
``mandatory Class I Federal area.''
    \6\ See generally 40 CFR 51.308.
    \7\ 40 CFR 51.308(e).
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B. History of FIP BART Determination

    The Arizona Department of Environmental Quality (ADEQ) submitted a 
RH SIP (``Arizona RH SIP'') under Section 308 of the RHR to EPA Region 
9 on February 28, 2011. The Arizona RH SIP included BART determinations 
for NOX, particulate matter (PM), and sulfur dioxide 
(SO2) for Units 1 and 2 at the Coronado Generating Station. 
We proposed on July 20, 2012, to approve ADEQ's BART determinations for 
PM and SO2, but to disapprove its determination for 
NOX at Coronado.\8\ In the same notice, we also proposed a 
FIP that included a NOX BART emission limit of 0.050 lb/
MMbtu for Unit 1 and 0.080 lb/MMbtu for Unit 2 based on a 30-boiler-
operating-day (BOD) rolling average. These limits correspond to the use 
of Selective Catalytic Reduction (SCR) control technology to reduce 
NOX emissions. We noted that a consent decree between SRP 
and EPA required the installation of SCR and compliance with a 
NOX emission limit of 0.080 lb/MMBtu (30-BOD rolling 
average) at Coronado Unit 2 by June 1, 2014. We explained that:
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    \8\ 77 FR 42834.

    . . . the emission limit of 0.080 lb/MMBtu established in the 
consent decree was not the result of a BART five-factor analysis, 
nor does the consent decree indicate that SCR at 0.080 lb/MMBtu 
represents BART. Nonetheless, given the compliance schedule 
established in the consent decree and the preliminary information 
received from SRP regarding the status of design and construction of 
the SCR system, it appears that achieving a 0.050 lb/MMBtu emission 
rate may not be technically feasible. Even if it is feasible, 
achievement of this emission rate may not be cost-effective. 
Therefore, we are proposing an emission limit of 0.080 lb/MMBtu as 
BART for NOX at Unit 2. However, if we do not receive 
sufficient documentation establishing that achievement of a more 
stringent limit is infeasible or not cost-effective, then we may 
determine that a more stringent limit for this unit is required in 
our final action.\9\
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    \9\ 77 FR 42864.

    In its comments on our proposal, SRP asserted that a NOX 
emission rate of 0.050 lb/MMBtu was not achievable at either of the 
Coronado units, due to their startup/shutdown operating profile. In 
support of this assertion, SRP submitted reports by two consultants, 
Sargent and Lundy (S&L) and RMB Consulting and Research (RMB), which 
indicated that the Coronado units could achieve a rolling 30-day 
emission rate in the range of 0.053 to 0.072 lb/MMBtu.\10\ 
Specifically, the S&L report examined the effect of multiple startup/
shutdown events on emission rates over a 30-day period for Unit 2. The 
S&L report also examined potential measures to improve the performance 
of the current SCR design for Unit 2, including installation of a ``low 
load temperature control system.'' We explained the purpose of this 
control system in the preamble to our final rule:
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    \10\ 77 FR 72555.

As described in the S&L report, periods of low load operation 
generally consist of operation between loads of 138 MW to 270 MW 
(operation above 270 MW can be considered ``high'' load). Broadly 
speaking, the temperature in the SCR system will fall below 599 
degrees F during these periods of low load operation, which is the 
minimum temperature required for effective NOX control. A 
low load temperature control system increases the temperature at the 
SCR inlet in order to maintain 599 degrees F, allowing operation of 
the SCR system during periods of low load. Without this control 
system, the Coronado Unit 2 SCR system will not operate during 
periods of low load.\11\
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    \11\ Id.

The low-load temperature-control system is referred to as both 
``pegging steam'' and ``steam reheat'' in the various documents 
submitted by SRP. During periods of low load (138 MW to 270 MW), a 
certain amount of steam is routed to the SCR inlet in order to raise 
the inlet temperature to above 599 degrees F, which allows for proper 
operation of the SCR. At loads below 138 MW, the SCR could not operate 
even with the low-load temperature-control system.
    In setting the NOX emission limits for Coronado in the 
final Arizona RH FIP, we considered the information and analyses 
contained in the S&L report

[[Page 17013]]

and the RMB report.\12\ We concluded that:
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    \12\ Id. at 72554-56.

In recognition of the work already performed by SRP to meet the 
consent decree emission limit of 0.080 lb/MMBtu for Unit 2, and to 
avoid interfering with SRP's ability to meet that requirement by the 
deadline of June 1, 2014, we have decided not to require a BART 
emission limit for Coronado 2 more stringent than 0.080 lb/MMBtu. 
Instead, we are finalizing a plant-wide NOX emission 
limit for Coronado of 0.065 lb/MMBtu on a rolling 30-day average, 
which will provide a sufficient compliance margin for startup and 
shutdown events. We are also structuring the compliance 
determination method so that, when one of the two units is not 
operating, its emissions from the preceding thirty boiler-operating-
days will continue to be included in the two-unit average. We expect 
that SRP can meet this limit by installing a low load temperature 
control system on Unit 2 and an SCR system including a low load 
temperature control system on Unit 1.\13\
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    \13\ Id. at 72555.

Please see our final rule published on December 5, 2012, for further 
information on the BART determinations and compliance methodology.

C. Petition for Reconsideration and Stay

    We received a petition from SRP on February 4, 2013, requesting 
partial reconsideration and administrative stay of our final rule under 
section 307(d)(7)(B) of the Clean Air Act (CAA) and section 705 of the 
Administrative Procedure Act.\14\ EPA Region 9 sent a letter on April 
9, 2013, to representatives of SRP informing the company that we were 
granting partial reconsideration of the final rule for the Arizona RH 
FIP.\15\ In particular, we stated that we were granting reconsideration 
of the compliance methodology for NOX emissions from Units 1 
and 2 at Coronado and that we would issue a notice of proposed 
rulemaking seeking comment on an alternative compliance methodology. We 
also noted that, because we initially proposed different NOX 
emission limits for the two units, we would seek comment on the 
appropriate emission limit for each of the units. Today's notice of 
proposed rulemaking includes each of these elements, and constitutes 
EPA's proposed action for the reconsideration.
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    \14\ Petition of Salt River Project Agricultural Improvement and 
Power District for Partial Reconsideration and Stay of EPA's Final 
Rule: ``Approval, Disapproval and Promulgation of Air Quality 
Implementation Plans; Arizona; Regional Haze State and Federal 
Implementation Plans'' (February 4, 2013).
    \15\ Letters from Jared Blumenfeld, EPA, to Norman W. Fichthorn 
and Aaron Flynn, Hunton and Williams (April 9, 2013).
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III. Proposed FIP Revision

    EPA is proposing a unit-specific compliance method and separate 
emission limits for NOX on Units 1 and 2 at the Coronado 
Generating Station. We also are proposing to revise the work practice 
requirement that applies to Coronado and to remove the affirmative 
defense for malfunctions that is currently included in the FIP for 
Coronado and Cholla.

A. Proposed Compliance Method for Unit-Specific Emission Limits

    In a letter sent to EPA on November 18, 2013, SRP outlined its 
views concerning the compliance method and emission limit at 
Coronado.\16\ Regarding the compliance method, SRP requested that EPA 
use the same approach specified in the Consent Decree, noting that this 
would ensure ``consistency across applicable requirements.'' \17\ EPA 
notes that the Consent Decree contains two different types of 
NOX emission limits: Unit-specific 30-day rolling lb/MMBtu 
limits and a 365-day plant-wide rolling NOX tonnage 
limit.\18\ For purposes of BART, we consider a 30-BOD rolling lb/MMBtu 
limit to be appropriate.\19\ Therefore, we propose to set a separate 
30-BOD rolling lb/MMBtu limit for each of the two Coronado Units, based 
on the following compliance method:
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    \16\ Letter from Kelly Barr, SRP, to Deborah Jordan, EPA 
(November 18, 2013).
    \17\ Id. at 4.
    \18\ Consent Decree in United States v. Salt River Project, CV 
08-1479-PHX-JAT (D. Az.) (entered Dec. 19, 2008) (``Coronado Consent 
Decree'').
    \19\ BART Guidelines, 40 CFR part 51, appendix Y, section V 
(``For EGUs, specify an averaging time of a 30-day rolling average, 
and contain a definition of ``boiler operating day'' that is 
consistent with the definition in the proposed revisions to the NSPS 
for utility boilers in 40 CFR part 60, subpart Da.'').

    The 30-day rolling average NOX emission rate for each 
unit shall be calculated in accordance with the following procedure: 
First, sum the total pounds of NOX emitted from the unit 
during the current boiler operating day and the previous twenty-nine 
(29) boiler-operating days; second, sum the total heat input to the 
unit in MMBtu during the current boiler operating day and the 
previous twenty-nine (29) boiler-operating days; and third, divide 
the total number of pounds of NOX emitted during the 
thirty (30) boiler-operating days by the total heat input during the 
thirty (30) boiler-operating days. A new 30-day rolling average 
NOX emission rate shall be calculated for each new boiler 
operating day. Each 30-day rolling average NOX emission 
rate shall include all emissions that occur during all periods 
within any boiler operating day, including emissions from startup, 
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shutdown, and malfunction.

This method is identical to that employed for the unit-specific 30-day 
rolling lb/MMBtu limit in the Consent Decree, except that it uses the 
term ``boiler operating day'' instead of ``Unit Operating Day.'' This 
method would replace the plant-wide method promulgated in the final 
rule at 40 CFR 52.145(f)(5)(B)(ii). All other compliance-related 
requirements, including the monitoring, recordkeeping and reporting 
requirements, would remain as promulgated.

B. Proposed Emission Limits for Coronado Units 1 and 2

    Because we are proposing to replace the plant-wide average emission 
rate limit for NOX with unit-specific limits, we also must 
propose separate emission limits for each of the two units at Coronado. 
However, we are not reconsidering our determination that BART for 
Coronado Units 1 and 2 is an emission limit consistent with the use of 
SCR, low-NOX burners (LNB) with over fire air (OFA), and 
low-load temperature control. Nor are we conducting a new five-factor 
analysis for these units. Rather, we are reconsidering only the 
emission limits achievable with SCR and LNB with OFA at Coronado Units 
1 and 2. Due to the different regulatory requirements that currently 
apply to these units, we have analyzed them separately.
1. Proposed Emission Limit for Coronado Unit 1
a. SRP's Analysis of Unit 1
    After EPA granted reconsideration, SRP submitted additional 
information to EPA, including two reports prepared by S&L and RMB 
concerning the achievability of various NOX emission limits 
at Coronado Unit 1.\20\ The 2013 S&L analysis presented modeling 
results intended to predict NOX emissions from Unit 1 under 
various operating scenarios.\21\ The 2013 RMB report further analyzed 
the achievable NOX emission limit at Coronado Unit 1, 
``based on the results of S&L's modeling and application of an 
appropriate compliance margin.'' \22\ In particular, RMB applied an 
``upper prediction limit'' (UPL) technique in order to account for 
``the impact of measurement

[[Page 17014]]

uncertainty and other process variation.'' \23\
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    \20\ Letter from Kelly J. Barr, SRP, to Deborah Jordan, EPA 
(November 18, 2013) and attachments.
    \21\ Attachment 1 to November 18, 2013, Letter, Sargent and 
Lundy LLC Report SL-011754, Salt River Project Coronado Generating 
Station Unit 1 SCR NOX emissions Modeling (November 14, 
2013).
    \22\ Attachment 2 to November 18, 2013 Letter, Technical 
Memorandum from RMB Consulting & Research, Inc. to Salt River 
Project NOX limits Compliance monitoring Consideration on 
Coronado Unit 1 (October 28, 2013) at 1.
    \23\ Id.
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    The 2013 S&L report consisted of an emission analysis of the SCR 
for Unit 1. Similar to the 2012 S&L report, which concerned Unit 2, the 
2013 analysis examined the effect of startup/shutdown events, low-load 
cycling, and steam reheat on emissions over a 30-day average. In 
summary, the 2013 S&L analysis examined load profile data for Unit 1 
for the period from January 1, 2011, through July 31, 2013, and 
estimated NOX emission rates with the hypothetical use of 
SCR for the various load profiles that occurred during this period. 
S&L's estimates of SCR performance and emission rate under various load 
profiles are summarized in Table 1. For greater detail, consult the 
2013 S&L report, which is included in the docket for this proposed 
rule.

              Table 1--Unit 1 Load Profile of NOX Emissions
------------------------------------------------------------------------
                                 Unit 1 emission
         Load profile            rate (lb/MMBtu)        Description
------------------------------------------------------------------------
SCR Design Target Emission                  0.030  Full load performance
 Rate.                                              guarantee per
                                                    vendor.
SCR emission rate at full                   0.040  Actual controlled NOX
 load steady state conditions.                      emissions are
                                                    expected to average
                                                    0.01 above the
                                                    design target rate.
SCR emission rate when load                 0.050  Emission expected to
 increasing by more than 10                         change as control
 MW/hour.                                           systems adjust to
                                                    changes in boiler
                                                    load, gas flow
                                                    rates, and NOX
                                                    loading.
SCR emission rate when load                 0.035  Emission expected to
 decreasing by more than 10                         change as control
 MW/hour.                                           systems adjust to
                                                    changes in boiler
                                                    load, gas flow
                                                    rates, and NOX
                                                    loading.
Emission rate during cold                   0.10   Low NOX burners (LNB)
 start, oil-firing \24\.                            only, no SCR during
                                                    startup. Unit 1
                                                    initially uses fuel
                                                    oil for startup, and
                                                    transitions to coal
                                                    to complete startup.
Emission rate during cold                   0.25   LNB only, no SCR
 start, coal-firing.                                during startup.
Emission rate during warm                   0.19   LNB only, no SCR
 start, oil-firing \25\.                            during startup. Unit
                                                    1 initially uses
                                                    fuel oil for
                                                    startup, and
                                                    transitions to coal
                                                    to complete startup.
Emission rate during warm                   0.28   LNB only, no SCR
 start, coal-firing.                                during startup.
Emission rate during low load               0.29   For low-load periods
 periods.                                           with no steam reheat
                                                    (LNB-only, no SCR
                                                    control).
SCR emission rate during                    0.10   Emission rate during
 initial shutdown.                                  shutdown with SCR
                                                    inlet >599 degrees
                                                    F, allowing for SCR
                                                    operation.
Emission rate after SCR                     0.45   LNB only. Corresponds
 shutdown.                                          to shutdown period
                                                    after SCR inlet <599
                                                    degrees F.
------------------------------------------------------------------------

    Based on the emission rates summarized in Table 1 above, the S&L 
analysis examined the 30-day emission rate for Unit 1 assuming several 
combinations of startup events and loading profiles. The highest 
controlled 30-day average emission rate for several selected scenarios 
is presented in Table 2. The full analysis, including selected 
spreadsheets that contain the emission rate modeling for certain 
operating scenarios, is available in the docket for this proposed 
rule.\26\
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    \24\ The term ``cold startup'' is not specifically defined by 
SRP or S&L in its analysis. Typically, a ``cold startup'' refers to 
a startup event that occurs after the boiler has been offline for 
approximately 24 to 48 hours or longer. Compared to hot or warm 
startups, a cold startup event produces greater emissions because it 
is longer in duration and consumes more fuel.
    \25\ The term ``hot'' or ``warm'' startup is not defined by SRP 
or S&L in its analysis. However, a ``hot'' or ``warm'' typically 
refers to a startup event that occurs when the boiler has been 
offline for less than 24 hours. Because certain elements of the 
boiler may still be hot or warm following shutdown, less time is 
required to reach normal operating temperatures and conditions. As a 
result, hot and warm startup events produce fewer emissions than 
cold startup events because they are shorter in duration and consume 
less fuel.
    \26\ ``SRP Coronado Generating Station, Unit 1 SCR 
NOX Emissions Modeling'', Prepared by Sargent and Lundy, 
Report SL-011754, November 14, 2013.

          Table 2--Summary of Unit 1 Emission Modeling Results
                           [Per S&L analysis]
------------------------------------------------------------------------
                                                Controlled NOX emission
       Scenario              Description         rates based on 30-day
                                                  average (lb/MMBtu)
------------------------------------------------------------------------
0.....................  Full Load high-cycle                       0.041
                         loading.
1b....................  Low-load cycling for                       0.048
                         30 days (with steam
                         reheat).
5a....................  One cold startup                           0.055
                         with low-load
                         cycling (with steam
                         reheat).
5b....................  Two cold startups                          0.061
                         with low-load
                         cycling (with steam
                         reheat).
5c....................  Three cold startups                        0.065
                         with low-load
                         cycling (with steam
                         reheat).
------------------------------------------------------------------------

    The supplemental information submitted by SRP on November 13, 2013, 
also included a report from RMB. In this report, RMB stated that it 
used equations for calculating the UPL, which is a statistical 
technique that examines an existing set of data points and predicts the 
chances (i.e., the probability) of future data points (in this case, 
emission rates). In general terms, the UPL is a value that is 
calculated from a data set that identifies the emission rate that a 
source or group of sources is meeting and would be expected to meet a 
specified percent of the time that the source is operating. For 
example, the 99 percent UPL value is the emission level that the 
source(s) would be predicted to be below during 99 out of 100 
performance tests. The UPL value is calculated using an

[[Page 17015]]

equation based on the average and variance of a data set (in this 
instance, the aforementioned emission rates), the distribution of the 
data, quantity of data points, confidence level, and common statistical 
values such as t-scores and z-scores. The underlying regulatory concept 
behind the use of UPL values is that a source should have only a very 
small risk of being determined to be in noncompliance when the emission 
control system is actually performing as expected under each type of 
normal operation that takes place. UPL values are used in a wide 
variety of industries for predictive purposes, including finance, 
manufacturing, and healthcare.
    RMB stated that it applied the equations for calculating UPL values 
to CEMS data for Unit 1, as well as to the CEMS data from three SCR-
equipped coal-fired boilers that it considered comparable to Unit 
1.\27\ To summarize, RMB calculated the 99th percentile emission rate 
for each of the four units, and compared the 99th percentile emission 
rate to the average emission rate of each respective unit. RMB 
indicated that for Unit 1, the 99th percentile emission rate was three 
to seven percent greater than average emission rates. For the three 
SCR-equipped units examined, RMB reports that the 99th percentile 
emission rate was approximately 15 percent higher than average emission 
rates. RMB then adjusted the average 30-day emission rates from the S&L 
emission modeling analysis for each operating scenario upwards by 15 
percent in order to account for the variability indicated by the UPL 
values. The results of RMB's analysis are summarized in Table 3.
---------------------------------------------------------------------------

    \27\ The CEMS data examined for Unit 1 corresponded to operation 
with low NOX burners, as Unit 1 does not presently 
operate with SCR. For the three other units, CEMS data corresponding 
to SCR operation was examined.

          Table 3--Summary of Unit 1 Emission Modeling Results
                            [Per RMB report]
------------------------------------------------------------------------
                                                Controlled NOX emission
       Scenario              Description        rate (30-day average in
                                                       lb/MMBtu)
------------------------------------------------------------------------
1b....................  Low-load cycling for                       0.055
                         30 days (with steam
                         reheat).
5a....................  One cold startup                           0.062
                         with low-load
                         cycling (with steam
                         reheat).
5b....................  Two cold startups                          0.069
                         with low-load
                         cycling (with steam
                         reheat).
5c....................  Three cold startups                        0.073
                         with low-load
                         cycling (with steam
                         reheat).
------------------------------------------------------------------------

    RMB then indicated that if the emission limit were considered a 
``never to be exceeded value,'' an additional compliance margin should 
be incorporated given that the 99th percentile value does not account 
for the entire potential range of operating conditions that may occur. 
RMB indicated that rounding upwards to the next highest reasonable 
interval, 0.080 lb/MMBtu, would provide an approximate 10 percent 
compliance margin, and proposed that this value represents the lowest 
achievable NOX emission limit for Unit 1. The full RMB 
analysis is included in the docket for this proposed rule.
    SRP provided additional information to EPA on April 28, 2014, that 
included documentation on SCR design parameters for Unit 2, the number 
of historical startup events occurring within single 30-day periods for 
Units 1 and 2, and expected future operation of Units 1 and 2.\28\
---------------------------------------------------------------------------

    \28\ Letter from Kelly J. Barr, SRP, to Deborah Jordan, EPA 
(April 28, 2014) and attachments.
---------------------------------------------------------------------------

b. EPA's Evaluation of Unit 1
    In proposing a unit-specific limit for Unit 1, we have reviewed 
each of the analyses provided by SRP including the emission 
spreadsheets developed by S&L for several load profile scenarios. In 
addition, we have compared SRP's emission estimates for certain load 
profiles with actual Unit 1 emission data as reported to the Air 
Markets Program Data (AMPD).\29\ We consider the emission rates used by 
S&L for the various load profiles to be reasonable and generally 
consistent with emission data reported to AMPD. We also consider the 
scenarios examined by S&L to be realistic depictions of load profile 
scenarios that were historically experienced by the Coronado units. 
AMPD and Energy Information Administration (EIA) records indicate 
periods of both high-load and low-load cycling, as well as 30-day 
periods with multiple shutdown periods.\30\ The greatest number of cold 
startups occurring in a single 30-day period examined by the the S&L 
load profile scenarios was three. Although we have not identified an 
actual historical 30-day period exhibiting three cold startups, we 
consider this a reasonable assumption given both the number of startup 
events that have historically occurred,\31\ as well as SRP's 
expectation that the Coronado units will experience greater periods of 
operation in load-following service or non-operation given the expanded 
role of renewable energy sources.\32\ As a result, we consider the 
emission rate of 0.065 lb/MMBtu, which corresponds to a scenario 
consisting of low-load cycling operations (with steam reheat) and 3 
cold startups within a 30-day period, to be a reasonable estimate of 
average SCR performance for Unit 1.
---------------------------------------------------------------------------

    \29\ As noted in SRP's April 28, 2014 information response, we 
requested detailed emission spreadsheets for several scenarios, 
including high-load cycling, low-load cycling, and low-load cycling 
including multiple startups.
    \30\ See spreadsheet ``Coronado 2008-11 NOX Emission 
Data (daily).xls''.
    \31\ See SRP's April 28, 2014 letter, Attachment A (Multiple 
Start Summary).
    \32\ See April 28, 2014 letter. Expanded periods of load 
following service will result in greater periods of low-load 
cycling, as well as increase the need for startup/shutdown events.
---------------------------------------------------------------------------

    With regard to the RMB analysis, we are unable to assess fully this 
analysis, as it lacked documentation regarding many of its components. 
In particular, RMB did not identify the UPL equation(s) it used or the 
emission rate characteristics, data distribution, number of emission 
rates, or t- or z-scores. RMB did not present specific evidence that 
the two SCR-equipped units are representative of how Coronado will 
perform when carefully operated after installation of SCR. In 
particular, RMB did not address the possibility that the SCR systems on 
these two units malfunctioned or were incorrectly operated during the 
data period. Accordingly, we are unable to evaluate RMB's assertions 
regarding its UPL calculations.
    More fundamentally, we do not consider a UPL analysis to be 
necessary or appropriate for use in establishing an emission limit for 
Coronado Unit 1. Because the UPL method is a statistical technique, it 
is essentially an analytical tool that can be applied to any data set

[[Page 17016]]

and produce a UPL value for a specified percentile (i.e., 95th, 98th, 
99th percentile, etc). While UPL has been used by EPA to establish 
emission standards in other rulemakings, the context for those 
rulemakings differs significantly from the context for this action. In 
general, EPA has employed the UPL method in instances where it was 
necessary to establish an emission standard based on a limited number 
of emission measurements, such as when establishing maximum available 
control technology (MACT) standards or new source performance standards 
(NSPS).\33\ The emission data available for establishing MACT standards 
are generally in the form of short-term, three-run stack tests, with 
each test-run lasting between one and four hours. These short-term 
tests represent three ``snapshots'' of a source's operation and 
generally will not represent a source's full range of operations or 
emission levels. Accordingly, when establishing an emission standard 
that applies continuously across an entire source category, EPA 
considers it necessary to account for the emissions and operations over 
a fuller range using data sets that encompass longer time periods 
(i.e., collected over several months to a year or more of operation). 
In such situations, EPA applies the UPL method to predict the emission 
levels the source is achieving at times other than when the stack 
testing is conducted. For example, it is common for EPA to establish an 
emission standard for a particular source category for which only three 
to six test results may be available. Because these three to six data 
points do not represent the full range of unit operations, the UPL 
method is employed to ``fill in the blanks'' when developing an 
emission standard that is appropriate for a broader range of 
operations. As described in a memo regarding the use of UPL in 
establishing MACT standards, ``EPA did not have emissions information 
from sources at all times each source was operating, and therefore 
determined it was necessary to apply a methodology that addressed the 
fact that the data were not complete.'' \34\ Furthermore, while EPA has 
used the UPL method in other instances besides MACT standards, such as 
in developing NSPS, the emission data sets for those rulemakings were 
also very limited, numbering at most in the dozens of test results for 
specific source subcategories.
---------------------------------------------------------------------------

    \33\ In particular, EPA has used the UPL method in the Mercury 
and Air Toxics Standard (MATS), also known as the Boiler MACT, the 
Wool Fiberglass MACT, the Phosphoric Acid and Phosphate Fertilizer 
MACT, and the Nitric Acid Plant NSPS.
    \34\ Memorandum from Susan Fairchild to Docket Number EPA-HQ-
OAR-2010-1041, ``Use of the Upper Prediction Limit for Calculating 
MACT Floors'' (July 14, 2014); see also Memo from Susan Fairchild to 
Docket No. EPA-HQ-OAR-2010-1041, ``Approach for Applying the Upper 
Prediction Limit to Limited Datasets'' (October 6, 2014).
---------------------------------------------------------------------------

    By contrast, the data set available here is much more extensive, 
represents continuous data collected over a long period of time, and 
covers a wider range of unit operations. In particular, the UPL 
analyses performed by RMB for Coronado Unit 1 and the three SCR-
equipped coal-fired boilers examined actual emission data from CEMS (or 
in the case of Coronado Unit 1, modeled emission data based on actual 
load operation) that consisted of thousands of data points collected 
continuously over periods of time ranging from eight months to over a 
year. As noted above, this is a different context than rulemakings in 
which EPA has employed the UPL method to develop category-wide emission 
standards based on, at most, a few dozen data points. Given the size 
and scope of the data set available in this instance, we propose to 
find that the use of the UPL method is not appropriate.\35\
---------------------------------------------------------------------------

    \35\ In addition, we note that we consider RMB's application of 
its UPL-estimated variability to the results of the S&L modeling 
inappropriate. The S&L modeling results already account for 
substantial degree of operational variability by assuming a 
conservative operating scenario of low-load cycling and 3 cold 
startups in a single 30-day period. Applying the UPL-estimated 
variability on top of the S&L modeling could be described, to a 
degree, as ``double counting'' operational variability.
---------------------------------------------------------------------------

    Finally, we do not agree with RMB's suggestion that the emission 
limit for Coronado Unit 1 should be rounded up to provide an additional 
compliance margin. We note that the UPL methodology used by EPA for 
MACT standard development does not include rounding up to the next 
highest reasonable interval as suggested by RMB. Given the conservative 
nature of the assumptions in the S&L analysis, we do not consider 
additional compliance margin appropriate in this instance.
    Accordingly, in evaluating an appropriate limit for Coronado Unit 
1, we have relied primarily upon the information provided in the S&L 
analysis. This analysis found that an emission rate of 0.065 lb/MMBtu 
would be appropriate for a scenario consisting of low-load cycling 
operations (with steam reheat) and three cold startups within a 30-day 
period. As described above, we consider this to be a reasonable 
estimate of SCR performance for Coronado Unit 1. We are are therefore 
proposing a limit of 0.065 lb/MMBtu on a rolling 30-BOD basis.
2. Proposed Emission Limit for Coronado Unit 2
a. SRP's Analysis of Unit 2
    SRP also provided documentation in its April 28, 2014 letter of 
Unit 2 design parameters and indicated that it is proceeding with the 
installation of a low-load temperature-control system (i.e., steam 
reheat) for Unit 2. In addition, SRP stated that the design parameters 
demonstrate that Unit 2 was properly designed to meet the 0.080 lb/
MMBtu NOX limit required by the Coronado Consent Decree. 
Based on these design parameters and emission modeling performed by 
S&L, SRP reiterated that the design of Unit 2 could not accommodate a 
NOX emission limit lower than that required by the Consent 
Decree. SRP has met certain terms of the Consent Decree by operating 
Unit 2 with SCR since June 1, 2014. Finally, in response to an inquiry 
from EPA regarding the possibility of a work practice standard for the 
SCR system on Unit 2, SRP indicated that certain language from the 
Coronado Consent Decree and the Title V operating permit requiring 
proper operation of NOX controls are sufficient to ensure 
that NOX emissions are minimized.
b. EPA's Evaluation of Unit 2
    In our final rule published on December 5, 2012, establishing the 
NOX emission limit for Coronado Units 1 and 2, we stated the 
following regarding Unit 2:

In recognition of the work already performed by SRP to meet the 
consent decree emission limit of 0.080 lb/MMBtu for Unit 2, and to 
avoid interfering with SRP's ability to meet that requirement by the 
deadline of June 1, 2014, we have decided not to require a BART 
emission limit for Coronado 2 more stringent than 0.080 lb/MMBtu.

    The information subsequently provided by SRP supports the assertion 
that the emission limit in the Consent Decree of 0.080 lb/MMBtu 
represents BART for this unit. In particular, the fact that SRP has 
already installed a low-load temperature-control system at this unit in 
order to meet the 0.080 lb/MMBtu limit suggests that a lower limit 
would not be achievable on a 30-BOD basis. As a result, we propose to 
set a unit-specific NOX limit for Unit 2 of 0.080 lb/MMBtu, 
based on a rolling 30-BOD basis.
    In addition, we propose to revise the work practice standard at 40 
CFR 52.145(f)(10) to require the operation of the SCR at all times that 
Unit 2 is in operation, consistent with technological

[[Page 17017]]

limitations.\36\ As noted in SRP's letter dated April 28, 2014, the 
Consent Decree contains a work practice standard for Unit 2. This 
language is included in the facility's current Title V operating 
permit.\37\ We are proposing to include this same language in the BART 
FIP in order to ensure that the SCR is operated at all times during 
which it is technologically feasible to do so. In particular, we note 
that, based on the information provided by SRP, periods of low-load 
operation are a significant element of the Coronado units' operations. 
Given the installation of a low-load temperature-control system on Unit 
2, the SCR system is now capable of operating at lower loads (i.e., 
between about 138 MW and 270 MW) on Unit 2. Accordingly, we are 
proposing to revise the work practice standard in the FIP to ensure 
that the SCR system operates during these periods of low-load 
operation.
---------------------------------------------------------------------------

    \36\ See CAA Section 302(k) (defining ``emission limit'' to 
include ``any requirement relating to the operation or maintenance 
of a source to assure continuous emission reduction, and any design, 
equipment, work practice or operational standard promulgated under 
this chapter'').
    \37\ Specific Conditions II.E.2.b and c, Title V Operating 
Permit No. 52693, issued December 6, 2011.
---------------------------------------------------------------------------

C. Proposed Removal of Affirmative Defense for Malfunctions

    The Arizona RH FIP incorporates by reference certain provisions of 
the Arizona Administrative Code that establish an affirmative defense 
for excess emissions due to malfunctions.\38\ In the interim since 
EPA's promulgation of that FIP, the United States Court of Appeals for 
the DC Circuit ruled that CAA sections 113 and 304 preclude EPA from 
creating affirmative defense provisions in the Agency's own regulations 
imposing emission limits on sources.\39\ The court found that such 
affirmative defense provisions purport to alter the jurisdiction of 
federal courts to assess liability and impose penalties for violations 
of those limits in private civil enforcement cases. The court's holding 
makes it clear that the CAA does not authorize promulgation of such a 
provision by EPA. In particular, the court's decision turned on an 
analysis of CAA sections 113 (``Federal enforcement'') and 304 
(``Citizen suits''). These provisions apply with equal force to a civil 
action brought to enforce the provisions of a FIP. The logic of the 
court's decision thus applies to the promulgation of a FIP, and 
precludes EPA from including an affirmative defense provision in a FIP. 
Furthermore, in light of the DC Circuit's decision, EPA has proposed to 
find R18-2-310(B) and R18-2-310(C) substantially inadequate to meet CAA 
requirements and to issue a SIP call with respect to these 
provisions.\40\ Consistent with the reasoning of the DC Circuit and 
EPA's proposed SIP call, we are proposing to remove the affirmative 
defense provision in the Arizona Regional Haze FIP. In addition to 
Coronado, this revision would also affect Cholla.
---------------------------------------------------------------------------

    \38\ See 40 CFR 52.145(f)(11) (incorporating by reference R-18-
2-101, paragraph 65; R18-2-310, sections (A), (B), (D) and (E); and 
R18-2-310.01).
    \39\ See NRDC v. EPA, 749 F.3d 1055 (D.C. Cir. 2014).
    \40\ 79 FR 55920, 55947 (September 17, 2014).
---------------------------------------------------------------------------

D. Non-Interference With Applicable Requirements

    The CAA requires that any revision to an implementation plan shall 
not be approved by the Administrator if the revision would interfere 
with any applicable requirement concerning attainment, reasonable 
further progress, or any other applicable requirement of the CAA.\41\
---------------------------------------------------------------------------

    \41\ CAA Section 110(l), 42 U.S.C. 7410(l). In this instance EPA 
is proposing to promulgate a revision to a FIP, rather than to 
approve a revision to a SIP. Although 110(l) on its face applies 
only to EPA approvals of plan revisions, we have nonetheless 
considered whether this proposed action would interfere with the 
requirements of the CAA.
---------------------------------------------------------------------------

    EPA has promulgated health-based standards, known as the national 
ambient air quality standards (NAAQS), for seven pollutants, including 
NO2, a component of NOX, and pollutants such as 
ozone and particulate matter with a diameter less than or equal to 2.5 
micrometers (PM2.5), that are formed in the atmosphere from 
reactions between NOX and other pollutants. Using a process 
that considers air quality data and other factors, EPA designates areas 
as ``nonattainment'' if those areas violate a NAAQS or cause or 
contribute to violations of a NAAQS in a nearby area. Reasonable 
further progress, as defined in section 171 of the CAA, is related to 
attainment and means ``such annual incremental reductions in emissions 
of the relevant air pollutant . . . for the purpose of ensuring 
attainment of the applicable [NAAQS].'' Coronado is located in Apache 
County, Arizona, which is designated as Unclassifiable/Attainment for 
all of the NAAQS. Therefore, we propose to find that a revision to the 
BART emission limits for NOX will not interfere with 
attainment or reasonable further progress for any air quality standard.
    The other requirements of the CAA that are applicable to Coronado 
are:
     Standards of Performance for New Stationary Sources, 40 
CFR part 60, subpart D;
     National Emission Standards for Hazardous Air Pollutants, 
40 CFR part 63, subpart UUUUU;
     Compliance Assurance Monitoring, 40 CFR part 64;
     BART and other visibility protection requirements under 
CAA sections 110(a)(2)(J) and 169A and 40 CFR part 51, subpart P; and
     Interstate transport visibility requirements under CAA 
section 110(a)(2)(D)(i)(II).
    Today's proposed revisions would not affect the applicable 
requirements of the National Emission Standards for Hazardous Air 
Pollutants, Standards of Performance for New Stationary Sources, or 
Compliance Assurance Monitoring requirements. Therefore, we propose to 
find that these revisions would not interfere with these requirements.
    The proposed revisions would alter the specific emission limits 
that constitute BART for NOX at Coronado under CAA section 
169A and 40 CFR 51.308(e). However, we expect the effect of the 
proposed changes on visibility will be very small. In particular, we 
note that, under the BART Guidelines, the ``degree of visibility 
improvement'' expected to result from BART is evaluated through 
modeling of the highest emission rate observed on a 24-hour 
average.\42\ Although today's rule would raise the emission rate 
allowed on a 30-day rolling average, we do not expect that it would 
alter the rate on a 24-hour basis. First, the 24-hour maximum emission 
rate used in visibility modeling corresponds to operation of the SCR 
during periods of full load, steady state operation. As noted 
previously, the BART limits proposed in today's rule are still 
consistent with the application of SCR. In addition, the underlying 
assumptions regarding SCR emission rate and performance remain 
unchanged from the December 5, 2012, final rule. Second, the 
adjustments to the rolling 30-day emission limit were made to 
accommodate periods of startup and shutdown. Specifically, BART limits 
for EGUs are established based on a 30-day rolling average and must be 
met on a continuous basis, including during periods of startup, 
shutdown, and malfunction.\43\ As described previously, the SCR system 
requires a certain minimum temperature in order to operate properly. As 
a result, there will necessarily be certain periods of time during 
startup and shutdown in which the SCR system is not technologically

[[Page 17018]]

capable of operating. This does not alter any of the assumptions 
regarding the SCR system when it is in operation, such as the maximum 
24-hour emission rate, which is the basis of the visibility modeling. 
Moreover, the BART Guidelines recommend that periods of startup and 
shutdown be excluded from the visibility modeling.\44\ Therefore, the 
degree of visibility improvement would not be significantly diminished.
---------------------------------------------------------------------------

    \42\ BART Guidelines 40 CFR part 51, Appendix Y, section IV.D.5.
    \43\ See CAA section 302(k).
    \44\ Id. section III.A.3 (recommending that ``emissions 
reflecting periods of start-up, shutdown, and malfunction'' not be 
used for modeling.).
---------------------------------------------------------------------------

    With respect to the CAA's reasonable progress requirements under 
CAA section 110(a)(2)(J) and 169A, we note that in a September 3, 2014, 
final rule, we set reasonable progress goals (RPGs) for Arizona that 
accounted for the emission reductions projected to result from 
implementation of BART at Coronado (among other sources).\45\ The 
revised emission limits we are proposing today will allow for greater 
total annual NOX emissions than the FIP. We have therefore 
considered the impact of additional emissions on the RPGs. As 
summarized in Tables 4 and 5, the difference in NOX 
emissions between the Arizona RH FIP and today's proposed rule is 
approximately 233 tons per year (tpy).\46\ This amount represents less 
than one percent of the projected total NOX emission 
reductions in the FIP. Therefore, we consider its potential impact on 
the RPGs to be de minimis.
---------------------------------------------------------------------------

    \45\ 79 FR 52420, 52468-52469.
    \46\ This value assumes that the units will fully operate at the 
allowed emission rates in Table 4 and 5 for every month of the year. 
Given that the 30-BOD limits are based on conditions that occur 
infrequently (i.e., low-load cycling, 3 cold startup/shutdowns), 
during many periods the units can be expected to operate at a lower 
emission rate. As a result, this value represents a conservative 
(i.e., tending to overestimate rather than underestimate in this 
context) estimate of the difference in NOX emissions.
---------------------------------------------------------------------------

    Finally, CAA section 110(a)(2)(D)(i)(II) requires that all SIPs 
contain adequate provisions to prohibit emissions that will interfere 
with other states' required measures to protect visibility. In our 
final rule of September 3, 2014, we determined that control measures in 
the Arizona RH SIP and FIP were sufficient to fulfill this requirement 
for the 1997 8-hour ozone, 1997 PM2.5, and 2006 
PM2.5 NAAQS.\47\ As noted above, while today's proposal 
would allow for an increase in emissions of 233 tpy compared to the 
FIP, this represents less than one percent of the projected total 
NOX emission reductions in the FIP. Accordingly, we propose 
to determine that this change would not alter our determination that 
the control measures in the Arizona RH SIP and FIP are adequate to 
prevent Arizona's emissions from interfering with other states' 
required measures to protect visibility. Thus, we propose to find that 
today's proposed revisions would not interfere with any applicable 
requirement of the CAA.
---------------------------------------------------------------------------

    \47\ 79 FR 52426.

                                             Table 4--Coronado SCR Emission Rate Allowed Under 2012 EPA FIP
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                    Heat duty \1\      NOX emission limit                                          NOX
                                                ---------------------         \2\                              -----------------------------------------
                    Unit No.                                         --------------------- Capacity factor \1\
                                                      (MMBtu/hr)           (lb/MMBtu)                                 (lb/hr)               (tpy)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Coronado 1.....................................                 4316                0.065                 0.84               280.54                2,042
Coronado 2.....................................                 3984  ...................                 0.89               258.96  ...................
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Supplemental Cost Analysis 2012-11-15.
\2\ Emission limit per FIP final rule, 77 FR 72578.


                                    Table 5--Coronado SCR Emission Rate Allowed Under Proposed 2015 EPA FIP Revision
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                    Heat duty \1\      NOX emission limit                                          NOX
                    Unit No.                    ------------------------------------------ Capacity factor \1\ -----------------------------------------
                                                      (MMBtu/yr)           (lb/MMBtu)                                 (lb/hr)               (tpy)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Coronado 1.....................................                 4316                0.065                 0.84               280.54                2,275
Coronado 2.....................................                 3984                0.080                 0.89               318.72  ...................
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Supplemental Cost Analysis 2012-11-15.

IV. EPA's Proposed Action

    EPA is proposing to revise the Arizona RH FIP to replace a plant-
wide BART compliance method and emission limit for NOX on 
Units 1 and 2 at Coronado with a single-unit compliance method and 
emission limit on each of the units. As described in today's action, we 
are proposing an emission limit of 0.065 lb/MMBtu for Unit 1 and 0.080 
lb/MMBtu for Unit 2 with compliance based on a rolling 30-BOD basis. 
This revision would constitute our action on SRP's petition for 
reconsideration of the FIP. We also are proposing to remove the 
affirmative defense for malfunctions in the FIP and revise the work 
practice requirement that applies to Coronado.

V. Statutory and Executive Order Reviews

A. Executive Order 12866: Regulatory Planning and Review and Executive 
Order 13563: Improving Regulation and Regulatory Review

    This action is not a significant regulatory action and was 
therefore not submitted to the Office of Management and Budget (OMB) 
for review. This rule applies to only two facilities and is therefore 
not a rule of general applicability.

B. Paperwork Reduction Act (PRA)

    This action does not impose an information collection burden under 
the provisions of the Paperwork Reduction Act, 44 U.S.C. 3501 et seq. 
This rule applies to only two facilities. Therefore, its recordkeeping 
and reporting provisions do not constitute a ``collection of 
information'' as defined under 44 U.S.C. 3502(3) and 5 CFR 1320.3(c).

 C. Regulatory Flexibility Act (RFA)

    I certify that this proposed action will not have a significant 
economic impact on a substantial number of small entities. This action 
will not impose any requirements on small entities. Firms primarily 
engaged in the generation, transmission, and/or distribution of 
electric energy for sale are small if, including affiliates, the total 
electric output for the preceding fiscal year did not exceed 4 million 
megawatt hours. Each of the owners of facilities affected

[[Page 17019]]

by this rule, SRP, Arizona Public Service and PacifiCorp, exceeds this 
threshold.

 D. Unfunded Mandates Reform Act (UMRA)

    This action does not contain an unfunded mandate of $100 million or 
more as described in UMRA, 2 U.S.C. 1531-1538, and does not 
significantly or uniquely affect small governments.

E. Executive Order 13132: Federalism

    This action does not have federalism implications. It will not have 
substantial direct effects on the states, on the relationship between 
the national government and the states, or on the distribution of power 
and responsibilities among the various levels of government.

 F. Executive Order 13175: Consultation and Coordination With Indian 
Tribal Governments

    This action does not have tribal implications, as specified in 
Executive Order 13175. It will not have substantial direct effects on 
any Indian tribes, on the relationship between the Federal Government 
and Indian tribes, or on the distribution of power and responsibilities 
between the Federal Government and Indian tribes. Thus, Executive Order 
13175 does not apply to this action.

 G. Executive Order 13045: Protection of Children From Environmental 
Health Risks and Safety Risks

    EPA interprets EO 13045 as applying only to those regulatory 
actions that concern health or safety risks that EPA has reason to 
believe may disproportionately affect children, per the definition of 
``covered regulatory action'' in section 2-202 of the Executive Order. 
This action is not subject to Executive Order 13045 because it does not 
concern an environmental health risk or safety risk.

 H. Executive Order 13211: Actions Concerning Regulations That 
Significantly Affect Energy Supply, Distribution, or Use

    This action is not subject to Executive Order 13211 because it is 
not a significant regulatory action under Executive Order 12866.

 I. National Technology Transfer and Advancement Act

    This rulemaking does not involve technical standards. EPA is not 
proposing to revise any technical standards or impose any new technical 
standards in this action.

J. Executive Order 12898: Federal Actions To Address Environmental 
Justice in Minority Populations and Low-Income Populations

    EPA believes the human health or environmental risk addressed by 
this action will not have potential disproportionately high and adverse 
human health or environmental effects on minority, low-income or 
indigenous populations. We expect that Coronado will install the same 
control technology in order to meet the revised emission limits as 
would have been necessary to meet the previously finalized limits. As 
shown in Tables 4 and 5 above, the difference in NOX 
emissions between the final EPA FIP and today's proposed rule is 
approximately 233 tons per year (tpy). Although this is a not a trivial 
amount of emissions, it is relatively small compared to the facility's 
total emissions. In particular, 233 tpy is equivalent to about 3 
percent of the 7,300 tpy of NOX that the facility is 
presently allowed to emit under the Coronado Consent Decree.\48\ 
Furthermore, as shown in Table 5, if today's proposal is finalized, 
total NOX emissions from the facility would be roughly 2,275 
tpy, a decrease of over 5,000 tpy compared to the plant-wide cap under 
the Consent Decree. Thus, although today's proposed revision will allow 
for a marginal increase in emissions compared to the FIP, it will still 
ensure a significant reduction in emissions compared to present levels.
---------------------------------------------------------------------------

    \48\ Coronado Consent Decree, paragraph 44.
---------------------------------------------------------------------------

K. Determination Under Section 307(d)

    Pursuant to CAA section 307(d)(1)(B), EPA proposes to determine 
that this action is subject to the requirements of CAA section 307(d), 
as it revises a FIP under CAA section 110(c).

List of Subjects in 40 CFR Part 52

    Environmental protection, Air pollution control, Incorporation by 
reference, Nitrogen oxides, Reporting and recordkeeping requirements, 
Visibility.

    Authority: 42 U.S.C. 7401 et seq.

    Dated: March 13, 2015.
Jared Blumenfeld,
Regional Administrator, EPA Region IX.

    Part 52, chapter I, title 40 of the Code of Federal Regulations is 
proposed to be amended as follows:

PART 52--APPROVAL AND PROMULGATION OF IMPLEMENTATION PLANS

0
1. The authority citation for part 52 continues to read as follows:

    Authority:  42 U.S.C. 7401 et seq.

Subpart D--Arizona

0
2. In Sec.  52.145, revise paragraphs (f)(3)(i), (f)(5)(ii)(A) and (B), 
and (f)(10) and remove paragraph (f)(11) to read as follows:


Sec.  52.145  Visibility protection.

* * * * *
    (f) * * *
    (3) * * *
    (i) NOX emission limitations. The owner/operator of each coal-fired 
unit subject to this paragraph (f) shall not emit or cause to be 
emitted NOX in excess of the following limitations, in 
pounds per million British thermal units (lb/MMBtu) from any coal fired 
unit or group of coal-fired units. Each emission limit shall be based 
on a rolling 30-boiler-operating-day average, unless otherwise 
indicated in specific paragraphs.

------------------------------------------------------------------------
                                                               Federal
        Coal fired unit or group of coal-fired units           emission
                                                              limitation
------------------------------------------------------------------------
Cholla Power Plant Units 2, 3, and 4.......................        0.055
Coronado Generating Station Unit 1.........................        0.065
Coronado Generating Station Unit 2.........................        0.080
------------------------------------------------------------------------

* * * * *
    (5) * * *
    (ii) * * *
    (A) Cholla Power Plant. The 30-day rolling average NOX 
emission rate for the group of coal-fired units identified as Cholla 
Power Plant, Units 2, 3, and 4 shall be calculated for each calendar 
day, even if a unit is not in operation on that calendar day, in 
accordance with the following procedure: Step one, for each unit, sum 
the hourly pounds of NOX emitted during the current boiler-
operating day (or most recent boiler-operating day if the unit is not 
in operation), and the preceding twenty-nine (29) boiler-operating 
days, to calculate the total pounds of NOX emitted over the 
most recent thirty (30) boiler-operating day period for each coal-fired 
unit; step two, for each unit, sum the hourly heat input, in MMBtu, 
during the current boiler-operating day (or most recent boiler-
operating day if the unit is not in operation), and the preceding 
twenty-nine (29) boiler-operating days, to calculate the total heat 
input, in MMBtu, over the most recent thirty (30) boiler-operating day 
period for each coal-fired unit; step 3, sum together the total pounds 
of NOX emitted from the group of coal-fired units over each 
unit's most recent thirty (30) boiler-operating day period (the

[[Page 17020]]

most recent 30 boiler-operating day periods for different units may be 
different); step four, sum together the total heat input from the group 
of coal-fired units over each unit's most recent thirty (30) boiler-
operating day period; and step five, divide the total pounds of 
NOX emitted from step three by the total heat input from 
step four for each group of coal-fired units, to calculate the 30-day 
rolling average NOX emission rate for each group of coal-
fired units, in pounds of NOX per MMBtu, for each calendar 
day. Each 30-day rolling average NOX emission rate shall 
include all emissions and all heat input that occur during all periods 
within any boiler-operating day, including emissions from startup, 
shutdown, and malfunction.
    (B) Coronado Generating Station. Compliance with the NOX 
emission limits for Coronado Unit 1 and Coronado Unit 2 in paragraph 
(f)(3)(i) of this section shall be determined on a rolling 30 boiler-
operating-day basis. The 30-boiler-operating-day rolling NOX 
emission rate for each unit shall be calculated in accordance with the 
following procedure: Step one, sum the total pounds of NOX 
emitted from the unit during the current boiler operating day and the 
previous twenty-nine (29) boiler operating days; Step two, sum the 
total heat input to the unit in MMBtu during the current boiler 
operating day and the previous twenty-nine (29) boiler operating days; 
Step three, divide the total number of pounds of NOX emitted 
from that unit during the thirty (30) boiler operating days by the 
total heat input to the unit during the thirty (30) boiler operating 
days. A new 30-boiler-operating-day rolling average NOX 
emission rate shall be calculated for each new boiler operating day. 
Each 30-boiler-operating-day average NOX emission rate shall 
include all emissions that occur during all periods within any boiler 
operating day, including emissions from startup, shutdown, and 
malfunction.
* * * * *
    (10) Equipment operations.--(i) Cholla Power Plant. At all times, 
including periods of startup, shutdown, and malfunction, the owner or 
operator of Cholla Power Plant Units 2, 3 and 4 shall, to the extent 
practicable, maintain and operate each unit including associated air 
pollution control equipment in a manner consistent with good air 
pollution control practices for minimizing emissions. Pollution control 
equipment shall be designed and capable of operating properly to 
minimize emissions during all expected operating conditions. 
Determination of whether acceptable operating and maintenance 
procedures are being used will be based on information available to the 
Regional Administrator which may include, but is not limited to, 
monitoring results, review of operating and maintenance procedures, and 
inspection of each unit.
    (ii) Coronado Generating Station. At all times, including periods 
of startup, shutdown, and malfunction, the owner or operator of 
Coronado Generating Station Unit 1 and Unit 2 shall, to the extent 
practicable, maintain and operate each unit in a manner consistent with 
good air pollution control practices for minimizing emissions. The 
owner or operator shall continuously operate pollution control 
equipment at all times the unit it serves is in operation, and operate 
pollution control equipment in a manner consistent with technological 
limitations, manufacturer's specifications, and good engineering and 
good air pollution control practices for minimizing emissions. 
Determination of whether acceptable operating and maintenance 
procedures are being used will be based on information available to the 
Regional Administrator which may include, but is not limited to, 
monitoring results, review of operating and maintenance procedures, and 
inspection of each unit.
* * * * *
[FR Doc. 2015-07233 Filed 3-30-15; 8:45 am]
 BILLING CODE 6560-50-P



                                                      17010                    Federal Register / Vol. 80, No. 61 / Tuesday, March 31, 2015 / Proposed Rules

                                                         (1) For airplanes on which any LG selector            within 4,000 flight hours after accomplishing        Airplane Directorate, 1601 Lind Avenue SW.,
                                                      valve having part number (P/N) 114079019 is              the additional modification of the LGCIU.            Renton, WA. For information on the
                                                      installed and that have embodied Airbus                                                                       availability of this material at the FAA, call
                                                                                                               (l) Credit for Previous Actions
                                                      Modification 38947 specified in Airbus                                                                        425–227–1221.
                                                      Service Bulletin A320–32–1348 during                        This paragraph provides credit for A319
                                                                                                               Corporate Jet airplanes for the modification           Issued in Renton, Washington, on March
                                                      production or in service: Modify the LGCIU                                                                    20, 2015.
                                                      within 72 months after the effective date of             required by paragraph (g) of this AD if that
                                                      this AD.                                                 modification was performed before the                Michael Kaszycki,
                                                         (2) For airplanes on which any LG selector            effective date of this AD using Airbus Service       Acting Manager, Transport Airplane
                                                      valve 40GA having a part number listed in                Bulletin A320–32–1349, dated December 4,             Directorate, Aircraft Certification Service.
                                                      paragraphs (i)(2)(i) through (i)(2)(xii) of this         2008; Airbus Service Bulletin A320–32–1349,          [FR Doc. 2015–07281 Filed 3–30–15; 8:45 am]
                                                      AD, provided the valve has the marking ‘‘DI’’            Revision 01, dated August 31, 2009; or
                                                                                                                                                                    BILLING CODE 4910–13–P
                                                      or ‘‘DI–BE’’ recorded on its amendment                   Airbus Service Bulletin A320–32–1349,
                                                      plates: Modify the LGCIU within 72 months                Revision 02, dated June 16, 2010.
                                                      after the effective date of this AD.                     (m) Other FAA AD Provisions
                                                         (i) P/N 114079001.                                                                                         ENVIRONMENTAL PROTECTION
                                                                                                                  The following provisions also apply to this       AGENCY
                                                         (ii) P/N 114079005.
                                                                                                               AD:
                                                         (iii) P/N 114079009.
                                                                                                                  (1) Alternative Methods of Compliance             40 CFR Part 52
                                                         (iv) P/N 114079013.
                                                                                                               (AMOCs): The Manager, International
                                                         (v) P/N 114079001A.
                                                                                                               Branch, ANM–116, Transport Airplane                  [EPA–R09–OAR–2015–0165; FRL–9925–31–
                                                         (vi) P/N 114079005A.
                                                                                                               Directorate, FAA, has the authority to               Region 9]
                                                         (vii) P/N 114079009A.
                                                                                                               approve AMOCs for this AD, if requested
                                                         (viii) P/N114079015.
                                                                                                               using the procedures found in 14 CFR 39.19.          Promulgation of Air Quality
                                                         (ix) P/N 114079001AB.
                                                                                                               In accordance with 14 CFR 39.19, send your           Implementation Plans; Arizona;
                                                         (x) P/N 114079005AB.                                  request to your principal inspector or local
                                                         (xi) P/N 114079009AB.                                                                                      Regional Haze Federal Implementation
                                                                                                               Flight Standards District Office, as                 Plan; Reconsideration
                                                         (xii) P/N 114079017.                                  appropriate. If sending information directly
                                                         (3) For all airplanes other than those                to the International Branch, send it to ATTN:
                                                      identified in paragraphs (i)(1) and (i)(2) of                                                                 AGENCY:  Environmental Protection
                                                                                                               Sanjay Ralhan, Aerospace Engineer,                   Agency.
                                                      this AD: Modify the LGCIU within 60 months               International Branch, ANM–116, Transport
                                                      after the effective date of this AD.                     Airplane Directorate, FAA, 1601 Lind                 ACTION: Proposed rule.
                                                      (j) New Modification for Airplanes                       Avenue SW., Renton, WA 98057–3356;
                                                                                                               telephone 425–227–1405; fax 425–227–1149.            SUMMARY:    The Environmental Protection
                                                      Previously Modified
                                                                                                               Information may be emailed to: 9-ANM-116-            Agency (EPA) is proposing to revise part
                                                         For airplanes that have been modified as of           AMOC-REQUESTS@faa.gov. Before using                  of the Arizona Regional Haze (RH)
                                                      the effective date of this AD as specified in            any approved AMOC, notify your appropriate           Federal Implementation Plan (FIP)
                                                      the applicable service information identified            principal inspector, or lacking a principal          applicable to the Coronado Generating
                                                      in paragraph (j)(1), (j)(2), (j)(3), or (j)(4) of this   inspector, the manager of the local flight
                                                      AD, except airplanes on which Airbus                                                                          Station (Coronado). In response to a
                                                                                                               standards district office/certificate holding        petition for reconsideration from the
                                                      modification 37866 has been embodied in                  district office. The AMOC approval letter
                                                      production: Within 72 months after the                                                                        Salt River Project Agricultural
                                                                                                               must specifically reference this AD.
                                                      effective date of this AD, do the additional                (2) AMOCs approved previously for AD              Improvement and Power District (SRP),
                                                      modification of the LGCIU, in accordance                 2013–13–04, Amendment 39–17492 (78 FR                the owner/operator of Coronado, we are
                                                      with the Accomplishment Instructions of                  41286, July 10, 2013) are approved as                proposing to replace a plant-wide
                                                      Airbus Service Bulletin A320–32–1346,                    AMOCs for the corresponding provisions of            compliance method with a unit-specific
                                                      Revision 05, dated January 13, 2012.                     this AD.                                             compliance method for determining
                                                         (1) Airbus Service Bulletin A320–32–1346,                (3) Contacting the Manufacturer: As of the        compliance with the best available
                                                      Revision 01, dated October 27, 2009, which               effective date of this AD, for any requirement
                                                      is not incorporated by reference in this AD.                                                                  retrofit technology (BART) emission
                                                                                                               in this AD to obtain corrective actions from         limits for nitrogen oxides (NOX) from
                                                         (2) Airbus Service Bulletin A320–32–1346,             a manufacturer, the action must be
                                                      Revision 02, dated November 4, 2009, which               accomplished using a method approved by
                                                                                                                                                                    Units 1 and 2 at Coronado. While the
                                                      is not incorporated by reference in this AD.             the Manager, International Branch, ANM–              plant-wide limit for the NOX emissions
                                                         (3) Airbus Service Bulletin A320–32–1346,             116, Transport Airplane Directorate, FAA; or         from Units 1 and 2 were established as
                                                      Revision 03, dated January 7, 2010, which is             the European Aviation Safety Agency                  0.065 lb/MMBtu, we are proposing a
                                                      not incorporated by reference in this AD.                (EASA); or Airbus’s EASA Design                      unit-specific limit of 0.065 lb/MMBtu
                                                         (4) Airbus Service Bulletin A320–32–1346,             Organization Approval (DOA). If approved by          for Unit 1 and 0.080 lb/MMBtu for Unit
                                                      including Appendices 01 and 02, Revision                 the DOA, the approval must include the               2. In addition, we are proposing to
                                                      04, dated April 22, 2011, which is                       DOA-authorized signature.
                                                      incorporated by reference in AD 2013–13–04,                                                                   revise the work practice standard in the
                                                      Amendment 39–17492 (78 FR 41286, July 10,                (n) Related Information                              FIP for Coronado. Finally, we are
                                                      2013).                                                     (1) Refer to Mandatory Continuing                  proposing to remove the affirmative
                                                                                                               Airworthiness Information (MCAI) EASA                defense for malfunctions from the
                                                      (k) New Maintenance or Inspection Program
                                                                                                               Airworthiness Directive 2013–0202, dated             Arizona RH FIP, which applies to both
                                                      Revision                                                 September 5, 2013, for related information.          Coronado and the Cholla Power Plant
                                                        Before further flight after accomplishing              This MCAI may be found in the AD docket              (Cholla).
                                                      the actions specified in paragraph (i) or (j) of         on the Internet at http://www.regulations.gov
asabaliauskas on DSK5VPTVN1PROD with PROPOSALS




                                                      this AD or within 7 days after the effective             by searching for and locating Docket No.             DATES:  Written comments must be
                                                      date of this AD, whichever occurs later:                 FAA–2015–0678.                                       submitted to the designated contact on
                                                      Revise the maintenance or inspection                       (2) For service information identified in          or before May 15, 2015. Requests for a
                                                      program, as applicable, to incorporate Task              this AD, contact Airbus, Airworthiness               public hearing must be received on or
                                                      32.30.00.17, ‘‘Functional Check of LGCIU                 Office—EAS, 1 Rond Point Maurice Bellonte,           before April 15, 2015.
                                                      Power Supply Relays,’’ of Section C–32 of                31707 Blagnac Cedex, France; telephone +33
                                                      Section C, Systems and Powerplant, of the                5 61 93 36 96; fax +33 5 61 93 44 51; email          ADDRESSES: Submit your comments,
                                                      Airbus A318/A319/A320/A321 Maintenance                   account.airworth-eas@airbus.com; Internet            identified by docket number EPA–R09–
                                                      Review Board Report, Revision 18, dated                  http://www.airbus.com. You may view this             OAR–2015–0165, by one of the
                                                      March 2013. The initial compliance time is               service information at the FAA, Transport            following methods:


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                                                                               Federal Register / Vol. 80, No. 61 / Tuesday, March 31, 2015 / Proposed Rules                                          17011

                                                         • Federal Rulemaking portal: http://                   • The initials LNB mean or refer to                 Monday through Friday, 8:30 a.m. to
                                                      www.regulations.gov. Follow the on-line                 low-NOX burners.                                      4:30 p.m., excluding Federal holidays.
                                                      instructions for submitting comments.                     • The initials MMBtu mean or refer to               Special arrangements should be made
                                                         • Email: webb.thomas@epa.gov.                        million British thermal units.                        for deliveries of boxed information.
                                                         • Fax: 415–947–3579 (Attention:                        • The initials MW mean or refer to                     EPA’s policy is to include all
                                                      Thomas Webb).                                           megawatts.                                            comments received in the public docket
                                                         • Mail, Hand Delivery, or Courier:                     • The initials NOX mean or refer to                 without change. We may make
                                                      Thomas Webb, EPA Region 9, Air                          nitrogen oxides.                                      comments available online at http://
                                                      Division (AIR–2), 75 Hawthorne Street,                    • The initials NP mean or refer to                  www.regulations.gov, including any
                                                      San Francisco, California 94105. Hand                   National Park.                                        personal information provided, unless
                                                      and courier deliveries are only accepted                  • The initials OFA mean or refer to                 the comment includes information
                                                      Monday through Friday, 8:30 a.m. to                     over fire air.                                        claimed to be CBI or other information
                                                      4:30 p.m., excluding Federal holidays.                    • The initials RMB mean or refer to                 for which disclosure is restricted by
                                                      Special arrangements should be made                     RMB Consulting and Research.                          statute. Do not submit information that
                                                      for deliveries of boxed information.                      • The initials S&L mean or refer to                 you consider to be CBI or that is
                                                         See the SUPPLEMENTARY INFORMATION                    Sargent and Lundy, a consulting firm.                 otherwise protected through http://
                                                      section for further instructions on where                 • The initials SCR mean or refer to                 www.regulations.gov or email. The
                                                      and how to learn more about this                        Selective Catalytic Reduction.                        http://www.regulations.gov Web site is
                                                      proposal, attend a public hearing, or                     • The initials SIP mean or refer to                 an ‘‘anonymous access’’ system, which
                                                      submit comments.                                        State Implementation Plan.                            means EPA will not know your identity
                                                      FOR FURTHER INFORMATION CONTACT:                          • The initials SRP mean or refer to                 or contact information unless you
                                                      Thomas Webb, U.S. EPA, Region 9,                        the Salt River Project Agricultural                   provide it in the body of your comment.
                                                      Planning Office, Air Division, Air-2, 75                Improvement and Power District.                       If you send an email comment directly
                                                      Hawthorne Street, San Francisco, CA                       • The initials UPL mean or refer to                 to EPA, without going through http://
                                                      94105. Thomas Webb can be reached at                    Upper Prediction Limit.                               www.regulations.gov, we will include
                                                      telephone number (415) 947–4139 and                     B. Docket                                             your email address as part of the
                                                      via electronic mail at webb.thomas@                                                                           comment that is placed in the public
                                                      epa.gov.                                                   The proposed action relies on                      docket and made available on the
                                                                                                              documents, information, and data that                 Internet. If you submit an electronic
                                                      SUPPLEMENTARY INFORMATION:                              are listed in the index on http://                    comment, EPA recommends that you
                                                      Table of Contents                                       www.regulations.gov under docket                      include your name and other contact
                                                                                                              number EPA–R09–OAR–2015–0165.                         information in the body of your
                                                      I. General Information
                                                                                                              Although listed in the index, some                    comment and with any disk or CD–ROM
                                                      II. Background
                                                      III. Proposed FIP Revision                              information is not publicly available                 you submit. If EPA cannot read your
                                                      IV. EPA’s Proposed Action                               (e.g., Confidential Business Information              comment due to technical difficulties
                                                      V. Statutory and Executive Order Reviews                (CBI)). Certain other material, such as               and cannot contact you for clarification,
                                                                                                              copyrighted material, is publicly                     EPA may not be able to consider your
                                                      I. General Information                                  available only in hard copy form.                     comment. Electronic files should not
                                                      A. Definitions                                          Publicly available docket materials are               include special characters or any form
                                                                                                              accessible either electronically at                   of encryption, and be free of any defects
                                                        For the purpose of this document, we
                                                                                                              http://www.regulations.gov or in hard                 or viruses.
                                                      are giving meaning to certain words or
                                                                                                              copy at the Planning Office of the Air
                                                      initials as follows:                                                                                          D. Submitting Confidential Business
                                                        • The words or initials Act or CAA                    Division, AIR–2, EPA Region 9, 75
                                                                                                              Hawthorne Street, San Francisco, CA                   Information
                                                      mean or refer to the Clean Air Act,
                                                      unless the context indicates otherwise.                 94105. EPA requests that you contact                     Do not submit CBI to EPA through
                                                        • The initials ADEQ mean or refer to                  the individual listed in the FOR FURTHER              http://www.regulations.gov or email.
                                                      the Arizona Department of                               INFORMATION CONTACT section to view                   Clearly mark the part or all of the
                                                      Environmental Quality.                                  the hard copy of the docket from                      information that you claim as CBI. For
                                                        • The words Arizona and State mean                    Monday through Friday, 9–5:00 PDT,                    CBI information in a disk or CD–ROM
                                                      the State of Arizona.                                   excluding Federal holidays.                           that you mail to EPA, mark the outside
                                                        • The initials BART mean or refer to                  C. Instructions for Submitting
                                                                                                                                                                    of the disk or CD–ROM as CBI and
                                                      Best Available Retrofit Technology.                                                                           identify electronically within the disk or
                                                                                                              Comments to EPA
                                                        • The term Class I area refers to a                                                                         CD–ROM the specific information that
                                                      mandatory Class I Federal area.1                          Written comments must be submitted                  is claimed as CBI. In addition to one
                                                        • The initials CBI mean or refer to                   on or before May 15, 2015. Submit your                complete version of the comment that
                                                      Confidential Business Information.                      comments, identified by docket number                 includes information claimed as CBI,
                                                        • The initials EGU mean or refer to                   EPA–R09–OAR–2015–0165, by one of                      you must submit a copy of the comment
                                                      Electric Generating Unit.                               the following methods:                                that does not contain the information
                                                        • The words EPA, we, us, or our mean                    • Federal Rulemaking portal: http://                claimed as CBI for inclusion in the
                                                      or refer to the United States                           www.regulations.gov. Follow the on-line
asabaliauskas on DSK5VPTVN1PROD with PROPOSALS




                                                                                                                                                                    public docket. We will not disclose
                                                      Environmental Protection Agency.                        instructions for submitting comments.                 information so marked except in
                                                        • The initials FIP mean or refer to                     • Email: webb.thomas@epa.gov.                       accordance with procedures set forth in
                                                      Federal Implementation Plan.                              • Fax: 415–947–3579 (Attention:                     40 CFR part 2.
                                                                                                              Thomas Webb).
                                                        1 Although states and tribes may designate as           • Mail, Hand Delivery, or Courier:                  E. Tips for Preparing Your Comments
                                                      Class I additional areas which they consider to have    Thomas Webb, EPA Region 9, Air                          When submitting comments,
                                                      visibility as an important value, the requirements of
                                                      the visibility program set forth in section 169A of
                                                                                                              Division (AIR–2), 75 Hawthorne Street,                remember to:
                                                      the CAA apply only to ‘‘mandatory Class I Federal       San Francisco, California 94105. Hand                   • Identify the rulemaking by docket
                                                      areas.’’                                                and courier deliveries are only accepted              number and other identifying


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                                                      17012                       Federal Register / Vol. 80, No. 61 / Tuesday, March 31, 2015 / Proposed Rules

                                                      information (e.g., subject heading,                     on the problem of regional haze, which                  it is feasible, achievement of this emission
                                                      Federal Register date and page number).                 is visibility impairment produced by a                  rate may not be cost-effective. Therefore, we
                                                         • Explain why you agree or disagree;                 multitude of sources and activities                     are proposing an emission limit of 0.080 lb/
                                                      suggest alternatives and substitute                     located across a broad geographic area.4                MMBtu as BART for NOX at Unit 2. However,
                                                      language for your requested changes.                                                                            if we do not receive sufficient documentation
                                                                                                              We promulgated the Regional Haze Rule                   establishing that achievement of a more
                                                         • Describe any assumptions and                       (RHR) in 1999, which requires states to                 stringent limit is infeasible or not cost-
                                                      provide any technical information and/                  develop and implement SIPs to ensure                    effective, then we may determine that a more
                                                      or data that you used.                                  reasonable progress toward improving                    stringent limit for this unit is required in our
                                                         • If you estimate potential costs or                 visibility in mandatory Class I Federal                 final action.9
                                                      burdens, explain how you arrived at                     areas 5 by reducing emissions that cause
                                                      your estimate in sufficient detail to                                                                              In its comments on our proposal, SRP
                                                                                                              or contribute to regional haze.6 Under                  asserted that a NOX emission rate of
                                                      allow for it to be reproduced.                          the RHR, states are directed to conduct
                                                         • Provide specific examples to                                                                               0.050 lb/MMBtu was not achievable at
                                                                                                              BART determinations for BART-eligible                   either of the Coronado units, due to
                                                      illustrate your concerns, and suggest                   sources that may be anticipated to cause
                                                      alternatives.                                                                                                   their startup/shutdown operating
                                                                                                              or contribute to any visibility
                                                         • Explain your views as clearly as                                                                           profile. In support of this assertion, SRP
                                                                                                              impairment in a Class I area.7                          submitted reports by two consultants,
                                                      possible, avoiding the use of profanity
                                                      or personal threats.                                    B. History of FIP BART Determination                    Sargent and Lundy (S&L) and RMB
                                                         • Make sure to submit your                                                                                   Consulting and Research (RMB), which
                                                                                                                The Arizona Department of                             indicated that the Coronado units could
                                                      comments by the identified comment
                                                                                                              Environmental Quality (ADEQ)                            achieve a rolling 30-day emission rate in
                                                      period deadline.
                                                                                                              submitted a RH SIP (‘‘Arizona RH SIP’’)                 the range of 0.053 to 0.072 lb/MMBtu.10
                                                      F. Public Hearings                                      under Section 308 of the RHR to EPA                     Specifically, the S&L report examined
                                                         If anyone contacts EPA by April 15,                  Region 9 on February 28, 2011. The                      the effect of multiple startup/shutdown
                                                      2015 requesting to speak at a public                    Arizona RH SIP included BART                            events on emission rates over a 30-day
                                                      hearing, EPA will schedule a public                     determinations for NOX, particulate                     period for Unit 2. The S&L report also
                                                      hearing and announce the hearing in the                 matter (PM), and sulfur dioxide (SO2)                   examined potential measures to
                                                      Federal Register. Contact Thomas Webb                   for Units 1 and 2 at the Coronado                       improve the performance of the current
                                                      at webb.thomas@epa.gov or at (415)                      Generating Station. We proposed on                      SCR design for Unit 2, including
                                                      947–4139 to request a hearing or to                     July 20, 2012, to approve ADEQ’s BART                   installation of a ‘‘low load temperature
                                                      determine if a hearing will be held.                    determinations for PM and SO2, but to                   control system.’’ We explained the
                                                                                                              disapprove its determination for NOX at                 purpose of this control system in the
                                                      II. Background                                          Coronado.8 In the same notice, we also                  preamble to our final rule:
                                                      A. Summary of Statutory and                             proposed a FIP that included a NOX
                                                                                                              BART emission limit of 0.050 lb/MMbtu                   As described in the S&L report, periods of
                                                      Regulatory Requirements
                                                                                                              for Unit 1 and 0.080 lb/MMbtu for Unit                  low load operation generally consist of
                                                         Congress created a program for                                                                               operation between loads of 138 MW to 270
                                                                                                              2 based on a 30-boiler-operating-day
                                                      protecting visibility in the nation’s                                                                           MW (operation above 270 MW can be
                                                                                                              (BOD) rolling average. These limits                     considered ‘‘high’’ load). Broadly speaking,
                                                      national parks and wilderness areas in
                                                      1977 by adding section 169A to the                      correspond to the use of Selective                      the temperature in the SCR system will fall
                                                      CAA. This section of the CAA                            Catalytic Reduction (SCR) control                       below 599 degrees F during these periods of
                                                      establishes as a national goal the                      technology to reduce NOX emissions.                     low load operation, which is the minimum
                                                      ‘‘prevention of any future, and the                     We noted that a consent decree between                  temperature required for effective NOX
                                                                                                              SRP and EPA required the installation                   control. A low load temperature control
                                                      remedying of any existing, impairment                                                                           system increases the temperature at the SCR
                                                      of visibility in mandatory Class I                      of SCR and compliance with a NOX
                                                                                                              emission limit of 0.080 lb/MMBtu (30–                   inlet in order to maintain 599 degrees F,
                                                      Federal areas which impairment results                                                                          allowing operation of the SCR system during
                                                      from man-made air pollution.’’ 2 It also                BOD rolling average) at Coronado Unit
                                                                                                                                                                      periods of low load. Without this control
                                                                                                              2 by June 1, 2014. We explained that:                   system, the Coronado Unit 2 SCR system will
                                                      directs states to evaluate the use of
                                                      retrofit controls at certain larger, often                . . . the emission limit of 0.080 lb/MMBtu            not operate during periods of low load.11
                                                      uncontrolled, older stationary sources in               established in the consent decree was not the
                                                                                                                                                                      The low-load temperature-control
                                                      order to address visibility impacts from                result of a BART five-factor analysis, nor
                                                                                                              does the consent decree indicate that SCR at
                                                                                                                                                                      system is referred to as both ‘‘pegging
                                                      these sources. Specifically, section                                                                            steam’’ and ‘‘steam reheat’’ in the
                                                                                                              0.080 lb/MMBtu represents BART.
                                                      169A(b)(2)(A) of the CAA requires states                Nonetheless, given the compliance schedule              various documents submitted by SRP.
                                                      to revise their State Implementation                    established in the consent decree and the               During periods of low load (138 MW to
                                                      Plans (SIPs) to contain such measures as                preliminary information received from SRP               270 MW), a certain amount of steam is
                                                      may be necessary to make reasonable                     regarding the status of design and                      routed to the SCR inlet in order to raise
                                                      progress towards the natural visibility                 construction of the SCR system, it appears              the inlet temperature to above 599
                                                      goal, including a requirement that                      that achieving a 0.050 lb/MMBtu emission                degrees F, which allows for proper
                                                      certain categories of existing major                    rate may not be technically feasible. Even if           operation of the SCR. At loads below
                                                      stationary sources built between 1962                                                                           138 MW, the SCR could not operate
                                                                                                                4 See  CAA section 169B, 42 U.S.C. 7492.
                                                      and 1977 procure, install, and operate
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                                                                                                                5 Areas  designated as mandatory Class I Federal
                                                                                                                                                                      even with the low-load temperature-
                                                      best available retrofit technology                      areas consist of national parks exceeding 6000          control system.
                                                      (BART) controls. These sources are                      acres, wilderness areas, and national memorial            In setting the NOX emission limits for
                                                      referred to as ‘‘BART-eligible’’ sources.3              parks exceeding 5000 acres, and all international       Coronado in the final Arizona RH FIP,
                                                      In the 1990 CAA Amendments,                             parks that were in existence on August 7, 1977. 42
                                                                                                              U.S.C. 7472(a). When we use the term ‘‘Class I area’’
                                                                                                                                                                      we considered the information and
                                                      Congress amended the visibility                         in this action, we mean a ‘‘mandatory Class I           analyses contained in the S&L report
                                                      provisions in the CAA to focus attention                Federal area.’’
                                                                                                                6 See generally 40 CFR 51.308.                          9 77 FR 42864.
                                                        2 42 U.S.C. 7491(a)(1).                                 7 40 CFR 51.308(e).                                     10 77  FR 72555.
                                                        3 40 CFR 51.301.                                        8 77 FR 42834.                                          11 Id.




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                                                                              Federal Register / Vol. 80, No. 61 / Tuesday, March 31, 2015 / Proposed Rules                                                    17013

                                                      and the RMB report.12 We concluded                      EPA’s proposed action for the                             This method is identical to that
                                                      that:                                                   reconsideration.                                          employed for the unit-specific 30-day
                                                      In recognition of the work already performed                                                                      rolling lb/MMBtu limit in the Consent
                                                                                                              III. Proposed FIP Revision
                                                      by SRP to meet the consent decree emission                                                                        Decree, except that it uses the term
                                                      limit of 0.080 lb/MMBtu for Unit 2, and to
                                                                                                                 EPA is proposing a unit-specific                       ‘‘boiler operating day’’ instead of ‘‘Unit
                                                      avoid interfering with SRP’s ability to meet            compliance method and separate                            Operating Day.’’ This method would
                                                      that requirement by the deadline of June 1,             emission limits for NOX on Units 1 and                    replace the plant-wide method
                                                      2014, we have decided not to require a BART             2 at the Coronado Generating Station.                     promulgated in the final rule at 40 CFR
                                                      emission limit for Coronado 2 more stringent            We also are proposing to revise the work                  52.145(f)(5)(B)(ii). All other compliance-
                                                      than 0.080 lb/MMBtu. Instead, we are                    practice requirement that applies to                      related requirements, including the
                                                      finalizing a plant-wide NOX emission limit              Coronado and to remove the affirmative                    monitoring, recordkeeping and
                                                      for Coronado of 0.065 lb/MMBtu on a rolling             defense for malfunctions that is                          reporting requirements, would remain
                                                      30-day average, which will provide a                    currently included in the FIP for                         as promulgated.
                                                      sufficient compliance margin for startup and            Coronado and Cholla.
                                                      shutdown events. We are also structuring the                                                                      B. Proposed Emission Limits for
                                                      compliance determination method so that,                A. Proposed Compliance Method for                         Coronado Units 1 and 2
                                                      when one of the two units is not operating,             Unit-Specific Emission Limits
                                                                                                                                                                           Because we are proposing to replace
                                                      its emissions from the preceding thirty                   In a letter sent to EPA on November                     the plant-wide average emission rate
                                                      boiler-operating-days will continue to be               18, 2013, SRP outlined its views                          limit for NOX with unit-specific limits,
                                                      included in the two-unit average. We expect             concerning the compliance method and
                                                      that SRP can meet this limit by installing a
                                                                                                                                                                        we also must propose separate emission
                                                                                                              emission limit at Coronado.16 Regarding                   limits for each of the two units at
                                                      low load temperature control system on Unit             the compliance method, SRP requested
                                                      2 and an SCR system including a low load                                                                          Coronado. However, we are not
                                                                                                              that EPA use the same approach                            reconsidering our determination that
                                                      temperature control system on Unit 1.13                 specified in the Consent Decree, noting                   BART for Coronado Units 1 and 2 is an
                                                      Please see our final rule published on                  that this would ensure ‘‘consistency                      emission limit consistent with the use of
                                                      December 5, 2012, for further                           across applicable requirements.’’ 17 EPA                  SCR, low-NOX burners (LNB) with over
                                                      information on the BART                                 notes that the Consent Decree contains                    fire air (OFA), and low-load temperature
                                                      determinations and compliance                           two different types of NOX emission                       control. Nor are we conducting a new
                                                      methodology.                                            limits: Unit-specific 30-day rolling lb/                  five-factor analysis for these units.
                                                                                                              MMBtu limits and a 365-day plant-wide                     Rather, we are reconsidering only the
                                                      C. Petition for Reconsideration and Stay                rolling NOX tonnage limit.18 For                          emission limits achievable with SCR
                                                                                                              purposes of BART, we consider a 30–                       and LNB with OFA at Coronado Units
                                                         We received a petition from SRP on                   BOD rolling lb/MMBtu limit to be
                                                      February 4, 2013, requesting partial                                                                              1 and 2. Due to the different regulatory
                                                                                                              appropriate.19 Therefore, we propose to                   requirements that currently apply to
                                                      reconsideration and administrative stay                 set a separate 30–BOD rolling lb/MMBtu
                                                      of our final rule under section                                                                                   these units, we have analyzed them
                                                                                                              limit for each of the two Coronado                        separately.
                                                      307(d)(7)(B) of the Clean Air Act (CAA)                 Units, based on the following
                                                      and section 705 of the Administrative                   compliance method:                                        1. Proposed Emission Limit for
                                                      Procedure Act.14 EPA Region 9 sent a                                                                              Coronado Unit 1
                                                      letter on April 9, 2013, to                               The 30-day rolling average NOX emission
                                                                                                              rate for each unit shall be calculated in                 a. SRP’s Analysis of Unit 1
                                                      representatives of SRP informing the                    accordance with the following procedure:
                                                      company that we were granting partial                   First, sum the total pounds of NOX emitted                   After EPA granted reconsideration,
                                                      reconsideration of the final rule for the               from the unit during the current boiler                   SRP submitted additional information to
                                                      Arizona RH FIP.15 In particular, we                     operating day and the previous twenty-nine                EPA, including two reports prepared by
                                                      stated that we were granting                            (29) boiler-operating days; second, sum the               S&L and RMB concerning the
                                                      reconsideration of the compliance                       total heat input to the unit in MMBtu during              achievability of various NOX emission
                                                      methodology for NOX emissions from                      the current boiler operating day and the                  limits at Coronado Unit 1.20 The 2013
                                                                                                              previous twenty-nine (29) boiler-operating
                                                      Units 1 and 2 at Coronado and that we                                                                             S&L analysis presented modeling results
                                                                                                              days; and third, divide the total number of
                                                      would issue a notice of proposed                        pounds of NOX emitted during the thirty (30)              intended to predict NOX emissions from
                                                      rulemaking seeking comment on an                        boiler-operating days by the total heat input             Unit 1 under various operating
                                                      alternative compliance methodology.                     during the thirty (30) boiler-operating days.             scenarios.21 The 2013 RMB report
                                                      We also noted that, because we initially                A new 30-day rolling average NOX emission                 further analyzed the achievable NOX
                                                      proposed different NOX emission limits                  rate shall be calculated for each new boiler              emission limit at Coronado Unit 1,
                                                      for the two units, we would seek                        operating day. Each 30-day rolling average                ‘‘based on the results of S&L’s modeling
                                                      comment on the appropriate emission                     NOX emission rate shall include all
                                                                                                                                                                        and application of an appropriate
                                                                                                              emissions that occur during all periods
                                                      limit for each of the units. Today’s                    within any boiler operating day, including                compliance margin.’’ 22 In particular,
                                                      notice of proposed rulemaking includes                  emissions from startup, shutdown, and                     RMB applied an ‘‘upper prediction
                                                      each of these elements, and constitutes                 malfunction.                                              limit’’ (UPL) technique in order to
                                                                                                                                                                        account for ‘‘the impact of measurement
                                                        12 Id. at 72554–56.                                     16 Letter from Kelly Barr, SRP, to Deborah Jordan,
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                                                        13 Id. at 72555.                                      EPA (November 18, 2013).                                    20 Letter from Kelly J. Barr, SRP, to Deborah
                                                         14 Petition of Salt River Project Agricultural         17 Id. at 4.                                            Jordan, EPA (November 18, 2013) and attachments.
                                                      Improvement and Power District for Partial                18 Consent Decree in United States v. Salt River          21 Attachment 1 to November 18, 2013, Letter,

                                                      Reconsideration and Stay of EPA’s Final Rule:           Project, CV 08–1479–PHX–JAT (D. Az.) (entered             Sargent and Lundy LLC Report SL–011754, Salt
                                                      ‘‘Approval, Disapproval and Promulgation of Air         Dec. 19, 2008) (‘‘Coronado Consent Decree’’).             River Project Coronado Generating Station Unit 1
                                                      Quality Implementation Plans; Arizona; Regional           19 BART Guidelines, 40 CFR part 51, appendix Y,         SCR NOX emissions Modeling (November 14, 2013).
                                                      Haze State and Federal Implementation Plans’’           section V (‘‘For EGUs, specify an averaging time of         22 Attachment 2 to November 18, 2013 Letter,
                                                      (February 4, 2013).                                     a 30-day rolling average, and contain a definition        Technical Memorandum from RMB Consulting &
                                                         15 Letters from Jared Blumenfeld, EPA, to Norman     of ‘‘boiler operating day’’ that is consistent with the   Research, Inc. to Salt River Project NOX limits
                                                      W. Fichthorn and Aaron Flynn, Hunton and                definition in the proposed revisions to the NSPS for      Compliance monitoring Consideration on Coronado
                                                      Williams (April 9, 2013).                               utility boilers in 40 CFR part 60, subpart Da.’’).        Unit 1 (October 28, 2013) at 1.



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                                                      17014                           Federal Register / Vol. 80, No. 61 / Tuesday, March 31, 2015 / Proposed Rules

                                                      uncertainty and other process                                          reheat on emissions over a 30-day                                      load profiles that occurred during this
                                                      variation.’’ 23                                                        average. In summary, the 2013 S&L                                      period. S&L’s estimates of SCR
                                                        The 2013 S&L report consisted of an                                  analysis examined load profile data for                                performance and emission rate under
                                                      emission analysis of the SCR for Unit 1.                               Unit 1 for the period from January 1,                                  various load profiles are summarized in
                                                      Similar to the 2012 S&L report, which                                  2011, through July 31, 2013, and                                       Table 1. For greater detail, consult the
                                                      concerned Unit 2, the 2013 analysis                                    estimated NOX emission rates with the                                  2013 S&L report, which is included in
                                                      examined the effect of startup/shutdown                                hypothetical use of SCR for the various                                the docket for this proposed rule.
                                                      events, low-load cycling, and steam

                                                                                                                 TABLE 1—UNIT 1 LOAD PROFILE OF NOX EMISSIONS
                                                                                                                       Unit 1 emission
                                                                             Load profile                                    rate                                                                    Description
                                                                                                                         (lb/MMBtu)

                                                      SCR Design Target Emission Rate .......                                           0.030       Full load performance guarantee per vendor.
                                                      SCR emission rate at full load steady                                             0.040       Actual controlled NOX emissions are expected to average 0.01 above the de-
                                                       state conditions.                                                                              sign target rate.
                                                      SCR emission rate when load increas-                                              0.050       Emission expected to change as control systems adjust to changes in boiler
                                                       ing by more than 10 MW/hour.                                                                   load, gas flow rates, and NOX loading.
                                                      SCR emission rate when load decreas-                                              0.035       Emission expected to change as control systems adjust to changes in boiler
                                                       ing by more than 10 MW/hour.                                                                   load, gas flow rates, and NOX loading.
                                                      Emission rate during cold start, oil-fir-                                         0.10        Low NOX burners (LNB) only, no SCR during startup. Unit 1 initially uses fuel oil
                                                       ing 24.                                                                                        for startup, and transitions to coal to complete startup.
                                                      Emission rate during cold start, coal-fir-                                        0.25        LNB only, no SCR during startup.
                                                       ing.
                                                      Emission rate during warm start, oil-fir-                                         0.19        LNB only, no SCR during startup. Unit 1 initially uses fuel oil for startup, and
                                                       ing 25.                                                                                        transitions to coal to complete startup.
                                                      Emission rate during warm start, coal-                                            0.28        LNB only, no SCR during startup.
                                                       firing.
                                                      Emission rate during low load periods ...                                         0.29        For low-load periods with no steam reheat (LNB-only, no SCR control).
                                                      SCR emission rate during initial shut-                                            0.10        Emission rate during shutdown with SCR inlet >599 degrees F, allowing for
                                                       down.                                                                                          SCR operation.
                                                      Emission rate after SCR shutdown ........                                         0.45        LNB only. Corresponds to shutdown period after SCR inlet <599 degrees F.



                                                        Based on the emission rates                                          loading profiles. The highest controlled                               rate modeling for certain operating
                                                      summarized in Table 1 above, the S&L                                   30-day average emission rate for several                               scenarios, is available in the docket for
                                                      analysis examined the 30-day emission                                  selected scenarios is presented in Table                               this proposed rule.26
                                                      rate for Unit 1 assuming several                                       2. The full analysis, including selected
                                                      combinations of startup events and                                     spreadsheets that contain the emission

                                                                                                         TABLE 2—SUMMARY OF UNIT 1 EMISSION MODELING RESULTS
                                                                                                                                                 [Per S&L analysis]

                                                                                                                                                                                                                              Controlled NOX emission
                                                                                                                                                                                                                               rates based on 30-day
                                                         Scenario                                                                           Description                                                                                average
                                                                                                                                                                                                                                     (lb/MMBtu)

                                                      0 ..................    Full Load high-cycle loading ................................................................................................................                      0.041
                                                      1b ................     Low-load cycling for 30 days (with steam reheat) ...............................................................................                                   0.048
                                                      5a ................     One cold startup with low-load cycling (with steam reheat) ................................................................                                        0.055
                                                      5b ................     Two cold startups with low-load cycling (with steam reheat) ..............................................................                                         0.061
                                                      5c ................     Three cold startups with low-load cycling (with steam reheat) ...........................................................                                          0.065



                                                        The supplemental information                                         and predicts the chances (i.e., the                                    expected to meet a specified percent of
                                                      submitted by SRP on November 13,                                       probability) of future data points (in this                            the time that the source is operating. For
                                                      2013, also included a report from RMB.                                 case, emission rates). In general terms,                               example, the 99 percent UPL value is
                                                      In this report, RMB stated that it used                                the UPL is a value that is calculated                                  the emission level that the source(s)
                                                      equations for calculating the UPL,                                     from a data set that identifies the                                    would be predicted to be below during
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                                                      which is a statistical technique that                                  emission rate that a source or group of                                99 out of 100 performance tests. The
                                                      examines an existing set of data points                                sources is meeting and would be                                        UPL value is calculated using an
                                                        23 Id.                                                               emissions because it is longer in duration and                         less time is required to reach normal operating
                                                        24 The  term ‘‘cold startup’’ is not specifically                    consumes more fuel.                                                    temperatures and conditions. As a result, hot and
                                                      defined by SRP or S&L in its analysis. Typically, a                       25 The term ‘‘hot’’ or ‘‘warm’’ startup is not                      warm startup events produce fewer emissions than
                                                      ‘‘cold startup’’ refers to a startup event that occurs                 defined by SRP or S&L in its analysis. However, a                      cold startup events because they are shorter in
                                                                                                                             ‘‘hot’’ or ‘‘warm’’ typically refers to a startup event                duration and consume less fuel.
                                                      after the boiler has been offline for approximately
                                                                                                                             that occurs when the boiler has been offline for less                    26 ‘‘SRP Coronado Generating Station, Unit 1 SCR
                                                      24 to 48 hours or longer. Compared to hot or warm
                                                                                                                             than 24 hours. Because certain elements of the                         NOX Emissions Modeling’’, Prepared by Sargent
                                                      startups, a cold startup event produces greater                        boiler may still be hot or warm following shutdown,                    and Lundy, Report SL–011754, November 14, 2013.



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                                                                                     Federal Register / Vol. 80, No. 61 / Tuesday, March 31, 2015 / Proposed Rules                                                                   17015

                                                      equation based on the average and                                  are used in a wide variety of industries                        percentile emission rate was three to
                                                      variance of a data set (in this instance,                          for predictive purposes, including                              seven percent greater than average
                                                      the aforementioned emission rates), the                            finance, manufacturing, and healthcare.                         emission rates. For the three SCR-
                                                      distribution of the data, quantity of data                            RMB stated that it applied the                               equipped units examined, RMB reports
                                                      points, confidence level, and common                               equations for calculating UPL values to                         that the 99th percentile emission rate
                                                      statistical values such as t-scores and z-                         CEMS data for Unit 1, as well as to the                         was approximately 15 percent higher
                                                      scores. The underlying regulatory                                  CEMS data from three SCR-equipped                               than average emission rates. RMB then
                                                      concept behind the use of UPL values is                            coal-fired boilers that it considered                           adjusted the average 30-day emission
                                                                                                                         comparable to Unit 1.27 To summarize,
                                                      that a source should have only a very                                                                                              rates from the S&L emission modeling
                                                                                                                         RMB calculated the 99th percentile
                                                      small risk of being determined to be in                                                                                            analysis for each operating scenario
                                                                                                                         emission rate for each of the four units,
                                                      noncompliance when the emission                                    and compared the 99th percentile                                upwards by 15 percent in order to
                                                      control system is actually performing as                           emission rate to the average emission                           account for the variability indicated by
                                                      expected under each type of normal                                 rate of each respective unit. RMB                               the UPL values. The results of RMB’s
                                                      operation that takes place. UPL values                             indicated that for Unit 1, the 99th                             analysis are summarized in Table 3.

                                                                                                       TABLE 3—SUMMARY OF UNIT 1 EMISSION MODELING RESULTS
                                                                                                                                            [Per RMB report]

                                                                                                                                                                                                                 Controlled NOX emission
                                                                                                                                                                                                                            rate
                                                         Scenario                                                                     Description                                                                  (30-day average in
                                                                                                                                                                                                                        lb/MMBtu)

                                                      1b   ................   Low-load cycling for 30 days (with steam reheat) ...............................................................................                          0.055
                                                      5a   ................   One cold startup with low-load cycling (with steam reheat) ................................................................                               0.062
                                                      5b   ................   Two cold startups with low-load cycling (with steam reheat) ..............................................................                                0.069
                                                      5c   ................   Three cold startups with low-load cycling (with steam reheat) ...........................................................                                 0.073



                                                        RMB then indicated that if the                                   emission estimates for certain load                             emission rate of 0.065 lb/MMBtu, which
                                                      emission limit were considered a ‘‘never                           profiles with actual Unit 1 emission                            corresponds to a scenario consisting of
                                                      to be exceeded value,’’ an additional                              data as reported to the Air Markets                             low-load cycling operations (with steam
                                                      compliance margin should be                                        Program Data (AMPD).29 We consider                              reheat) and 3 cold startups within a 30-
                                                      incorporated given that the 99th                                   the emission rates used by S&L for the                          day period, to be a reasonable estimate
                                                      percentile value does not account for                              various load profiles to be reasonable                          of average SCR performance for Unit 1.
                                                      the entire potential range of operating                            and generally consistent with emission                            With regard to the RMB analysis, we
                                                      conditions that may occur. RMB                                     data reported to AMPD. We also                                  are unable to assess fully this analysis,
                                                      indicated that rounding upwards to the                             consider the scenarios examined by S&L                          as it lacked documentation regarding
                                                      next highest reasonable interval, 0.080                            to be realistic depictions of load profile                      many of its components. In particular,
                                                      lb/MMBtu, would provide an                                         scenarios that were historically                                RMB did not identify the UPL
                                                      approximate 10 percent compliance                                  experienced by the Coronado units.                              equation(s) it used or the emission rate
                                                      margin, and proposed that this value                                                                                               characteristics, data distribution,
                                                                                                                         AMPD and Energy Information
                                                      represents the lowest achievable NOX                                                                                               number of emission rates, or t- or z-
                                                                                                                         Administration (EIA) records indicate
                                                      emission limit for Unit 1. The full RMB                                                                                            scores. RMB did not present specific
                                                                                                                         periods of both high-load and low-load
                                                      analysis is included in the docket for                                                                                             evidence that the two SCR-equipped
                                                                                                                         cycling, as well as 30-day periods with                         units are representative of how
                                                      this proposed rule.                                                multiple shutdown periods.30 The
                                                        SRP provided additional information                                                                                              Coronado will perform when carefully
                                                                                                                         greatest number of cold startups                                operated after installation of SCR. In
                                                      to EPA on April 28, 2014, that included
                                                                                                                         occurring in a single 30-day period                             particular, RMB did not address the
                                                      documentation on SCR design
                                                      parameters for Unit 2, the number of                               examined by the the S&L load profile                            possibility that the SCR systems on
                                                      historical startup events occurring                                scenarios was three. Although we have                           these two units malfunctioned or were
                                                      within single 30-day periods for Units 1                           not identified an actual historical 30-                         incorrectly operated during the data
                                                      and 2, and expected future operation of                            day period exhibiting three cold                                period. Accordingly, we are unable to
                                                      Units 1 and 2.28                                                   startups, we consider this a reasonable                         evaluate RMB’s assertions regarding its
                                                                                                                         assumption given both the number of                             UPL calculations.
                                                      b. EPA’s Evaluation of Unit 1                                      startup events that have historically                             More fundamentally, we do not
                                                         In proposing a unit-specific limit for                          occurred,31 as well as SRP’s expectation                        consider a UPL analysis to be necessary
                                                      Unit 1, we have reviewed each of the                               that the Coronado units will experience                         or appropriate for use in establishing an
                                                      analyses provided by SRP including the                             greater periods of operation in load-                           emission limit for Coronado Unit 1.
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                                                      emission spreadsheets developed by                                 following service or non-operation given                        Because the UPL method is a statistical
                                                      S&L for several load profile scenarios. In                         the expanded role of renewable energy                           technique, it is essentially an analytical
                                                      addition, we have compared SRP’s                                   sources.32 As a result, we consider the                         tool that can be applied to any data set
                                                        27 The CEMS data examined for Unit 1                               29 As noted in SRP’s April 28, 2014 information                 31 See SRP’s April 28, 2014 letter, Attachment A

                                                      corresponded to operation with low NOX burners,                    response, we requested detailed emission                        (Multiple Start Summary).
                                                      as Unit 1 does not presently operate with SCR. For                 spreadsheets for several scenarios, including high-               32 See April 28, 2014 letter. Expanded periods of
                                                      the three other units, CEMS data corresponding to                  load cycling, low-load cycling, and low-load
                                                                                                                                                                                         load following service will result in greater periods
                                                      SCR operation was examined.                                        cycling including multiple startups.
                                                        28 Letter from Kelly J. Barr, SRP, to Deborah                      30 See spreadsheet ‘‘Coronado 2008–11 NO
                                                                                                                                                                                         of low-load cycling, as well as increase the need for
                                                                                                                                                                       X
                                                      Jordan, EPA (April 28, 2014) and attachments.                      Emission Data (daily).xls’’.                                    startup/shutdown events.




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                                                      17016                   Federal Register / Vol. 80, No. 61 / Tuesday, March 31, 2015 / Proposed Rules

                                                      and produce a UPL value for a specified                 NSPS, the emission data sets for those                2. Proposed Emission Limit for
                                                      percentile (i.e., 95th, 98th, 99th                      rulemakings were also very limited,                   Coronado Unit 2
                                                      percentile, etc). While UPL has been                    numbering at most in the dozens of test               a. SRP’s Analysis of Unit 2
                                                      used by EPA to establish emission                       results for specific source subcategories.
                                                      standards in other rulemakings, the                                                                              SRP also provided documentation in
                                                                                                                 By contrast, the data set available here
                                                      context for those rulemakings differs                                                                         its April 28, 2014 letter of Unit 2 design
                                                                                                              is much more extensive, represents
                                                      significantly from the context for this                                                                       parameters and indicated that it is
                                                      action. In general, EPA has employed                    continuous data collected over a long
                                                                                                              period of time, and covers a wider range              proceeding with the installation of a
                                                      the UPL method in instances where it                                                                          low-load temperature-control system
                                                      was necessary to establish an emission                  of unit operations. In particular, the
                                                                                                              UPL analyses performed by RMB for                     (i.e., steam reheat) for Unit 2. In
                                                      standard based on a limited number of                                                                         addition, SRP stated that the design
                                                      emission measurements, such as when                     Coronado Unit 1 and the three SCR-
                                                                                                              equipped coal-fired boilers examined                  parameters demonstrate that Unit 2 was
                                                      establishing maximum available control                                                                        properly designed to meet the 0.080 lb/
                                                      technology (MACT) standards or new                      actual emission data from CEMS (or in
                                                                                                                                                                    MMBtu NOX limit required by the
                                                      source performance standards (NSPS).33                  the case of Coronado Unit 1, modeled
                                                                                                                                                                    Coronado Consent Decree. Based on
                                                      The emission data available for                         emission data based on actual load
                                                                                                                                                                    these design parameters and emission
                                                      establishing MACT standards are                         operation) that consisted of thousands
                                                                                                                                                                    modeling performed by S&L, SRP
                                                      generally in the form of short-term,                    of data points collected continuously                 reiterated that the design of Unit 2 could
                                                      three-run stack tests, with each test-run               over periods of time ranging from eight               not accommodate a NOX emission limit
                                                      lasting between one and four hours.                     months to over a year. As noted above,
                                                      These short-term tests represent three                                                                        lower than that required by the Consent
                                                                                                              this is a different context than                      Decree. SRP has met certain terms of the
                                                      ‘‘snapshots’’ of a source’s operation and               rulemakings in which EPA has
                                                      generally will not represent a source’s                                                                       Consent Decree by operating Unit 2 with
                                                                                                              employed the UPL method to develop                    SCR since June 1, 2014. Finally, in
                                                      full range of operations or emission                    category-wide emission standards based
                                                      levels. Accordingly, when establishing                                                                        response to an inquiry from EPA
                                                                                                              on, at most, a few dozen data points.                 regarding the possibility of a work
                                                      an emission standard that applies
                                                                                                              Given the size and scope of the data set              practice standard for the SCR system on
                                                      continuously across an entire source
                                                                                                              available in this instance, we propose to             Unit 2, SRP indicated that certain
                                                      category, EPA considers it necessary to
                                                      account for the emissions and                           find that the use of the UPL method is                language from the Coronado Consent
                                                      operations over a fuller range using data               not appropriate.35                                    Decree and the Title V operating permit
                                                      sets that encompass longer time periods                    Finally, we do not agree with RMB’s                requiring proper operation of NOX
                                                      (i.e., collected over several months to a               suggestion that the emission limit for                controls are sufficient to ensure that
                                                      year or more of operation). In such                     Coronado Unit 1 should be rounded up                  NOX emissions are minimized.
                                                      situations, EPA applies the UPL method                  to provide an additional compliance                   b. EPA’s Evaluation of Unit 2
                                                      to predict the emission levels the source               margin. We note that the UPL
                                                      is achieving at times other than when                   methodology used by EPA for MACT                         In our final rule published on
                                                      the stack testing is conducted. For                     standard development does not include                 December 5, 2012, establishing the NOX
                                                      example, it is common for EPA to                        rounding up to the next highest                       emission limit for Coronado Units 1 and
                                                      establish an emission standard for a                    reasonable interval as suggested by                   2, we stated the following regarding
                                                      particular source category for which                    RMB. Given the conservative nature of                 Unit 2:
                                                      only three to six test results may be
                                                                                                              the assumptions in the S&L analysis, we               In recognition of the work already performed
                                                      available. Because these three to six data
                                                                                                              do not consider additional compliance                 by SRP to meet the consent decree emission
                                                      points do not represent the full range of
                                                                                                              margin appropriate in this instance.                  limit of 0.080 lb/MMBtu for Unit 2, and to
                                                      unit operations, the UPL method is
                                                                                                                                                                    avoid interfering with SRP’s ability to meet
                                                      employed to ‘‘fill in the blanks’’ when                    Accordingly, in evaluating an
                                                                                                                                                                    that requirement by the deadline of June 1,
                                                      developing an emission standard that is                 appropriate limit for Coronado Unit 1,
                                                                                                                                                                    2014, we have decided not to require a BART
                                                      appropriate for a broader range of                      we have relied primarily upon the                     emission limit for Coronado 2 more stringent
                                                      operations. As described in a memo                      information provided in the S&L                       than 0.080 lb/MMBtu.
                                                      regarding the use of UPL in establishing                analysis. This analysis found that an
                                                      MACT standards, ‘‘EPA did not have                      emission rate of 0.065 lb/MMBtu would                   The information subsequently
                                                      emissions information from sources at                   be appropriate for a scenario consisting              provided by SRP supports the assertion
                                                      all times each source was operating, and                of low-load cycling operations (with                  that the emission limit in the Consent
                                                      therefore determined it was necessary to                steam reheat) and three cold startups                 Decree of 0.080 lb/MMBtu represents
                                                      apply a methodology that addressed the                  within a 30-day period. As described                  BART for this unit. In particular, the
                                                      fact that the data were not complete.’’ 34              above, we consider this to be a                       fact that SRP has already installed a
                                                      Furthermore, while EPA has used the                     reasonable estimate of SCR performance                low-load temperature-control system at
                                                      UPL method in other instances besides                   for Coronado Unit 1. We are are                       this unit in order to meet the 0.080 lb/
                                                      MACT standards, such as in developing                   therefore proposing a limit of 0.065 lb/              MMBtu limit suggests that a lower limit
                                                                                                              MMBtu on a rolling 30–BOD basis.                      would not be achievable on a 30–BOD
asabaliauskas on DSK5VPTVN1PROD with PROPOSALS




                                                         33 In particular, EPA has used the UPL method in
                                                                                                                                                                    basis. As a result, we propose to set a
                                                      the Mercury and Air Toxics Standard (MATS), also
                                                      known as the Boiler MACT, the Wool Fiberglass             35 In addition, we note that we consider RMB’s      unit-specific NOX limit for Unit 2 of
                                                      MACT, the Phosphoric Acid and Phosphate                 application of its UPL-estimated variability to the   0.080 lb/MMBtu, based on a rolling 30–
                                                      Fertilizer MACT, and the Nitric Acid Plant NSPS.        results of the S&L modeling inappropriate. The S&L    BOD basis.
                                                         34 Memorandum from Susan Fairchild to Docket         modeling results already account for substantial
                                                      Number EPA–HQ–OAR–2010–1041, ‘‘Use of the               degree of operational variability by assuming a         In addition, we propose to revise the
                                                      Upper Prediction Limit for Calculating MACT             conservative operating scenario of low-load cycling   work practice standard at 40 CFR
                                                      Floors’’ (July 14, 2014); see also Memo from Susan      and 3 cold startups in a single 30-day period.        52.145(f)(10) to require the operation of
                                                      Fairchild to Docket No. EPA–HQ–OAR–2010–1041,           Applying the UPL-estimated variability on top of
                                                      ‘‘Approach for Applying the Upper Prediction Limit      the S&L modeling could be described, to a degree,
                                                                                                                                                                    the SCR at all times that Unit 2 is in
                                                      to Limited Datasets’’ (October 6, 2014).                as ‘‘double counting’’ operational variability.       operation, consistent with technological


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                                                                               Federal Register / Vol. 80, No. 61 / Tuesday, March 31, 2015 / Proposed Rules                                                  17017

                                                      limitations.36 As noted in SRP’s letter                  EPA from including an affirmative                          • National Emission Standards for
                                                      dated April 28, 2014, the Consent                        defense provision in a FIP. Furthermore,                Hazardous Air Pollutants, 40 CFR part
                                                      Decree contains a work practice                          in light of the DC Circuit’s decision,                  63, subpart UUUUU;
                                                      standard for Unit 2. This language is                    EPA has proposed to find R18–2–310(B)                      • Compliance Assurance Monitoring,
                                                      included in the facility’s current Title V               and R18–2–310(C) substantially                          40 CFR part 64;
                                                      operating permit.37 We are proposing to                  inadequate to meet CAA requirements                        • BART and other visibility
                                                      include this same language in the BART                   and to issue a SIP call with respect to                 protection requirements under CAA
                                                      FIP in order to ensure that the SCR is                   these provisions.40 Consistent with the                 sections 110(a)(2)(J) and 169A and 40
                                                      operated at all times during which it is                 reasoning of the DC Circuit and EPA’s                   CFR part 51, subpart P; and
                                                      technologically feasible to do so. In                    proposed SIP call, we are proposing to                     • Interstate transport visibility
                                                      particular, we note that, based on the                   remove the affirmative defense                          requirements under CAA section
                                                      information provided by SRP, periods of                  provision in the Arizona Regional Haze                  110(a)(2)(D)(i)(II).
                                                      low-load operation are a significant                     FIP. In addition to Coronado, this                         Today’s proposed revisions would not
                                                      element of the Coronado units’                           revision would also affect Cholla.                      affect the applicable requirements of the
                                                      operations. Given the installation of a                                                                          National Emission Standards for
                                                      low-load temperature-control system on                   D. Non-Interference With Applicable                     Hazardous Air Pollutants, Standards of
                                                      Unit 2, the SCR system is now capable                    Requirements                                            Performance for New Stationary
                                                      of operating at lower loads (i.e., between                  The CAA requires that any revision to                Sources, or Compliance Assurance
                                                      about 138 MW and 270 MW) on Unit 2.                      an implementation plan shall not be                     Monitoring requirements. Therefore, we
                                                      Accordingly, we are proposing to revise                  approved by the Administrator if the                    propose to find that these revisions
                                                      the work practice standard in the FIP to                 revision would interfere with any                       would not interfere with these
                                                      ensure that the SCR system operates                      applicable requirement concerning                       requirements.
                                                      during these periods of low-load                                                                                    The proposed revisions would alter
                                                                                                               attainment, reasonable further progress,
                                                      operation.                                                                                                       the specific emission limits that
                                                                                                               or any other applicable requirement of
                                                                                                                                                                       constitute BART for NOX at Coronado
                                                      C. Proposed Removal of Affirmative                       the CAA.41
                                                                                                                                                                       under CAA section 169A and 40 CFR
                                                      Defense for Malfunctions                                    EPA has promulgated health-based                     51.308(e). However, we expect the effect
                                                         The Arizona RH FIP incorporates by                    standards, known as the national                        of the proposed changes on visibility
                                                      reference certain provisions of the                      ambient air quality standards (NAAQS),                  will be very small. In particular, we note
                                                      Arizona Administrative Code that                         for seven pollutants, including NO2, a                  that, under the BART Guidelines, the
                                                      establish an affirmative defense for                     component of NOX, and pollutants such                   ‘‘degree of visibility improvement’’
                                                      excess emissions due to malfunctions.38                  as ozone and particulate matter with a                  expected to result from BART is
                                                      In the interim since EPA’s promulgation                  diameter less than or equal to 2.5                      evaluated through modeling of the
                                                      of that FIP, the United States Court of                  micrometers (PM2.5), that are formed in                 highest emission rate observed on a 24-
                                                      Appeals for the DC Circuit ruled that                    the atmosphere from reactions between                   hour average.42 Although today’s rule
                                                      CAA sections 113 and 304 preclude                        NOX and other pollutants. Using a                       would raise the emission rate allowed
                                                      EPA from creating affirmative defense                    process that considers air quality data                 on a 30-day rolling average, we do not
                                                      provisions in the Agency’s own                           and other factors, EPA designates areas                 expect that it would alter the rate on a
                                                      regulations imposing emission limits on                  as ‘‘nonattainment’’ if those areas                     24-hour basis. First, the 24-hour
                                                      sources.39 The court found that such                     violate a NAAQS or cause or contribute                  maximum emission rate used in
                                                      affirmative defense provisions purport                   to violations of a NAAQS in a nearby                    visibility modeling corresponds to
                                                      to alter the jurisdiction of federal courts              area. Reasonable further progress, as                   operation of the SCR during periods of
                                                      to assess liability and impose penalties                 defined in section 171 of the CAA, is                   full load, steady state operation. As
                                                      for violations of those limits in private                related to attainment and means ‘‘such                  noted previously, the BART limits
                                                      civil enforcement cases. The court’s                     annual incremental reductions in                        proposed in today’s rule are still
                                                      holding makes it clear that the CAA                      emissions of the relevant air pollutant                 consistent with the application of SCR.
                                                      does not authorize promulgation of such                  . . . for the purpose of ensuring                       In addition, the underlying assumptions
                                                      a provision by EPA. In particular, the                   attainment of the applicable [NAAQS].’’                 regarding SCR emission rate and
                                                      court’s decision turned on an analysis of                Coronado is located in Apache County,                   performance remain unchanged from
                                                      CAA sections 113 (‘‘Federal                              Arizona, which is designated as                         the December 5, 2012, final rule.
                                                      enforcement’’) and 304 (‘‘Citizen suits’’).              Unclassifiable/Attainment for all of the                Second, the adjustments to the rolling
                                                      These provisions apply with equal force                  NAAQS. Therefore, we propose to find                    30-day emission limit were made to
                                                      to a civil action brought to enforce the                 that a revision to the BART emission                    accommodate periods of startup and
                                                      provisions of a FIP. The logic of the                    limits for NOX will not interfere with                  shutdown. Specifically, BART limits for
                                                      court’s decision thus applies to the                     attainment or reasonable further                        EGUs are established based on a 30-day
                                                      promulgation of a FIP, and precludes                     progress for any air quality standard.                  rolling average and must be met on a
                                                                                                                  The other requirements of the CAA                    continuous basis, including during
                                                        36 See CAA Section 302(k) (defining ‘‘emission         that are applicable to Coronado are:                    periods of startup, shutdown, and
                                                      limit’’ to include ‘‘any requirement relating to the        • Standards of Performance for New                   malfunction.43 As described previously,
                                                      operation or maintenance of a source to assure           Stationary Sources, 40 CFR part 60,
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                                                      continuous emission reduction, and any design,                                                                   the SCR system requires a certain
                                                      equipment, work practice or operational standard         subpart D;                                              minimum temperature in order to
                                                      promulgated under this chapter’’).                                                                               operate properly. As a result, there will
                                                        37 Specific Conditions II.E.2.b and c, Title V           40 79 FR 55920, 55947 (September 17, 2014).           necessarily be certain periods of time
                                                      Operating Permit No. 52693, issued December 6,             41 CAA   Section 110(l), 42 U.S.C. 7410(l). In this
                                                      2011.
                                                                                                                                                                       during startup and shutdown in which
                                                                                                               instance EPA is proposing to promulgate a revision
                                                        38 See 40 CFR 52.145(f)(11) (incorporating by
                                                                                                               to a FIP, rather than to approve a revision to a SIP.
                                                                                                                                                                       the SCR system is not technologically
                                                      reference R–18–2–101, paragraph 65; R18–2–310,           Although 110(l) on its face applies only to EPA
                                                      sections (A), (B), (D) and (E); and R18–2–310.01).       approvals of plan revisions, we have nonetheless          42 BART Guidelines 40 CFR part 51, Appendix Y,
                                                        39 See NRDC v. EPA, 749 F.3d 1055 (D.C. Cir.           considered whether this proposed action would           section IV.D.5.
                                                      2014).                                                   interfere with the requirements of the CAA.               43 See CAA section 302(k).




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                                                      17018                      Federal Register / Vol. 80, No. 61 / Tuesday, March 31, 2015 / Proposed Rules

                                                      capable of operating. This does not alter                 proposing today will allow for greater                             to fulfill this requirement for the 1997
                                                      any of the assumptions regarding the                      total annual NOX emissions than the                                8-hour ozone, 1997 PM2.5, and 2006
                                                      SCR system when it is in operation,                       FIP. We have therefore considered the                              PM2.5 NAAQS.47 As noted above, while
                                                      such as the maximum 24-hour emission                      impact of additional emissions on the                              today’s proposal would allow for an
                                                      rate, which is the basis of the visibility                RPGs. As summarized in Tables 4 and                                increase in emissions of 233 tpy
                                                      modeling. Moreover, the BART                              5, the difference in NOX emissions                                 compared to the FIP, this represents less
                                                      Guidelines recommend that periods of                      between the Arizona RH FIP and today’s                             than one percent of the projected total
                                                      startup and shutdown be excluded from                     proposed rule is approximately 233 tons                            NOX emission reductions in the FIP.
                                                      the visibility modeling.44 Therefore, the                 per year (tpy).46 This amount represents                           Accordingly, we propose to determine
                                                      degree of visibility improvement would                    less than one percent of the projected
                                                                                                                                                                                   that this change would not alter our
                                                      not be significantly diminished.                          total NOX emission reductions in the
                                                         With respect to the CAA’s reasonable                                                                                      determination that the control measures
                                                                                                                FIP. Therefore, we consider its potential
                                                      progress requirements under CAA                           impact on the RPGs to be de minimis.                               in the Arizona RH SIP and FIP are
                                                      section 110(a)(2)(J) and 169A, we note                       Finally, CAA section 110(a)(2)(D)(i)(II)                        adequate to prevent Arizona’s emissions
                                                      that in a September 3, 2014, final rule,                  requires that all SIPs contain adequate                            from interfering with other states’
                                                      we set reasonable progress goals (RPGs)                   provisions to prohibit emissions that                              required measures to protect visibility.
                                                      for Arizona that accounted for the                        will interfere with other states’ required                         Thus, we propose to find that today’s
                                                      emission reductions projected to result                   measures to protect visibility. In our                             proposed revisions would not interfere
                                                      from implementation of BART at                            final rule of September 3, 2014, we                                with any applicable requirement of the
                                                      Coronado (among other sources).45 The                     determined that control measures in the                            CAA.
                                                      revised emission limits we are                            Arizona RH SIP and FIP were sufficient

                                                                                       TABLE 4—CORONADO SCR EMISSION RATE ALLOWED UNDER 2012 EPA FIP
                                                                                                Heat duty 1           NOX emission limit 2                                                                 NOX
                                                                  Unit No.                                                                                  Capacity factor 1
                                                                                                (MMBtu/hr)                    (lb/MMBtu)                                                     (lb/hr)                         (tpy)

                                                      Coronado 1 ........................                     4316                             0.065                        0.84                       280.54                            2,042
                                                      Coronado 2 ........................                     3984    ..................................                    0.89                       258.96   ..................................
                                                         1 Supplemental      Cost Analysis 2012–11–15.
                                                         2 Emission    limit per FIP final rule, 77 FR 72578.

                                                                       TABLE 5—CORONADO SCR EMISSION RATE ALLOWED UNDER PROPOSED 2015 EPA FIP REVISION
                                                                                                Heat duty 1            NOX emission limit                                                                  NOX
                                                                  Unit No.                                                                                  Capacity factor 1
                                                                                                (MMBtu/yr)                    (lb/MMBtu)                                                     (lb/hr)                         (tpy)

                                                      Coronado 1 ........................                     4316                             0.065                        0.84                       280.54                            2,275
                                                      Coronado 2 ........................                     3984                             0.080                        0.89                       318.72   ..................................
                                                         1 Supplemental     Cost Analysis 2012–11–15.


                                                      IV. EPA’s Proposed Action                                 V. Statutory and Executive Order                                   applies to only two facilities. Therefore,
                                                                                                                Reviews                                                            its recordkeeping and reporting
                                                        EPA is proposing to revise the                                                                                             provisions do not constitute a
                                                      Arizona RH FIP to replace a plant-wide                    A. Executive Order 12866: Regulatory
                                                                                                                                                                                   ‘‘collection of information’’ as defined
                                                      BART compliance method and emission                       Planning and Review and Executive
                                                                                                                                                                                   under 44 U.S.C. 3502(3) and 5 CFR
                                                      limit for NOX on Units 1 and 2 at                         Order 13563: Improving Regulation and
                                                                                                                                                                                   1320.3(c).
                                                      Coronado with a single-unit compliance                    Regulatory Review
                                                      method and emission limit on each of                        This action is not a significant                                 C. Regulatory Flexibility Act (RFA)
                                                      the units. As described in today’s                        regulatory action and was therefore not                               I certify that this proposed action will
                                                      action, we are proposing an emission                      submitted to the Office of Management                              not have a significant economic impact
                                                      limit of 0.065 lb/MMBtu for Unit 1 and                    and Budget (OMB) for review. This rule                             on a substantial number of small
                                                      0.080 lb/MMBtu for Unit 2 with                            applies to only two facilities and is                              entities. This action will not impose any
                                                      compliance based on a rolling 30–BOD                      therefore not a rule of general                                    requirements on small entities. Firms
                                                      basis. This revision would constitute                     applicability.                                                     primarily engaged in the generation,
                                                      our action on SRP’s petition for                                                                                             transmission, and/or distribution of
                                                      reconsideration of the FIP. We also are                   B. Paperwork Reduction Act (PRA)                                   electric energy for sale are small if,
                                                      proposing to remove the affirmative                         This action does not impose an                                   including affiliates, the total electric
asabaliauskas on DSK5VPTVN1PROD with PROPOSALS




                                                      defense for malfunctions in the FIP and                   information collection burden under the                            output for the preceding fiscal year did
                                                      revise the work practice requirement                      provisions of the Paperwork Reduction                              not exceed 4 million megawatt hours.
                                                      that applies to Coronado.                                 Act, 44 U.S.C. 3501 et seq. This rule                              Each of the owners of facilities affected
                                                         44 Id. section III.A.3 (recommending that              5 for every month of the year. Given that the 30–                  tending to overestimate rather than underestimate
                                                      ‘‘emissions reflecting periods of start-up, shutdown,     BOD limits are based on conditions that occur                      in this context) estimate of the difference in NOX
                                                      and malfunction’’ not be used for modeling.).             infrequently (i.e., low-load cycling, 3 cold startup/              emissions.
                                                         45 79 FR 52420, 52468–52469.                           shutdowns), during many periods the units can be                     47 79 FR 52426.
                                                         46 This value assumes that the units will fully        expected to operate at a lower emission rate. As a
                                                      operate at the allowed emission rates in Table 4 and      result, this value represents a conservative (i.e.,



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                                                                              Federal Register / Vol. 80, No. 61 / Tuesday, March 31, 2015 / Proposed Rules                                                              17019

                                                      by this rule, SRP, Arizona Public                       J. Executive Order 12898: Federal                           Authority: 42 U.S.C. 7401 et seq.
                                                      Service and PacifiCorp, exceeds this                    Actions To Address Environmental
                                                      threshold.                                              Justice in Minority Populations and                     Subpart D—Arizona
                                                                                                              Low-Income Populations                                  ■  2. In § 52.145, revise paragraphs
                                                      D. Unfunded Mandates Reform Act
                                                      (UMRA)                                                     EPA believes the human health or                     (f)(3)(i), (f)(5)(ii)(A) and (B), and (f)(10)
                                                                                                              environmental risk addressed by this                    and remove paragraph (f)(11) to read as
                                                        This action does not contain an                       action will not have potential                          follows:
                                                      unfunded mandate of $100 million or                     disproportionately high and adverse
                                                      more as described in UMRA, 2 U.S.C.                                                                             § 52.145       Visibility protection.
                                                                                                              human health or environmental effects
                                                      1531–1538, and does not significantly or                on minority, low-income or indigenous                   *     *     *     *    *
                                                      uniquely affect small governments.                      populations. We expect that Coronado                      (f) * * *
                                                                                                              will install the same control technology                  (3) * * *
                                                      E. Executive Order 13132: Federalism                                                                              (i) NOX emission limitations. The
                                                                                                              in order to meet the revised emission
                                                        This action does not have federalism                  limits as would have been necessary to                  owner/operator of each coal-fired unit
                                                      implications. It will not have substantial              meet the previously finalized limits. As                subject to this paragraph (f) shall not
                                                      direct effects on the states, on the                    shown in Tables 4 and 5 above, the                      emit or cause to be emitted NOX in
                                                      relationship between the national                       difference in NOX emissions between                     excess of the following limitations, in
                                                      government and the states, or on the                    the final EPA FIP and today’s proposed                  pounds per million British thermal
                                                      distribution of power and                               rule is approximately 233 tons per year                 units (lb/MMBtu) from any coal fired
                                                      responsibilities among the various                      (tpy). Although this is a not a trivial                 unit or group of coal-fired units. Each
                                                      levels of government.                                   amount of emissions, it is relatively                   emission limit shall be based on a
                                                                                                              small compared to the facility’s total                  rolling 30-boiler-operating-day average,
                                                      F. Executive Order 13175: Consultation                                                                          unless otherwise indicated in specific
                                                                                                              emissions. In particular, 233 tpy is
                                                      and Coordination With Indian Tribal                                                                             paragraphs.
                                                                                                              equivalent to about 3 percent of the
                                                      Governments
                                                                                                              7,300 tpy of NOX that the facility is
                                                                                                                                                                                                                        Federal
                                                        This action does not have tribal                      presently allowed to emit under the                         Coal fired unit or group of                  emission
                                                      implications, as specified in Executive                 Coronado Consent Decree.48                                       coal-fired units                        limitation
                                                      Order 13175. It will not have substantial               Furthermore, as shown in Table 5, if
                                                      direct effects on any Indian tribes, on                 today’s proposal is finalized, total NOX                Cholla Power Plant Units 2, 3,
                                                      the relationship between the Federal                    emissions from the facility would be                      and 4 .....................................         0.055
                                                      Government and Indian tribes, or on the                 roughly 2,275 tpy, a decrease of over                   Coronado Generating Station
                                                                                                              5,000 tpy compared to the plant-wide                      Unit 1 .....................................        0.065
                                                      distribution of power and                                                                                       Coronado Generating Station
                                                      responsibilities between the Federal                    cap under the Consent Decree. Thus,                       Unit 2 .....................................        0.080
                                                      Government and Indian tribes. Thus,                     although today’s proposed revision will
                                                      Executive Order 13175 does not apply                    allow for a marginal increase in                        *      *    *     *     *
                                                      to this action.                                         emissions compared to the FIP, it will                    (5) * * *
                                                                                                              still ensure a significant reduction in                   (ii) * * *
                                                      G. Executive Order 13045: Protection of                 emissions compared to present levels.
                                                      Children From Environmental Health                                                                                (A) Cholla Power Plant. The 30-day
                                                      Risks and Safety Risks                                  K. Determination Under Section 307(d)                   rolling average NOX emission rate for
                                                                                                                                                                      the group of coal-fired units identified
                                                        EPA interprets EO 13045 as applying                     Pursuant to CAA section 307(d)(1)(B),                 as Cholla Power Plant, Units 2, 3, and
                                                      only to those regulatory actions that                   EPA proposes to determine that this                     4 shall be calculated for each calendar
                                                      concern health or safety risks that EPA                 action is subject to the requirements of                day, even if a unit is not in operation
                                                      has reason to believe may                               CAA section 307(d), as it revises a FIP                 on that calendar day, in accordance
                                                      disproportionately affect children, per                 under CAA section 110(c).                               with the following procedure: Step one,
                                                      the definition of ‘‘covered regulatory                  List of Subjects in 40 CFR Part 52                      for each unit, sum the hourly pounds of
                                                      action’’ in section 2–202 of the                                                                                NOX emitted during the current boiler-
                                                                                                                Environmental protection, Air
                                                      Executive Order. This action is not                                                                             operating day (or most recent boiler-
                                                                                                              pollution control, Incorporation by
                                                      subject to Executive Order 13045                                                                                operating day if the unit is not in
                                                                                                              reference, Nitrogen oxides, Reporting
                                                      because it does not concern an                                                                                  operation), and the preceding twenty-
                                                                                                              and recordkeeping requirements,
                                                      environmental health risk or safety risk.                                                                       nine (29) boiler-operating days, to
                                                                                                              Visibility.
                                                                                                                                                                      calculate the total pounds of NOX
                                                      H. Executive Order 13211: Actions                           Authority: 42 U.S.C. 7401 et seq.                   emitted over the most recent thirty (30)
                                                      Concerning Regulations That
                                                                                                                Dated: March 13, 2015.                                boiler-operating day period for each
                                                      Significantly Affect Energy Supply,
                                                                                                              Jared Blumenfeld,                                       coal-fired unit; step two, for each unit,
                                                      Distribution, or Use
                                                                                                              Regional Administrator, EPA Region IX.                  sum the hourly heat input, in MMBtu,
                                                        This action is not subject to Executive                                                                       during the current boiler-operating day
                                                      Order 13211 because it is not a                           Part 52, chapter I, title 40 of the Code              (or most recent boiler-operating day if
                                                      significant regulatory action under                     of Federal Regulations is proposed to be                the unit is not in operation), and the
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                                                      Executive Order 12866.                                  amended as follows:                                     preceding twenty-nine (29) boiler-
                                                                                                              PART 52—APPROVAL AND                                    operating days, to calculate the total
                                                      I. National Technology Transfer and
                                                                                                              PROMULGATION OF                                         heat input, in MMBtu, over the most
                                                      Advancement Act
                                                                                                              IMPLEMENTATION PLANS                                    recent thirty (30) boiler-operating day
                                                        This rulemaking does not involve                                                                              period for each coal-fired unit; step 3,
                                                      technical standards. EPA is not                         ■ 1. The authority citation for part 52                 sum together the total pounds of NOX
                                                      proposing to revise any technical                       continues to read as follows:                           emitted from the group of coal-fired
                                                      standards or impose any new technical                                                                           units over each unit’s most recent thirty
                                                      standards in this action.                                   48 Coronado   Consent Decree, paragraph 44.         (30) boiler-operating day period (the


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                                                      17020                   Federal Register / Vol. 80, No. 61 / Tuesday, March 31, 2015 / Proposed Rules

                                                      most recent 30 boiler-operating day                     whether acceptable operating and                      Drinking Water Act of 2011 and the
                                                      periods for different units may be                      maintenance procedures are being used                 Community Fire Safety Act of 2013.
                                                      different); step four, sum together the                 will be based on information available
                                                      total heat input from the group of coal-                to the Regional Administrator which                   DATES: The public meeting will be held
                                                      fired units over each unit’s most recent                may include, but is not limited to,                   on April 14, 2015 (1 p.m. to 4:30 p.m.,
                                                      thirty (30) boiler-operating day period;                monitoring results, review of operating               eastern time). This meeting will also be
                                                      and step five, divide the total pounds of               and maintenance procedures, and                       simultaneously broadcast as a webinar,
                                                      NOX emitted from step three by the total                inspection of each unit.                              available on the Internet. Persons
                                                      heat input from step four for each group                   (ii) Coronado Generating Station. At               wishing to participate in the meeting or
                                                      of coal-fired units, to calculate the 30-               all times, including periods of startup,              webinar must pre-register by April 7,
                                                      day rolling average NOX emission rate                   shutdown, and malfunction, the owner                  2015, as described in the
                                                      for each group of coal-fired units, in                  or operator of Coronado Generating                    SUPPLEMENTARY INFORMATION section.
                                                      pounds of NOX per MMBtu, for each                       Station Unit 1 and Unit 2 shall, to the               FOR FURTHER INFORMATION CONTACT:
                                                      calendar day. Each 30-day rolling                       extent practicable, maintain and operate              More information is available at the
                                                      average NOX emission rate shall include                 each unit in a manner consistent with
                                                                                                                                                                    following EPA Web site: http://
                                                      all emissions and all heat input that                   good air pollution control practices for
                                                                                                                                                                    water.epa.gov/drink/info/lead/
                                                      occur during all periods within any                     minimizing emissions. The owner or
                                                      boiler-operating day, including                         operator shall continuously operate                   index.cfm. For questions about this
                                                      emissions from startup, shutdown, and                   pollution control equipment at all times              meeting, contact Brian D’Amico, Office
                                                      malfunction.                                            the unit it serves is in operation, and               of Ground Water and Drinking Water,
                                                         (B) Coronado Generating Station.                     operate pollution control equipment in                U.S. Environmental Protection Agency;
                                                      Compliance with the NOX emission                        a manner consistent with technological                telephone (202) 566–1069 or email at
                                                      limits for Coronado Unit 1 and                          limitations, manufacturer’s                           damico.brian@epa.gov.
                                                      Coronado Unit 2 in paragraph (f)(3)(i) of               specifications, and good engineering                  SUPPLEMENTARY INFORMATION:      To
                                                      this section shall be determined on a                   and good air pollution control practices              participate in the webinar, you must
                                                      rolling 30 boiler-operating-day basis.                  for minimizing emissions.                             pre-register by April 7, 2015, at
                                                      The 30-boiler-operating-day rolling NOX                 Determination of whether acceptable                   https://
                                                      emission rate for each unit shall be                    operating and maintenance procedures                  leadprohibitionreg.eventbrite.com. If
                                                      calculated in accordance with the                       are being used will be based on
                                                                                                                                                                    you would like to attend in person,
                                                      following procedure: Step one, sum the                  information available to the Regional
                                                                                                                                                                    please contact Brian D’Amico at (202)
                                                      total pounds of NOX emitted from the                    Administrator which may include, but
                                                      unit during the current boiler operating                is not limited to, monitoring results,                566–1069 or damico.brian@epa.gov
                                                      day and the previous twenty-nine (29)                   review of operating and maintenance                   before or by April 7, 2015. The seating
                                                      boiler operating days; Step two, sum the                procedures, and inspection of each unit.              for the public meeting and the number
                                                      total heat input to the unit in MMBtu                                                                         of connections available for the webinar
                                                                                                              *       *    *    *      *
                                                      during the current boiler operating day                 [FR Doc. 2015–07233 Filed 3–30–15; 8:45 am]
                                                                                                                                                                    are limited and will be available on a
                                                      and the previous twenty-nine (29) boiler                                                                      first-come, first-served basis. During the
                                                                                                              BILLING CODE 6560–50–P
                                                      operating days; Step three, divide the                                                                        meeting and webinar, there will be a
                                                      total number of pounds of NOX emitted                                                                         time period available for public
                                                      from that unit during the thirty (30)                   ENVIRONMENTAL PROTECTION                              comments. EPA encourages public input
                                                      boiler operating days by the total heat                 AGENCY                                                and will allocate time to receive verbal
                                                      input to the unit during the thirty (30)                                                                      statements on a first-come, first-served
                                                      boiler operating days. A new 30-boiler-                 40 CFR Part 141                                       basis. Participants will be provided with
                                                      operating-day rolling average NOX                                                                             a set time frame for their statements. It
                                                      emission rate shall be calculated for                   [FRL–9925–49–OW]                                      is preferred that only one person present
                                                      each new boiler operating day. Each 30-                                                                       a statement on behalf of a group or
                                                      boiler-operating-day average NOX                        Notice of a Public Meeting:                           organization. To ensure adequate time
                                                      emission rate shall include all emissions               Regulations Implementing Section                      for public involvement, individuals or
                                                      that occur during all periods within any                1417 of the Safe Drinking Water Act:                  organizations interested in presenting
                                                      boiler operating day, including                         Prohibition on Use of Lead Pipes,                     an oral statement should notify Brian
                                                      emissions from startup, shutdown, and                   Solder and Flux
                                                                                                                                                                    D’Amico no later than April 7, 2015.
                                                      malfunction.                                            AGENCY: Environmental Protection                         How can I get a copy of the meeting/
                                                      *      *     *     *     *                              Agency (EPA).                                         webinar materials? The meeting
                                                         (10) Equipment operations.—(i)                       ACTION: Notice of a public meeting.                   materials will provided for those
                                                      Cholla Power Plant. At all times,                                                                             attending the meeting/webinar. EPA
                                                      including periods of startup, shutdown,                 SUMMARY:   The U.S. Environmental                     will post the materials on the Agency’s
                                                      and malfunction, the owner or operator                  Protection Agency (EPA) announces a                   Web site for persons who are unable to
                                                      of Cholla Power Plant Units 2, 3 and 4                  public meeting and webinar to obtain                  attend the meeting. Please note, the
                                                      shall, to the extent practicable, maintain              input on potential revisions to
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                                                                                                                                                                    posting of these materials could occur
                                                      and operate each unit including                         regulations for the Prohibition on Use of
                                                                                                                                                                    after the meeting.
                                                      associated air pollution control                        Lead Pipes, Solder and Flux. The Safe
                                                      equipment in a manner consistent with                   Drinking Water Act (SDWA) prohibits                      Special Accommodations: To request
                                                      good air pollution control practices for                the use or introduction into commerce                 special accommodations for individuals
                                                      minimizing emissions. Pollution control                 of pipes, pipe or plumbing fittings or                with disabilities, please contact Brian
                                                      equipment shall be designed and                         fixtures, solder and flux that are not                D’Amico at (202) 566–1069, or by email
                                                      capable of operating properly to                        lead free. These revisions are necessary              to damico.brian@epa.gov, at least five
                                                      minimize emissions during all expected                  due to SDWA amendments enacted by                     business days prior to the meeting to
                                                      operating conditions. Determination of                  Congress in the Reduction of Lead in                  allow time to process your request.


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Document Created: 2015-12-18 11:48:04
Document Modified: 2015-12-18 11:48:04
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesWritten comments must be submitted to the designated contact on or before May 15, 2015. Requests for a public hearing must be received on or before April 15, 2015.
ContactThomas Webb, U.S. EPA, Region 9, Planning Office, Air Division, Air-2, 75 Hawthorne Street, San Francisco, CA 94105. Thomas Webb can be reached at telephone number (415) 947-4139 and via electronic mail at [email protected]
FR Citation80 FR 17010 
CFR AssociatedEnvironmental Protection; Air Pollution Control; Incorporation by Reference; Nitrogen Oxides; Reporting and Recordkeeping Requirements and Visibility

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