81_FR_41969 81 FR 41845 - Effluent Limitations Guidelines and Standards for the Oil and Gas Extraction Point Source Category

81 FR 41845 - Effluent Limitations Guidelines and Standards for the Oil and Gas Extraction Point Source Category

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 81, Issue 124 (June 28, 2016)

Page Range41845-41857
FR Document2016-14901

The Environmental Protection Agency (EPA) is publishing a final Clean Water Act (CWA) regulation that protects human health, the environment and the operational integrity of publicly owned treatment works (POTWs) by establishing pretreatment standards that prevent the discharge of pollutants in wastewater from onshore unconventional oil and gas (UOG) extraction facilities to POTWs. UOG extraction wastewater can be generated in large quantities and contains constituents that are potentially harmful to human health and the environment. Certain UOG extraction wastewater constituents are not typical of POTW influent wastewater and can be discharged, untreated, from the POTW to the receiving stream; can disrupt the operation of the POTW (e.g., by inhibiting biological treatment); can accumulate in biosolids (sewage sludge), limiting their beneficial use; and can facilitate the formation of harmful disinfection by-products (DBPs). Based on the information collected by EPA, the requirements of this final rule reflect current industry practices for onshore unconventional oil and gas extraction facilities. Therefore, EPA does not project that the final rule will impose any costs or lead to pollutant removals, but will ensure that current industry best practice is maintained over time.

Federal Register, Volume 81 Issue 124 (Tuesday, June 28, 2016)
[Federal Register Volume 81, Number 124 (Tuesday, June 28, 2016)]
[Rules and Regulations]
[Pages 41845-41857]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-14901]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 435

[EPA-HQ-OW-2014-0598; FRL-9947-87-OW]
RIN 2040-AF35


Effluent Limitations Guidelines and Standards for the Oil and Gas 
Extraction Point Source Category

AGENCY: Environmental Protection Agency (EPA).

ACTION: Final rule.

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SUMMARY: The Environmental Protection Agency (EPA) is publishing a 
final Clean Water Act (CWA) regulation that protects human health, the 
environment and the operational integrity of publicly owned treatment 
works (POTWs) by establishing pretreatment standards that prevent the 
discharge of pollutants in wastewater from onshore unconventional oil 
and gas (UOG) extraction facilities to POTWs. UOG extraction wastewater 
can be generated in large quantities and contains constituents that are 
potentially harmful to human health and the environment. Certain UOG 
extraction wastewater constituents are not typical of POTW influent 
wastewater and can be discharged, untreated, from the POTW to the 
receiving stream; can disrupt the operation of the POTW (e.g., by 
inhibiting biological treatment); can accumulate in biosolids (sewage 
sludge), limiting their beneficial use; and can facilitate the 
formation of harmful disinfection by-products (DBPs). Based on the 
information collected by EPA, the requirements of this final rule 
reflect current industry practices for onshore unconventional oil and 
gas extraction facilities. Therefore, EPA does not project that the 
final rule will impose any costs or lead to pollutant removals, but 
will ensure that current industry best practice is maintained over 
time.

DATES: The final rule is effective on August 29, 2016. In accordance 
with 40 CFR part 23, this regulation shall be considered issued for 
purposes of judicial review at 1 p.m. Eastern time on July 12, 2016. 
Under section 509(b)(1) of the CWA, judicial review of this regulation 
can be had only by filing a petition for review in the U.S. Court of 
Appeals within 120 days after the regulation is considered issued for 
purposes of judicial review. Under section 509(b)(2), the requirements 
in this regulation may not be challenged later in civil or criminal 
proceedings

[[Page 41846]]

brought by EPA to enforce these requirements.

ADDRESSES: The EPA has established a docket for this action under 
Docket ID No. EPA-HQ-OW-2014-0598. All documents in the docket are 
listed on the http://www.regulations.gov Web site. Although listed in 
the index, some information is not publicly available, e.g., 
confidential business information (CBI) or other information whose 
disclosure is restricted by statute. Certain other material, such as 
copyrighted material, is not placed on the Internet and will be 
publicly available only in hard copy form. Publicly available docket 
materials are available electronically through http://www.regulations.gov. A detailed record index, organized by subject, is 
available on EPA's Web site at https://www.epa.gov/eg/unconventional-oil-and-gas-extraction-effluent-guidelines.

FOR FURTHER INFORMATION CONTACT: For more information, see EPA's Web 
site: https://www.epa.gov/eg/unconventional-oil-and-gas-extraction-effluent-guidelines. For technical information, contact Karen Milam, 
Engineering and Analysis Division, Office of Science and Technology 
(4305T), Environmental Protection Agency, 1200 Pennsylvania Ave. NW., 
Washington, DC 20460; telephone number: 202-566-1915; email address: 
[email protected].

SUPPLEMENTARY INFORMATION: 

Organization of This Preamble

Table of Contents

I. Regulated Entities and Supporting Documentation
    A. Regulated Entities
    B. Supporting Documentation
II. Legal Authority
III. Purpose and Summary of Final Rule
    A. Purpose and Summary of the Final Rule
    B. Summary of Costs and Benefits
IV. Background
    A. Clean Water Act
    B. Effluent Limitations Guidelines and Standards Program
1. Best Practicable Control Technology Currently Available (BPT)
2. Best Conventional Pollutant Control Technology (BCT)
3. Best Available Technology Economically Achievable (BAT)
4. Best Available Demonstrated Control Technology (BADCT)/New Source 
Performance Standards (NSPS)
5. Pretreatment Standards for Existing Sources (PSES) and 
Pretreatment Standards for New Sources (PSNS)
C. Subcategorization
    D. Oil and Gas Extraction Effluent Guidelines Rulemaking History
    1. Subpart C: Onshore
    2. Subpart E: Agricultural and Wildlife Use
    E. State Pretreatment Requirements That Apply to UOG Extraction 
Wastewater
    F. Related Federal Requirements in the Safe Drinking Water Act
V. Industry Profile
VI. Final Rule
    A. Scope/Applicability
    B. Option Selection
    1. PSES
    2. PSNS
    3. Pollutants Selected for Regulation Pass-Through Analysis
VII. Environmental Impacts
    A. Pollutants
    B. Impacts From the Discharge of Pollutants Found in UOG 
Extraction Wastewater
    C. Impact on Surface Water Designated Uses
    1. Drinking Water Uses
    2. Aquatic Life Support Uses
    3. Livestock Watering Uses
    4. Irrigation Uses
    5. Industrial Uses
VIII. Regulatory Implementation of the Standard
    A. Implementation Deadline
    B. Upset and Bypass Provisions
    C. Variances and Modifications
IX. Statutory and Executive Order Reviews
    A. Executive Order 12866: Regulatory Planning and Review and 
Executive Order 13563: Improving Regulation and Regulatory Review
    B. Paperwork Reduction Act
    C. Regulatory Flexibility Act
    D. Unfunded Mandates Reform Act
    E. Executive Order 13132: Federalism
    F. Executive Order 13175: Consultation and Coordination With 
Indian Tribal Governments
    G. Executive Order 13045: Protection of Children From 
Environmental Health Risks and Safety Risks
    H. Executive Order 13211: Energy Effects
    I. National Technology Transfer and Advancement Act
    J. Executive Order 12898: Federal Actions To Address 
Environmental Justice in Minority Populations and Low-Income 
Populations
    K. Congressional Review Act (CRA)

I. Regulated Entities and Supporting Documentation

A. Regulated Entities

    Entities potentially regulated by this final action include:

------------------------------------------------------------------------
                                                         North American
                                                            Industry
           Category              Examples of regulated   Classification
                                       entities          System (NAICS)
                                                              Code
------------------------------------------------------------------------
Industry......................  Crude Petroleum and               211111
                                 Natural Gas
                                 Extraction.
                                Natural Gas Liquid                211112
                                 Extraction.
------------------------------------------------------------------------

    This section is not intended to be exhaustive, but rather provides 
a guide for readers regarding entities likely to be regulated by this 
final action. Other types of entities that do not meet the above 
criteria could also be regulated. To determine whether your facility 
would be regulated by this final action, you should carefully examine 
the applicability criteria listed in 40 CFR 435.30 and the definitions 
in 40 CFR 435.33(b) of the final rule and detailed further in Section 
VI, of this preamble. If you still have questions regarding the 
applicability of this final action to a particular entity, consult the 
person listed for technical information in the preceding FOR FURTHER 
INFORMATION CONTACT section.

B. Supporting Documentation

    The final rule is supported by a number of documents including the 
Technical Development Document for the Effluent Limitations Guidelines 
and Standards for the Oil and Gas Extraction Point Source Category 
(TDD), Document No. EPA-820-R-16-003 (DCN SGE01188). This document is 
available in the public record for this final rule and on EPA's Web 
site at https://www.epa.gov/eg/unconventional-oil-and-gas-extraction-effluent-guidelines.

II. Legal Authority

    EPA finalizes this regulation under the authorities of sections 
101, 301, 304, 306, 307, 308, and 501 of the CWA, 33 U.S.C. 1251, 1311, 
1314, 1316, 1317, 1318, and 1361.

III. Purpose and Summary of Final Rule

A. Purpose and Summary of the Final Rule

    Responsible development of America's oil and gas resources offers 
important economic, energy security, and environmental benefits. EPA 
has been working with states and other

[[Page 41847]]

stakeholders to understand and address potential impacts of hydraulic 
fracturing, an important process involved in producing unconventional 
oil and gas, to help ensure public confidence that oil and gas 
production is conducted in a safe and responsible manner. This final 
rule fills a gap in existing federal wastewater regulations to ensure 
that the current industry practice of not sending wastewater discharges 
from this sector to POTWs continues into the future. This rule does not 
address the practice of underground injection of wastewater discharges 
from this sector, which is covered under the Safe Drinking Water Act 
(SDWA) (see Chapter A of the TDD).
    Recent advances in the well completion process, combining hydraulic 
fracturing and horizontal drilling, have enhanced the technological and 
economic feasibility of oil and natural gas extraction from both 
existing and new resources. As a result, in 2013, United States (U.S.) 
crude oil and natural gas production reached their highest levels in 
more than 15 and 30 years, respectively (DCN SGE01192). Further, the 
Department of Energy (DOE) projects that natural gas production in the 
U.S. will increase by 45 percent by 2040, compared to 2013 production 
levels (DCN SGE01192). Similarly, the DOE projects that by 2020, crude 
oil production in the U.S. will increase by 43 percent compared to 2013 
production levels (DCN SGE01192).
    Direct discharges of oil and gas extraction wastewater pollutants 
from onshore oil and gas resources to waters of the U.S. have been 
regulated since 1979 under the existing Oil and Gas Effluent 
Limitations Guidelines and Standards (ELGs) (40 CFR part 435), the 
majority of which fall under subpart C, the Onshore Subcategory. Oil 
and gas extraction activities subject to subpart C include production, 
field exploration, drilling, well completion, and well treatment. The 
limitations for direct dischargers in the Onshore Subcategory represent 
Best Practicable Control Technology Currently Available (BPT). Based on 
the availability and economic practicability of underground injection 
technologies, the BPT-based limitations for direct dischargers require 
zero discharge of pollutants to waters of the U.S. However, there are 
currently no requirements in subpart C that apply to onshore oil and 
gas extraction facilities that are ``indirect dischargers,'' i.e., 
those that send their discharges to POTWs (municipal wastewater 
treatment facilities) which treat the water before discharging it to 
waters of the U.S.
    This final rule applies to a subset of oil and gas extraction, 
i.e., onshore extraction from shale and/or tight geologic formations 
(referred to hereafter as unconventional oil and gas (UOG) resources). 
UOG extraction wastewater can be generated in large quantities and 
contains constituents that are potentially harmful to human health and 
the environment. Wastewater from UOG wells often contains high 
concentrations of total dissolved solids (TDS) (salt content). The 
wastewater can also contain various organic chemicals, inorganic 
chemicals, metals, and naturally-occurring radioactive materials 
(referred to as technologically enhanced naturally occurring 
radioactive material or TENORM).\1\ This potentially harmful wastewater 
creates a need for appropriate wastewater management infrastructure and 
management practices. Historically, operators of oil and gas extraction 
facilities primarily managed their wastewater via underground injection 
(where available). Where UOG wells were drilled in areas with limited 
underground injection wells, and/or there was a lack of wastewater 
management alternatives, it became more common for operators to look to 
POTWs and private wastewater treatment facilities to manage their 
wastewater.
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    \1\ Naturally occurring radioactive materials that have been 
concentrated or exposed to the accessible environment as a result of 
human activities such as manufacturing, mineral extraction, or water 
processing are referred to as technologically enhanced naturally 
occurring radioactive material (TENORM). ``Technologically 
enhanced'' means that the radiological, physical, and chemical 
properties of the radioactive material have been altered by having 
been processed, or beneficiated, or disturbed in a way that 
increases the potential for human and/or environmental exposures. 
(See EPA 402-R-08-005-V2)
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    POTWs collect wastewater from homes, commercial buildings, and 
industrial facilities and pipe it through sewer lines to the sewage 
treatment plant. In some cases, industrial dischargers can haul 
wastewater to the treatment plant by tanker truck. The industrial 
wastewater, commingled with domestic wastewater, is treated by the POTW 
and discharged to a receiving waterbody. Most POTWs, however, are 
designed primarily to treat municipally-generated, not industrial, 
wastewater. They typically provide at least secondary level treatment 
and, thus, are designed to remove suspended solids and organic material 
using biological treatment. As mentioned previously, wastewater from 
UOG extraction can contain high concentrations of TDS, radioactive 
elements, metals, chlorides, sulfates, and other dissolved inorganic 
constituents that POTWs are not designed to remove. Certain UOG 
extraction wastewater constituents are not typical of POTW influent 
wastewater and can be discharged, untreated, from the POTW to the 
receiving stream; can disrupt the operation of the POTW (e.g., by 
inhibiting biological treatment); can accumulate in biosolids (sewage 
sludge), limiting their beneficial use; and can facilitate the 
formation of harmful DBPs.
    Where UOG extraction wastewaters have been discharged through POTWs 
and private wastewater treatment plants in the past, it has been 
documented that the receiving waters have elevated levels of TDS, 
specifically chlorides and bromide (DCN SGE01328). The concentration of 
TDS in UOG extraction wastewater can be high enough that if discharged 
untreated to a surface water it has the potential to adversely affect a 
number of the designated uses of the surface water, including use as a 
drinking water source, aquatic life support, livestock watering, 
irrigation, and industrial use. High concentrations of TDS can impact 
aquatic biota by causing increased receiving water salinity, osmotic 
imbalances, and toxic effects from individual ions present in the TDS. 
Increases in instream salinity have been shown to cause shifts in 
biotic communities, limit biodiversity, exclude less-tolerant species 
and cause acute or chronic effects at specific life stages (DCN 
SGE00946).
    Discharges of bromide in industrial wastewater upstream of drinking 
water intakes--either directly or indirectly through POTWs--have led to 
the formation of carcinogenic disinfection by-products (brominated 
DBPs, in particular trihalomethanes) at drinking water utilities. 
Recent studies indicate that UOG extraction wastewaters contain various 
inorganic and organic DBP precursors that can react with disinfectants 
used by POTWs, and promote the formation of DBPs or alter speciation of 
DBPs, particularly brominated-DBPs, which are suspected to be among the 
more toxic DBPs (DCN SGE00535; DCN SGE00985). DBPs have been shown to 
have both adverse human health and ecological affects (DCN SGE00535; 
DCN SGE01126).
    Section 307(b) of the CWA provides EPA authority to establish 
nationally applicable pretreatment standards for industrial categories 
that discharge indirectly (i.e., send wastewater to any POTW); this 
authority applies to key pollutants, such as TDS and its constituents, 
that are not susceptible to treatment by POTWs, or for pollutants that 
would interfere with the operation

[[Page 41848]]

of POTWs. Generally, EPA designs nationally applicable pretreatment 
standards for categories of industry (categorical pretreatment 
standards) to ensure that wastewaters from direct and indirect 
industrial dischargers are subject to similar levels of treatment. EPA, 
in its discretion under section 304(g) of the Act, periodically 
evaluates indirect dischargers not subject to categorical pretreatment 
standards to identify potential candidates for new pretreatment 
standards. Until issuance of this final rule, EPA had not established 
nationally applicable pretreatment standards for the onshore oil and 
gas extraction point source subcategory.
    This final rule establishes technology-based categorical 
pretreatment standards under the CWA for discharges of pollutants into 
POTWs from existing and new onshore UOG extraction facilities in 
subpart C of 40 CFR part 435 (80 FR 18557, April 7, 2015). The rule 
will fill a gap in federal CWA regulations and address concerns 
regarding the level of treatment provided by POTWs for UOG wastewater, 
potential interference with treatment processes, and potential impacts 
on water quality and aquatic life impacts that could result from 
inadequate treatment. Consistent with existing BPT-based requirements 
for direct dischargers in this subcategory, this final rule establishes 
pretreatment standards for existing and new sources (PSES and PSNS, 
respectively) that require zero discharge of wastewater pollutants 
associated with onshore UOG extraction facilities to POTWs.
    This final rule does not include pretreatment standards for 
wastewater pollutants associated with conventional oil and gas 
extraction facilities or coalbed methane extraction facilities. EPA is 
reserving consideration of any such standards for a future rulemaking, 
if appropriate. See Section V1.A.

B. Summary of Costs and Benefits

    Because the data reviewed by EPA show that the UOG extraction 
industry is not currently managing wastewaters by sending them to 
POTWs, the final rule is not projected to affect current industry 
practice or to result in incremental compliance costs or monetized 
benefits. UOG extraction wastewater is typically managed through 
disposal via underground injection wells, reuse/recycle in subsequent 
fracturing jobs, or transfer to a centralized waste treatment (CWT) 
facility (see 80 FR 18570, April 7, 2015). EPA is promulgating this 
rule as a backstop measure because onshore unconventional oil and gas 
extraction facilities have discharged to POTWs in the past and because 
the potential remains that some facilities may consider discharging to 
POTWs in the future.

IV. Background

A. Clean Water Act

    Congress passed the CWA to ``restore and maintain the chemical, 
physical, and biological integrity of the Nation's waters.'' 33 U.S.C. 
1251(a). The Act establishes a comprehensive program for protecting our 
nation's waters. Among its core provisions, the CWA prohibits the 
discharge of pollutants from a point source to waters of the U.S., 
except as authorized under the Act. Under section 402 of the CWA, 
discharges may be authorized through a National Pollutant Discharge 
Elimination System (NPDES) permit. The CWA establishes a two-pronged 
approach for these permits, technology-based controls that establish 
the floor of performance for all dischargers, and water quality-based 
limits where the technology-based limits are insufficient for the 
discharge to meet applicable water quality standards. To serve as the 
basis for the technology-based controls, the CWA authorizes EPA to 
establish national technology-based effluent limitations guidelines and 
new source performance standards for discharges from different 
categories of point sources, such as industrial, commercial, and public 
sources, that discharge directly into waters of the U.S.
    Direct dischargers (those discharging directly to waters of the 
U.S.) must comply with effluent limitations in NPDES permits. 
Technology-based effluent limitations (TBELs) in NPDES permits for 
direct dischargers are derived from effluent limitations guidelines 
(CWA sections 301 and 304) and new source performance standards (CWA 
section 306) promulgated by EPA. Alternatively, TBELs may be 
established based on best professional judgment (BPJ) where EPA has not 
promulgated an applicable effluent guideline or new source performance 
standard (CWA section 402(a)(1)(B) and 40 CFR 125.3). The effluent 
guidelines and new source performance standards established by 
regulation for categories of industrial dischargers are based on the 
degree of control that can be achieved using various levels of 
pollution control technology, as specified in the Act. Additional 
limitations based on water quality standards are also required to be 
included in the permit where necessary to meet water quality standards. 
CWA section 301(b)(1)(C).
    EPA promulgates national effluent guidelines and new source 
performance standards for major industrial categories for three classes 
of pollutants: (1) Conventional pollutants (total suspended solids, oil 
and grease, biochemical oxygen demand (BOD5), fecal coliform, and pH), 
as outlined in CWA section 304(a)(4) and 40 CFR 401.16; (2) toxic 
pollutants (e.g., metals such as arsenic, mercury, selenium, and 
chromium; and organic pollutants such as benzene, benzo-a-pyrene, 
phenol, and naphthalene), as outlined in section 307(a) of the Act, 40 
CFR 401.15 and 40 CFR part 423, appendix A; and (3) nonconventional 
pollutants, which are those pollutants that are not categorized as 
conventional or toxic (e.g., ammonia-N, phosphorus, and TDS).
    Under section 307(b) of the CWA, there are general and specific 
prohibitions on the discharge to POTWs of pollutants in specified 
circumstances in order to prevent ``pass through'' or ``interference.'' 
Pass through occurs whenever the introduction of pollutants from a user 
will result in a discharge that causes or contributes to a violation of 
any requirement of the POTW permit. See 40 CFR 403.3(p). Interference 
means a discharge that, among other things, inhibits or disrupts the 
POTW or prevents biosolids use consistent with the POTW's chosen method 
of disposal. See 40 CFR 403.3(k). These general and specific 
prohibitions must be implemented through local limits established by 
POTWs in certain cases. See 40 CFR 403.5(c). POTWs with approved 
pretreatment programs must develop and enforce local limits to 
implement the general prohibitions on user discharges that pass through 
or interfere with the POTW and implement specific prohibitions in 40 
CFR 403.5(b). In the case of POTWs that are not required to develop a 
pretreatment program, the POTWs must develop local limits where there 
is interference or pass through and the limits are necessary to ensure 
compliance with the POTW's NPDES permit or biosolids use.
    The CWA also authorizes EPA to promulgate nationally applicable 
pretreatment standards that restrict pollutant discharges from 
facilities that discharge pollutants indirectly, by sending wastewater 
to POTWs, as outlined in sections 307(b) and (c) and 33 U.S.C. 1317(b) 
and (c). Specifically, the CWA authorizes EPA to establish pretreatment 
standards for those pollutants in wastewater from indirect dischargers 
that EPA determines are not susceptible to treatment by a POTW or which 
would interfere with POTW operations. CWA sections 307(b) and (c). 
Under section 301(b)(1)(A) and

[[Page 41849]]

301(b)(2)(A) and the legislative history of the 1977 CWA amendments, 
pretreatment standards are technology-based and analogous to TBELs for 
direct dischargers for the removal of toxic pollutants. As explained in 
the statute and legislative history, the combination of pretreatment 
and treatment by the POTW is intended to achieve the level of treatment 
that would be required if the industrial source were making a direct 
discharge. Conf. Rep. No. 95-830, at 87 (1977), reprinted in U.S. 
Congress. Senate. Committee on Public Works (1978), A Legislative 
History of the CWA of 1977, Serial No. 95-14 at 271 (1978). As such, in 
establishing pretreatment standards, EPA's consideration of pass 
through for national technology-based categorical pretreatment 
standards differs from that described above for general pretreatment 
standards. For categorical pretreatment standards, EPA's approach for 
pass through satisfies two competing objectives set by Congress: (1) 
That standards for indirect dischargers be equivalent to standards for 
direct dischargers; and (2) that the treatment capability and 
performance of the POTWs be recognized and taken into account in 
regulating the discharge of pollutants from indirect dischargers.

B. Effluent Limitations Guidelines and Standards Program

    EPA develops ELGs that are technology-based regulations for 
specific categories of dischargers. EPA bases these regulations on the 
performance of control and treatment technologies. The legislative 
history of CWA section 304(b), which is the heart of the effluent 
guidelines program, describes the need to press toward higher levels of 
control through research and development of new processes, 
modifications, replacement of obsolete plants and processes, and other 
improvements in technology, taking into account the cost of controls. 
Congress has also stated that EPA need not consider water quality 
impacts on individual water bodies as the guidelines are developed. See 
Statement of Senator Muskie (October 4, 1972), reprinted in U.S. Senate 
Committee on Public Works, Legislative History of the Water Pollution 
Control Act Amendments of 1972, Serial No. 93-1, at 170.
    There are four types of standards applicable to direct dischargers 
(facilities that discharge directly to waters of the U.S.), and two 
types of standards applicable to indirect dischargers (facilities that 
discharge to POTWs), described in detail later on. Subsections 1 
through 4 describe standards for direct discharges and subsection 5 
describes standards for indirect discharges.
1. Best Practicable Control Technology Currently Available (BPT)
    Traditionally, EPA defines BPT effluent limitations based on the 
average of the best performances of facilities within the industry, 
grouped to reflect various ages, sizes, processes, or other common 
characteristics. BPT effluent limitations control conventional, toxic, 
and nonconventional pollutants. In specifying BPT, EPA looks at a 
number of factors. EPA first considers the cost of achieving effluent 
reductions in relation to the effluent reduction benefits. The Agency 
also considers the age of equipment and facilities, the processes 
employed, engineering aspects of the control technologies, any required 
process changes, non-water quality environmental impacts (including 
energy requirements), and such other factors as the Administrator deems 
appropriate. See CWA section 304(b)(1)(B). If, however, existing 
performance is uniformly inadequate, EPA can establish limitations 
based on higher levels of control than are currently in place in an 
industrial category, when based on an Agency determination that the 
technology is available in another category or subcategory and can be 
practically applied.
2. Best Conventional Pollutant Control Technology (BCT)
    For discharges of conventional pollutants from existing industrial 
point sources, the CWA requires EPA to identify additional levels of 
effluent reduction that can be achieved with BCT. In addition to other 
factors specified in section 304(b)(4)(B), the CWA requires that EPA 
establish BCT limitations after consideration of a two-part ``cost 
reasonableness'' test. In a July 9, 1986 Federal Register Notice, EPA 
published and explained its methodology for the development of BCT 
limitations in (51 FR 24974). Section 304(a)(4) designates the 
following as conventional pollutants: BOD5, total suspended 
solids (TSS), fecal coliform, pH, and any additional pollutants defined 
by the Administrator as conventional. The Administrator designated oil 
and grease as an additional conventional pollutant on July 30, 1979 (44 
FR 44501; 40 CFR part 401.16).
3. Best Available Technology Economically Achievable (BAT)
    BAT represents the second level of stringency for controlling 
direct discharge of toxic and nonconventional pollutants. In general, 
BAT-based effluent guidelines and new source performance standards 
represent the best available economically achievable performance of 
facilities in the industrial subcategory or category. Following the 
statutory language, EPA considers the technological availability and 
the economic achievability in determining what level of control 
represents BAT. CWA section 301(b)(2)(A). Other statutory factors that 
EPA considers in assessing BAT are the cost of achieving BAT effluent 
reductions, the age of equipment and facilities involved, the process 
employed, potential process changes, and non-water quality 
environmental impacts, including energy requirements and such other 
factors as the Administrator deems appropriate. CWA section 
304(b)(2)(B). The Agency retains considerable discretion in assigning 
the weight to be accorded these factors. Weyerhaeuser Co. v. Costle, 
590 F.2d 1011, 1045 (D.C. Cir. 1978).
4. Best Available Demonstrated Control Technology (BADCT)/New Source 
Performance Standards (NSPS)
    NSPS reflect effluent reductions that are achievable based on the 
best available demonstrated control technology (BADCT). Owners of new 
facilities have the opportunity to install the best and most efficient 
production processes and wastewater treatment technologies. As a 
result, NSPS should represent the most stringent controls attainable 
through the application of the BADCT for all pollutants (that is, 
conventional, nonconventional, and toxic pollutants). In establishing 
NSPS, EPA is directed to take into consideration the cost of achieving 
the effluent reduction and any non-water quality environmental impacts 
and energy requirements. CWA section 306(b)(1)(B).
5. Pretreatment Standards for Existing Sources (PSES) and Pretreatment 
Standards for New Sources (PSNS)
    As discussed previously, section 307(b) of the Act authorizes EPA 
to issue pretreatment standards for discharges of pollutants from 
existing sources to POTWs. Section 307(c) of the Act authorizes EPA to 
promulgate pretreatment standards for new sources (PSNS). Both 
standards are designed to prevent the discharge of pollutants that pass 
through, interfere with, or are otherwise incompatible with the 
operation of POTWs. Categorical pretreatment standards for existing 
sources are technology-based and are analogous to BPT and BAT effluent

[[Page 41850]]

limitations guidelines, and thus the Agency typically considers the 
same factors in promulgating PSES for toxic and non-conventional 
pollutants as it considers in promulgating BAT. See Natural Resources 
Defense Council v. EPA, 790 F.2d 289, 292 (3rd Cir. 1986). Similarly, 
in establishing pretreatment standards for new sources, the Agency 
typically considers the same factors in promulgating PSNS as it 
considers in promulgating NSPS (BADCT).

C. Subcategorization

    In developing ELGs, EPA can divide an industry category into 
groupings called ``subcategories'' to provide a method for addressing 
variations among products, processes, treatment costs, and other 
factors that affect the determination of the ``best available'' 
technology. See Texas Oil & Gas Ass'n. v. US EPA, 161 F.3d 923, 939-40 
(5th Cir.1998). Regulation of a category by subcategories provides that 
each subcategory has a uniform set of effluent limitations or 
pretreatment standards that take into account technological 
achievability, economic impacts, and non-water quality environmental 
impacts unique to that subcategory. In some cases, effluent limitations 
or pretreatment standards within a subcategory can be different based 
on consideration of these same factors, which are identified in CWA 
section 304(b)(2)(B). The CWA requires EPA, in developing effluent 
guidelines and pretreatment standards, to consider a number of 
different factors, which are also relevant for subcategorization. The 
CWA also authorizes EPA to take into account other factors that the 
Administrator deems appropriate. CWA section 304(b).

D. Oil and Gas Extraction Effluent Guidelines Rulemaking History

    The Oil and Gas Extraction industry is subcategorized in 40 CFR 
part 435 as follows: (1) Subpart A: Offshore; (2) subpart C: Onshore; 
(3) subpart D: Coastal; (4) subpart E: Agricultural and Wildlife Water 
Use; and (5) subpart F: Stripper. EPA promulgated the first Oil and Gas 
Extraction ELGs (40 CFR part 435) in 1979 establishing BPT-based 
limitations for the Offshore, Onshore, Coastal, and Agricultural and 
Wildlife Use subcategories. EPA established BAT- and NSPS-based limits 
for certain subcategories in 1993 (Offshore), 1996 (Coastal), and 2001 
(Synthetic-based drilling fluids). EPA also established pretreatment 
standards for one subcategory (Coastal) in 1996.
    The previously established subpart C (Onshore) regulation covers 
wastewater discharges from field exploration, drilling, production, 
well treatment, and well completion activities in the onshore oil and 
gas industry. Although UOG resources occur in offshore and coastal 
regions, recent development of UOG resources in the U.S. has occurred 
primarily in onshore regions, to which the regulations in subpart C 
(Onshore) and subpart E (Agricultural and Wildlife Water Use) apply. 
Accordingly, this rule addresses the gap in onshore regulations, and 
only the regulations that apply to onshore oil and gas extraction are 
described in more detail here.
1. Subpart C: Onshore
    Subpart C applies to facilities engaged in the production, field 
exploration, drilling, well completion, and well treatment in the oil 
and gas extraction industry which are located landward of the inner 
boundary of the territorial seas--and which are not included in the 
definition of other subparts--including subpart D (Coastal). The 
regulations at 40 CFR 435.32 specify the following for BPT: There shall 
be no discharge of wastewater pollutants into navigable waters from any 
source associated with production, field exploration, drilling, well 
completion, or well treatment (i.e., produced water, drilling muds, 
drill cuttings, and produced sand).
2. Subpart E: Agricultural and Wildlife Use
    Subpart E applies to onshore facilities located in the continental 
U.S. and west of the 98th meridian for which the produced water has a 
use in agriculture or wildlife propagation when discharged into 
navigable waters. Definitions in 40 CFR 435.51(c) explain that the term 
``use in agricultural or wildlife propagation'' means that (1) the 
produced water is of good enough quality to be used for wildlife or 
livestock watering or other agricultural uses; and (2) the produced 
water is actually put to such use during periods of discharge. The 
regulations at 40 CFR 435.52 specify that the only allowable discharge 
is produced water, with an oil and grease concentration not exceeding 
35 milligrams per liter (mg/L). The BPT regulations prohibit the 
discharge of waste pollutants into navigable waters from any source 
(other than produced water) associated with production, field 
exploration, drilling, well completion, or well treatment (i.e., 
drilling muds, drill cuttings, produced sands).

E. State Pretreatment Requirements That Apply to UOG Extraction 
Wastewater

    In addition to applicable federal requirements, some states 
regulate the management, storage, and disposal of UOG extraction 
wastewater, including regulations concerning pollutant discharges to 
POTWs from oil and gas extraction facilities. In addition to 
pretreatment requirements, some states have indirectly addressed the 
issue of pollutant discharges to POTWs by limiting the management and 
disposal options available for operators to use.
    During initial development of Marcellus shale gas resources, some 
operators managed UOG wastewater by transfer to POTWs. EPA did not 
identify other areas in the U.S. where POTWs routinely accepted UOG 
extraction wastewaters. Chapter A of the TDD summarizes how 
Pennsylvania, Ohio, Michigan, and West Virginia responded to UOG 
extraction wastewater discharges to their POTWs. EPA did not identify 
any states that require zero discharge of pollutants from UOG 
operations to POTWs in the same manner as this final rule.

F. Related Federal Requirements in the Safe Drinking Water Act

    As required by SDWA section 1421, EPA has promulgated regulations 
to protect underground sources of drinking water through Underground 
Injection Control (UIC) programs that regulate the injection of fluids 
underground. These regulations are found at 40 CFR parts 144-148, and 
specifically prohibit any underground injection not authorized by UIC 
permit. 40 CFR 144.11. The regulations classify underground injection 
into six classes; wells that inject fluids brought to the surface in 
connection with oil and gas production are classified as Class II UIC 
wells. Thus, onshore oil and gas extraction facilities that seek to 
meet the zero discharge requirements of the existing ELGs or final 
pretreatment standard through underground injection of wastewater must 
obtain a Class II UIC permit for such disposal or take the wastewater 
to an appropriately permitted injection facility.

V. Industry Profile

    EPA gathered information on the industry via the North American 
Industry Classification System (NAICS), which is a standard created by 
the U.S. Census for use in classifying business establishments within 
the U.S. economy. The industry category affected by this final rule is 
the Oil and Gas Extraction industry (NAICS code 21111). The industry 
has two segments: Crude Petroleum and Gas Extraction (NAICS 211111) 
which is made up of facilities that have wells that produce petroleum 
or natural gas or produce crude petroleum from surface shale or

[[Page 41851]]

tar sands; and Natural Gas Liquid Extraction (NAICS 211112), which is 
made up of facilities that recover liquid hydrocarbons from oil and gas 
field gases and sulfur from natural gas. According to data from the 
Statistics of U.S. Businesses (SUSB), in 2012 there were 6,646 firms in 
the overall Oil and Gas Extraction (OGE) industry. Of those firms, 
98.5% were considered small business based on the Small Business 
Administration (SBA) criteria definition of a small firm in this 
industry as having 500 or fewer employees. In 2012, Oil and Gas 
Extraction sector firms employed, on average, 19 employees and had an 
estimated average $53 million in revenue per firm.
    EPA reviewed financial performance of oil and gas firms from 2006 
to 2014. Generally, over the analysis period, all segments of the oil 
and gas industry showed a similar profile of revenue growth; however, 
reviews of financial performance and condition metrics indicate a 
recent deterioration in financial performance and condition for OGE 
firms since mid-2014 due to the fall in crude oil and natural gas 
prices. The prediction of slow price recovery indicates that the 
financial condition of OGE firms in general may not recover in the 
short term, though the crude oil and natural gas prices are forecast to 
increase through 2040 (DCN SGE01192). While many factors will affect 
further UOG development, and forecasts inevitably involve considerable 
uncertainty, production is expected to continue to increase. EIA 
forecasts that by 2040, shale gas will account for 55 percent of U.S. 
natural gas production, with tight gas as the second leading source at 
22 percent, and shale/tight oil \2\ will account for 45 percent of 
total U.S. oil production (DCN SGE01192). See the industry profile (DCN 
SGE01277) for more information.
---------------------------------------------------------------------------

    \2\ EIA reported this data as ``tight oil'' production but 
stated that it includes production from both shale oil formations 
(e.g., Bakken, Eagle Ford) and tight oil formations (e.g., Austin 
Chalk).
---------------------------------------------------------------------------

VI. Final Rule

A. Scope/Applicability

    Consistent with the proposal, the scope of this final rule is 
specific to pretreatment standards for onshore oil and gas extraction 
facilities (subpart C). EPA did not propose to reopen the regulatory 
requirements applicable to any other subpart or the requirements for 
direct dischargers in subpart C. Rather, the scope of the final rule 
amends subpart C only to add requirements for indirect dischargers 
where there currently are none. Further, also consistent with the 
proposal, the final rule establishes requirements for wastewater 
discharges from UOG extraction facilities to POTWs. It does not 
establish requirements for wastewater discharges from conventional oil 
and gas extraction (COG) facilities. EPA reserves consideration of any 
such standards for a future rulemaking, if appropriate.
    The final rule defines unconventional oil and gas resources as 
``crude oil and natural gas produced by a well drilled into a shale 
and/or tight formation (including, but not limited to, shale gas, shale 
oil, tight gas, and tight oil).'' This definition is generally 
consistent with other readily available sources. For additional 
information, see Chapter B of the TDD.
    As a point of clarification, although coalbed methane would fit 
this definition, the final pretreatment standards do not apply to 
pollutants in wastewater discharges associated with coalbed methane 
extraction to POTWs. EPA notes that the requirements in the existing 
effluent guidelines for direct dischargers also do not apply to coalbed 
methane extraction, as this industry did not exist at the time that the 
effluent guidelines were developed and was not considered by the Agency 
in establishing the effluent guidelines (DCN SGE00761). To reflect the 
fact that neither the final pretreatment standards nor the existing 
effluent guideline requirements apply to coalbed methane extraction, 
EPA expressly reserved a separate unregulated subcategory for coalbed 
methane in this final rule. For information on coalbed methane, see 
https://www.epa.gov/eg/coalbed-methane-extraction-industry.

B. Option Selection

    EPA analyzed three regulatory options at proposal, the details of 
which were discussed fully in the document published on April 7, 2015 
(80 FR 18557). In general, these three options ranged from requiring 
zero discharge of pollutants to POTWs, establishing non-zero 
pretreatment standards, or establishing no national pretreatment 
standards. Depending on the interests represented, public commenters 
supported virtually all of the regulatory options that EPA proposed--
from the least stringent to the most stringent. Thus, in developing 
this final rule, EPA again considered the same three regulatory 
options.
1. PSES
    After considering all of the relevant factors and technology 
options discussed in this preamble and in the TDD, as well as public 
comments, EPA decided to establish PSES based on current industry 
practice: Disposal in UIC wells, wastewater reuse/recycling to fracture 
\3\ another well, or management by centralized waste treatment (CWT) 
facilities--none of which involve sending wastewater to POTWs. Thus, 
for PSES, the final rule establishes a zero discharge standard on all 
pollutants in UOG extraction wastewater.
---------------------------------------------------------------------------

    \3\ In some cases, industry has also re-used/recycled the water 
to drill another well that is not fractured.
---------------------------------------------------------------------------

    Generally, EPA designs pretreatment standards to meet Congress' 
objective to ensure that wastewaters from direct and indirect 
industrial dischargers are subject to similar levels of pollutant 
removals prior to discharge to waters of the U.S. See Chemical 
Manufacturers Assn. v. EPA, 870 F.2d 177, 245 (5th Cir. 1989). This 
means that, typically, the requirements for indirect dischargers are 
analogous to those for direct dischargers. As explained in Section 
IV.C., the existing BPT-based requirement for direct dischargers in the 
Onshore Subcategory is zero discharge of wastewater pollutants into 
waters of the U.S. from any source associated with production, field 
exploration, drilling, well completion, or well treatment.
    As explained in Section XII.E of the proposal (80 FR 18570, April 
7, 2015), EPA evaluated the practices currently used to manage UOG 
extraction wastewaters. Based on the information reviewed as part of 
this final rulemaking, EPA concludes that current industry practice is 
to not discharge pollutants from onshore UOG extraction to POTWs.\4\ 
Rather, the vast majority of this wastewater is managed by disposal in 
underground injection wells and/or re-use in fracturing another well. A 
small, but in some geographic areas increasing, portion of the industry 
also transfers its wastewater to CWT facilities.\5\
---------------------------------------------------------------------------

    \4\ EPA solicited additional data and information on current 
industry practice as well as its preliminary finding that no UOG 
facilities currently discharge to POTWs in the proposal. EPA did not 
receive data since proposal to contradict this finding.
    \5\ Existing effluent limitations guidelines and pretreatment 
standards at 40 CFR part 437 apply to CWT facilities. The CWT 
industry handles wastewater and industrial process by-products from 
off-site. CWT facilities may receive a wide variety of hazardous and 
non-hazardous industrial wastes for treatment.
---------------------------------------------------------------------------

    The technology basis for the promulgated PSES is disposal in UIC 
wells, wastewater reuse/recycling to fracture another well, or 
management by CWT facilities. Because all existing UOG extraction 
facilities currently employ alternative wastewater management practices 
other than

[[Page 41852]]

transfer to a POTW, the technology basis for meeting a zero discharge 
requirement is widely available. While EPA bases pretreatment standards 
and associated discharge limits on a technology basis, the agency does 
not require facilities to employ any specific technology; rather, 
facilities may comply with alternative technologies as long as they 
meet the prescribed limits.
    Some commenters asserted that UIC wells may not be available in the 
future in all geographic locations, but provided no data to support 
their assertion. EPA does not have any data to demonstrate that UIC 
capacity nationwide will be expended and that this current management 
option will not be available in the future (See Chapter D of the TDD). 
Further, data suggest that, where UIC wells are currently available, 
this availability will likely continue in the future (see Chapter D of 
the TDD). Moreover, the technology basis for the final pretreatment 
standards is not limited to UIC disposal. EPA identified two other 
approaches that also meet the zero discharge requirement: Reuse/recycle 
of the wastewater for re-fracturing other wells, or transfer of the 
wastewater to a CWT facility. In recent years, industry has greatly 
expanded its knowledge about the ability to reuse/recycle UOG flowback 
and long-term produced water (the major contributors to UOG extraction 
wastewater by volume) in fracturing another well. Consequently, as the 
UOG industry continues to grow and new wells are being fractured, the 
need for UIC capacity for UOG extraction wastewater may decrease, even 
in geographic locations with an abundance of UIC capacity, due to the 
increased availability of reuse/recycle. In addition, EPA's record 
demonstrates that in areas of the country where UIC wells and/or 
opportunities for reuse in fracturing another well are limited, UOG 
extraction facilities transfer their wastewater to a CWT facility (see 
Chapter D of the TDD). Some commenters assert that the option to 
transfer UOG wastewater to CWT facilities may be limited in the future 
because EPA may revise ELGs for this industry. While EPA is conducting 
a study of CWT facilities that accept oil and gas wastewater to 
determine if revision to the CWT regulations may be appropriate, EPA is 
not evaluating any approaches that would directly restrict their 
availability to accept such wastewaters.
    While the technology basis is best performing in that it achieves 
zero discharge of pollutants in UOG extraction wastewater to POTWs, the 
requirement reflects current industry practice and EPA therefore 
estimates that there will be no incremental pollutant reductions. 
Accordingly, because industry is already meeting this requirement, no 
facilities will incur incremental costs for compliance with the 
promulgated PSES and, therefore, the promulgated PSES is economically 
achievable. For the same reasons, the final PSES will result in no 
incremental non-water quality environmental impacts. Finally, because 
the final rule represents current industry practice, EPA requires that 
the PSES based on zero discharge of wastewater pollutants to POTWs be 
effective as of the effective date of this rule, 60 days after 
publication of this rule in the Federal Register.
    EPA did not establish PSES based on Option 2, under which EPA would 
establish non-zero numerical pretreatment standards for discharges of 
wastewater pollutants from UOG extraction facilities. Such an option 
could be similar to the one adopted in Pennsylvania in 2010 that 
requires pretreatment of oil and gas wastewaters before discharge to a 
POTW to meet a maximum TDS concentration of 500 mg/L as well as 
specific numerical concentrations for other pollutants (see Chapter A 
of the TDD). Some commenters suggested this approach would provide an 
``escape-valve'' for the future in the event that UIC disposal well 
capacity is exhausted. Others have suggested this would allow the water 
to be available for re-use (other than in fracturing another well) if 
technologies become available to pre-treat it to remove dissolved 
pollutants in a cost effective manner.
    Although EPA identified technologies \6\ that currently exist to 
treat dissolved pollutants in UOG extraction wastewater that could be 
used to set a non-zero numeric discharge limit, EPA did not select this 
option for the following reasons. First, the existing requirements for 
direct discharges of UOG extraction wastewater in the Onshore 
Subcategory require zero discharge of pollutants. As explained 
previously, EPA generally establishes requirements for direct and 
indirect discharges so that the wastewater receives comparable levels 
of pollutant removals prior to discharge to waters of the U.S.
---------------------------------------------------------------------------

    \6\ See DCN SGE01186.
---------------------------------------------------------------------------

    Second, as detailed previously, UOG facilities in this subcategory 
are currently meeting the zero discharge requirement. Thus, any option 
that would allow for a discharge of UOG pollutants above the current 
zero discharge level would be less stringent than the current industry 
practice and thus would potentially increase the discharge of such 
pollutants to POTWs. EPA reasonably concluded that--as compared to a 
less stringent non-zero technology basis in Option 2--a standard based 
on available zero discharge options reflects the ``best'' available 
technology within the meaning of Section 304(b) of the Clean Water Act. 
Moreover, unlike Option 2, a zero discharge technology option is 
consistent with the CWA goal of eliminating the discharge of pollutants 
into navigable waters (CWA sections 101(a)(1); 301(b)(2)(A) and 
306(a)(1)).
    Third, EPA disagrees with the commenters' suggestion that an option 
allowing for the discharge to POTWs is necessary as an ``escape valve'' 
in case of limited future availability of UIC disposal options. As 
explained previously, UIC disposal capacity is currently widely 
available, and EPA does not have data to suggest that this capacity 
will be limited in the future. Moreover, approaches to achieve zero 
discharge are not limited to UIC wells, and EPA has no data to suggest 
that other zero discharge options, such as reuse/recycle of wastewater 
for re-fracturing or sending wastewater to CWT facilities, will be 
limited in the future. Without any such data, there is no basis for EPA 
to conclude that an ``escape valve'' allowing for discharge to POTWs is 
needed to address concerns about limited future availability of zero 
discharge technology options.
    Fourth, although EPA identified technologies that currently exist 
to treat dissolved pollutants in UOG extraction wastewater, these TDS-
removal technologies are also likely more costly, as demonstrated by 
information in the record on estimated costs of managing wastewater 
under various approaches, relative to the suite of technologies that 
form the zero discharge technology basis for the final rule. See DCN 
SGE01186, SGE00139, SGE00070, SGE00350, SGE00279, SGE01064, SGE00283, 
SGE00300, SGE00625, SGE00635, SGE00280, SGE00245, SGE00279, SGE00276, 
SGE00275.
    With respect to the comments suggesting that EPA establish a non-
zero numerical treatment standard in order to allow for (non-
fracturing) reuse/recycle of the wastewater, data collected for this 
rulemaking demonstrate that the current technologies are capable of 
reducing TDS (and other dissolved pollutants) well below 500 mg/L (see 
DCN SGE01186). To the extent that these technologies or others are 
developed in the future to reduce pollutants in UOG extraction 
wastewater to enable them to be reused/

[[Page 41853]]

recycled for purposes other than fracturing another well, these pre-
treated wastewaters can be used directly for the other applications 
rather than going to a POTW.
    In addition to the PSES option of zero discharge of wastewater 
pollutants, EPA also considered a ``no rule'' option, based on the 
discussion previously that no UOG facilities are currently transferring 
wastewater to POTWs, and given available alternative management options 
such as disposal in UIC wells and reuse/recycling.
    EPA did not select a ``no rule'' option for several reasons. First, 
there is no national regulation that prevents or requires pretreatment 
of such discharges--and, as mentioned previously, EPA is not aware of 
any POTWs that are designed to treat dissolved pollutants common in UOG 
extraction wastewater. Thus, as explained previously, some pollutants 
of concern in UOG extraction wastewater will not be physically, 
chemically, or biologically reduced by the treatment processes 
typically used at POTWs, and these pollutants, if sent to POTWs, are 
expected to be discharged from the POTW into receiving waters. In 
addition, these pollutants can cause operational problems for the 
POTW's biological treatment processes and alter the POTW's ability to 
adequately remove BOD, TSS, and other pollutants for which it is 
regulated. For some UOG pollutants, such as radionuclides, the data 
indicate POTWs will remove some portion while discharging the remainder 
(DCN SGE01028; DCN SGE01185). In these cases, some portion of the 
radionuclides will partition to the POTW biosolids, which can cause the 
POTW to incur increased costs to change its selected method of 
biosolids management (DCN SGE00615). See Chapter D of the TDD. This 
means that, absent a pretreatment standard, constituents of such 
wastewater could be discharged to receiving waters or interfere with 
POTW operations when other available options such as reuse/recycle and 
proper disposal in a Class II UIC well better protect water quality and 
aquatic communities and help further the zero discharge goal of the 
CWA. CWA section 101(a)(1).
    Second, as detailed in the TDD, few states have regulations or 
policies that prevent discharges of pollutants in UOG extraction 
wastewater to POTWs or that mandate pre-treatment prior to discharge to 
a POTW. In the absence of such regulations or policies, resource-
constrained control authorities and/or POTWs that receive requests to 
accept UOG extraction wastewater would be in the position of having to 
evaluate whether to accept transfers of wastewater on a case-by-case 
basis. It is beneficial to the states as a practical matter to 
establish federal regulations that mandate this existing practice, in 
order to avoid the burden for each state to potentially repeat the 
effort of promulgating state-level regulations. EPA has discussed this 
rule with several states that have indicated that a federal 
pretreatment standard would reduce their administrative burden (DCN 
SGE00762; DCN SGE00743).
    Third, EPA also considered the future burden that continued lack of 
pretreatment standards can impose on POTWs. The UOG extraction industry 
is predicted to continue to grow in the future, resulting in the 
installation, fracturing, and possible re-fracturing of hundreds of 
thousands of wells. Well operators will continue to generate UOG 
extraction wastewater and could request that local POTWs accept their 
wastewater for discharge. In the absence of federal pretreatment 
standards, POTWs can legally accept UOG extraction wastewater to the 
extent that such wastewater transfers are in compliance with state and 
local requirements and that resulting discharges comply with their 
permits. Evaluating each potential customer (industrial user) and 
developing a determination for each new UOG extraction wastewater 
source on a case-by-case basis could be burdensome for POTWs. In 
addition, where a POTW determines it can accept this wastewater, 
complying with applicable reporting requirements could be a significant 
burden to some POTWs. EPA concluded that a national-level determination 
that UOG extraction wastewater contains pollutant concentrations that 
could pass through POTWs, and establishment of categorical pretreatment 
standards, will avoid burdening individual pretreatment Control 
Authorities (e.g. POTWs) with evaluating each individual request. While 
EPA does not have the information to quantify the reductions in 
administrative burden that will likely result from the final rule, 
states generally support EPA's position that such reductions will be 
realized (DCN SGE00762; DCN SGE00743).
    Fourth, history demonstrates that, absent controls preventing the 
transfer of or requiring pretreatment of such wastewater, POTWs could 
and did accept it. This occurred in Pennsylvania (see Chapter A and 
Chapter D of the TDD), where POTWs were used to manage UOG extraction 
wastewater until the state took action. This action included 
promulgating new regulations requiring pretreatment. Among the drivers 
behind these actions taken by Pennsylvania was that some waters were 
impaired by TDS. (DCN SGE00187). To avoid future scenarios where POTWs 
receive UOG extraction wastewater, it is reasonable to codify the zero 
discharge practice already adopted by the industry that EPA has found 
to be ``best'' in terms of pollutant removals, as well as both 
technologically available and economically achievable.
2. PSNS
    After considering all of the relevant factors and technology 
options discussed in this preamble and in the TDD, as well as public 
comments, as is the case with PSES, EPA decided to establish PSNS based 
on the technologies described in Option 1. For PSNS, the final rule 
establishes a zero discharge standard on all pollutants in UOG 
wastewater.
    As previously noted, under section 307(c) of the CWA, new sources 
of pollutants into POTWs must comply with standards that reflect the 
greatest degree of effluent reduction achievable through application of 
the best available demonstrated control technologies. Congress 
envisioned that new treatment systems could meet tighter controls than 
existing sources because of the opportunity to incorporate the most 
efficient processes and treatment systems into the facility design. The 
technologies used to control pollutants at existing sources, disposal 
in UIC wells, wastewater reuse/recycling to fracture another well, and/
or management at CWT facilities--are fully available to new sources for 
the same reasons specified earlier for existing sources. They achieve 
the greatest degree of effluent reduction available: zero discharge of 
pollutants in UOG extraction wastewater. Furthermore, EPA has not 
identified any technologies that are demonstrated to be available for 
new sources that are different from those identified for existing 
sources.
    EPA determined that the final PSNS present no barrier to entry into 
the market for new sources. EPA has no data in the record indicating 
that new sources would manage their wastewater any differently than 
existing sources or that the management options that are available for 
existing sources would not be available for new sources. Indeed, EPA's 
record demonstrates that as new UOG facilities have come into 
existence, they are relying on the same current industry best practices 
as existing facilities, using zero discharge technology options to 
avoid sending wastewater to POTWs. See TDD Table D-1 and DCN 
SGE01179.A03.

[[Page 41854]]

Accordingly, EPA found that there are no overall incremental impacts 
from the final standards on new sources, as is the case for existing 
sources, since the incremental costs faced by new sources generally 
will be the same as those faced by existing sources. EPA projects no 
incremental non-water quality environmental impacts. Therefore, EPA 
established PSNS that are the same as the final PSES for this final 
rule.
    EPA rejected other options for PSNS for the same reasons that the 
Agency rejected other options for PSES. And, as with the final PSES, 
EPA determined that the final PSNS prevent pass through of pollutants 
from POTWs into receiving streams and also help control contamination 
of POTW sludge.
3. Pollutants Selected for Regulation Pass-Through Analysis
    EPA identifies all pollutants in UOG extraction wastewater as 
pollutants of concern and similarly determined all pollutants pass 
through. As a result, all pollutants in UOG extraction wastewater are 
directly regulated by the final pretreatment standards.
    CWA section 301(b) directs EPA to eliminate the discharge of all 
pollutants where it is technologically available and economically 
achievable to do so (after a consideration of the factors specified in 
section 304(b) of the Act). The first step in such an analysis is 
typically to identify Pollutants of Concern (POCs)--or the pollutants 
to be potentially regulated by the effluent guideline. For some 
industries and wastestreams, not every pollutant in the wastestream may 
be a pollutant of concern. For example, not every pollutant may be 
present in an amount or frequency that EPA can demonstrate, using 
available data, is treatable by the candidate technology. Where this is 
the case, EPA may choose to establish numerical limitations for only a 
subset of the pollutants present in the wastestream. For other 
industries and wastestreams, the candidate technology may be capable of 
controlling all pollutants present in the wastestream regardless of 
amount or frequency. Where this is the case, EPA considers all 
pollutants in the wastestream to be POCs. This is the case in this 
final rule because, as described previously, the technology bases for 
the rule: underground injection of UOG extraction wastewater, recycling 
and reuse of that wastewater, or management by CWT facilities; results 
in zero discharge of all pollutants from UOG facilities to POTWs. 
Therefore, under this rule, all pollutants in UOG extraction wastewater 
are POCs. Chapter C of the TDD provides a summary of available 
characterization data for UOG extraction wastewaters.
    In addition, before establishing PSES/PSNS for a pollutant, EPA 
examines whether the pollutant ``passes through'' a POTW to waters of 
the U.S. or interferes with the POTW operation or sludge disposal 
practices. In determining whether a pollutant passes through POTWs for 
these purposes,\7\ where EPA establishes non-zero pretreatment 
standards, EPA generally compares the percentage of a pollutant removed 
by well-operated POTWs performing secondary treatment to the percentage 
removed by the BAT/NSPS technology basis. A pollutant is determined to 
pass through POTWs when the median percentage removed nationwide by 
well-operated POTWs is less than the median percentage removed by the 
BAT/NSPS technology basis. Pretreatment standards are established for 
those pollutants regulated under BAT/NSPS that pass through POTWs. In 
this way, EPA is able to ensure that the standards for indirect 
dischargers are equivalent to direct dischargers and that the treatment 
capability and performance of POTWs is recognized and taken into 
account in regulating the pollutants from indirect dischargers.
---------------------------------------------------------------------------

    \7\ As explained in Section IV, the definition of pass through 
for general pretreatment standards appropriately differs from the 
definition in establishing national categorical pretreatment 
standards as they serve different objectives.
---------------------------------------------------------------------------

    For those wastestreams regulated with a zero discharge limitation 
or standard, EPA typically sets the percentage removed by the 
technology basis at 100 percent for all pollutants. Because a POTW 
would not be able to achieve 100 percent removal of wastewater 
pollutants, the percent removal at a POTW would be less than that of 
the candidate zero-discharge technology. For this final rule, using 
this approach, EPA determined that all pollutants pass through and that 
it is appropriate to set PSES/PSNS for all pollutants to prevent pass 
through.

VII. Environmental Impacts

    UOG production generates significant volumes of wastewater that 
need to be managed. As described in Section XII.C.2 of the proposed 
rule (80 FR 18569, April 7, 2015), unconventional wells can produce 
flowback volumes ranging between 210,000 and 2,100,000 gallons during 
the initial flowback process.\8\ During the production phase, wells 
typically produce smaller volumes of water (median flow rates range 
from 200-800 gallons per day) and continue producing wastewater 
throughout the life of the well (see TDD Chapter C.2).
---------------------------------------------------------------------------

    \8\ As explained in Chapter B of the TDD the length of the 
flowback process is variable. Literature generally reports it as 30 
days or less (DCN SGE00532).
---------------------------------------------------------------------------

    In general, evidence of environmental impacts to surface waters 
from discharges of UOG extraction wastewater is sparsely documented--as 
direct discharges from onshore oil and gas extraction have been 
prohibited under the existing regulations since 1979; and based on 
current industry best practice, there have been few indirect discharges 
of such wastewater to POTWs. Some of the environmental impacts 
documented to date, such as increased DBP formation in downstream 
drinking water treatment plants, resulted from wastewater pollutants 
that passed untreated through POTWs in Pennsylvania (see Chapter D of 
the TDD).

A. Pollutants

    As described in Section XII.D of the proposed rule (80 FR 18569, 
April 7, 2015), high concentrations of TDS are common in UOG extraction 
wastewater. Inorganic constituents leaching from geologic formations, 
such as sodium, potassium, bromide, calcium, fluoride, nitrate, 
phosphate, chloride, sulfate, and magnesium, represent most of the TDS 
in UOG extraction wastewater. Produced water can also include barium, 
radium, and strontium. Based on available data, TDS cations (positively 
charged ions) in UOG extraction wastewater are generally dominated by 
sodium and calcium, and the anions (negatively charged ions) are 
dominated by chloride (DCN SGE00284; See also Chapter C of the TDD). 
TDS concentrations vary among the UOG formations and can exceed 350,000 
mg/L. For comparison, sea water contains approximately 35,000 mg/L TDS.

B. Impacts From the Discharge of Pollutants Found in UOG Extraction 
Wastewater

    As explained in Chapter D of the TDD, POTWs are typically designed 
to treat organic waste, total suspended solids, and constituents 
responsible for biochemical oxygen demand, not to treat TDS. When 
transfers of UOG extraction wastewater to POTWs were occurring in 
Pennsylvania, these POTWs, lacking adequate TDS removal processes, 
diluted UOG extraction wastewaters with other sewage flows and 
discharged TDS-laden effluent into local streams and rivers. POTWs not 
sufficiently treating TDS in UOG extraction wastewater were a suspected 
source of elevated TDS levels in the Monongahela River in 2009 (DCN

[[Page 41855]]

SGE00525). Also see Chapter D of the TDD for additional examples.
    In addition to UOG wastewater pollutants passing through POTWs, 
other industrial discharges of inadequately treated UOG extraction 
wastewater have also been associated with in-stream impacts. One study 
of discharges from a CWT facility in western Pennsylvania that treats 
UOG extraction wastewater examined the water quality and isotopic 
compositions of discharged effluents, surface waters, and stream 
sediments (DCN SGE00629).\9\ The facility's treatment process includes 
settling, precipitation, and fine screening, but does not remove TDS 
(DCN SGE00525). The study found that the discharge of the effluent from 
the CWT facility increased downstream concentrations of chloride and 
bromide above background levels. The chloride concentrations 1.7 
kilometers downstream of the treatment facility were two to ten times 
higher than chloride concentrations found in similar reference streams 
in western Pennsylvania. Radium 226 levels in stream sediments at the 
point of discharge were approximately 200 times greater than upstream 
and background sediments.
---------------------------------------------------------------------------

    \9\ Discharges from CWT facilities are subject to ELGs in 40 CFR 
part 437. However, the effect of discharges of treated oil and gas 
wastewaters from CWT facilities that lack treatment for TDS is 
similarly representative of POTWs.
---------------------------------------------------------------------------

C. Impact on Surface Water Designated Uses

    UOG extraction wastewater TDS concentrations are typically high 
enough, that if discharged untreated to surface water, affect adversely 
a number of designated uses of the surface water, including drinking 
water source, aquatic life support, livestock watering, irrigation, and 
industrial use.
1. Drinking Water Uses
    Available data indicate that the concentration of TDS in UOG 
extraction wastewaters can often significantly exceed recommended 
drinking water concentrations. Because TDS concentrations in drinking 
water source waters are typically well below the recommended levels for 
drinking, few drinking water treatment facilities have technologies to 
remove TDS. Two published standards for TDS in drinking water include 
the U.S. Public Health Service recommendation and EPA's secondary 
maximum contaminant level recommendation that TDS in drinking water 
should not exceed 500 mg/L. High concentrations of TDS in drinking 
water primarily degrade its taste rather than pose a human health risk. 
Taste surveys found that water with less than 300 mg/L TDS is 
considered excellent, and water with TDS above 1,100 mg/L is 
unacceptable (DCN SGE00939). The World Health Organization dropped its 
health-based recommendations for TDS in 1993, instead retaining 1,000 
mg/L as a secondary standard for taste (DCN SGE00947).
    Bromide in UOG wastewater discharges can adversely affect surface 
waters used as drinking water supplies. Recent studies of industrial 
discharges that contain bromide upstream of drinking water utilities' 
intakes demonstrate that with bromides present in drinking water source 
waters at increased levels, carcinogenic disinfection by-products 
(brominated DBPs, in particular trihalomethanes (THMs)) can form at the 
drinking water utility (DCN SGE01329). DBPs have been shown to have 
both adverse human health and ecological affects. Studies also 
demonstrate that bromide in UOG wastewaters treated at POTWs can lead 
to the formation of DBPs within the POTW. EPA reviewed a study of a 
POTW accepting UOG wastewater that unintentionally created DBPs due to 
insufficient removal of bromide and other UOG wastewater constituents 
(DCN SGE00535; DCN SGE00587). The study found that UOG extraction 
wastewaters contain various inorganic and organic DBP precursors that 
can react with disinfectants used by POTWs to promote the formation of 
DBPs, or alter speciation of DBPs, particularly brominated-DBPs, which 
are suspected to be among the more toxic DBPs (DCN SGE00535; DCN 
SGE00985). See Chapter D of the TDD for further discussion of DBP 
formation associated with UOG extraction wastewaters.
2. Aquatic Life Support Uses
    TDS and its accompanying salinity play a primary role in the 
distribution and abundance of aquatic animal and plant communities. 
High levels of TDS can impact aquatic biota through increases in 
salinity, loss of osmotic balance in tissues, and toxicity of 
individual ions. Increases in salinity have been shown to cause shifts 
in biotic communities, limit biodiversity, exclude less-tolerant 
species and cause acute or chronic effects at specific life stages (DCN 
SGE00946). A detailed study of plant communities associated with 
irrigation drains reported substantial changes in marsh communities, in 
part because of an increase in dissolved solids (DCN SGE00941). 
Observations over time indicate a shift in plant community coinciding 
with increases in dissolved solids from estimated historic levels of 
270 to 1170 mg/L, as species that are less salt tolerant such as 
coontail (Ceratophyllus demersum) and cattail (Typha sp.) were nearly 
eliminated. A related study found that lakes with higher salinity 
exhibit lower aquatic biodiversity, with species distribution also 
affected by ion composition (DCN SGE00940).
    Aquatic toxicity is dependent on the ionic composition of the 
mixture. Salts, specifically sodium and chloride, are the majority 
(i.e., much greater than 50 percent) of TDS in UOG produced water (DCN 
SGE00284). Typical chloride concentrations in UOG wastewater have been 
measured at concentrations up to 130,000 mg/L (see TDD Table C11). 
Macroinvertebrates, such as fresh water shrimp and aquatic insects that 
are a primary prey of many fish species, have open circulatory systems 
that are especially sensitive to pollutants like chloride. Based on 
laboratory toxicity data from EPA's 1988 chloride criteria document and 
more recent non-EPA studies, chloride acute effect concentrations for 
invertebrates ranged from 953 mg/L to 13,691 mg/L. Chloride chronic 
effect concentrations for invertebrates ranged from 489 mg/L to 556 mg/
L. In addition to the laboratory data, EPA also reviewed data from a 
2009 Pennsylvania Department of Environmental Protection violation 
report documenting a fish kill attributed to a spill of diluted 
produced water in Hopewell Township, PA. The concentration of TDS at 
the location of the fish kill was as high as 7,000 mg/L. While not 
related to UOG extraction wastewater, negative impacts of high TDS, 
including fish kills, were documented during 2009 at Dunkard Creek 
located in Monongalia County, Pennsylvania. (DCN SGE00001 and DCN 
SGE00001.A01)
3. Livestock Watering Uses
    POTW discharges to surface waters containing high concentrations of 
TDS can impact downstream uses for livestock watering. High TDS 
concentrations in water sources for livestock watering can adversely 
affect animal health by disrupting cellular osmotic and metabolic 
processes (DCN SGE01053). Domestic livestock, such as cattle, sheep, 
goats, horses, and pigs have varying degrees of sensitivity to TDS in 
drinking water.
4. Irrigation Uses
    If UOG extraction wastewater discharges to POTWs increase TDS 
concentrations in receiving streams, downstream irrigation uses of that 
surface water can be negatively affected.

[[Page 41856]]

Elevated TDS levels can limit the usefulness of water for irrigation. 
Excessive salts affect crop yield in the short term, and the soil 
structure in the long term. Primary direct impacts of high salinity 
water on plant crops include physiological drought, increased osmotic 
potential of soil, specific ion toxicity, leaf burn, and nutrient 
uptake interferences (DCN SGE00938). In general, for various classes of 
crops the salinity tolerance decreases in the following order: forage 
crops, field crops, vegetables, fruits.
    In addition to short-term impacts to crop plants, irrigating with 
high TDS water can result in gradual accumulation of salts or sodium in 
soil layers and eventual decrease in soil productivity. The 
susceptibility of soils to degradation is dependent on the soil type 
and structure. Sandy soils are less likely than finely textured soils 
to accumulate salts or sodium. Soils with a high water table or poor 
drainage are more susceptible to salt or sodium accumulation. The most 
common method of estimating the suitability of a soil for crop 
production is through calculation of its sodicity as estimated by the 
soil's sodium absorption ratio (SAR). The impact of irrigation water 
salinity on crop productivity is a function of both the SAR value and 
the electrical conductivity. The actual field-observed impacts are very 
site-specific depending on the soil and crop system (DCN SGE00938).
5. Industrial Uses
    POTW discharges to surface waters are often upstream of industrial 
facilities that withdraw surface waters for various cooling and process 
uses. High concentration of TDS can adversely affect industrial 
applications requiring the use of water in cooling tower operations, 
boiler feed water, food processing, and electronics manufacturing. 
Concentrations of TDS above 500 mg/L result in excessive scaling in 
water pipes, water heaters, boilers and household appliances (DCN 
SGE00174). Depending on the industry, TDS in intake water can interfere 
with chemical processes within the plant. Some industries requiring 
ultrapure water, such as semi-conductor manufacturing facilities, are 
particularly sensitive to high TDS levels due to the treatment cost for 
the removal of TDS.

VIII. Regulatory Implementation of the Standard

    The requirements in this rule apply to discharges from UOG 
facilities through local pretreatment programs under CWA section 307. 
Pretreatment standards promulgated under section 307(b) and (c) are 
self-implementing. See CWA section 307(d). The duty to comply with such 
standards is independent of any state or a municipal control authority 
permit or control mechanism containing the standards and associated 
reporting requirements.

A. Implementation Deadline

    Because the requirements of the final rule are based on current 
practice, EPA determined that the PSES/PSNS standards apply on the 
effective date of the final rule, August 29, 2016.

B. Upset and Bypass Provisions

    For discussion of upset and bypass provisions, see the proposed 
rule (80 FR 18569, April 7, 2015).

C. Variances and Modifications

    For discussion of variances and modifications, see the proposed 
rule (80 FR 18569, April 7, 2015).

IX. Statutory and Executive Order Reviews

    Additional information about these statutes and Executive Orders 
can be found at https://www.epa.gov/laws-regulations/laws-and-executive-orders.

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.

B. Paperwork Reduction Act

    This action does not impose an information collection burden under 
the provisions of the Paperwork Reduction Act. This final rule codifies 
current industry practice and does not impose any additional reporting 
requirements.

C. Regulatory Flexibility Act

    I certify that this action will not have a significant economic 
impact on a substantial number of small entities under the Regulatory 
Flexibility Act. In making this determination, the impact of concern is 
any significant adverse economic impact on small entities. An agency 
may certify that a rule will not have a significant economic impact on 
a substantial number of small entities if the rule relieves regulatory 
burden, has no net burden or otherwise has a positive economic effect 
on the small entities subject to the rule.
    For purposes of assessing the impacts of the final rule on small 
entities, small entity is defined as: A small business that is 
primarily engaged in Crude Petroleum and Natural Gas Extraction and 
Natural Gas Liquid Extraction by NAICS code 211111 and 211112 with 
fewer than 500 employees (based on Small Business Administration size 
standards). The small entities that are subject to the requirements of 
this final rule are small businesses that engage in UOG extraction as 
defined in Section V, of this preamble. No small businesses will 
experience a significant economic impact because the final rulemaking 
codifies current industry practice and does not impose any new 
requirement that is not already being met by the industry. I have 
therefore concluded that this action will have no net regulatory burden 
for all directly regulated small entities.

D. Unfunded Mandates Reform Act

    This action does not contain any unfunded mandate as described in 
UMRA, 2 U.S.C. 1531-1538, and does not significantly or uniquely affect 
small governments. The action imposes no incremental enforceable duty 
on any state, local or tribal governments or the private sector.

E. Executive Order 13132: Federalism

    This action does not have federalism implications. It does not 
alter the basic state-federal scheme established in the CWA under which 
EPA authorizes states to carry out the NPDES permit program. It will 
not have substantial direct effect 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. 
Although this order does not apply to this action, as explained in 
Section VI, EPA coordinated closely with states through a workgroup, as 
well as outreach efforts to pretreatment coordinators and pretreatment 
authorities.

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 
tribal governments, 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. The final rule 
contains no Federal mandates for tribal governments and does not impose 
any enforceable duties on tribal governments. Thus, Executive Order 
13175 does not apply to this action.
    Although Executive Order 13175 does not apply to this action, the 
EPA coordinated with tribal officials early in

[[Page 41857]]

the process of developing this rule to enable them to have meaningful 
and timely input into its development. EPA coordinated with federally 
recognized tribal governments in May and June of 2014, sharing 
information about the UOG pretreatment standards proposed rulemaking 
with the National Tribal Caucus and the National Tribal Water Council. 
EPA continued the outreach effort by collecting data about UOG 
operations on tribal reservations, UOG operators that are affiliated 
with Indian tribes, and POTWs owned or operated by tribes that can 
accept industrial wastewaters (see DCN SGE00785). Based on this 
information, there are no tribes operating UOG wells that discharge 
wastewater to POTWs nor are there any tribes that own or operate POTWs 
that accept industrial wastewater from UOG facilities; therefore, this 
final rule will not impose any costs on tribes.

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

    This action is not subject to Executive Order 13045 because it is 
not economically significant as defined in Executive Order 12866, and 
because the EPA does not believe the environmental health or safety 
risks addressed by this action present a disproportionate risk to 
children. This action codifies current industry practice; therefore 
there is no change in environmental health or safety risks.

H. Executive Order 13211: Energy Effects

    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 final rulemaking does not involve technical standards.

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

    The final rule will neither increase nor decrease environmental 
protection (as described in Section VI) as it codifies current industry 
practice; therefore, EPA determined that 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. EPA 
requested comment on this E.O. in the proposal (80 FR 18579; April 7, 
2015) and received no comments.

K. Congressional Review Act (CRA)

    This action is subject to the CRA, and the EPA will submit a rule 
report to each House of the Congress and to the Comptroller General of 
the United States. This action is not a ``major rule'' as defined by 5 
U.S.C. 804(2).

List of Subjects in 40 CFR Part 435

    Environmental protection, Pretreatment, Waste treatment and 
disposal, Water pollution control, Unconventional oil and gas 
extraction.

    Dated: June 13, 2016.
Gina McCarthy,
Administrator.

    Therefore, 40 CFR part 435 is amended as follows:

PART 435--OIL AND GAS EXTRACTION POINT SOURCE CATEGORY

0
1. The authority citation for part 435 is revised to read as follows:

    Authority: 33 U.S.C. 1251, 1311, 1314, 1316, 1317, 1318, 1342 
and 1361.

Subpart C--Onshore Subcategory

0
2. Add Sec.  435.33 to subpart C to read as follows:


Sec.  435.33  Pretreatment standards for existing sources (PSES).

    (a) PSES for wastewater from unconventional oil and gas extraction. 
Except as provided in 40 CFR 403.7 and 403.13, any existing source 
subject to this section, must achieve the following pretreatment 
standards for existing sources (PSES).
    (1) There shall be no discharge of wastewater pollutants associated 
with production, field exploration, drilling, well completion, or well 
treatment for unconventional oil and gas extraction (including, but not 
limited to, drilling muds, drill cuttings, produced sand, produced 
water) into publicly owned treatment works.
    (2) For the purposes of this section,
    (i) Unconventional oil and gas means crude oil and natural gas 
produced by a well drilled into a shale and/or tight formation 
(including, but not limited to, shale gas, shale oil, tight gas, tight 
oil).
    (ii) Drill cuttings means the particles generated by drilling into 
subsurface geologic formations and carried out from the wellbore with 
the drilling fluid.
    (iii) Drilling mud means the circulating fluid (mud) used in the 
rotary drilling of wells to clean and condition the hole and to 
counterbalance formation pressure.
    (iv) Produced sand means the slurried particles used in hydraulic 
fracturing, the accumulated formation sands, and scales particles 
generated during production. Produced sand also includes desander 
discharge from the produced water waste stream, and blowdown of the 
water phase from the produced water treating system.
    (v) Produced water means the fluid brought up from the hydrocarbon-
bearing strata during the extraction of oil and gas, and includes, 
where present, formation water, injection water, and any chemicals 
added downhole or during the oil/water separation process.
    (b) PSES for Wastewater from Conventional Oil and Gas Extraction. 
[Reserved]

0
3. Add Sec.  435.34 to subpart C to read as follows:


Sec.  435.34  Pretreatment standards for new sources (PSNS).

    (a) PSNS for wastewater from unconventional oil and gas extraction. 
Except as provided in 40 CFR 403.7 and 403.13, any new source with 
discharges subject to this section must achieve the following 
pretreatment standards for new sources (PSNS).
    (1) There shall be no discharge of wastewater pollutants associated 
with production, field exploration, drilling, well completion, or well 
treatment for unconventional oil and gas extraction (including, but not 
limited to, drilling muds, drill cuttings, produced sand, produced 
water) into publicly owned treatment works.
    (2) For the purposes of this section, the definitions of 
unconventional oil and gas, drill cuttings, drilling muds, produced 
sand, and produced water are as specified in Sec.  435.33(b)(2)(i) 
through (v).
    (b) PSNS for Wastewater from Conventional Oil and Gas Extraction. 
[Reserved]

0
4. Add subpart H to read as follows:

Subpart H--Coalbed Methane Subcategory [Reserved]

[FR Doc. 2016-14901 Filed 6-27-16; 8:45 am]
BILLING CODE 6560-50-P



                                                                         Federal Register / Vol. 81, No. 124 / Tuesday, June 28, 2016 / Rules and Regulations                                                          41845

                                                  report containing this action and other                      shall not postpone the effectiveness of                     PART 52—APPROVAL AND
                                                  required information to the U.S. Senate,                     such rule or action. This action may not                    PROMULGATION OF
                                                  the U.S. House of Representatives, and                       be challenged later in proceedings to                       IMPLEMENTATION PLANS
                                                  the Comptroller General of the United                        enforce its requirements. (See section
                                                  States prior to publication of the rule in                   307(b)(2)).                                                 ■ 1. The authority citation for part 52
                                                  the Federal Register. A major rule                                                                                       continues to read as follows:
                                                  cannot take effect until 60 days after it                    List of Subjects in 40 CFR Part 52
                                                                                                                                                                               Authority: 42 U.S.C. 7401 et seq.
                                                  is published in the Federal Register.                          Environmental protection,
                                                  This action is not a ‘‘major rule’’ as                       Administrative practice and procedure,                      Subpart AA-Missouri
                                                  defined by 5 U.S.C. 804(2).                                  Air pollution control, Incorporation by
                                                     Under section 307(b)(1) of the CAA,                       reference, Intergovernmental relations,                     ■  2. In § 52.1320:
                                                  petitions for judicial review of this                        Nitrogen dioxide, Ozone, Particulate
                                                  action must be filed in the United States                                                                                ■  a. Revise the section heading.
                                                                                                               Matter, Reporting and recordkeeping
                                                  Court of Appeals for the appropriate                                                                                     ■ b. In the table in paragraph (c), under
                                                                                                               requirements, Sulfur oxides.
                                                  circuit by August 29, 2016. Filing a                                                                                     Chapter 6, add entries ‘‘10–6.372’’ and
                                                                                                                 Dated: June 16, 2016.                                     ‘‘10–6.376’’ in numerical order.
                                                  petition for reconsideration by the
                                                  Administrator of this final rule does not                    Mark Hague,                                                    The revisions read as follows:
                                                  affect the finality of this action for the                   Regional Administrator, Region 7.
                                                  purposes of judicial review nor does it                        For the reasons stated in the                             § 52.1320    Identification of plan.
                                                  extend the time within which a petition                      preamble, EPA amends 40 CFR part 52                         *       *    *       *    *
                                                  for judicial review may be filed, and                        as set forth below:                                             (c)* * *

                                                                                                               EPA-APPROVED MISSOURI REGULATIONS
                                                                                                                                                State effective
                                                   Missouri citation                                   Title                                                            EPA approval date                Explanation
                                                                                                                                                     date

                                                                                                                Missouri Department of Natural Resources


                                                             *                        *                          *                          *                       *                       *                      *

                                                   Chapter 6—Air Quality Standards, Definitions, Sampling and Reference Methods, and Air Pollution Control Regulations for the State of
                                                                                                                Missouri


                                                             *                        *                          *                          *                       *                       *                      *

                                                  10–6.372 ...........    Cross-State Air Pollution Rule Annual NOX Trading                           12/30/15    6/28/16 [Insert Federal
                                                                            Allowance Allocations.                                                                  Register citation].
                                                  10–6.376 ...........    Cross-State Air Pollution Rule Annual SO2 Trading                           12/30/15    6/28/16 [Insert Federal
                                                                            Allowance Allocations.                                                                  Register citation].

                                                             *                        *                          *                          *                       *                       *                      *



                                                  *      *       *       *      *                              and the operational integrity of publicly                   this final rule reflect current industry
                                                  [FR Doc. 2016–15048 Filed 6–27–16; 8:45 am]                  owned treatment works (POTWs) by                            practices for onshore unconventional oil
                                                  BILLING CODE 6560–50–P                                       establishing pretreatment standards that                    and gas extraction facilities. Therefore,
                                                                                                               prevent the discharge of pollutants in                      EPA does not project that the final rule
                                                                                                               wastewater from onshore                                     will impose any costs or lead to
                                                  ENVIRONMENTAL PROTECTION                                     unconventional oil and gas (UOG)                            pollutant removals, but will ensure that
                                                  AGENCY                                                       extraction facilities to POTWs. UOG                         current industry best practice is
                                                  40 CFR Part 435                                              extraction wastewater can be generated                      maintained over time.
                                                                                                               in large quantities and contains
                                                  [EPA–HQ–OW–2014–0598; FRL–9947–87–                                                                                       DATES:  The final rule is effective on
                                                                                                               constituents that are potentially harmful
                                                  OW]                                                                                                                      August 29, 2016. In accordance with 40
                                                                                                               to human health and the environment.
                                                                                                                                                                           CFR part 23, this regulation shall be
                                                  RIN 2040–AF35                                                Certain UOG extraction wastewater
                                                                                                                                                                           considered issued for purposes of
                                                                                                               constituents are not typical of POTW
                                                  Effluent Limitations Guidelines and                                                                                      judicial review at 1 p.m. Eastern time on
                                                                                                               influent wastewater and can be
                                                  Standards for the Oil and Gas                                                                                            July 12, 2016. Under section 509(b)(1) of
                                                                                                               discharged, untreated, from the POTW
                                                  Extraction Point Source Category                             to the receiving stream; can disrupt the                    the CWA, judicial review of this
                                                                                                                                                                           regulation can be had only by filing a
asabaliauskas on DSK3SPTVN1PROD with RULES




                                                  AGENCY:  Environmental Protection                            operation of the POTW (e.g., by
                                                                                                               inhibiting biological treatment); can                       petition for review in the U.S. Court of
                                                  Agency (EPA).                                                                                                            Appeals within 120 days after the
                                                  ACTION: Final rule.
                                                                                                               accumulate in biosolids (sewage
                                                                                                               sludge), limiting their beneficial use;                     regulation is considered issued for
                                                                                                               and can facilitate the formation of                         purposes of judicial review. Under
                                                  SUMMARY:  The Environmental Protection
                                                  Agency (EPA) is publishing a final                           harmful disinfection by-products                            section 509(b)(2), the requirements in
                                                  Clean Water Act (CWA) regulation that                        (DBPs). Based on the information                            this regulation may not be challenged
                                                  protects human health, the environment                       collected by EPA, the requirements of                       later in civil or criminal proceedings



                                             VerDate Sep<11>2014     16:05 Jun 27, 2016   Jkt 238001   PO 00000      Frm 00059   Fmt 4700       Sfmt 4700   E:\FR\FM\28JNR1.SGM    28JNR1


                                                  41846                     Federal Register / Vol. 81, No. 124 / Tuesday, June 28, 2016 / Rules and Regulations

                                                  brought by EPA to enforce these                                        Organization of This Preamble                                         B. Impacts From the Discharge of
                                                  requirements.                                                                                                                                   Pollutants Found in UOG Extraction
                                                                                                                         Table of Contents                                                        Wastewater
                                                  ADDRESSES:   The EPA has established a                                 I. Regulated Entities and Supporting                                  C. Impact on Surface Water Designated
                                                  docket for this action under Docket ID                                       Documentation                                                      Uses
                                                                                                                            A. Regulated Entities                                              1. Drinking Water Uses
                                                  No. EPA–HQ–OW–2014–0598. All
                                                                                                                            B. Supporting Documentation                                        2. Aquatic Life Support Uses
                                                  documents in the docket are listed on                                  II. Legal Authority                                                   3. Livestock Watering Uses
                                                  the http://www.regulations.gov Web                                     III. Purpose and Summary of Final Rule                                4. Irrigation Uses
                                                  site. Although listed in the index, some                                  A. Purpose and Summary of the Final Rule                           5. Industrial Uses
                                                  information is not publicly available,                                    B. Summary of Costs and Benefits                                 VIII. Regulatory Implementation of the
                                                  e.g., confidential business information                                IV. Background                                                           Standard
                                                                                                                            A. Clean Water Act                                                 A. Implementation Deadline
                                                  (CBI) or other information whose
                                                                                                                            B. Effluent Limitations Guidelines and                             B. Upset and Bypass Provisions
                                                  disclosure is restricted by statute.                                         Standards Program                                               C. Variances and Modifications
                                                  Certain other material, such as                                        1. Best Practicable Control Technology                              IX. Statutory and Executive Order Reviews
                                                  copyrighted material, is not placed on                                    Currently Available (BPT)                                          A. Executive Order 12866: Regulatory
                                                  the Internet and will be publicly                                      2. Best Conventional Pollutant Control                                   Planning and Review and Executive
                                                  available only in hard copy form.                                         Technology (BCT)                                                      Order 13563: Improving Regulation and
                                                                                                                         3. Best Available Technology Economically                                Regulatory Review
                                                  Publicly available docket materials are                                   Achievable (BAT)                                                   B. Paperwork Reduction Act
                                                  available electronically through http://                               4. Best Available Demonstrated Control                                C. Regulatory Flexibility Act
                                                  www.regulations.gov. A detailed record                                    Technology (BADCT)/New Source                                      D. Unfunded Mandates Reform Act
                                                  index, organized by subject, is available                                 Performance Standards (NSPS)                                       E. Executive Order 13132: Federalism
                                                  on EPA’s Web site at https://                                          5. Pretreatment Standards for Existing                                F. Executive Order 13175: Consultation
                                                                                                                            Sources (PSES) and Pretreatment                                       and Coordination With Indian Tribal
                                                  www.epa.gov/eg/unconventional-oil-
                                                                                                                            Standards for New Sources (PSNS)                                      Governments
                                                  and-gas-extraction-effluent-guidelines.                                C. Subcategorization                                                  G. Executive Order 13045: Protection of
                                                  FOR FURTHER INFORMATION CONTACT:   For                                    D. Oil and Gas Extraction Effluent                                    Children From Environmental Health
                                                                                                                               Guidelines Rulemaking History                                      Risks and Safety Risks
                                                  more information, see EPA’s Web site:                                     1. Subpart C: Onshore
                                                  https://www.epa.gov/eg/                                                                                                                      H. Executive Order 13211: Energy Effects
                                                                                                                            2. Subpart E: Agricultural and Wildlife Use                        I. National Technology Transfer and
                                                  unconventional-oil-and-gas-extraction-                                    E. State Pretreatment Requirements That
                                                                                                                                                                                                  Advancement Act
                                                  effluent-guidelines. For technical                                           Apply to UOG Extraction Wastewater
                                                                                                                                                                                               J. Executive Order 12898: Federal Actions
                                                  information, contact Karen Milam,                                         F. Related Federal Requirements in the
                                                                                                                                                                                                  To Address Environmental Justice in
                                                                                                                               Safe Drinking Water Act
                                                  Engineering and Analysis Division,                                                                                                              Minority Populations and Low-Income
                                                                                                                         V. Industry Profile
                                                  Office of Science and Technology                                       VI. Final Rule                                                           Populations
                                                  (4305T), Environmental Protection                                         A. Scope/Applicability                                             K. Congressional Review Act (CRA)
                                                  Agency, 1200 Pennsylvania Ave. NW.,                                       B. Option Selection                                              I. Regulated Entities and Supporting
                                                  Washington, DC 20460; telephone                                           1. PSES                                                          Documentation
                                                  number: 202–566–1915; email address:                                      2. PSNS
                                                  Milam.Karen@epa.gov.                                                      3. Pollutants Selected for Regulation Pass-                      A. Regulated Entities
                                                                                                                               Through Analysis
                                                  SUPPLEMENTARY INFORMATION:                                             VII. Environmental Impacts                                             Entities potentially regulated by this
                                                                                                                            A. Pollutants                                                    final action include:

                                                                                                                                                                                                                                      North American
                                                                                                                                                                                                                                          Industry
                                                                         Category                                                                    Examples of regulated entities                                                    Classification
                                                                                                                                                                                                                                      System (NAICS)
                                                                                                                                                                                                                                            Code

                                                  Industry ....................................................   Crude Petroleum and Natural Gas Extraction ..........................................................                       211111
                                                                                                                  Natural Gas Liquid Extraction ...................................................................................           211112



                                                     This section is not intended to be                                  preceding FOR FURTHER INFORMATION                                   II. Legal Authority
                                                  exhaustive, but rather provides a guide                                CONTACT section.
                                                  for readers regarding entities likely to be                                                                                                  EPA finalizes this regulation under
                                                                                                                         B. Supporting Documentation                                         the authorities of sections 101, 301, 304,
                                                  regulated by this final action. Other
                                                  types of entities that do not meet the                                                                                                     306, 307, 308, and 501 of the CWA, 33
                                                                                                                           The final rule is supported by a                                  U.S.C. 1251, 1311, 1314, 1316, 1317,
                                                  above criteria could also be regulated.                                number of documents including the                                   1318, and 1361.
                                                  To determine whether your facility                                     Technical Development Document for
                                                  would be regulated by this final action,                               the Effluent Limitations Guidelines and                             III. Purpose and Summary of Final
                                                  you should carefully examine the                                       Standards for the Oil and Gas Extraction                            Rule
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                                                  applicability criteria listed in 40 CFR                                Point Source Category (TDD), Document                               A. Purpose and Summary of the Final
                                                  435.30 and the definitions in 40 CFR                                   No. EPA–820–R–16–003 (DCN                                           Rule
                                                  435.33(b) of the final rule and detailed                               SGE01188). This document is available
                                                  further in Section VI, of this preamble.                               in the public record for this final rule                              Responsible development of
                                                  If you still have questions regarding the                              and on EPA’s Web site at https://                                   America’s oil and gas resources offers
                                                  applicability of this final action to a                                www.epa.gov/eg/unconventional-oil-                                  important economic, energy security,
                                                  particular entity, consult the person                                  and-gas-extraction-effluent-guidelines.                             and environmental benefits. EPA has
                                                  listed for technical information in the                                                                                                    been working with states and other


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                                                                     Federal Register / Vol. 81, No. 124 / Tuesday, June 28, 2016 / Rules and Regulations                                          41847

                                                  stakeholders to understand and address                     This final rule applies to a subset of              constituents that POTWs are not
                                                  potential impacts of hydraulic                          oil and gas extraction, i.e., onshore                  designed to remove. Certain UOG
                                                  fracturing, an important process                        extraction from shale and/or tight                     extraction wastewater constituents are
                                                  involved in producing unconventional                    geologic formations (referred to                       not typical of POTW influent
                                                  oil and gas, to help ensure public                      hereafter as unconventional oil and gas                wastewater and can be discharged,
                                                  confidence that oil and gas production                  (UOG) resources). UOG extraction                       untreated, from the POTW to the
                                                  is conducted in a safe and responsible                  wastewater can be generated in large                   receiving stream; can disrupt the
                                                  manner. This final rule fills a gap in                  quantities and contains constituents that              operation of the POTW (e.g., by
                                                  existing federal wastewater regulations                 are potentially harmful to human health                inhibiting biological treatment); can
                                                  to ensure that the current industry                     and the environment. Wastewater from                   accumulate in biosolids (sewage
                                                  practice of not sending wastewater                      UOG wells often contains high                          sludge), limiting their beneficial use;
                                                  discharges from this sector to POTWs                    concentrations of total dissolved solids               and can facilitate the formation of
                                                  continues into the future. This rule does               (TDS) (salt content). The wastewater can               harmful DBPs.
                                                  not address the practice of underground                 also contain various organic chemicals,                   Where UOG extraction wastewaters
                                                  injection of wastewater discharges from                 inorganic chemicals, metals, and                       have been discharged through POTWs
                                                  this sector, which is covered under the                 naturally-occurring radioactive                        and private wastewater treatment plants
                                                  Safe Drinking Water Act (SDWA) (see                     materials (referred to as technologically              in the past, it has been documented that
                                                  Chapter A of the TDD).                                  enhanced naturally occurring                           the receiving waters have elevated
                                                     Recent advances in the well                          radioactive material or TENORM).1 This                 levels of TDS, specifically chlorides and
                                                  completion process, combining                           potentially harmful wastewater creates a               bromide (DCN SGE01328). The
                                                  hydraulic fracturing and horizontal                     need for appropriate wastewater                        concentration of TDS in UOG extraction
                                                  drilling, have enhanced the                             management infrastructure and                          wastewater can be high enough that if
                                                  technological and economic feasibility                  management practices. Historically,                    discharged untreated to a surface water
                                                  of oil and natural gas extraction from                  operators of oil and gas extraction                    it has the potential to adversely affect a
                                                  both existing and new resources. As a                   facilities primarily managed their                     number of the designated uses of the
                                                  result, in 2013, United States (U.S.)                   wastewater via underground injection                   surface water, including use as a
                                                  crude oil and natural gas production                    (where available). Where UOG wells                     drinking water source, aquatic life
                                                  reached their highest levels in more                    were drilled in areas with limited                     support, livestock watering, irrigation,
                                                  than 15 and 30 years, respectively (DCN                 underground injection wells, and/or                    and industrial use. High concentrations
                                                  SGE01192). Further, the Department of                   there was a lack of wastewater                         of TDS can impact aquatic biota by
                                                  Energy (DOE) projects that natural gas                  management alternatives, it became                     causing increased receiving water
                                                  production in the U.S. will increase by                 more common for operators to look to                   salinity, osmotic imbalances, and toxic
                                                  45 percent by 2040, compared to 2013                    POTWs and private wastewater                           effects from individual ions present in
                                                  production levels (DCN SGE01192).                       treatment facilities to manage their                   the TDS. Increases in instream salinity
                                                  Similarly, the DOE projects that by                     wastewater.                                            have been shown to cause shifts in
                                                  2020, crude oil production in the U.S.                     POTWs collect wastewater from                       biotic communities, limit biodiversity,
                                                  will increase by 43 percent compared to                 homes, commercial buildings, and                       exclude less-tolerant species and cause
                                                  2013 production levels (DCN                             industrial facilities and pipe it through              acute or chronic effects at specific life
                                                  SGE01192).                                              sewer lines to the sewage treatment                    stages (DCN SGE00946).
                                                     Direct discharges of oil and gas                     plant. In some cases, industrial                          Discharges of bromide in industrial
                                                  extraction wastewater pollutants from                   dischargers can haul wastewater to the                 wastewater upstream of drinking water
                                                  onshore oil and gas resources to waters                 treatment plant by tanker truck. The                   intakes—either directly or indirectly
                                                  of the U.S. have been regulated since                   industrial wastewater, commingled with                 through POTWs—have led to the
                                                  1979 under the existing Oil and Gas                     domestic wastewater, is treated by the                 formation of carcinogenic disinfection
                                                  Effluent Limitations Guidelines and                     POTW and discharged to a receiving                     by-products (brominated DBPs, in
                                                  Standards (ELGs) (40 CFR part 435), the                 waterbody. Most POTWs, however, are                    particular trihalomethanes) at drinking
                                                  majority of which fall under subpart C,                 designed primarily to treat municipally-               water utilities. Recent studies indicate
                                                  the Onshore Subcategory. Oil and gas                    generated, not industrial, wastewater.                 that UOG extraction wastewaters
                                                  extraction activities subject to subpart C              They typically provide at least                        contain various inorganic and organic
                                                  include production, field exploration,                  secondary level treatment and, thus, are               DBP precursors that can react with
                                                  drilling, well completion, and well                     designed to remove suspended solids                    disinfectants used by POTWs, and
                                                  treatment. The limitations for direct                   and organic material using biological                  promote the formation of DBPs or alter
                                                  dischargers in the Onshore Subcategory                  treatment. As mentioned previously,                    speciation of DBPs, particularly
                                                  represent Best Practicable Control                      wastewater from UOG extraction can                     brominated-DBPs, which are suspected
                                                  Technology Currently Available (BPT).                   contain high concentrations of TDS,                    to be among the more toxic DBPs (DCN
                                                  Based on the availability and economic                  radioactive elements, metals, chlorides,               SGE00535; DCN SGE00985). DBPs have
                                                  practicability of underground injection                 sulfates, and other dissolved inorganic                been shown to have both adverse
                                                  technologies, the BPT-based limitations                                                                        human health and ecological affects
                                                  for direct dischargers require zero                        1 Naturally occurring radioactive materials that    (DCN SGE00535; DCN SGE01126).
                                                  discharge of pollutants to waters of the                have been concentrated or exposed to the accessible       Section 307(b) of the CWA provides
                                                  U.S. However, there are currently no                    environment as a result of human activities such as    EPA authority to establish nationally
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                                                  requirements in subpart C that apply to                 manufacturing, mineral extraction, or water            applicable pretreatment standards for
                                                                                                          processing are referred to as technologically
                                                  onshore oil and gas extraction facilities               enhanced naturally occurring radioactive material
                                                                                                                                                                 industrial categories that discharge
                                                  that are ‘‘indirect dischargers,’’ i.e.,                (TENORM). ‘‘Technologically enhanced’’ means           indirectly (i.e., send wastewater to any
                                                  those that send their discharges to                     that the radiological, physical, and chemical          POTW); this authority applies to key
                                                  POTWs (municipal wastewater                             properties of the radioactive material have been       pollutants, such as TDS and its
                                                                                                          altered by having been processed, or beneficiated,
                                                  treatment facilities) which treat the                   or disturbed in a way that increases the potential
                                                                                                                                                                 constituents, that are not susceptible to
                                                  water before discharging it to waters of                for human and/or environmental exposures. (See         treatment by POTWs, or for pollutants
                                                  the U.S.                                                EPA 402–R–08–005–V2)                                   that would interfere with the operation


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                                                  41848              Federal Register / Vol. 81, No. 124 / Tuesday, June 28, 2016 / Rules and Regulations

                                                  of POTWs. Generally, EPA designs                        facilities have discharged to POTWs in                    EPA promulgates national effluent
                                                  nationally applicable pretreatment                      the past and because the potential                     guidelines and new source performance
                                                  standards for categories of industry                    remains that some facilities may                       standards for major industrial categories
                                                  (categorical pretreatment standards) to                 consider discharging to POTWs in the                   for three classes of pollutants: (1)
                                                  ensure that wastewaters from direct and                 future.                                                Conventional pollutants (total
                                                  indirect industrial dischargers are                                                                            suspended solids, oil and grease,
                                                  subject to similar levels of treatment.                 IV. Background                                         biochemical oxygen demand (BOD5),
                                                  EPA, in its discretion under section                    A. Clean Water Act                                     fecal coliform, and pH), as outlined in
                                                  304(g) of the Act, periodically evaluates                                                                      CWA section 304(a)(4) and 40 CFR
                                                  indirect dischargers not subject to                        Congress passed the CWA to ‘‘restore                401.16; (2) toxic pollutants (e.g., metals
                                                  categorical pretreatment standards to                   and maintain the chemical, physical,                   such as arsenic, mercury, selenium, and
                                                  identify potential candidates for new                   and biological integrity of the Nation’s               chromium; and organic pollutants such
                                                  pretreatment standards. Until issuance                  waters.’’ 33 U.S.C. 1251(a). The Act                   as benzene, benzo-a-pyrene, phenol, and
                                                  of this final rule, EPA had not                         establishes a comprehensive program                    naphthalene), as outlined in section
                                                  established nationally applicable                       for protecting our nation’s waters.                    307(a) of the Act, 40 CFR 401.15 and 40
                                                  pretreatment standards for the onshore                  Among its core provisions, the CWA                     CFR part 423, appendix A; and (3)
                                                  oil and gas extraction point source                     prohibits the discharge of pollutants                  nonconventional pollutants, which are
                                                  subcategory.                                            from a point source to waters of the                   those pollutants that are not categorized
                                                     This final rule establishes technology-              U.S., except as authorized under the                   as conventional or toxic (e.g., ammonia-
                                                  based categorical pretreatment                          Act. Under section 402 of the CWA,                     N, phosphorus, and TDS).
                                                  standards under the CWA for discharges                  discharges may be authorized through a                    Under section 307(b) of the CWA,
                                                  of pollutants into POTWs from existing                  National Pollutant Discharge                           there are general and specific
                                                  and new onshore UOG extraction                          Elimination System (NPDES) permit.                     prohibitions on the discharge to POTWs
                                                  facilities in subpart C of 40 CFR part 435              The CWA establishes a two-pronged                      of pollutants in specified circumstances
                                                  (80 FR 18557, April 7, 2015). The rule                  approach for these permits, technology-                in order to prevent ‘‘pass through’’ or
                                                  will fill a gap in federal CWA                          based controls that establish the floor of             ‘‘interference.’’ Pass through occurs
                                                  regulations and address concerns                        performance for all dischargers, and                   whenever the introduction of pollutants
                                                  regarding the level of treatment                        water quality-based limits where the                   from a user will result in a discharge
                                                  provided by POTWs for UOG                               technology-based limits are insufficient               that causes or contributes to a violation
                                                  wastewater, potential interference with                 for the discharge to meet applicable                   of any requirement of the POTW permit.
                                                  treatment processes, and potential                      water quality standards. To serve as the               See 40 CFR 403.3(p). Interference means
                                                  impacts on water quality and aquatic                    basis for the technology-based controls,               a discharge that, among other things,
                                                  life impacts that could result from                     the CWA authorizes EPA to establish                    inhibits or disrupts the POTW or
                                                  inadequate treatment. Consistent with                   national technology-based effluent                     prevents biosolids use consistent with
                                                  existing BPT-based requirements for                     limitations guidelines and new source                  the POTW’s chosen method of disposal.
                                                  direct dischargers in this subcategory,                 performance standards for discharges                   See 40 CFR 403.3(k). These general and
                                                  this final rule establishes pretreatment                from different categories of point                     specific prohibitions must be
                                                  standards for existing and new sources                  sources, such as industrial, commercial,               implemented through local limits
                                                  (PSES and PSNS, respectively) that                      and public sources, that discharge                     established by POTWs in certain cases.
                                                  require zero discharge of wastewater                    directly into waters of the U.S.                       See 40 CFR 403.5(c). POTWs with
                                                  pollutants associated with onshore UOG                                                                         approved pretreatment programs must
                                                  extraction facilities to POTWs.                            Direct dischargers (those discharging               develop and enforce local limits to
                                                     This final rule does not include                     directly to waters of the U.S.) must                   implement the general prohibitions on
                                                  pretreatment standards for wastewater                   comply with effluent limitations in                    user discharges that pass through or
                                                  pollutants associated with conventional                 NPDES permits. Technology-based                        interfere with the POTW and implement
                                                  oil and gas extraction facilities or                    effluent limitations (TBELs) in NPDES                  specific prohibitions in 40 CFR 403.5(b).
                                                  coalbed methane extraction facilities.                  permits for direct dischargers are                     In the case of POTWs that are not
                                                  EPA is reserving consideration of any                   derived from effluent limitations                      required to develop a pretreatment
                                                  such standards for a future rulemaking,                 guidelines (CWA sections 301 and 304)                  program, the POTWs must develop local
                                                  if appropriate. See Section V1.A.                       and new source performance standards                   limits where there is interference or
                                                                                                          (CWA section 306) promulgated by EPA.                  pass through and the limits are
                                                  B. Summary of Costs and Benefits                        Alternatively, TBELs may be established                necessary to ensure compliance with the
                                                     Because the data reviewed by EPA                     based on best professional judgment                    POTW’s NPDES permit or biosolids use.
                                                  show that the UOG extraction industry                   (BPJ) where EPA has not promulgated                       The CWA also authorizes EPA to
                                                  is not currently managing wastewaters                   an applicable effluent guideline or new                promulgate nationally applicable
                                                  by sending them to POTWs, the final                     source performance standard (CWA                       pretreatment standards that restrict
                                                  rule is not projected to affect current                 section 402(a)(1)(B) and 40 CFR 125.3).                pollutant discharges from facilities that
                                                  industry practice or to result in                       The effluent guidelines and new source                 discharge pollutants indirectly, by
                                                  incremental compliance costs or                         performance standards established by                   sending wastewater to POTWs, as
                                                  monetized benefits. UOG extraction                      regulation for categories of industrial                outlined in sections 307(b) and (c) and
                                                  wastewater is typically managed                         dischargers are based on the degree of                 33 U.S.C. 1317(b) and (c). Specifically,
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                                                  through disposal via underground                        control that can be achieved using                     the CWA authorizes EPA to establish
                                                  injection wells, reuse/recycle in                       various levels of pollution control                    pretreatment standards for those
                                                  subsequent fracturing jobs, or transfer to              technology, as specified in the Act.                   pollutants in wastewater from indirect
                                                  a centralized waste treatment (CWT)                     Additional limitations based on water                  dischargers that EPA determines are not
                                                  facility (see 80 FR 18570, April 7, 2015).              quality standards are also required to be              susceptible to treatment by a POTW or
                                                  EPA is promulgating this rule as a                      included in the permit where necessary                 which would interfere with POTW
                                                  backstop measure because onshore                        to meet water quality standards. CWA                   operations. CWA sections 307(b) and
                                                  unconventional oil and gas extraction                   section 301(b)(1)(C).                                  (c). Under section 301(b)(1)(A) and


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                                                                     Federal Register / Vol. 81, No. 124 / Tuesday, June 28, 2016 / Rules and Regulations                                          41849

                                                  301(b)(2)(A) and the legislative history                standards for direct discharges and                    discharge of toxic and nonconventional
                                                  of the 1977 CWA amendments,                             subsection 5 describes standards for                   pollutants. In general, BAT-based
                                                  pretreatment standards are technology-                  indirect discharges.                                   effluent guidelines and new source
                                                  based and analogous to TBELs for direct                                                                        performance standards represent the
                                                                                                          1. Best Practicable Control Technology
                                                  dischargers for the removal of toxic                                                                           best available economically achievable
                                                                                                          Currently Available (BPT)
                                                  pollutants. As explained in the statute                                                                        performance of facilities in the
                                                  and legislative history, the combination                   Traditionally, EPA defines BPT                      industrial subcategory or category.
                                                  of pretreatment and treatment by the                    effluent limitations based on the average              Following the statutory language, EPA
                                                  POTW is intended to achieve the level                   of the best performances of facilities                 considers the technological availability
                                                  of treatment that would be required if                  within the industry, grouped to reflect                and the economic achievability in
                                                  the industrial source were making a                     various ages, sizes, processes, or other               determining what level of control
                                                  direct discharge. Conf. Rep. No. 95–830,                common characteristics. BPT effluent                   represents BAT. CWA section
                                                  at 87 (1977), reprinted in U.S. Congress.               limitations control conventional, toxic,               301(b)(2)(A). Other statutory factors that
                                                  Senate. Committee on Public Works                       and nonconventional pollutants. In                     EPA considers in assessing BAT are the
                                                  (1978), A Legislative History of the                    specifying BPT, EPA looks at a number                  cost of achieving BAT effluent
                                                  CWA of 1977, Serial No. 95–14 at 271                    of factors. EPA first considers the cost               reductions, the age of equipment and
                                                  (1978). As such, in establishing                        of achieving effluent reductions in                    facilities involved, the process
                                                  pretreatment standards, EPA’s                           relation to the effluent reduction                     employed, potential process changes,
                                                  consideration of pass through for                       benefits. The Agency also considers the                and non-water quality environmental
                                                  national technology-based categorical                   age of equipment and facilities, the                   impacts, including energy requirements
                                                  pretreatment standards differs from that                processes employed, engineering                        and such other factors as the
                                                  described above for general                             aspects of the control technologies, any               Administrator deems appropriate. CWA
                                                  pretreatment standards. For categorical                 required process changes, non-water                    section 304(b)(2)(B). The Agency retains
                                                  pretreatment standards, EPA’s approach                  quality environmental impacts                          considerable discretion in assigning the
                                                  for pass through satisfies two competing                (including energy requirements), and                   weight to be accorded these factors.
                                                  objectives set by Congress: (1) That                    such other factors as the Administrator                Weyerhaeuser Co. v. Costle, 590 F.2d
                                                  standards for indirect dischargers be                   deems appropriate. See CWA section                     1011, 1045 (D.C. Cir. 1978).
                                                  equivalent to standards for direct                      304(b)(1)(B). If, however, existing
                                                                                                          performance is uniformly inadequate,                   4. Best Available Demonstrated Control
                                                  dischargers; and (2) that the treatment
                                                                                                          EPA can establish limitations based on                 Technology (BADCT)/New Source
                                                  capability and performance of the
                                                                                                          higher levels of control than are                      Performance Standards (NSPS)
                                                  POTWs be recognized and taken into
                                                  account in regulating the discharge of                  currently in place in an industrial                       NSPS reflect effluent reductions that
                                                  pollutants from indirect dischargers.                   category, when based on an Agency                      are achievable based on the best
                                                                                                          determination that the technology is                   available demonstrated control
                                                  B. Effluent Limitations Guidelines and                  available in another category or                       technology (BADCT). Owners of new
                                                  Standards Program                                       subcategory and can be practically                     facilities have the opportunity to install
                                                     EPA develops ELGs that are                           applied.                                               the best and most efficient production
                                                  technology-based regulations for                                                                               processes and wastewater treatment
                                                  specific categories of dischargers. EPA                 2. Best Conventional Pollutant Control                 technologies. As a result, NSPS should
                                                  bases these regulations on the                          Technology (BCT)                                       represent the most stringent controls
                                                  performance of control and treatment                       For discharges of conventional                      attainable through the application of the
                                                  technologies. The legislative history of                pollutants from existing industrial point              BADCT for all pollutants (that is,
                                                  CWA section 304(b), which is the heart                  sources, the CWA requires EPA to                       conventional, nonconventional, and
                                                  of the effluent guidelines program,                     identify additional levels of effluent                 toxic pollutants). In establishing NSPS,
                                                  describes the need to press toward                      reduction that can be achieved with                    EPA is directed to take into
                                                  higher levels of control through research               BCT. In addition to other factors                      consideration the cost of achieving the
                                                  and development of new processes,                       specified in section 304(b)(4)(B), the                 effluent reduction and any non-water
                                                  modifications, replacement of obsolete                  CWA requires that EPA establish BCT                    quality environmental impacts and
                                                  plants and processes, and other                         limitations after consideration of a two-              energy requirements. CWA section
                                                  improvements in technology, taking into                 part ‘‘cost reasonableness’’ test. In a July           306(b)(1)(B).
                                                  account the cost of controls. Congress                  9, 1986 Federal Register Notice, EPA
                                                  has also stated that EPA need not                                                                              5. Pretreatment Standards for Existing
                                                                                                          published and explained its
                                                  consider water quality impacts on                                                                              Sources (PSES) and Pretreatment
                                                                                                          methodology for the development of
                                                  individual water bodies as the                                                                                 Standards for New Sources (PSNS)
                                                                                                          BCT limitations in (51 FR 24974).
                                                  guidelines are developed. See Statement                 Section 304(a)(4) designates the                          As discussed previously, section
                                                  of Senator Muskie (October 4, 1972),                    following as conventional pollutants:                  307(b) of the Act authorizes EPA to
                                                  reprinted in U.S. Senate Committee on                   BOD5, total suspended solids (TSS),                    issue pretreatment standards for
                                                  Public Works, Legislative History of the                fecal coliform, pH, and any additional                 discharges of pollutants from existing
                                                  Water Pollution Control Act                             pollutants defined by the Administrator                sources to POTWs. Section 307(c) of the
                                                  Amendments of 1972, Serial No. 93–1,                    as conventional. The Administrator                     Act authorizes EPA to promulgate
                                                  at 170.                                                 designated oil and grease as an                        pretreatment standards for new sources
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                                                     There are four types of standards                    additional conventional pollutant on                   (PSNS). Both standards are designed to
                                                  applicable to direct dischargers                        July 30, 1979 (44 FR 44501; 40 CFR part                prevent the discharge of pollutants that
                                                  (facilities that discharge directly to                  401.16).                                               pass through, interfere with, or are
                                                  waters of the U.S.), and two types of                                                                          otherwise incompatible with the
                                                  standards applicable to indirect                        3. Best Available Technology                           operation of POTWs. Categorical
                                                  dischargers (facilities that discharge to               Economically Achievable (BAT)                          pretreatment standards for existing
                                                  POTWs), described in detail later on.                      BAT represents the second level of                  sources are technology-based and are
                                                  Subsections 1 through 4 describe                        stringency for controlling direct                      analogous to BPT and BAT effluent


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                                                  41850              Federal Register / Vol. 81, No. 124 / Tuesday, June 28, 2016 / Rules and Regulations

                                                  limitations guidelines, and thus the                    drilling, production, well treatment, and              management, storage, and disposal of
                                                  Agency typically considers the same                     well completion activities in the                      UOG extraction wastewater, including
                                                  factors in promulgating PSES for toxic                  onshore oil and gas industry. Although                 regulations concerning pollutant
                                                  and non-conventional pollutants as it                   UOG resources occur in offshore and                    discharges to POTWs from oil and gas
                                                  considers in promulgating BAT. See                      coastal regions, recent development of                 extraction facilities. In addition to
                                                  Natural Resources Defense Council v.                    UOG resources in the U.S. has occurred                 pretreatment requirements, some states
                                                  EPA, 790 F.2d 289, 292 (3rd Cir. 1986).                 primarily in onshore regions, to which                 have indirectly addressed the issue of
                                                  Similarly, in establishing pretreatment                 the regulations in subpart C (Onshore)                 pollutant discharges to POTWs by
                                                  standards for new sources, the Agency                   and subpart E (Agricultural and Wildlife               limiting the management and disposal
                                                  typically considers the same factors in                 Water Use) apply. Accordingly, this rule               options available for operators to use.
                                                  promulgating PSNS as it considers in                    addresses the gap in onshore                              During initial development of
                                                  promulgating NSPS (BADCT).                              regulations, and only the regulations                  Marcellus shale gas resources, some
                                                                                                          that apply to onshore oil and gas                      operators managed UOG wastewater by
                                                  C. Subcategorization                                                                                           transfer to POTWs. EPA did not identify
                                                                                                          extraction are described in more detail
                                                     In developing ELGs, EPA can divide                   here.                                                  other areas in the U.S. where POTWs
                                                  an industry category into groupings                                                                            routinely accepted UOG extraction
                                                  called ‘‘subcategories’’ to provide a                   1. Subpart C: Onshore                                  wastewaters. Chapter A of the TDD
                                                  method for addressing variations among                     Subpart C applies to facilities engaged             summarizes how Pennsylvania, Ohio,
                                                  products, processes, treatment costs,                   in the production, field exploration,                  Michigan, and West Virginia responded
                                                  and other factors that affect the                       drilling, well completion, and well                    to UOG extraction wastewater
                                                  determination of the ‘‘best available’’                 treatment in the oil and gas extraction                discharges to their POTWs. EPA did not
                                                  technology. See Texas Oil & Gas Ass’n.                  industry which are located landward of                 identify any states that require zero
                                                  v. US EPA, 161 F.3d 923, 939–40 (5th                    the inner boundary of the territorial                  discharge of pollutants from UOG
                                                  Cir.1998). Regulation of a category by                  seas—and which are not included in the                 operations to POTWs in the same
                                                  subcategories provides that each                        definition of other subparts—including                 manner as this final rule.
                                                  subcategory has a uniform set of effluent               subpart D (Coastal). The regulations at
                                                  limitations or pretreatment standards                   40 CFR 435.32 specify the following for                F. Related Federal Requirements in the
                                                  that take into account technological                    BPT: There shall be no discharge of                    Safe Drinking Water Act
                                                  achievability, economic impacts, and                    wastewater pollutants into navigable                     As required by SDWA section 1421,
                                                  non-water quality environmental                         waters from any source associated with                 EPA has promulgated regulations to
                                                  impacts unique to that subcategory. In                  production, field exploration, drilling,               protect underground sources of drinking
                                                  some cases, effluent limitations or                     well completion, or well treatment (i.e.,              water through Underground Injection
                                                  pretreatment standards within a                         produced water, drilling muds, drill                   Control (UIC) programs that regulate the
                                                  subcategory can be different based on                   cuttings, and produced sand).                          injection of fluids underground. These
                                                  consideration of these same factors,                                                                           regulations are found at 40 CFR parts
                                                  which are identified in CWA section                     2. Subpart E: Agricultural and Wildlife                144–148, and specifically prohibit any
                                                  304(b)(2)(B). The CWA requires EPA, in                  Use                                                    underground injection not authorized
                                                  developing effluent guidelines and                         Subpart E applies to onshore facilities             by UIC permit. 40 CFR 144.11. The
                                                  pretreatment standards, to consider a                   located in the continental U.S. and west               regulations classify underground
                                                  number of different factors, which are                  of the 98th meridian for which the                     injection into six classes; wells that
                                                  also relevant for subcategorization. The                produced water has a use in agriculture                inject fluids brought to the surface in
                                                  CWA also authorizes EPA to take into                    or wildlife propagation when                           connection with oil and gas production
                                                  account other factors that the                          discharged into navigable waters.                      are classified as Class II UIC wells.
                                                  Administrator deems appropriate. CWA                    Definitions in 40 CFR 435.51(c) explain                Thus, onshore oil and gas extraction
                                                  section 304(b).                                         that the term ‘‘use in agricultural or                 facilities that seek to meet the zero
                                                                                                          wildlife propagation’’ means that (1) the              discharge requirements of the existing
                                                  D. Oil and Gas Extraction Effluent                      produced water is of good enough                       ELGs or final pretreatment standard
                                                  Guidelines Rulemaking History                           quality to be used for wildlife or                     through underground injection of
                                                     The Oil and Gas Extraction industry                  livestock watering or other agricultural               wastewater must obtain a Class II UIC
                                                  is subcategorized in 40 CFR part 435 as                 uses; and (2) the produced water is                    permit for such disposal or take the
                                                  follows: (1) Subpart A: Offshore; (2)                   actually put to such use during periods                wastewater to an appropriately
                                                  subpart C: Onshore; (3) subpart D:                      of discharge. The regulations at 40 CFR                permitted injection facility.
                                                  Coastal; (4) subpart E: Agricultural and                435.52 specify that the only allowable
                                                  Wildlife Water Use; and (5) subpart F:                                                                         V. Industry Profile
                                                                                                          discharge is produced water, with an oil
                                                  Stripper. EPA promulgated the first Oil                 and grease concentration not exceeding                   EPA gathered information on the
                                                  and Gas Extraction ELGs (40 CFR part                    35 milligrams per liter (mg/L). The BPT                industry via the North American
                                                  435) in 1979 establishing BPT-based                     regulations prohibit the discharge of                  Industry Classification System (NAICS),
                                                  limitations for the Offshore, Onshore,                  waste pollutants into navigable waters                 which is a standard created by the U.S.
                                                  Coastal, and Agricultural and Wildlife                  from any source (other than produced                   Census for use in classifying business
                                                  Use subcategories. EPA established                      water) associated with production, field               establishments within the U.S.
                                                  BAT- and NSPS-based limits for certain                  exploration, drilling, well completion,                economy. The industry category affected
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                                                  subcategories in 1993 (Offshore), 1996                  or well treatment (i.e., drilling muds,                by this final rule is the Oil and Gas
                                                  (Coastal), and 2001 (Synthetic-based                    drill cuttings, produced sands).                       Extraction industry (NAICS code
                                                  drilling fluids). EPA also established                                                                         21111). The industry has two segments:
                                                  pretreatment standards for one                          E. State Pretreatment Requirements                     Crude Petroleum and Gas Extraction
                                                  subcategory (Coastal) in 1996.                          That Apply to UOG Extraction                           (NAICS 211111) which is made up of
                                                     The previously established subpart C                 Wastewater                                             facilities that have wells that produce
                                                  (Onshore) regulation covers wastewater                    In addition to applicable federal                    petroleum or natural gas or produce
                                                  discharges from field exploration,                      requirements, some states regulate the                 crude petroleum from surface shale or


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                                                                       Federal Register / Vol. 81, No. 124 / Tuesday, June 28, 2016 / Rules and Regulations                                                 41851

                                                  tar sands; and Natural Gas Liquid                         final rule establishes requirements for               current industry practice: Disposal in
                                                  Extraction (NAICS 211112), which is                       wastewater discharges from UOG                        UIC wells, wastewater reuse/recycling
                                                  made up of facilities that recover liquid                 extraction facilities to POTWs. It does               to fracture 3 another well, or
                                                  hydrocarbons from oil and gas field                       not establish requirements for                        management by centralized waste
                                                  gases and sulfur from natural gas.                        wastewater discharges from                            treatment (CWT) facilities—none of
                                                  According to data from the Statistics of                  conventional oil and gas extraction                   which involve sending wastewater to
                                                  U.S. Businesses (SUSB), in 2012 there                     (COG) facilities. EPA reserves                        POTWs. Thus, for PSES, the final rule
                                                  were 6,646 firms in the overall Oil and                   consideration of any such standards for               establishes a zero discharge standard on
                                                  Gas Extraction (OGE) industry. Of those                   a future rulemaking, if appropriate.                  all pollutants in UOG extraction
                                                  firms, 98.5% were considered small                           The final rule defines unconventional              wastewater.
                                                  business based on the Small Business                      oil and gas resources as ‘‘crude oil and                 Generally, EPA designs pretreatment
                                                  Administration (SBA) criteria definition                  natural gas produced by a well drilled                standards to meet Congress’ objective to
                                                  of a small firm in this industry as having                into a shale and/or tight formation                   ensure that wastewaters from direct and
                                                  500 or fewer employees. In 2012, Oil                      (including, but not limited to, shale gas,            indirect industrial dischargers are
                                                  and Gas Extraction sector firms                           shale oil, tight gas, and tight oil).’’ This          subject to similar levels of pollutant
                                                  employed, on average, 19 employees                        definition is generally consistent with               removals prior to discharge to waters of
                                                  and had an estimated average $53                          other readily available sources. For                  the U.S. See Chemical Manufacturers
                                                  million in revenue per firm.                              additional information, see Chapter B of              Assn. v. EPA, 870 F.2d 177, 245 (5th Cir.
                                                     EPA reviewed financial performance                     the TDD.                                              1989). This means that, typically, the
                                                  of oil and gas firms from 2006 to 2014.                      As a point of clarification, although              requirements for indirect dischargers are
                                                  Generally, over the analysis period, all                  coalbed methane would fit this                        analogous to those for direct
                                                  segments of the oil and gas industry                      definition, the final pretreatment                    dischargers. As explained in Section
                                                  showed a similar profile of revenue                       standards do not apply to pollutants in               IV.C., the existing BPT-based
                                                  growth; however, reviews of financial                     wastewater discharges associated with                 requirement for direct dischargers in the
                                                  performance and condition metrics                         coalbed methane extraction to POTWs.                  Onshore Subcategory is zero discharge
                                                  indicate a recent deterioration in                        EPA notes that the requirements in the                of wastewater pollutants into waters of
                                                  financial performance and condition for                   existing effluent guidelines for direct               the U.S. from any source associated
                                                  OGE firms since mid-2014 due to the                       dischargers also do not apply to coalbed              with production, field exploration,
                                                  fall in crude oil and natural gas prices.                 methane extraction, as this industry did              drilling, well completion, or well
                                                  The prediction of slow price recovery                     not exist at the time that the effluent               treatment.
                                                  indicates that the financial condition of                 guidelines were developed and was not                    As explained in Section XII.E of the
                                                  OGE firms in general may not recover in                   considered by the Agency in                           proposal (80 FR 18570, April 7, 2015),
                                                  the short term, though the crude oil and                  establishing the effluent guidelines                  EPA evaluated the practices currently
                                                  natural gas prices are forecast to                        (DCN SGE00761). To reflect the fact that              used to manage UOG extraction
                                                  increase through 2040 (DCN SGE01192).                     neither the final pretreatment standards              wastewaters. Based on the information
                                                  While many factors will affect further                    nor the existing effluent guideline                   reviewed as part of this final
                                                  UOG development, and forecasts                            requirements apply to coalbed methane                 rulemaking, EPA concludes that current
                                                  inevitably involve considerable                           extraction, EPA expressly reserved a                  industry practice is to not discharge
                                                  uncertainty, production is expected to                    separate unregulated subcategory for                  pollutants from onshore UOG extraction
                                                  continue to increase. EIA forecasts that                  coalbed methane in this final rule. For               to POTWs.4 Rather, the vast majority of
                                                  by 2040, shale gas will account for 55                    information on coalbed methane, see                   this wastewater is managed by disposal
                                                  percent of U.S. natural gas production,                   https://www.epa.gov/eg/coalbed-                       in underground injection wells and/or
                                                  with tight gas as the second leading                      methane-extraction-industry.                          re-use in fracturing another well. A
                                                  source at 22 percent, and shale/tight                                                                           small, but in some geographic areas
                                                                                                            B. Option Selection                                   increasing, portion of the industry also
                                                  oil 2 will account for 45 percent of total
                                                  U.S. oil production (DCN SGE01192).                          EPA analyzed three regulatory options              transfers its wastewater to CWT
                                                  See the industry profile (DCN                             at proposal, the details of which were                facilities.5
                                                  SGE01277) for more information.                           discussed fully in the document                          The technology basis for the
                                                                                                            published on April 7, 2015 (80 FR                     promulgated PSES is disposal in UIC
                                                  VI. Final Rule                                            18557). In general, these three options               wells, wastewater reuse/recycling to
                                                  A. Scope/Applicability                                    ranged from requiring zero discharge of               fracture another well, or management by
                                                                                                            pollutants to POTWs, establishing non-                CWT facilities. Because all existing
                                                    Consistent with the proposal, the                                                                             UOG extraction facilities currently
                                                                                                            zero pretreatment standards, or
                                                  scope of this final rule is specific to                                                                         employ alternative wastewater
                                                                                                            establishing no national pretreatment
                                                  pretreatment standards for onshore oil                                                                          management practices other than
                                                                                                            standards. Depending on the interests
                                                  and gas extraction facilities (subpart C).
                                                                                                            represented, public commenters
                                                  EPA did not propose to reopen the                                                                                  3 In some cases, industry has also re-used/
                                                                                                            supported virtually all of the regulatory
                                                  regulatory requirements applicable to                                                                           recycled the water to drill another well that is not
                                                                                                            options that EPA proposed—from the
                                                  any other subpart or the requirements                                                                           fractured.
                                                                                                            least stringent to the most stringent.                   4 EPA solicited additional data and information
                                                  for direct dischargers in subpart C.
                                                                                                            Thus, in developing this final rule, EPA              on current industry practice as well as its
                                                  Rather, the scope of the final rule                                                                             preliminary finding that no UOG facilities currently
                                                                                                            again considered the same three
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                                                  amends subpart C only to add                                                                                    discharge to POTWs in the proposal. EPA did not
                                                                                                            regulatory options.
                                                  requirements for indirect dischargers                                                                           receive data since proposal to contradict this
                                                  where there currently are none. Further,                  1. PSES                                               finding.
                                                                                                                                                                     5 Existing effluent limitations guidelines and
                                                  also consistent with the proposal, the                       After considering all of the relevant              pretreatment standards at 40 CFR part 437 apply to
                                                                                                            factors and technology options                        CWT facilities. The CWT industry handles
                                                     2 EIA reported this data as ‘‘tight oil’’ production                                                         wastewater and industrial process by-products from
                                                  but stated that it includes production from both
                                                                                                            discussed in this preamble and in the                 off-site. CWT facilities may receive a wide variety
                                                  shale oil formations (e.g., Bakken, Eagle Ford) and       TDD, as well as public comments, EPA                  of hazardous and non-hazardous industrial wastes
                                                  tight oil formations (e.g., Austin Chalk).                decided to establish PSES based on                    for treatment.



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                                                  41852              Federal Register / Vol. 81, No. 124 / Tuesday, June 28, 2016 / Rules and Regulations

                                                  transfer to a POTW, the technology basis                practice and EPA therefore estimates                   than the current industry practice and
                                                  for meeting a zero discharge                            that there will be no incremental                      thus would potentially increase the
                                                  requirement is widely available. While                  pollutant reductions. Accordingly,                     discharge of such pollutants to POTWs.
                                                  EPA bases pretreatment standards and                    because industry is already meeting this               EPA reasonably concluded that—as
                                                  associated discharge limits on a                        requirement, no facilities will incur                  compared to a less stringent non-zero
                                                  technology basis, the agency does not                   incremental costs for compliance with                  technology basis in Option 2—a
                                                  require facilities to employ any specific               the promulgated PSES and, therefore,                   standard based on available zero
                                                  technology; rather, facilities may                      the promulgated PSES is economically                   discharge options reflects the ‘‘best’’
                                                  comply with alternative technologies as                 achievable. For the same reasons, the                  available technology within the
                                                  long as they meet the prescribed limits.                final PSES will result in no incremental               meaning of Section 304(b) of the Clean
                                                     Some commenters asserted that UIC                    non-water quality environmental                        Water Act. Moreover, unlike Option 2,
                                                  wells may not be available in the future                impacts. Finally, because the final rule               a zero discharge technology option is
                                                  in all geographic locations, but provided               represents current industry practice,                  consistent with the CWA goal of
                                                  no data to support their assertion. EPA                 EPA requires that the PSES based on                    eliminating the discharge of pollutants
                                                  does not have any data to demonstrate                   zero discharge of wastewater pollutants                into navigable waters (CWA sections
                                                  that UIC capacity nationwide will be                    to POTWs be effective as of the effective              101(a)(1); 301(b)(2)(A) and 306(a)(1)).
                                                  expended and that this current                          date of this rule, 60 days after                          Third, EPA disagrees with the
                                                  management option will not be                           publication of this rule in the Federal                commenters’ suggestion that an option
                                                  available in the future (See Chapter D of               Register.                                              allowing for the discharge to POTWs is
                                                  the TDD). Further, data suggest that,                      EPA did not establish PSES based on                 necessary as an ‘‘escape valve’’ in case
                                                  where UIC wells are currently available,                Option 2, under which EPA would                        of limited future availability of UIC
                                                  this availability will likely continue in               establish non-zero numerical                           disposal options. As explained
                                                  the future (see Chapter D of the TDD).                  pretreatment standards for discharges of               previously, UIC disposal capacity is
                                                  Moreover, the technology basis for the                  wastewater pollutants from UOG                         currently widely available, and EPA
                                                  final pretreatment standards is not                     extraction facilities. Such an option                  does not have data to suggest that this
                                                  limited to UIC disposal. EPA identified                 could be similar to the one adopted in                 capacity will be limited in the future.
                                                  two other approaches that also meet the                 Pennsylvania in 2010 that requires                     Moreover, approaches to achieve zero
                                                  zero discharge requirement: Reuse/                      pretreatment of oil and gas wastewaters                discharge are not limited to UIC wells,
                                                  recycle of the wastewater for re-                       before discharge to a POTW to meet a                   and EPA has no data to suggest that
                                                  fracturing other wells, or transfer of the              maximum TDS concentration of 500                       other zero discharge options, such as
                                                  wastewater to a CWT facility. In recent                 mg/L as well as specific numerical                     reuse/recycle of wastewater for re-
                                                  years, industry has greatly expanded its                concentrations for other pollutants (see               fracturing or sending wastewater to
                                                  knowledge about the ability to reuse/                   Chapter A of the TDD). Some                            CWT facilities, will be limited in the
                                                  recycle UOG flowback and long-term                      commenters suggested this approach                     future. Without any such data, there is
                                                  produced water (the major contributors                  would provide an ‘‘escape-valve’’ for the              no basis for EPA to conclude that an
                                                  to UOG extraction wastewater by                         future in the event that UIC disposal                  ‘‘escape valve’’ allowing for discharge to
                                                  volume) in fracturing another well.                     well capacity is exhausted. Others have                POTWs is needed to address concerns
                                                  Consequently, as the UOG industry                       suggested this would allow the water to                about limited future availability of zero
                                                  continues to grow and new wells are                     be available for re-use (other than in                 discharge technology options.
                                                  being fractured, the need for UIC                       fracturing another well) if technologies                  Fourth, although EPA identified
                                                  capacity for UOG extraction wastewater                  become available to pre-treat it to                    technologies that currently exist to treat
                                                  may decrease, even in geographic                        remove dissolved pollutants in a cost                  dissolved pollutants in UOG extraction
                                                  locations with an abundance of UIC                      effective manner.                                      wastewater, these TDS-removal
                                                  capacity, due to the increased                             Although EPA identified                             technologies are also likely more costly,
                                                  availability of reuse/recycle. In addition,             technologies 6 that currently exist to                 as demonstrated by information in the
                                                  EPA’s record demonstrates that in areas                 treat dissolved pollutants in UOG                      record on estimated costs of managing
                                                  of the country where UIC wells and/or                   extraction wastewater that could be                    wastewater under various approaches,
                                                  opportunities for reuse in fracturing                   used to set a non-zero numeric                         relative to the suite of technologies that
                                                  another well are limited, UOG                           discharge limit, EPA did not select this               form the zero discharge technology basis
                                                  extraction facilities transfer their                    option for the following reasons. First,               for the final rule. See DCN SGE01186,
                                                  wastewater to a CWT facility (see                       the existing requirements for direct                   SGE00139, SGE00070, SGE00350,
                                                  Chapter D of the TDD). Some                             discharges of UOG extraction                           SGE00279, SGE01064, SGE00283,
                                                  commenters assert that the option to                    wastewater in the Onshore Subcategory                  SGE00300, SGE00625, SGE00635,
                                                  transfer UOG wastewater to CWT                          require zero discharge of pollutants. As               SGE00280, SGE00245, SGE00279,
                                                  facilities may be limited in the future                 explained previously, EPA generally                    SGE00276, SGE00275.
                                                  because EPA may revise ELGs for this                    establishes requirements for direct and                   With respect to the comments
                                                  industry. While EPA is conducting a                     indirect discharges so that the                        suggesting that EPA establish a non-zero
                                                  study of CWT facilities that accept oil                 wastewater receives comparable levels                  numerical treatment standard in order
                                                  and gas wastewater to determine if                      of pollutant removals prior to discharge               to allow for (non-fracturing) reuse/
                                                  revision to the CWT regulations may be                  to waters of the U.S.                                  recycle of the wastewater, data collected
                                                  appropriate, EPA is not evaluating any                     Second, as detailed previously, UOG                 for this rulemaking demonstrate that the
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                                                  approaches that would directly restrict                 facilities in this subcategory are                     current technologies are capable of
                                                  their availability to accept such                       currently meeting the zero discharge                   reducing TDS (and other dissolved
                                                  wastewaters.                                            requirement. Thus, any option that                     pollutants) well below 500 mg/L (see
                                                     While the technology basis is best                   would allow for a discharge of UOG                     DCN SGE01186). To the extent that
                                                  performing in that it achieves zero                     pollutants above the current zero                      these technologies or others are
                                                  discharge of pollutants in UOG                          discharge level would be less stringent                developed in the future to reduce
                                                  extraction wastewater to POTWs, the                                                                            pollutants in UOG extraction
                                                  requirement reflects current industry                     6 See   DCN SGE01186.                                wastewater to enable them to be reused/


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                                                                     Federal Register / Vol. 81, No. 124 / Tuesday, June 28, 2016 / Rules and Regulations                                          41853

                                                  recycled for purposes other than                        whether to accept transfers of                         drivers behind these actions taken by
                                                  fracturing another well, these pre-                     wastewater on a case-by-case basis. It is              Pennsylvania was that some waters
                                                  treated wastewaters can be used directly                beneficial to the states as a practical                were impaired by TDS. (DCN
                                                  for the other applications rather than                  matter to establish federal regulations                SGE00187). To avoid future scenarios
                                                  going to a POTW.                                        that mandate this existing practice, in                where POTWs receive UOG extraction
                                                     In addition to the PSES option of zero               order to avoid the burden for each state               wastewater, it is reasonable to codify the
                                                  discharge of wastewater pollutants, EPA                 to potentially repeat the effort of                    zero discharge practice already adopted
                                                  also considered a ‘‘no rule’’ option,                   promulgating state-level regulations.                  by the industry that EPA has found to
                                                  based on the discussion previously that                 EPA has discussed this rule with several               be ‘‘best’’ in terms of pollutant
                                                  no UOG facilities are currently                         states that have indicated that a federal              removals, as well as both
                                                  transferring wastewater to POTWs, and                   pretreatment standard would reduce                     technologically available and
                                                  given available alternative management                  their administrative burden (DCN                       economically achievable.
                                                  options such as disposal in UIC wells                   SGE00762; DCN SGE00743).
                                                  and reuse/recycling.                                       Third, EPA also considered the future               2. PSNS
                                                     EPA did not select a ‘‘no rule’’ option              burden that continued lack of                             After considering all of the relevant
                                                  for several reasons. First, there is no                 pretreatment standards can impose on                   factors and technology options
                                                  national regulation that prevents or                    POTWs. The UOG extraction industry is                  discussed in this preamble and in the
                                                  requires pretreatment of such                           predicted to continue to grow in the                   TDD, as well as public comments, as is
                                                  discharges—and, as mentioned                            future, resulting in the installation,                 the case with PSES, EPA decided to
                                                  previously, EPA is not aware of any                     fracturing, and possible re-fracturing of              establish PSNS based on the
                                                  POTWs that are designed to treat                        hundreds of thousands of wells. Well                   technologies described in Option 1. For
                                                  dissolved pollutants common in UOG                      operators will continue to generate UOG                PSNS, the final rule establishes a zero
                                                  extraction wastewater. Thus, as                         extraction wastewater and could request                discharge standard on all pollutants in
                                                  explained previously, some pollutants                   that local POTWs accept their                          UOG wastewater.
                                                  of concern in UOG extraction                            wastewater for discharge. In the absence                  As previously noted, under section
                                                  wastewater will not be physically,                      of federal pretreatment standards,                     307(c) of the CWA, new sources of
                                                  chemically, or biologically reduced by                  POTWs can legally accept UOG                           pollutants into POTWs must comply
                                                  the treatment processes typically used at               extraction wastewater to the extent that               with standards that reflect the greatest
                                                  POTWs, and these pollutants, if sent to                 such wastewater transfers are in                       degree of effluent reduction achievable
                                                  POTWs, are expected to be discharged                    compliance with state and local                        through application of the best available
                                                  from the POTW into receiving waters. In                 requirements and that resulting                        demonstrated control technologies.
                                                  addition, these pollutants can cause                    discharges comply with their permits.                  Congress envisioned that new treatment
                                                  operational problems for the POTW’s                     Evaluating each potential customer                     systems could meet tighter controls than
                                                  biological treatment processes and alter                (industrial user) and developing a                     existing sources because of the
                                                  the POTW’s ability to adequately                        determination for each new UOG                         opportunity to incorporate the most
                                                  remove BOD, TSS, and other pollutants                   extraction wastewater source on a case-                efficient processes and treatment
                                                  for which it is regulated. For some UOG                 by-case basis could be burdensome for                  systems into the facility design. The
                                                  pollutants, such as radionuclides, the                  POTWs. In addition, where a POTW                       technologies used to control pollutants
                                                  data indicate POTWs will remove some                    determines it can accept this                          at existing sources, disposal in UIC
                                                  portion while discharging the remainder                 wastewater, complying with applicable                  wells, wastewater reuse/recycling to
                                                  (DCN SGE01028; DCN SGE01185). In                        reporting requirements could be a                      fracture another well, and/or
                                                  these cases, some portion of the                        significant burden to some POTWs. EPA                  management at CWT facilities—are fully
                                                  radionuclides will partition to the                     concluded that a national-level                        available to new sources for the same
                                                  POTW biosolids, which can cause the                     determination that UOG extraction                      reasons specified earlier for existing
                                                  POTW to incur increased costs to                        wastewater contains pollutant                          sources. They achieve the greatest
                                                  change its selected method of biosolids                 concentrations that could pass through                 degree of effluent reduction available:
                                                  management (DCN SGE00615). See                          POTWs, and establishment of                            zero discharge of pollutants in UOG
                                                  Chapter D of the TDD. This means that,                  categorical pretreatment standards, will               extraction wastewater. Furthermore,
                                                  absent a pretreatment standard,                         avoid burdening individual                             EPA has not identified any technologies
                                                  constituents of such wastewater could                   pretreatment Control Authorities (e.g.                 that are demonstrated to be available for
                                                  be discharged to receiving waters or                    POTWs) with evaluating each                            new sources that are different from
                                                  interfere with POTW operations when                     individual request. While EPA does not                 those identified for existing sources.
                                                  other available options such as reuse/                  have the information to quantify the                      EPA determined that the final PSNS
                                                  recycle and proper disposal in a Class                  reductions in administrative burden that               present no barrier to entry into the
                                                  II UIC well better protect water quality                will likely result from the final rule,                market for new sources. EPA has no
                                                  and aquatic communities and help                        states generally support EPA’s position                data in the record indicating that new
                                                  further the zero discharge goal of the                  that such reductions will be realized                  sources would manage their wastewater
                                                  CWA. CWA section 101(a)(1).                             (DCN SGE00762; DCN SGE00743).                          any differently than existing sources or
                                                     Second, as detailed in the TDD, few                     Fourth, history demonstrates that,                  that the management options that are
                                                  states have regulations or policies that                absent controls preventing the transfer                available for existing sources would not
                                                  prevent discharges of pollutants in UOG                 of or requiring pretreatment of such                   be available for new sources. Indeed,
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                                                  extraction wastewater to POTWs or that                  wastewater, POTWs could and did                        EPA’s record demonstrates that as new
                                                  mandate pre-treatment prior to                          accept it. This occurred in Pennsylvania               UOG facilities have come into existence,
                                                  discharge to a POTW. In the absence of                  (see Chapter A and Chapter D of the                    they are relying on the same current
                                                  such regulations or policies, resource-                 TDD), where POTWs were used to                         industry best practices as existing
                                                  constrained control authorities and/or                  manage UOG extraction wastewater                       facilities, using zero discharge
                                                  POTWs that receive requests to accept                   until the state took action. This action               technology options to avoid sending
                                                  UOG extraction wastewater would be in                   included promulgating new regulations                  wastewater to POTWs. See TDD Table
                                                  the position of having to evaluate                      requiring pretreatment. Among the                      D–1 and DCN SGE01179.A03.


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                                                  41854              Federal Register / Vol. 81, No. 124 / Tuesday, June 28, 2016 / Rules and Regulations

                                                  Accordingly, EPA found that there are                   available characterization data for UOG                of water (median flow rates range from
                                                  no overall incremental impacts from the                 extraction wastewaters.                                200–800 gallons per day) and continue
                                                  final standards on new sources, as is the                 In addition, before establishing PSES/               producing wastewater throughout the
                                                  case for existing sources, since the                    PSNS for a pollutant, EPA examines                     life of the well (see TDD Chapter C.2).
                                                  incremental costs faced by new sources                  whether the pollutant ‘‘passes through’’                  In general, evidence of environmental
                                                  generally will be the same as those faced               a POTW to waters of the U.S. or                        impacts to surface waters from
                                                  by existing sources. EPA projects no                    interferes with the POTW operation or                  discharges of UOG extraction
                                                  incremental non-water quality                           sludge disposal practices. In                          wastewater is sparsely documented—as
                                                  environmental impacts. Therefore, EPA                   determining whether a pollutant passes                 direct discharges from onshore oil and
                                                  established PSNS that are the same as                   through POTWs for these purposes,7                     gas extraction have been prohibited
                                                  the final PSES for this final rule.                     where EPA establishes non-zero                         under the existing regulations since
                                                     EPA rejected other options for PSNS                  pretreatment standards, EPA generally                  1979; and based on current industry
                                                  for the same reasons that the Agency                    compares the percentage of a pollutant                 best practice, there have been few
                                                  rejected other options for PSES. And, as                removed by well-operated POTWs                         indirect discharges of such wastewater
                                                  with the final PSES, EPA determined                     performing secondary treatment to the                  to POTWs. Some of the environmental
                                                  that the final PSNS prevent pass                        percentage removed by the BAT/NSPS                     impacts documented to date, such as
                                                  through of pollutants from POTWs into                   technology basis. A pollutant is                       increased DBP formation in downstream
                                                  receiving streams and also help control                 determined to pass through POTWs                       drinking water treatment plants,
                                                  contamination of POTW sludge.                           when the median percentage removed                     resulted from wastewater pollutants that
                                                                                                          nationwide by well-operated POTWs is                   passed untreated through POTWs in
                                                  3. Pollutants Selected for Regulation                   less than the median percentage                        Pennsylvania (see Chapter D of the
                                                  Pass-Through Analysis                                   removed by the BAT/NSPS technology                     TDD).
                                                     EPA identifies all pollutants in UOG                 basis. Pretreatment standards are
                                                                                                          established for those pollutants                       A. Pollutants
                                                  extraction wastewater as pollutants of
                                                  concern and similarly determined all                    regulated under BAT/NSPS that pass                       As described in Section XII.D of the
                                                  pollutants pass through. As a result, all               through POTWs. In this way, EPA is                     proposed rule (80 FR 18569, April 7,
                                                  pollutants in UOG extraction                            able to ensure that the standards for                  2015), high concentrations of TDS are
                                                  wastewater are directly regulated by the                indirect dischargers are equivalent to                 common in UOG extraction wastewater.
                                                  final pretreatment standards.                           direct dischargers and that the treatment              Inorganic constituents leaching from
                                                     CWA section 301(b) directs EPA to                    capability and performance of POTWs is                 geologic formations, such as sodium,
                                                  eliminate the discharge of all pollutants               recognized and taken into account in                   potassium, bromide, calcium, fluoride,
                                                  where it is technologically available and               regulating the pollutants from indirect                nitrate, phosphate, chloride, sulfate, and
                                                  economically achievable to do so (after                 dischargers.                                           magnesium, represent most of the TDS
                                                  a consideration of the factors specified                  For those wastestreams regulated with                in UOG extraction wastewater.
                                                  in section 304(b) of the Act). The first                a zero discharge limitation or standard,               Produced water can also include
                                                  step in such an analysis is typically to                EPA typically sets the percentage                      barium, radium, and strontium. Based
                                                  identify Pollutants of Concern (POCs)—                  removed by the technology basis at 100                 on available data, TDS cations
                                                  or the pollutants to be potentially                     percent for all pollutants. Because a                  (positively charged ions) in UOG
                                                  regulated by the effluent guideline. For                POTW would not be able to achieve 100                  extraction wastewater are generally
                                                  some industries and wastestreams, not                   percent removal of wastewater                          dominated by sodium and calcium, and
                                                  every pollutant in the wastestream may                  pollutants, the percent removal at a                   the anions (negatively charged ions) are
                                                  be a pollutant of concern. For example,                 POTW would be less than that of the                    dominated by chloride (DCN SGE00284;
                                                  not every pollutant may be present in an                candidate zero-discharge technology.                   See also Chapter C of the TDD). TDS
                                                  amount or frequency that EPA can                        For this final rule, using this approach,              concentrations vary among the UOG
                                                  demonstrate, using available data, is                   EPA determined that all pollutants pass                formations and can exceed 350,000 mg/
                                                  treatable by the candidate technology.                  through and that it is appropriate to set              L. For comparison, sea water contains
                                                  Where this is the case, EPA may choose                  PSES/PSNS for all pollutants to prevent                approximately 35,000 mg/L TDS.
                                                  to establish numerical limitations for                  pass through.
                                                                                                                                                                 B. Impacts From the Discharge of
                                                  only a subset of the pollutants present                 VII. Environmental Impacts                             Pollutants Found in UOG Extraction
                                                  in the wastestream. For other industries
                                                                                                            UOG production generates significant                 Wastewater
                                                  and wastestreams, the candidate
                                                  technology may be capable of                            volumes of wastewater that need to be                     As explained in Chapter D of the
                                                  controlling all pollutants present in the               managed. As described in Section                       TDD, POTWs are typically designed to
                                                  wastestream regardless of amount or                     XII.C.2 of the proposed rule (80 FR                    treat organic waste, total suspended
                                                  frequency. Where this is the case, EPA                  18569, April 7, 2015), unconventional                  solids, and constituents responsible for
                                                  considers all pollutants in the                         wells can produce flowback volumes                     biochemical oxygen demand, not to
                                                  wastestream to be POCs. This is the case                ranging between 210,000 and 2,100,000                  treat TDS. When transfers of UOG
                                                  in this final rule because, as described                gallons during the initial flowback                    extraction wastewater to POTWs were
                                                  previously, the technology bases for the                process.8 During the production phase,                 occurring in Pennsylvania, these
                                                  rule: underground injection of UOG                      wells typically produce smaller volumes                POTWs, lacking adequate TDS removal
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                                                  extraction wastewater, recycling and                      7 As explained in Section IV, the definition of
                                                                                                                                                                 processes, diluted UOG extraction
                                                  reuse of that wastewater, or                            pass through for general pretreatment standards        wastewaters with other sewage flows
                                                  management by CWT facilities; results                   appropriately differs from the definition in           and discharged TDS-laden effluent into
                                                  in zero discharge of all pollutants from                establishing national categorical pretreatment         local streams and rivers. POTWs not
                                                  UOG facilities to POTWs. Therefore,                     standards as they serve different objectives.          sufficiently treating TDS in UOG
                                                                                                            8 As explained in Chapter B of the TDD the length
                                                  under this rule, all pollutants in UOG                  of the flowback process is variable. Literature
                                                                                                                                                                 extraction wastewater were a suspected
                                                  extraction wastewater are POCs. Chapter                 generally reports it as 30 days or less (DCN           source of elevated TDS levels in the
                                                  C of the TDD provides a summary of                      SGE00532).                                             Monongahela River in 2009 (DCN


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                                                                      Federal Register / Vol. 81, No. 124 / Tuesday, June 28, 2016 / Rules and Regulations                                        41855

                                                  SGE00525). Also see Chapter D of the                    found that water with less than 300 mg/                solids from estimated historic levels of
                                                  TDD for additional examples.                            L TDS is considered excellent, and                     270 to 1170 mg/L, as species that are
                                                     In addition to UOG wastewater                        water with TDS above 1,100 mg/L is                     less salt tolerant such as coontail
                                                  pollutants passing through POTWs,                       unacceptable (DCN SGE00939). The                       (Ceratophyllus demersum) and cattail
                                                  other industrial discharges of                          World Health Organization dropped its                  (Typha sp.) were nearly eliminated. A
                                                  inadequately treated UOG extraction                     health-based recommendations for TDS                   related study found that lakes with
                                                  wastewater have also been associated                    in 1993, instead retaining 1,000 mg/L as               higher salinity exhibit lower aquatic
                                                  with in-stream impacts. One study of                    a secondary standard for taste (DCN                    biodiversity, with species distribution
                                                  discharges from a CWT facility in                       SGE00947).                                             also affected by ion composition (DCN
                                                  western Pennsylvania that treats UOG                       Bromide in UOG wastewater                           SGE00940).
                                                  extraction wastewater examined the                      discharges can adversely affect surface                  Aquatic toxicity is dependent on the
                                                  water quality and isotopic compositions                 waters used as drinking water supplies.                ionic composition of the mixture. Salts,
                                                  of discharged effluents, surface waters,                Recent studies of industrial discharges                specifically sodium and chloride, are
                                                  and stream sediments (DCN                               that contain bromide upstream of                       the majority (i.e., much greater than 50
                                                  SGE00629).9 The facility’s treatment                    drinking water utilities’ intakes                      percent) of TDS in UOG produced water
                                                  process includes settling, precipitation,               demonstrate that with bromides present                 (DCN SGE00284). Typical chloride
                                                  and fine screening, but does not remove                 in drinking water source waters at                     concentrations in UOG wastewater have
                                                  TDS (DCN SGE00525). The study found                     increased levels, carcinogenic                         been measured at concentrations up to
                                                  that the discharge of the effluent from                 disinfection by-products (brominated                   130,000 mg/L (see TDD Table C11).
                                                  the CWT facility increased downstream                   DBPs, in particular trihalomethanes                    Macroinvertebrates, such as fresh water
                                                  concentrations of chloride and bromide                  (THMs)) can form at the drinking water                 shrimp and aquatic insects that are a
                                                  above background levels. The chloride                   utility (DCN SGE01329). DBPs have                      primary prey of many fish species, have
                                                  concentrations 1.7 kilometers                           been shown to have both adverse                        open circulatory systems that are
                                                  downstream of the treatment facility                    human health and ecological affects.                   especially sensitive to pollutants like
                                                  were two to ten times higher than                       Studies also demonstrate that bromide                  chloride. Based on laboratory toxicity
                                                  chloride concentrations found in similar                in UOG wastewaters treated at POTWs                    data from EPA’s 1988 chloride criteria
                                                  reference streams in western                            can lead to the formation of DBPs                      document and more recent non-EPA
                                                  Pennsylvania. Radium 226 levels in                      within the POTW. EPA reviewed a                        studies, chloride acute effect
                                                  stream sediments at the point of                        study of a POTW accepting UOG                          concentrations for invertebrates ranged
                                                  discharge were approximately 200 times                  wastewater that unintentionally created                from 953 mg/L to 13,691 mg/L. Chloride
                                                  greater than upstream and background                    DBPs due to insufficient removal of                    chronic effect concentrations for
                                                  sediments.                                              bromide and other UOG wastewater                       invertebrates ranged from 489 mg/L to
                                                                                                          constituents (DCN SGE00535; DCN                        556 mg/L. In addition to the laboratory
                                                  C. Impact on Surface Water Designated
                                                                                                          SGE00587). The study found that UOG                    data, EPA also reviewed data from a
                                                  Uses
                                                                                                          extraction wastewaters contain various                 2009 Pennsylvania Department of
                                                     UOG extraction wastewater TDS                        inorganic and organic DBP precursors                   Environmental Protection violation
                                                  concentrations are typically high                       that can react with disinfectants used by              report documenting a fish kill attributed
                                                  enough, that if discharged untreated to                 POTWs to promote the formation of                      to a spill of diluted produced water in
                                                  surface water, affect adversely a number                DBPs, or alter speciation of DBPs,                     Hopewell Township, PA. The
                                                  of designated uses of the surface water,                particularly brominated-DBPs, which                    concentration of TDS at the location of
                                                  including drinking water source, aquatic                are suspected to be among the more                     the fish kill was as high as 7,000 mg/L.
                                                  life support, livestock watering,                       toxic DBPs (DCN SGE00535; DCN                          While not related to UOG extraction
                                                  irrigation, and industrial use.                         SGE00985). See Chapter D of the TDD                    wastewater, negative impacts of high
                                                  1. Drinking Water Uses                                  for further discussion of DBP formation                TDS, including fish kills, were
                                                                                                          associated with UOG extraction                         documented during 2009 at Dunkard
                                                     Available data indicate that the                     wastewaters.                                           Creek located in Monongalia County,
                                                  concentration of TDS in UOG extraction
                                                                                                          2. Aquatic Life Support Uses                           Pennsylvania. (DCN SGE00001 and DCN
                                                  wastewaters can often significantly
                                                                                                                                                                 SGE00001.A01)
                                                  exceed recommended drinking water                          TDS and its accompanying salinity
                                                  concentrations. Because TDS                             play a primary role in the distribution                3. Livestock Watering Uses
                                                  concentrations in drinking water source                 and abundance of aquatic animal and                       POTW discharges to surface waters
                                                  waters are typically well below the                     plant communities. High levels of TDS                  containing high concentrations of TDS
                                                  recommended levels for drinking, few                    can impact aquatic biota through                       can impact downstream uses for
                                                  drinking water treatment facilities have                increases in salinity, loss of osmotic                 livestock watering. High TDS
                                                  technologies to remove TDS. Two                         balance in tissues, and toxicity of                    concentrations in water sources for
                                                  published standards for TDS in drinking                 individual ions. Increases in salinity                 livestock watering can adversely affect
                                                  water include the U.S. Public Health                    have been shown to cause shifts in                     animal health by disrupting cellular
                                                  Service recommendation and EPA’s                        biotic communities, limit biodiversity,                osmotic and metabolic processes (DCN
                                                  secondary maximum contaminant level                     exclude less-tolerant species and cause                SGE01053). Domestic livestock, such as
                                                  recommendation that TDS in drinking                     acute or chronic effects at specific life              cattle, sheep, goats, horses, and pigs
                                                  water should not exceed 500 mg/L. High                  stages (DCN SGE00946). A detailed                      have varying degrees of sensitivity to
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                                                  concentrations of TDS in drinking water                 study of plant communities associated                  TDS in drinking water.
                                                  primarily degrade its taste rather than                 with irrigation drains reported
                                                  pose a human health risk. Taste surveys                 substantial changes in marsh                           4. Irrigation Uses
                                                                                                          communities, in part because of an                        If UOG extraction wastewater
                                                    9 Discharges from CWT facilities are subject to
                                                                                                          increase in dissolved solids (DCN                      discharges to POTWs increase TDS
                                                  ELGs in 40 CFR part 437. However, the effect of
                                                  discharges of treated oil and gas wastewaters from
                                                                                                          SGE00941). Observations over time                      concentrations in receiving streams,
                                                  CWT facilities that lack treatment for TDS is           indicate a shift in plant community                    downstream irrigation uses of that
                                                  similarly representative of POTWs.                      coinciding with increases in dissolved                 surface water can be negatively affected.


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                                                  41856              Federal Register / Vol. 81, No. 124 / Tuesday, June 28, 2016 / Rules and Regulations

                                                  Elevated TDS levels can limit the                       (c) are self-implementing. See CWA                     and Natural Gas Liquid Extraction by
                                                  usefulness of water for irrigation.                     section 307(d). The duty to comply with                NAICS code 211111 and 211112 with
                                                  Excessive salts affect crop yield in the                such standards is independent of any                   fewer than 500 employees (based on
                                                  short term, and the soil structure in the               state or a municipal control authority                 Small Business Administration size
                                                  long term. Primary direct impacts of                    permit or control mechanism containing                 standards). The small entities that are
                                                  high salinity water on plant crops                      the standards and associated reporting                 subject to the requirements of this final
                                                  include physiological drought,                          requirements.                                          rule are small businesses that engage in
                                                  increased osmotic potential of soil,                                                                           UOG extraction as defined in Section V,
                                                  specific ion toxicity, leaf burn, and                   A. Implementation Deadline                             of this preamble. No small businesses
                                                  nutrient uptake interferences (DCN                        Because the requirements of the final                will experience a significant economic
                                                  SGE00938). In general, for various                      rule are based on current practice, EPA                impact because the final rulemaking
                                                  classes of crops the salinity tolerance                 determined that the PSES/PSNS                          codifies current industry practice and
                                                  decreases in the following order: forage                standards apply on the effective date of               does not impose any new requirement
                                                  crops, field crops, vegetables, fruits.                 the final rule, August 29, 2016.                       that is not already being met by the
                                                     In addition to short-term impacts to                                                                        industry. I have therefore concluded
                                                  crop plants, irrigating with high TDS                   B. Upset and Bypass Provisions
                                                                                                                                                                 that this action will have no net
                                                  water can result in gradual                               For discussion of upset and bypass                   regulatory burden for all directly
                                                  accumulation of salts or sodium in soil                 provisions, see the proposed rule (80 FR               regulated small entities.
                                                  layers and eventual decrease in soil                    18569, April 7, 2015).
                                                  productivity. The susceptibility of soils                                                                      D. Unfunded Mandates Reform Act
                                                                                                          C. Variances and Modifications                           This action does not contain any
                                                  to degradation is dependent on the soil
                                                  type and structure. Sandy soils are less                  For discussion of variances and                      unfunded mandate as described in
                                                  likely than finely textured soils to                    modifications, see the proposed rule (80               UMRA, 2 U.S.C. 1531–1538, and does
                                                  accumulate salts or sodium. Soils with                  FR 18569, April 7, 2015).                              not significantly or uniquely affect small
                                                  a high water table or poor drainage are                                                                        governments. The action imposes no
                                                                                                          IX. Statutory and Executive Order
                                                  more susceptible to salt or sodium                                                                             incremental enforceable duty on any
                                                                                                          Reviews
                                                  accumulation. The most common                                                                                  state, local or tribal governments or the
                                                  method of estimating the suitability of a                 Additional information about these                   private sector.
                                                  soil for crop production is through                     statutes and Executive Orders can be
                                                                                                          found at https://www.epa.gov/laws-                     E. Executive Order 13132: Federalism
                                                  calculation of its sodicity as estimated
                                                  by the soil’s sodium absorption ratio                   regulations/laws-and-executive-orders.                   This action does not have federalism
                                                  (SAR). The impact of irrigation water                                                                          implications. It does not alter the basic
                                                                                                          A. Executive Order 12866: Regulatory                   state-federal scheme established in the
                                                  salinity on crop productivity is a                      Planning and Review and Executive
                                                  function of both the SAR value and the                                                                         CWA under which EPA authorizes
                                                                                                          Order 13563: Improving Regulation and                  states to carry out the NPDES permit
                                                  electrical conductivity. The actual field-              Regulatory Review
                                                  observed impacts are very site-specific                                                                        program. It will not have substantial
                                                  depending on the soil and crop system                     This action is not a significant                     direct effect on the states, on the
                                                  (DCN SGE00938).                                         regulatory action and was therefore not                relationship between the national
                                                                                                          submitted to the Office of Management                  government and the states, or on the
                                                  5. Industrial Uses                                      and Budget (OMB) for review.                           distribution of power and
                                                     POTW discharges to surface waters                                                                           responsibilities among the various
                                                                                                          B. Paperwork Reduction Act
                                                  are often upstream of industrial                                                                               levels of government. Although this
                                                  facilities that withdraw surface waters                   This action does not impose an                       order does not apply to this action, as
                                                  for various cooling and process uses.                   information collection burden under the                explained in Section VI, EPA
                                                  High concentration of TDS can                           provisions of the Paperwork Reduction                  coordinated closely with states through
                                                  adversely affect industrial applications                Act. This final rule codifies current                  a workgroup, as well as outreach efforts
                                                  requiring the use of water in cooling                   industry practice and does not impose                  to pretreatment coordinators and
                                                  tower operations, boiler feed water, food               any additional reporting requirements.                 pretreatment authorities.
                                                  processing, and electronics                             C. Regulatory Flexibility Act                          F. Executive Order 13175: Consultation
                                                  manufacturing. Concentrations of TDS
                                                                                                             I certify that this action will not have            and Coordination With Indian Tribal
                                                  above 500 mg/L result in excessive
                                                                                                          a significant economic impact on a                     Governments
                                                  scaling in water pipes, water heaters,
                                                  boilers and household appliances (DCN                   substantial number of small entities                      This action does not have tribal
                                                  SGE00174). Depending on the industry,                   under the Regulatory Flexibility Act. In               implications as specified in Executive
                                                  TDS in intake water can interfere with                  making this determination, the impact                  Order 13175. It will not have substantial
                                                  chemical processes within the plant.                    of concern is any significant adverse                  direct effects on tribal governments, on
                                                  Some industries requiring ultrapure                     economic impact on small entities. An                  the relationship between the Federal
                                                  water, such as semi-conductor                           agency may certify that a rule will not                government and Indian tribes, or on the
                                                  manufacturing facilities, are particularly              have a significant economic impact on                  distribution of power and
                                                  sensitive to high TDS levels due to the                 a substantial number of small entities if              responsibilities between the Federal
                                                  treatment cost for the removal of TDS.                  the rule relieves regulatory burden, has               government and Indian tribes. The final
asabaliauskas on DSK3SPTVN1PROD with RULES




                                                                                                          no net burden or otherwise has a                       rule contains no Federal mandates for
                                                  VIII. Regulatory Implementation of the                  positive economic effect on the small                  tribal governments and does not impose
                                                  Standard                                                entities subject to the rule.                          any enforceable duties on tribal
                                                    The requirements in this rule apply to                   For purposes of assessing the impacts               governments. Thus, Executive Order
                                                  discharges from UOG facilities through                  of the final rule on small entities, small             13175 does not apply to this action.
                                                  local pretreatment programs under CWA                   entity is defined as: A small business                    Although Executive Order 13175 does
                                                  section 307. Pretreatment standards                     that is primarily engaged in Crude                     not apply to this action, the EPA
                                                  promulgated under section 307(b) and                    Petroleum and Natural Gas Extraction                   coordinated with tribal officials early in


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                                                                     Federal Register / Vol. 81, No. 124 / Tuesday, June 28, 2016 / Rules and Regulations                                                41857

                                                  the process of developing this rule to                  18579; April 7, 2015) and received no                  condition the hole and to
                                                  enable them to have meaningful and                      comments.                                              counterbalance formation pressure.
                                                  timely input into its development. EPA                                                                           (iv) Produced sand means the slurried
                                                                                                          K. Congressional Review Act (CRA)
                                                  coordinated with federally recognized                                                                          particles used in hydraulic fracturing,
                                                  tribal governments in May and June of                     This action is subject to the CRA, and
                                                                                                                                                                 the accumulated formation sands, and
                                                  2014, sharing information about the                     the EPA will submit a rule report to
                                                                                                                                                                 scales particles generated during
                                                  UOG pretreatment standards proposed                     each House of the Congress and to the
                                                                                                          Comptroller General of the United                      production. Produced sand also
                                                  rulemaking with the National Tribal
                                                  Caucus and the National Tribal Water                    States. This action is not a ‘‘major rule’’            includes desander discharge from the
                                                  Council. EPA continued the outreach                     as defined by 5 U.S.C. 804(2).                         produced water waste stream, and
                                                  effort by collecting data about UOG                                                                            blowdown of the water phase from the
                                                                                                          List of Subjects in 40 CFR Part 435                    produced water treating system.
                                                  operations on tribal reservations, UOG
                                                  operators that are affiliated with Indian                 Environmental protection,                              (v) Produced water means the fluid
                                                  tribes, and POTWs owned or operated                     Pretreatment, Waste treatment and                      brought up from the hydrocarbon-
                                                  by tribes that can accept industrial                    disposal, Water pollution control,                     bearing strata during the extraction of
                                                  wastewaters (see DCN SGE00785).                         Unconventional oil and gas extraction.                 oil and gas, and includes, where
                                                  Based on this information, there are no                   Dated: June 13, 2016.                                present, formation water, injection
                                                  tribes operating UOG wells that                         Gina McCarthy,                                         water, and any chemicals added
                                                  discharge wastewater to POTWs nor are                   Administrator.                                         downhole or during the oil/water
                                                  there any tribes that own or operate                                                                           separation process.
                                                  POTWs that accept industrial                              Therefore, 40 CFR part 435 is
                                                  wastewater from UOG facilities;                         amended as follows:                                      (b) PSES for Wastewater from
                                                  therefore, this final rule will not impose                                                                     Conventional Oil and Gas Extraction.
                                                  any costs on tribes.                                    PART 435—OIL AND GAS                                   [Reserved]
                                                                                                          EXTRACTION POINT SOURCE
                                                  G. Executive Order 13045: Protection of                 CATEGORY                                               ■ 3. Add § 435.34 to subpart C to read
                                                  Children From Environmental Health                                                                             as follows:
                                                  Risks and Safety Risks                                  ■  1. The authority citation for part 435
                                                                                                                                                                 § 435.34 Pretreatment standards for new
                                                                                                          is revised to read as follows:
                                                    This action is not subject to Executive                                                                      sources (PSNS).
                                                  Order 13045 because it is not                             Authority: 33 U.S.C. 1251, 1311, 1314,
                                                                                                          1316, 1317, 1318, 1342 and 1361.                          (a) PSNS for wastewater from
                                                  economically significant as defined in                                                                         unconventional oil and gas extraction.
                                                  Executive Order 12866, and because the                  Subpart C—Onshore Subcategory                          Except as provided in 40 CFR 403.7 and
                                                  EPA does not believe the environmental
                                                                                                                                                                 403.13, any new source with discharges
                                                  health or safety risks addressed by this                ■ 2. Add § 435.33 to subpart C to read                 subject to this section must achieve the
                                                  action present a disproportionate risk to               as follows:                                            following pretreatment standards for
                                                  children. This action codifies current
                                                  industry practice; therefore there is no                § 435.33 Pretreatment standards for                    new sources (PSNS).
                                                  change in environmental health or                       existing sources (PSES).                                  (1) There shall be no discharge of
                                                  safety risks.                                              (a) PSES for wastewater from                        wastewater pollutants associated with
                                                                                                          unconventional oil and gas extraction.                 production, field exploration, drilling,
                                                  H. Executive Order 13211: Energy
                                                                                                          Except as provided in 40 CFR 403.7 and                 well completion, or well treatment for
                                                  Effects
                                                                                                          403.13, any existing source subject to                 unconventional oil and gas extraction
                                                    This action is not subject to Executive               this section, must achieve the following               (including, but not limited to, drilling
                                                  Order 13211, because it is not a                        pretreatment standards for existing                    muds, drill cuttings, produced sand,
                                                  significant regulatory action under                     sources (PSES).                                        produced water) into publicly owned
                                                  Executive Order 12866.                                     (1) There shall be no discharge of                  treatment works.
                                                                                                          wastewater pollutants associated with
                                                  I. National Technology Transfer and                                                                               (2) For the purposes of this section,
                                                                                                          production, field exploration, drilling,
                                                  Advancement Act                                         well completion, or well treatment for                 the definitions of unconventional oil
                                                                                                          unconventional oil and gas extraction                  and gas, drill cuttings, drilling muds,
                                                    This final rulemaking does not
                                                  involve technical standards.                            (including, but not limited to, drilling               produced sand, and produced water are
                                                                                                          muds, drill cuttings, produced sand,                   as specified in § 435.33(b)(2)(i) through
                                                  J. Executive Order 12898: Federal                       produced water) into publicly owned                    (v).
                                                  Actions To Address Environmental                        treatment works.                                          (b) PSNS for Wastewater from
                                                  Justice in Minority Populations and                        (2) For the purposes of this section,               Conventional Oil and Gas Extraction.
                                                  Low-Income Populations
                                                                                                             (i) Unconventional oil and gas means                [Reserved]
                                                    The final rule will neither increase                  crude oil and natural gas produced by
                                                                                                          a well drilled into a shale and/or tight               ■   4. Add subpart H to read as follows:
                                                  nor decrease environmental protection
                                                  (as described in Section VI) as it codifies             formation (including, but not limited to,
                                                                                                                                                                 Subpart H—Coalbed Methane
                                                  current industry practice; therefore, EPA               shale gas, shale oil, tight gas, tight oil).
                                                                                                                                                                 Subcategory [Reserved]
asabaliauskas on DSK3SPTVN1PROD with RULES




                                                  determined that the human health or                        (ii) Drill cuttings means the particles
                                                  environmental risk addressed by this                    generated by drilling into subsurface                  [FR Doc. 2016–14901 Filed 6–27–16; 8:45 am]
                                                  action will not have potential                          geologic formations and carried out                    BILLING CODE 6560–50–P
                                                  disproportionately high and adverse                     from the wellbore with the drilling
                                                  human health or environmental effects                   fluid.
                                                  on minority, low-income or indigenous                      (iii) Drilling mud means the
                                                  populations. EPA requested comment                      circulating fluid (mud) used in the
                                                  on this E.O. in the proposal (80 FR                     rotary drilling of wells to clean and


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Document Created: 2016-06-28 00:53:24
Document Modified: 2016-06-28 00:53:24
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThe final rule is effective on August 29, 2016. In accordance with 40 CFR part 23, this regulation shall be considered issued for purposes of judicial review at 1 p.m. Eastern time on July 12, 2016. Under section 509(b)(1) of the CWA, judicial review of this regulation can be had only by filing a petition for review in the U.S. Court of Appeals within 120 days after the regulation is considered issued for purposes of judicial review. Under section 509(b)(2), the requirements in this regulation may not be challenged later in civil or criminal proceedings brought by EPA to enforce these requirements.
ContactFor more information, see EPA's Web site: https://www.epa.gov/eg/unconventional-oil-and-gas-extraction- effluent-guidelines. For technical information, contact Karen Milam, Engineering and Analysis Division, Office of Science and Technology (4305T), Environmental Protection Agency, 1200 Pennsylvania Ave. NW.,
FR Citation81 FR 41845 
RIN Number2040-AF35
CFR AssociatedEnvironmental Protection; Pretreatment; Waste Treatment and Disposal; Water Pollution Control and Unconventional Oil and Gas Extraction

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