81_FR_46166 81 FR 46030 - Water Quality Standards; Establishment of Revised Numeric Criteria for Selenium for the San Francisco Bay and Delta, State of California

81 FR 46030 - Water Quality Standards; Establishment of Revised Numeric Criteria for Selenium for the San Francisco Bay and Delta, State of California

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 81, Issue 136 (July 15, 2016)

Page Range46030-46042
FR Document2016-16266

The Environmental Protection Agency (EPA) is proposing to revise the current federal Clean Water Act selenium water quality criteria applicable to the San Francisco Bay and Delta to ensure that the criteria are set at levels that protect aquatic life and aquatic- dependent wildlife, including federally listed threatened and endangered species. The San Francisco Bay and Delta ecosystem is at risk due to environmental degradation, including impacts from elevated levels of selenium, and state and federal actions are underway to restore the waterway. Scientific evidence indicates that elevated selenium levels can contribute to the decline of fish and aquatic- dependent birds. EPA promulgated the San Francisco Bay and Delta's existing selenium criteria in 1992 as part of the National Toxics Rule, using EPA's recommended aquatic life criteria values at the time. However, the latest science on selenium fate and bioaccumulation indicates that the existing criteria are not protective of aquatic life and aquatic-dependent wildlife in the San Francisco Bay and Delta. Therefore, EPA is proposing to revise the existing selenium criteria, taking into account available science, legal requirements, and EPA policies and guidance. EPA's proposal will address the Administrator's determination--described in this preamble--that EPA's previously promulgated water quality criteria are not adequate to protect the designated uses for these waters.

Federal Register, Volume 81 Issue 136 (Friday, July 15, 2016)
[Federal Register Volume 81, Number 136 (Friday, July 15, 2016)]
[Proposed Rules]
[Pages 46030-46042]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-16266]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 131

[EPA-HQ-OW-2015-0392; FRL-9946-01-OW]
RIN 2040-AF61


Water Quality Standards; Establishment of Revised Numeric 
Criteria for Selenium for the San Francisco Bay and Delta, State of 
California

AGENCY: Environmental Protection Agency (EPA).

ACTION: Proposed rule.

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SUMMARY: The Environmental Protection Agency (EPA) is proposing to 
revise the current federal Clean Water Act selenium water quality 
criteria applicable to the San Francisco Bay and Delta to ensure that 
the criteria are set at levels that protect aquatic life and aquatic-
dependent wildlife, including federally listed threatened and 
endangered species. The San Francisco Bay and Delta ecosystem is at 
risk due to environmental degradation, including impacts from elevated 
levels of selenium, and state and federal actions are underway to 
restore the waterway. Scientific evidence indicates that elevated 
selenium levels can contribute to the decline of fish and aquatic-
dependent birds. EPA promulgated the San Francisco Bay and Delta's 
existing selenium criteria in 1992 as part of the National Toxics Rule, 
using EPA's recommended aquatic life criteria values at the time. 
However, the latest science on selenium fate and bioaccumulation 
indicates that the existing criteria are not protective of aquatic life 
and aquatic-dependent wildlife in the San Francisco Bay and Delta. 
Therefore, EPA is proposing to revise the existing selenium criteria, 
taking into account available science, legal requirements, and EPA 
policies and guidance. EPA's proposal will address the Administrator's 
determination--described in this preamble--that EPA's previously 
promulgated water quality criteria are not adequate to protect the 
designated uses for these waters.

DATES: Comments must be received on or before September 13, 2016.

ADDRESSES: Submit your comments, identified by Docket ID No. EPA-HQ-OW-
2015-0392, at http://www.regulations.gov. Follow the online 
instructions for submitting comments. Once submitted, comments cannot 
be edited or removed from Regulations.gov. EPA may publish any comment 
received to its public docket. Do not submit electronically any 
information you consider to be Confidential Business Information (CBI) 
or other information whose disclosure is restricted by statute. 
Multimedia submissions (audio, video, etc.) must be accompanied by a 
written comment. The written comment is considered the official comment 
and should include discussion of all points you wish to make. EPA will 
generally not consider comments or comment contents located outside of 
the primary submission (i.e. on the web, cloud, or other file sharing 
system). For additional submission methods, the full EPA public comment 
policy, information about CBI or multimedia submissions, and general 
guidance on making effective comments, please visit http://www2.epa.gov/dockets/commenting-epa-dockets.
    Two public hearings will be held on Tuesday, August 23, 2016, one 
at 9:00 a.m. and one at 2:00 p.m., at EPA Region 9, 75 Hawthorne 
Street, San Francisco, CA 94105. Additionally, EPA will offer a virtual 
public hearing on the proposed rule via the internet on Monday evening, 
August 22, 2016 from 6:00 p.m. to 8:00 p.m. For details on these public 
hearings, as well as registration information, please visit: https://epa.gov/wqs-tech/water-quality-standards-establishment-revised-numeric-criteria-selenium-san-francisco-bay.

FOR FURTHER INFORMATION CONTACT: Erica Fleisig, Office of Water, 
Standards and Health Protection Division (4305T), U.S. Environmental 
Protection Agency, 1200 Pennsylvania Avenue NW., Washington, DC 20460; 
telephone number: (202) 566-1057; email address: [email protected]; 
or Diane E. Fleck, P.E., Esq., Water Division (WTR-2-1), U.S. 
Environmental Protection Agency Region 9, 75 Hawthorne Street, San 
Francisco, CA 94105; telephone number: (415) 972-3527; email address: 
[email protected].

SUPPLEMENTARY INFORMATION: This proposed rule is organized as follows:

I. General Information
II. Background
    A. CWA and EPA Regulations
    B. National Toxics Rule
    C. California Toxics Rule
    D. State of California Actions
    E. Applicability of EPA Promulgated Water Quality Standards When 
Final
    F. Selenium Chemistry and Biology
III. Rationale and Approach
    A. Necessity
    B. Administrator's Determination of Necessity
    C. Approach
    D. Proposed Criteria
IV. Implementation and Alternative Regulatory Approaches
V. Endangered Species Act
VI. Economic Analysis
    A. Identifying Affected Entities
    B. Method for Estimating Costs
    C. Results
VII. Statutory and Executive Orders
    A. Executive Order 12866 (Regulatory Planning and Review) and 
Executive Order 13563 (Improving Regulation and Regulatory Review)
    B. Paperwork Reduction Act (PRA)
    C. Regulatory Flexibility Act (RFA)
    D. Unfunded Mandates Reform Act (UMRA)
    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 and Safety Risks)
    H. Executive Oder 13211 (Actions That Significantly Affect 
Energy Supply, Distribution, or Use)
    I. National Technology Transfer and Advancement Act of 1995
    J. Executive Order 12898 (Federal Actions To Address 
Environmental Justice in Minority Populations and Low-Income 
Populations)

I. General Information

    Applicability: Entities such as industries, stormwater management 
districts, or publicly owned treatment works (POTWs) that directly or 
indirectly discharge selenium to the San Francisco Bay and Delta could 
be indirectly affected by this rulemaking because federal water quality 
standards (WQS) promulgated by EPA would be applicable to Clean Water 
Act (CWA) regulatory programs, such as National Pollutant Discharge 
Elimination System (NPDES) permitting. Citizens concerned with water 
quality in California could also be interested in this rulemaking. 
Categories and entities that could be affected include the following:

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                                      Examples of potentially affected
             Category                             entities
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Industry..........................  Industries discharging pollutants to
                                     the San Francisco Bay and Delta.

[[Page 46031]]

 
Municipalities....................  Publicly owned treatment works or
                                     other facilities discharging
                                     pollutants to the San Francisco Bay
                                     and Delta.
Stormwater Management Districts...  Entities responsible for managing
                                     stormwater runoff in the San
                                     Francisco Bay and Delta.
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    This table is not intended to be exhaustive, but rather provides a 
guide for readers regarding entities that could be indirectly affected 
by this action. Any parties or entities who depend upon or contribute 
to the water quality of the San Francisco Bay and Delta could be 
affected by this proposed rule. To determine whether your facility or 
activities could be affected by this action, you should carefully 
examine this proposed rule. If you have questions regarding the 
applicability of this action to a particular entity, consult the person 
listed in the FOR FURTHER INFORMATION CONTACT section.

II. Background

A. CWA and EPA Regulations

    CWA section 101(a)(2) (33 U.S.C. 1251(a)(2)) establishes a national 
goal, wherever attainable, of ``water quality which provides for the 
protection and propagation of fish, shellfish, and wildlife and 
provides for recreation in and on the water . . .'' In this proposal, 
the relevant goals are the protection and propagation of fish, 
shellfish, and wildlife.
    CWA section 303(c) (33 U.S.C. 1313(c)) directs states to adopt WQS 
for their waters subject to the CWA. CWA section 303(c)(2)(A) and EPA's 
implementing regulations at 40 CFR part 131 require, among other 
things, that a state's WQS specify appropriate designated uses of the 
waters and water quality criteria that protect those uses. EPA's 
regulations at 40 CFR 131.11(a)(1) provide that ``[s]uch criteria must 
be based on sound scientific rationale and must contain sufficient 
parameters or constituents to protect the designated use.'' For waters 
with multiple use designations, the criteria must support the most 
sensitive use (40 CFR 131.11(a)(1)). In addition, 40 CFR 131.10(b) 
provides that ``[i]n designating uses of a water body and the 
appropriate criteria for those uses, the [s]tate shall take into 
consideration the water quality standards of downstream waters and 
shall ensure that its water quality standards provide for the 
attainment and maintenance of the water quality standards of downstream 
waters.''
    States are required to review applicable WQS at least once every 
three years and, if appropriate, revise or adopt new standards (CWA 
section 303(c)(1)). Any new or revised WQS must be submitted to EPA for 
review and approval or disapproval (CWA section 303(c)(2)(A) and 
(c)(3)). Under CWA section 303(c)(4)(B), the Administrator is 
authorized to determine, even in the absence of a state submission, 
that a new or revised standard is needed to meet CWA requirements.
    Under CWA section 304(a), EPA periodically publishes criteria 
recommendations for states to consider when adopting water quality 
criteria for particular pollutants to meet the CWA section 101(a)(2) 
goals. In establishing numeric criteria, states should adopt water 
quality criteria based on EPA's CWA section 304(a) criteria, section 
304(a) criteria modified to reflect site-specific conditions, or other 
scientifically defensible methods (40 CFR 131.11(b)(1)). CWA section 
303(c)(2)(B) requires states to adopt numeric criteria for all toxic 
pollutants listed pursuant to CWA section 307(a)(1) for which EPA has 
published 304(a) criteria, as necessary to support the states' 
designated uses.

B. National Toxics Rule

    On December 22, 1992, EPA promulgated Water Quality Standards; 
Establishment of Numeric Criteria for Priority Toxic Pollutants; 
States' Compliance at 57 FR 60848 (hereafter referred to as the 
National Toxics Rule or NTR).\1\ The NTR established chemical-specific 
numeric criteria for priority toxic pollutants for states that EPA had 
determined were not in compliance with the requirements of CWA section 
303(c)(2)(B). The NTR included selenium water quality criteria for the 
protection of aquatic life in the San Francisco Bay and Delta. On May 
4, 1995, EPA issued a stay of the criteria for metals in the NTR and 
immediately promulgated revised criteria for metals in the NTR in the 
Stay of Federal Water Quality Criteria for Metals at 60 FR 22227 and 
Water Quality Standards; Establishment of Numeric Criteria for Priority 
Toxic Pollutants; States' Compliance--Revision of Metals Criteria, at 
60 FR 22229.\2\ The 1995 Stay and Revision did not change the selenium 
water quality criteria for the San Francisco Bay and Delta. These 
criteria are currently applicable in the Bay and Delta, and consist of 
a chronic criterion of 5 micrograms per liter ([mu]g/L), and an acute 
criterion of 20 [mu]g/L. Both criteria are expressed in the total 
recoverable form of selenium.
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    \1\ The NTR is codified at 40 CFR 131.36.
    \2\ The purpose of the 1995 amendment was, in general, to 
replace aquatic life total recoverable metals criteria with 
dissolved metals criteria to reflect a revised EPA policy that 
dissolved metals criteria better represent the biologically 
available fraction of water borne metals to aquatic organisms. 
Although selenium was included in the analysis for the revised 
policy, the 1995 amendment did not include a freshwater conversion 
factor for selenium, and thus, the aquatic life freshwater selenium 
criteria in the NTR remain in the total recoverable form. The EPA 
policy memorandum, Office of Water Policy and Technical Guidance on 
Interpretation and Implementation of Aquatic Life Metals Criteria, 
by Martha G. Prothro on October 1, 1993, states that selenium is a 
``bioaccumulative chemical and [it is] not appropriate to adjust to 
percent dissolved'' for freshwater selenium criteria (see policy 
memorandum, Attachment 2, page 5).
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    The currently applicable selenium criteria for the protection of 
aquatic life in the San Francisco Bay and Delta were based on EPA's CWA 
section 304(a) recommended criteria values at the time that EPA 
promulgated the criteria in the NTR. These recommendations are 
documented in EPA's Ambient Water Quality Criteria for Selenium--1987, 
Office of Water, EPA-440/5-87-008, September, 1987.
    EPA derived the 1987 freshwater aquatic life recommended criteria 
values for selenium from observed impacts on fish populations at a 
contaminated lake, Belews Lake, in North Carolina. The lake, a cooling 
water reservoir, had been affected by selenium loads from a coal-fired 
power plant. Since aquatic life was exposed to selenium from both the 
water column and diet, the criteria reflect both types of exposure in 
Belews Lake. EPA derived the 1987 saltwater aquatic life recommended 
criteria values for selenium using data from lab studies. EPA 
calculated the criteria in accordance with EPA's Guidelines for 
Deriving Numerical National Water Quality Criteria for the Protection 
of Aquatic Organisms and Their Uses, Office of Research and 
Development, 1985. The 1987 recommended freshwater criteria values for 
total recoverable selenium are 5 [mu]g/L (chronic) and 20 [mu]g/L 
(acute), and the saltwater criteria values for total recoverable 
selenium are 71 [mu]g/L (chronic) and 300 [mu]g/L (acute).
    In the NTR, EPA promulgated selenium criteria for the San Francisco

[[Page 46032]]

Bay and Delta based on the 1987 freshwater recommended criteria values 
for selenium, even though the San Francisco Bay and Delta are marine 
and estuarine waters. EPA used the more stringent freshwater values 
because of a concern that the saltwater criteria were not sufficiently 
protective ``based on substantial evidence that there are high levels 
of selenium bioaccumulation in San Francisco Bay and the saltwater 
criteria fail to account for food chain effects'' and ``utilization of 
the saltwater criteria for selenium in the San Francisco Bay/Delta 
would be inappropriate.'' (57 FR 60898).
    Since then, EPA has taken steps to revise the 1987 CWA 304(a) 
recommended criteria for selenium to better account for bioaccumulation 
through the food chain in different ecosystems. EPA recently published 
a revised CWA 304(a) freshwater recommended criterion for selenium: 
Final Aquatic Life Ambient Water Quality Criterion for Selenium--
Freshwater 2016, US EPA, Office of Water, EPA 822-R-16-006, June, 2016. 
EPA considered the methodology and information used to derive the 
revised CWA 304(a) recommended selenium criterion, along with 
additional information specific to the San Francisco Bay and Delta, in 
developing the revised selenium criteria values for the San Francisco 
Bay and Delta in this proposed rule.

C. California Toxics Rule

    On May 18, 2000, EPA promulgated Water Quality Standards; 
Establishment of Numeric Criteria for Priority Toxic Pollutants for the 
State of California at 65 FR 31681 (hereafter referred to as the 
California Toxics Rule or CTR).\3\ The CTR established numeric water 
quality criteria for priority toxic pollutants for inland surface 
waters and enclosed bays and estuaries within California. EPA 
promulgated the CTR after California rescinded its water quality 
control plans containing pollutant objectives (criteria). The criteria 
that EPA previously promulgated for California in the NTR,\4\ together 
with the criteria promulgated in the CTR and California's designated 
uses and anti-degradation provisions, set water quality standards for 
priority toxic pollutants for inland surface waters and enclosed bays 
and estuaries in California.
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    \3\ The CTR is codified at 40 CFR 131.38.
    \4\ The CTR Criteria Table at 40 CFR 131.38(b)(1) includes all 
water quality criteria previously promulgated in the NTR, so that 
readers can find all federally promulgated water quality criteria 
for California in one place. All criteria previously promulgated in 
the NTR are footnoted as such in the CTR.
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    As required by section 7 of the Endangered Species Act (ESA) (16 
U.S.C. 1531 et seq.), EPA consulted with the U.S. Fish and Wildlife 
Service (FWS) and the U.S. National Marine Fisheries Service (NMFS) 
(collectively, the Services) concerning EPA's rulemaking actions for 
California. EPA initiated consultation in 1994, and in March 2000, the 
Services issued a final Joint Biological Opinion. The final Joint 
Biological Opinion requested that EPA revise its 1987 recommended 
criteria values for selenium to ensure the protection of species listed 
as threatened or endangered, and later update the criteria for 
California consistent with the revised recommendations. In response, 
EPA reserved the acute freshwater selenium criterion from the final May 
2000 CTR.
    In September 2002, EPA, the Services, the U.S. Geological Survey 
(USGS), and the State of California met to discuss the development of 
revised selenium water quality criteria and recommended that 
California-specific selenium water quality criteria be developed as 
wildlife criteria. The agencies agreed that criteria should first be 
developed to protect aquatic life and aquatic-dependent wildlife using 
the Luoma-Presser (USGS) bioaccumulation model \5\ for the San 
Francisco Bay and Delta based on the necessity for more stringent 
criteria in the estuary, and to subsequently develop criteria for the 
rest of California using appropriate methods.
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    \5\ The model developed by Theresa Presser and Sam Luoma is the 
selenium ecosystem bioaccumulation model first presented in 
Forecasting Selenium Discharges to the San Francisco Bay-Delta 
Estuary: Ecological Effects of a Proposed San Luis Drain Extension, 
Open File Report 00-416, Samuel N. Luoma and Theresa S. Presser, 
2000, U.S. Geological Survey, Menlo Park, California. This report 
was revised and superseded in 2006 by Professional Paper 1646, 
Theresa S. Presser and Samuel N. Luoma, U.S. Geological Survey, 
Reston, Virginia. A detailed explanation of the model is contained 
in A Methodology for Ecosystem-Scale Modeling of Selenium, T.S. 
Presser and S.N. Luoma, 2010, Integrated Environmental Assessment 
and Management, Volume 6, Number 4.
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    Starting in 2003, EPA and the Services provided assistance to the 
USGS to model selenium fate and biological uptake in the San Francisco 
Bay and Delta using the USGS bioaccumulation model. USGS completed its 
report, entitled Ecosystem-Scale Selenium Modeling in Support of Fish 
and Wildlife Criteria Development for the San Francisco Bay-Delta 
Estuary, California, Administrative Report (the USGS Report), and 
submitted it to EPA in December 2010. USGS used site-specific data from 
various sources and species-specific data from the FWS. EPA analyzed 
the USGS Report and data from the FWS and other relevant reports to 
develop the selenium criteria for the San Francisco Bay and Delta in 
this proposed rule.
    In 2013, two organizations filed a legal complaint against EPA, 
based in part on the fact that work on updating the reserved acute 
freshwater selenium criterion from the 2000 CTR had not yet been 
completed while EPA had previously determined, in the proposed CTR, 
that the criterion was among those necessary to implement section 
303(c)(2)(B) of the CWA (62 FR 42160, August 5, 1997). EPA ultimately 
consented to a court-ordered resolution of these claims.\6\ Under the 
terms of the court order, EPA committed to developing updated selenium 
criteria for the California waters covered by the original CTR. 
However, this proposed rule relates to a different set of selenium 
criteria: Those selenium criteria that EPA previously proposed and 
finalized for the San Francisco Bay and Delta in the NTR. Since EPA has 
chosen to prioritize the development of this latter set of selenium 
criteria, EPA expects to defer proposing the remaining selenium 
criteria for the rest of California until no later than November 30, 
2018, pursuant to the terms of the court-ordered resolution.
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    \6\ Our Children's Earth Foundation and Ecological Rights 
Foundation v. U.S. Environmental Protection Agency, et al., 13-cv-
2857 (N.D. Cal, August 22, 2014).
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D. State of California Actions

    The State of California has nine Regional Water Quality Control 
Boards (Regional Boards), each located in and overseeing different 
areas of the state. The State Water Resources Control Board (SWRCB) in 
Sacramento oversees the actions of the nine Regional Boards and 
periodically establishes policy and standards for consistency across 
the Regional Boards. The San Francisco Bay Regional Water Quality 
Control Board (SFRWQCB) and the Central Valley Regional Water Quality 
Control Board (CVRWQCB) oversee different parts of the Bay and Delta. 
The SFRWQCB oversees all parts of the San Francisco Bay including the 
South San Francisco Bay, Lower San Francisco Bay, Central San Francisco 
Bay, San Pablo Bay, Carquinez Strait and Suisun Bay, and a small 
portion of the western side of Sacramento-San Joaquin Delta. The 
CVRWQCB oversees the remaining areas of the Delta which include the 
confluences of the Sacramento and the San Joaquin Rivers. Each Regional 
Board has a regional water quality

[[Page 46033]]

control plan (Basin Plan) that sets forth the beneficial (designated) 
uses for the waterbodies it oversees. Once EPA finalizes the proposed 
criteria, each Regional Board will implement the criteria in its WQS 
programs for the waters it oversees.
    In 1978, the SWRCB adopted a comprehensive plan for the Bay and 
Delta estuary: The Water Quality Control Plan for the San Francisco 
Bay/Sacramento-San Joaquin Delta Estuary. The plan was amended in 1991, 
1995 and most recently in December 2006. This plan supplements the two 
regional Basin Plans that cover the estuary and establishes a 
comprehensive set of designated uses for all parts of the Bay and 
Delta. The plan describes the uses as existing uses.
    The site-specific selenium criteria in this proposed rule are 
intended to protect aquatic life and aquatic-dependent wildlife, 
including federally listed threatened and endangered species, in the 
San Francisco Bay and Delta. The designated uses in the SWRCB water 
quality control plan for the protection of aquatic life and aquatic-
dependent wildlife are listed in Table 1. The proposed criteria will 
establish levels of selenium that protect California's designated uses 
for the estuary.

                      Table 1--Existing Designated Uses for the San Francisco Bay and Delta
----------------------------------------------------------------------------------------------------------------
                   Use                            Abbreviation                         Definition
----------------------------------------------------------------------------------------------------------------
Warm Freshwater Habitat.................  WARM                         Uses of water that support warm water
                                                                        ecosystems including, but not limited
                                                                        to, preservation of aquatic habitats,
                                                                        vegetation, fish, or wildlife, including
                                                                        invertebrates.
Cold Freshwater Habitat.................  COLD                         Uses of water that support cold water
                                                                        ecosystems including, but not limited
                                                                        to, preservation or enhancements of
                                                                        aquatic habitats, vegetation, fish, or
                                                                        wildlife, including invertebrates.
Migration of Aquatic Organisms..........  MIGR                         Uses of water that support habitats
                                                                        necessary for the migration or other
                                                                        temporary activities by aquatic
                                                                        organisms, such as anadromous fish.
Spawning, Reproduction, and/or Early      SPWN                         Uses of water that support high quality
 Development.                                                           aquatic habitats suitable for
                                                                        reproduction and early development of
                                                                        fish.
Estuarine Habitat.......................  EST                          Uses of water that support estuarine
                                                                        ecosystems including, but not limited
                                                                        to, preservation or enhancement of
                                                                        estuarine habitats, vegetation, fish,
                                                                        shellfish, or wildlife (e.g., estuarine
                                                                        mammals, waterfowl, shorebirds).
Wildlife Habitat........................  WILD                         Uses of water that support estuarine
                                                                        ecosystems including, but not limited
                                                                        to, preservation and enhancement of
                                                                        terrestrial habitats, vegetation,
                                                                        wildlife (e.g., mammals, birds,
                                                                        reptiles, amphibians, invertebrates), or
                                                                        wildlife water and food sources.
Rare, Threatened, or Endangered Species.  RARE                         Uses of water that support habitats
                                                                        necessary, at least in part, for the
                                                                        survival and successful maintenance of
                                                                        plant or animal species established
                                                                        under State or federal law as being
                                                                        rare, threatened, or endangered.
----------------------------------------------------------------------------------------------------------------

    The proposed criteria are being set at levels that will protect 
aquatic life and aquatic-dependent wildlife consistent with WARM, COLD, 
EST, WILD and RARE uses, as well as protect aquatic life consistent 
with MIGR and SPWN uses.

E. Applicability of EPA Promgulated Water Quality Standards When Final

    Under the CWA, Congress gave states primary responsibility for 
developing and adopting WQS for their waters (CWA section 303(a)-(c)). 
Although EPA is proposing selenium criteria for the protection of 
aquatic life and aquatic-dependent wildlife for marine and estuarine 
waters in California's San Francisco Bay and Delta, California 
continues to have the option to adopt and submit to EPA protective 
selenium criteria for these waters consistent with CWA section 303(c) 
and EPA's implementing regulations at 40 CFR part 131. EPA encourages 
California to expeditiously adopt protective criteria. Consistent with 
CWA section 303(c)(4), if California adopts and submits selenium 
criteria for the protection of aquatic life and aquatic-dependent 
wildlife, and EPA approves such criteria before finalizing this 
proposed rule, EPA would not proceed with the promulgation for those 
waters for which EPA approves California's criteria.
    If EPA finalizes this proposed rule and California subsequently 
adopts and submits selenium criteria for the protection of aquatic and 
aquatic-dependent wildlife for marine and estuarine waters in the 
estuary, EPA proposes that once EPA approves California's WQS, the EPA-
approved criteria in California's WQS would become the applicable 
criteria for CWA purposes and EPA's promulgated criteria would no 
longer be applicable criteria. EPA would undertake a rulemaking to 
withdraw the federal criteria for selenium, but that process would not 
delay California's approved criteria from becoming the sole applicable 
criteria for CWA purposes. EPA solicits comment on this approach.

F. Selenium Chemistry and Biology

    Selenium is an element that occurs naturally in sediments of marine 
origin and enters the aquatic environment when rainwater comes into 
contact with deposits. Selenium can be further mobilized through 
anthropogenic activities such as agriculture irrigation, mining and 
petroleum refining. Once inorganic selenium is converted into a 
bioavailable form, it enters the food chain and can bioaccumulate. 
Depending on environmental conditions, one or another form of selenium 
such as selenate, selenite and organo-selenium, which differ in 
transformation rates and bioavailability, may predominate in the 
aquatic environment.
    Selenium is an essential micro-nutrient, but the range between 
essential and toxic levels is narrow. A long-standing hypothesis is 
that toxicity occurs through biochemical pathways where excess selenium 
substitutes for sulphur in proteins, which alters their structure and 
function. More recent studies indicate that selenium may affect 
organisms through oxidative stress (see Final Aquatic Life Ambient 
Water Quality Criteria for Selenium--Freshwater 2016, U.S. EPA, Office 
of Water, EPA 822-R-16-006, June, 2016). Elevated selenium levels in 
fish and other wildlife inhibit normal growth and reduce reproductive 
success through effects that lower embryo survival, most notably 
teratogenesis.
    Scientific studies indicate that selenium toxicity to aquatic life 
and aquatic-dependent wildlife is driven by diet (i.e., the consumption 
of selenium-contaminated prey food) rather than by direct exposure in 
the water column. Selenium can accumulate in the aquatic food web 
through various routes and at

[[Page 46034]]

various rates. At the bottom of the food chain, bacteria and algae can 
bioaccumulate selenium to levels that greatly exceed water column 
concentrations, and some invertebrates such as filter-feeding clams, 
can efficiently accumulate selenium from suspended organic and 
inorganic particles. In the San Francisco Bay and Delta, clam-based 
food webs accumulate selenium at a much higher rate than insect-based 
food webs, and the invasive clam species, Potamocorbula amurensis, now 
found throughout the estuary, can accumulate selenium at a much higher 
rate than supplanted clam species. Therefore, species that feed on this 
clam in the estuary, such as diving birds and sturgeon, are exposed to 
higher levels of bioaccumulated selenium than species that feed mainly 
on insects or higher-order species within an insect-based food chain. 
The vulnerability of a species to selenium toxicity is determined by a 
number of factors in addition to the amount of contaminated prey food 
consumed. A species' sensitivity to selenium, its population status, 
and the duration, timing and life stage of exposure are all factors to 
consider. In addition, the hydrologic conditions and water chemistry of 
a water body affect bioaccumulation; in general, slow-moving, calm 
waters or lentic waters enhance the production of bioavailable forms of 
selenium (selenite), while faster-moving waters or lotic waters limit 
selenium uptake given the rapid movement and predominant form of 
selenium (selenate). EPA considered these and other factors in 
determining the proposed selenium criteria for the estuary.

III. Rationale and Approach

A. Necessity

    Ecological Health of the Estuary: The San Francisco Bay and Delta 
is the largest estuary on the West Coast of North America and, as part 
of the Pacific Flyway, serves as an important migratory stopover and 
wintering area for a variety of waterfowl. The estuary is formed by the 
intersection of two large river systems, the Sacramento and San Joaquin 
Rivers, which drain approximately 40 percent of California. The estuary 
is comprised of a series of large and small bays, marshes, and channels 
leading to the Pacific Ocean through the Golden Gate. The system is 
critical to California's ecological and economic well-being, and has 
long been the subject of competing interests. The estuary is the hub of 
California's water distribution system, providing drinking water to 25 
million people, supplying irrigation for 4 million acres of farmland, 
and supporting over 750 different species of plants and animals. The 
estuary contributes to the area's economically important recreational 
and commercial fishing and boating industries. However, as a result of 
these competing demands and associated stresses, the ecosystem has 
suffered greatly and water quality in the estuary is impaired, habitat 
is shrinking, important fish populations are at an all-time low, and 
several species are listed as threatened or endangered. In recent 
years, pelagic (open water) species have declined, with some fish 
populations in serious, critical condition. This sudden collapse in 
pelagic species, referred to as the pelagic organism decline (or POD), 
has been intensively studied, but no one factor has been identified as 
the cause. Many factors are thought to be responsible for the decline 
of the estuary's health including water pollution, invasive species, 
water diversion and water project operations, ocean conditions (limited 
food and adverse temperatures), and habitat destruction and 
degradation. For a more detailed discussion, see Unabridged Advanced 
Notice of Proposed Rulemaking for Water Quality Challenges in the San 
Francisco Bay/Sacramento-San Joaquin Delta Estuary, U.S. EPA, February 
2011; 76 FR 9709, February 22, 2011.
    Plan for Restoration: In 2009, the Federal Bay Delta Leadership 
Committee, a Cabinet-level, multi-agency committee charged with 
coordinating federal responses to Bay and Delta issues, issued its 
Interim Federal Action Plan, which outlined the federal government's 
proposal to address water resource management issues in the estuary. 
The Interim Federal Action Plan included an action for EPA to ``address 
the effectiveness of current regulatory mechanisms designed to protect 
water quality in the Delta and its tributaries, including standards for 
toxics, nutrients, and estuarine habitat protection.'' In response, 
after extensive public comment, EPA published Water Quality Challenges 
in the San Francisco Bay/Sacramento-San Joaquin Delta Estuary: EPA's 
Action Plan (the Action Plan) in August 2012. In the Action Plan, EPA 
concluded that existing programs under the CWA were not adequately 
safeguarding resources, and recommended seven priority activities to 
advance the protection and restoration of aquatic resources and ensure 
a reliable water supply in the watershed. The priority activities are: 
1. Strengthen estuarine habitat protection standards; 2. Advance 
regional water quality monitoring and assessment; 3. Accelerate water 
quality restoration through Total Maximum Daily Loads (TMDLs); 4. 
Strengthen selenium water quality criteria; 5. Prevent pesticide 
pollution; 6. Restore aquatic habitats while managing methylmercury; 
and 7. Support the Bay Delta Conservation Plan (now called the 
California WaterFix). This proposed rule is intended to advance 
priority activity number four, Strengthen selenium water quality 
criteria.
    Sources of Selenium: Sources of selenium in the estuary include the 
tributaries flowing into the Delta and Bay, municipal and industrial 
wastewater discharges, stormwater discharges, atmospheric deposition, 
and in-bay sediments. The largest contributors are the Sacramento and 
San Joaquin Rivers and the five oil refineries located along the Bay.
    The headwaters of both rivers originate from snowmelt in the Sierra 
Nevada. The Sacramento River flows north to south into the Delta, and 
drains the northern portion of the Central Valley. The San Joaquin 
River flows east to west, then turns and flows south to north into the 
Delta, and drains the southern and central portions of the Central 
Valley, which are used extensively for farming. The two rivers meet in 
the Delta near Antioch and flow west into the northern reaches of the 
Bay, then southwest to the Pacific Ocean.
    Selenium concentrations in the San Joaquin River are elevated from 
selenium enriched soils on the west side of the Central Valley. 
Agricultural irrigation practices mobilize naturally occurring selenium 
in the heavy soils derived from marine shale and sediment. Selenium 
concentrations in the Sacramento River are much lower than in the San 
Joaquin River and are generally at natural background levels.\7\ Flow 
volumes from each river vary depending on the water year type and 
season, and for the San Joaquin River, the volume of diversions. 
Therefore, selenium loads from the rivers vary, while loads from the 
refineries are more constant.
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    \7\ Water Quality Survey for Selenium in the Sacramento River 
and its Major Tributaries, California Regional Water Quality Control 
Board, Central Valley Region, 1988, Sacramento, California.
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    The San Joaquin watershed is much drier than the Sacramento 
watershed, and flows to the Bay from the San Joaquin River are 
significantly smaller than those from the Sacramento River. In 
addition, dams for hydropower and flood control further limit flows 
from the San Joaquin. Flow volume from the

[[Page 46035]]

San Joaquin into the Delta as measured at Vernalis between 2002 and 
2011 has ranged from approximately 8 to 30 percent of the flow volume 
from the Sacramento River at Freeport during the same time period.\8\ 
At Clifton Court Forebay in the San Joaquin Delta below Vernalis, the 
State Water Project pumps water from the Delta to the California 
Aqueduct for delivery to Southern California, and the Central Valley 
Project pumps water to the Delta Mendota Canal for delivery to Central 
Valley farmers. As a result of these diversions, even less flow from 
the San Joaquin enters the northern part of the Bay.
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    \8\ USGS National Water Information System, Surface-Water Annual 
Statistics for California at: http://waterdata.usgs.gov/ca/nwis/nwis 
(search terms: Surface Water; Annual Flow Data (Stream); Sacramento 
County at Freeport, USGS 11447650, and San Joaquin County at 
Vernalis, USGS 11303500, 2002-2012, compare discharge in cubic feet 
per second based on daily-mean data for water years 2002-2011).
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    Although flows from the San Joaquin are much smaller than flows 
from the Sacramento, selenium concentrations have been significantly 
higher than concentrations in the Sacramento. In 1998 and 1999, 
concentrations of dissolved selenium in the San Joaquin River averaged 
0.71 [micro]g/L, and ranged from 0.40 to 1.07 [micro]g/L at 
Vernalis.\9\ Concentrations in the San Joaquin have declined recently, 
but continue to be higher than levels in the Sacramento River. Recent 
data from 2010-2012 show that dissolved selenium concentrations range 
from 0.207 to 0.47 [micro]g/L in the San Joaquin.\10\ Concentrations in 
the Sacramento have not materially changed during this time period. In 
1998 and 1999, concentrations of dissolved selenium averaged 0.07 
[micro]g/L, and ranged from 0.05 to 0.11 [micro]g/L at Freeport.\9\ 
More recent data from 2010-2012 show levels between 0.062 and 0.09 
[micro]g/L.\10\
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    \9\ Ecosystem-Scale Selenium Modeling in Support of Fish and 
Wildlife Criteria Development for the San Francisco Bay-Delta 
Estuary, California, Theresa S. Presser and Samuel N. Luoma, U.S. 
Geological Survey, 2010, Menlo, Park, California; and using data 
from: (1) Selenium Biogeochemistry in the San Francisco Estuary: 
Changes in Water Column Behavior, G.A. Cutter and L.S. Cutter, 2004, 
Estuarine, Coastal, and Shelf Science, 61:3 pp 463-476; (2) Sources 
and Biogeochemical Cycling of Particulate Selenium in the San 
Francisco Bay Estuary, M.A. Doblin, S.B. Baines, L.S. Cutter, and 
G.A. Cutter, 2006, Estuarine, Coastal, and Shelf Science, 76:4 pp. 
681-694; and (3) Transport, Transformation, and Effects of Selenium 
and Carbon in the Delta of the Sacramento-San Joaquin Rivers: 
Implications for Ecosystem Restoration, L. Lucas and A.R. Stewart, 
2007, CALFED Ecosystem Restoration Program, Agreement No. 
4600001955, Project No. ERP-01-C07.
    \10\ North San Francisco Bay Selenium Characterization Study, 
Final Report (Appendix B Data Tables), Tetra Tech, Inc. on behalf of 
Western States Petroleum Association, 2012, Lafayette, California.
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    Concentrations of dissolved selenium in the Delta and in the 
northern and central portions of the Bay from 1998-1999 ranged from 
0.070 to 0.320 [micro]g/L.\9\ Recent data from 2010-2012 show that 
concentrations have decreased, and range from 0.058 to 0.13 [micro]g/
L.\10\
    Agriculture: Selenium concentrations in the San Joaquin River and 
the estuary are decreasing, in part, as a result of conservation 
actions from the agricultural industry and California's implementation 
of three selenium TMDLs in the Central Valley. TMDLs for a portion of 
the San Joaquin River, the Grassland Marshes, and Salt Slough (a 
tributary) are being implemented through Waste Discharge Requirements 
(WDRs) (permits) and the Grassland Bypass Project to reduce and reroute 
discharges of agricultural return flows from the west side of the 
watershed around sensitive wetlands.
    Between 1986 and 1996, before construction of the Grassland Bypass 
Project and implementation of the TMDLs, selenium loads in the San 
Joaquin at Patterson and Crows Landing below the confluence of the 
Merced River averaged 8,129 pounds per year (lbs/year). Since 2000, 
selenium loads have ranged from 1,526-6,353 lbs/year, with the lowest 
loads in recent years.\11\ Between the mid-1990s and the mid-2000s, 
selenium loading to surface waters decreased by approximately one-half 
to two-thirds through agricultural water conservation measures such as 
harvesting crops that require less water, drip irrigation, water 
recycling and reuse on salt-tolerant crops, and land retirement. 
Although the final WDR loading targets have not been met, the 
agriculture industry has helped reduce selenium loads in the watershed. 
Final targets are scheduled to be achieved by 2019.
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    \11\ Grassland Bypass Project Annual Report 2010-2011, San 
Francisco Estuary Institute for the Grassland Bypass Project 
Oversight Committee, 2013, Chapter 1 (Table 7) by Michael C.S. 
Eacock and Stacy Brown, U.S. Bureau of Reclamation, Fresno, 
California.
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    Refineries: Another source of selenium to the estuary is wastewater 
from the processing of selenium-rich crude oil, from the five major oil 
refineries located along the Bay. The recent decreases in selenium 
concentrations in the Bay are also the result of the refineries 
reducing selenium loads in wastewater discharges in response to 
California's implementation of more stringent NPDES permit limits. 
Selenium levels in crude vary, and the crude from the San Joaquin Basin 
can contain significantly higher levels than other sources of crude. 
Available data indicate that from 1986 through 1992, the cumulative 
selenium load to the Bay from the refineries averaged approximately 
5,000 lbs/year, and ranged from 3,953 to 5,783 lbs/year.\9\ In 1991, 
California required the refineries to reduce their mass discharge of 
selenium and achieve more stringent wastewater concentration limits. 
The refineries achieved their mass-based limits and revised 
concentration limits by 1998. The average cumulative selenium load for 
all refineries since 1999 has been approximately 1,200 lbs/year, down 
approximately 75% from early 1990 levels.\9\ Activities undertaken by 
both the agriculture industry and the refineries have helped to reduce 
selenium loads to the Bay.
    Invasive Clam Species: In the fall of 1986, after major flooding in 
the spring had wiped out large parts of the existing benthic community, 
a small bivalve was discovered in the northern reaches of San Francisco 
Bay.\12\ Its population rapidly increased and spread throughout the 
estuary. The species, Potamocorbula amurensis (P. amurensis), commonly 
known as Corbula, is native to China, Japan, and Korea, and is thought 
to have been introduced to the estuary from ballast water. Adults 
tolerate a wide range of salinity (1 to 32 parts per thousand), and 
although Corbula flourish in subtidal waters, they can also live in 
intertidal mudflats.\12\ The species is remarkably efficient in 
accumulating selenium from its environment \13\ and is responsible for 
the accelerated bioaccumulation of selenium in the food chain of the 
fish and bird species in the Bay and Delta ecosystem. The species most 
at risk in the estuary from the Corbula invasion are believed to be 
clam-eating fish and bird species such as green and white sturgeon, 
scoter and scaup.
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    \12\ The Exotics Guide: Non-native Marine Species of the North 
American Pacific Coast, 2011, Andrew N. Cohen, Center for Research 
on Aquatic Bioinvasions, Richmond, California, and San Francisco 
Estuary Institute, Oakland, California. http://www.exoticsguide.org.
    \13\ Food Web Pathway Determines How Selenium Affects 
Ecosystems: A San Francisco Bay Case Study, 2004, A. Robin Stewart, 
Samuel N. Luoma, Christian E. Schlekat, and Kathryn A. Hieb, 
Environmental Science and Technology, 38:4519-4526.
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    Need for Revised Criteria: EPA now has updated scientific 
information on selenium fate and bioaccumulation, as well as updated 
information on the Bay and Delta estuary ecosystem that was not 
available when EPA developed the existing Bay and Delta selenium 
criteria in the NTR. These data indicate the need for revised criteria. 
The explosion

[[Page 46036]]

of the Corbula population in the early 1990s has drastically changed 
the food web and selenium bioaccumulation dynamics in the Bay and 
Delta. The Ecosystem-Scale Selenium Model for the San Francisco estuary 
allows EPA to develop revised selenium criteria that account for site-
specific and species-specific characteristics, including species with 
greater exposure and/or susceptibility to selenium. In doing so, EPA is 
following the requirements at 40 CFR 131.11(a)(1) to derive criteria 
that are based on a sound scientific rationale and protect the most 
sensitive uses, which in the case of the Bay and Delta include 
migration of aquatic organisms (e.g., anadromous fish species), and 
habitat for rare, threatened and endangered species.
    Although conditions have improved from reduced agriculture and 
refinery loads, ambient levels of selenium are not consistently below 
harmful levels in all parts of the estuary. Revised criteria are 
necessary to help ensure that protective levels are attained in all 
parts of the water body and are maintained in the future to protect 
designated uses. Several indigenous species are listed under the ESA as 
threatened or endangered, including green sturgeon, Chinook salmon, 
steelhead trout, delta smelt and the California Ridgway's rail, and 
many migratory bird species use the estuary as a wintering ground, 
including greater and lesser scaup, and white-winged, surf, and black 
scoter. The analyses to develop the fish tissue and the avian egg 
tissue benchmarks used in the modeling, and the modeling results used 
to derive the proposed water column criteria, indicate the health of 
these species would be negatively impacted from exposure to selenium 
water column concentrations above 0.2 [micro]g/L, which would be 
allowed to occur under the existing NTR selenium criterion of 5.0 
[micro]g/L. Accordingly, EPA finds that it is necessary to propose 
revised and more protective criteria for selenium in order to help 
ensure the continued protection of these vulnerable species and 
associated designated uses.

B. Administrator's Determination of Necessity

    Because California's existing aquatic life criteria for selenium in 
the salt and estuarine waters of the San Francisco Bay, upstream to and 
including Suisun Bay and the Sacramento-San Joaquin Delta, as 
promulgated by EPA in the NTR, are not protective of the applicable 
designated uses per the CWA and EPA's regulations at 40 CFR 131.11, EPA 
determines under CWA section 303(c)(4)(B) that new or revised WQS for 
the protection of aquatic life and aquatic-dependent wildlife are 
necessary to meet the requirements of the CWA for these California 
waters. EPA, therefore, proposes the revised selenium aquatic life and 
aquatic-dependent wildlife criteria in this rule in accordance with 
this 303(c)(4)(B) determination. EPA's determination is not itself a 
final action, nor part of a final action, at this time. After 
consideration of comments on the proposed rule, EPA will take final 
agency action on this rulemaking. It is at that time that any change to 
the water quality standards applicable in California would occur.

C. Approach

    USGS Ecosystem-Scale Selenium Model: The Ecosystem-Scale Selenium 
Model uses species-specific and hydrologic site-specific information to 
model the fate and biological uptake of selenium in an aquatic 
ecosystem through diet. The model was originally developed for the San 
Francisco estuary. It conceptualizes and quantifies several key 
variables in order to predict how selenium moves from the water 
environment to wildlife species through the food chain. It can link 
selenium tissue concentrations in fish or avian wildlife to dissolved 
and particulate selenium concentrations in the water environment and to 
selenium tissue concentrations in prey food.
    Starting in 2003, USGS worked with the Services and EPA to model 
the San Francisco Bay and Delta using various scenarios and endpoints 
(see the USGS Report). Using the best available data for the estuary, 
USGS modeled a clam-based food web from the Golden Gate through Suisun 
Bay to Chipps Island and an insect-based food web from Benicia to Rio 
Vista (in the Sacramento River Delta area) and to Stockton (in the San 
Joaquin River Delta area). Using site-specific partitioning 
coefficients to determine rates of selenium transformation between 
dissolved and particulate phases, the model can predict how efficiently 
selenium enters the base of the food web. Once selenium enters the food 
web, using site-specific trophic transfer factors, which relate 
selenium concentrations in a species to selenium concentrations in its 
food, the model can predict how efficiently selenium moves up into prey 
food and to a predator species. Alternatively, a protective tissue 
level of selenium in an upper trophic level fish species or in a 
terrestrial wildlife species (any predator species) can be used to 
back-calculate and predict the protective concentration of selenium in 
the species' prey, and the protective concentration of dissolved and 
particulate selenium at the base of its food web in the aquatic 
environment.
    EPA Modeling: Using information from the Services on important and/
or vulnerable fish and avian wildlife species in the estuary, and 
building on the USGS modeling of the estuary, EPA modeled the estuary 
to develop site-specific scenarios on which to base the proposed 
criteria (see Technical Support Document for the Proposed Aquatic Life 
and Aquatic-Dependent Wildlife Selenium Water Quality Criteria for the 
San Francisco Bay and Delta (2016), US EPA Region 9, June, 2016).
    EPA considered various protective (benchmark) tissue values for 
representative fish and avian wildlife species to use in the modeling. 
EPA found that the most appropriate tissue benchmark values for fish 
species in the estuary are the recommended values in EPA's recent 
national recommended freshwater aquatic life criterion for selenium 
\14\ and for avian species in the estuary, the egg tissue value 
discussed in EPA's approval of the State of Utah's avian wildlife 
criterion for Gilbert Bay of the Great Salt Lake.\15\ These benchmark 
values represent a 10% Effect Concentration (EC10), which is a 
concentration or level of a pollutant that may adversely affect up to 
10% of a species population. In the national recommended freshwater 
aquatic life criterion for selenium, EPA used EC10 concentrations to 
develop the selenium water quality criterion values.\14\
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    \14\ Final Aquatic Life Ambient Water Quality Criterion for 
Selenium--Freshwater 2016, EPA 822-R-16-006, US EPA, Office of 
Water, 2016, Washington, DC.
    \15\ EPA Action on the Gilbert Bay Selenium Criterion and 
Footnote (14), and Enclosure, US EPA Region 8, 2011, Denver, 
Colorado.
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    EPA modeled two food webs in the estuary, a clam-based web and an 
insect-based web, to determine protective dissolved, particulate and 
prey-tissue selenium values. EPA modeled a clam-based food chain for 
fish and two clam-based food chains for birds that consume Corbula from 
the estuary, each chain representing at-risk fish and bird species in 
the estuary. The clam-based fish modeling represented white and 
juvenile green sturgeon, important species in the estuary that EPA 
determined are the most vulnerable clam-eating fish species. Although 
white sturgeon are not listed under the ESA, green sturgeon are 
threatened and the estuary is designated as critical habitat for the 
species. Since other important vulnerable fish species in the estuary 
such as Sacramento splittail consume less Corbula than sturgeon, the

[[Page 46037]]

other species should be protected if sturgeon are protected.
    EPA modeled two clam-based food web scenarios for at-risk avian 
wildlife to represent two different patterns of avian clam-consumption 
in the estuary. The California Ridgway's rail (formerly the California 
clapper rail) is a small, endangered, indigenous bird that lives year-
round in the estuary and eats mostly mollusks, but only a small 
percentage of Corbula. The five species of migratory diving waterfowl, 
greater and lesser scaup and white-winged, surf, and black scoter, live 
part-time in the estuary, but up to 90% of their diet may consist of 
Corbula from the estuary. These differences in living and eating 
patterns are sufficiently significant that EPA ran the model for each 
separately to ensure the criteria are protective of all avian wildlife 
in the Bay and Delta estuary.
    Lastly, EPA modeled insect-eating fish to represent two important 
anadromous species, the endangered Chinook salmon and the threatened 
steelhead trout, and an important, threatened, indigenous species in 
the estuary, the delta smelt. Since anadromous species use the estuary 
as a migratory corridor, and adults returning to spawn do not feed 
during in-migration, EPA considered the diet of juveniles as they out-
migrate through the estuary to the Pacific Ocean. Delta smelt, and 
juvenile Chinook salmon and steelhead trout, consume mainly insects, 
and do not feed on Corbula.
    The model results indicate that clam-eating fish and clam-eating 
bird species are the most vulnerable species, and require lower 
dissolved and particulate water column selenium concentrations in the 
estuary than insect-eating fish in order to ensure that tissue levels 
stay below concentrations that may cause adverse effects. EPA 
considered the dissolved water column, particulate water column, and 
prey-tissue values necessary to protect all three categories of species 
in setting the proposed regulatory criteria values.

D. Proposed Criteria

    Water quality criteria establish the maximum allowable pollutant 
level that is protective of the designated uses of a water body. States 
(or in this case, EPA) adopt criteria as part of water quality 
standards. Under the CWA, water quality standards are used to derive 
effluent limitations in permits for point source dischargers, thereby 
limiting the amount of pollutants that may be discharged into a water 
body to maintain its designated uses. EPA is proposing selenium water 
quality criteria for the San Francisco Bay and Delta in tissue and in 
the water column (both dissolved and particulate selenium 
concentrations). EPA is proposing selenium tissue concentration 
criteria because they reflect biological uptake through diet, the 
predominant pathway for selenium toxicity, and because they are most 
predictive of the observed biological endpoint of concern: reproductive 
toxicity. However, tissue concentrations present challenges when 
attempting to use them to regulate or limit sources of pollutants. In 
order to facilitate monitoring and regulation of pollutant discharges, 
EPA is also proposing dissolved and particulate water column selenium 
concentration criteria needed to ensure the tissue concentration 
criteria are met. Because EPA used site-specific species and hydrologic 
information in the Ecosystem-Scale Selenium Model to determine the 
protective dissolved and particulate water column and prey selenium 
concentrations associated with the predator tissue concentrations, EPA 
proposes that the criteria in different media are equivalently 
protective and exceedance of any one medium would indicate an 
impairment of the designated use.
    The proposed tissue criteria consist of fish tissue criteria, a 
whole body criterion of 8.5 micrograms per gram ([micro]g/g) dry weight 
(dw) or a muscle criterion of 11.3 [micro]g/g dw, and a clam (or prey) 
tissue criterion of 15 [micro]g/g dw. EPA is proposing each of these 
tissue criteria as an instantaneous measurement not to be exceeded. The 
proposed chronic water column criterion is a dissolved selenium 
criterion of 0.2 [micro]g/L, and the proposed particulate criterion is 
1 [micro]g/g. Each of these two values is a 30-day average, not to be 
exceeded more than once in three years.
    Although selenium may cause acute toxicity at high concentrations, 
i.e., toxicity from a brief but highly elevated concentration of 
selenium in the water, chronic dietary exposure poses the highest risk 
to aquatic life and aquatic-dependent wildlife. Chronic toxicity occurs 
primarily through maternal transfer of selenium to eggs and causes 
subsequent reproductive effects. These chronic effects are observed at 
much lower concentrations than acute effects. Aquatic and aquatic-
dependent communities are expected to be protected by the chronic 
criteria from any potential acute effects of selenium and an acute 
toxicity criterion is not pertinent for regulatory purposes. However, 
some high, short-term exposures could be detrimental by causing 
significant long-term, residual, bioaccumulative effects, i.e., by the 
introduction of a selenium load into the system. Therefore, EPA is also 
proposing an intermittent exposure water quality criterion to prevent 
long-term detrimental effects from these high, short-term exposures. 
EPA derived the proposed intermittent criterion as a fraction of the 
30-day load based on the chronic water column criterion, after 
accounting for the background selenium concentration. EPA expects that 
a short-term, significantly elevated selenium scenario would rarely 
occur in the San Francisco Bay and Delta due to the large volume of 
water and tidal influences within the estuary that dilute and flush 
selenium loads through the Golden Gate. EPA is proposing this 
intermittent criterion to ensure protection of the ecosystem and for 
consistency with EPA's national recommended aquatic life criterion for 
selenium. A summary of the proposed criteria is included in Table 2.

[[Page 46038]]

[GRAPHIC] [TIFF OMITTED] TP15JY16.097

    The proposed criteria apply to all waters of the San Francisco Bay 
and Delta with salinities of greater than 1 part per thousand (ppt) 95% 
or more of the time.

IV. Implementation and Alternative Regulatory Approaches

    California will have considerable discretion to implement these 
selenium criteria, once finalized, through various water quality 
control programs, including the NPDES program, which limits discharges 
to waters except in compliance with an NPDES permit. Among other 
things, EPA's regulations: (1) Specify how states and authorized tribes 
establish, modify or remove designated uses, (2) specify the 
requirements for establishing criteria to protect designated uses, 
including criteria modified to reflect site-specific conditions, (3) 
authorize states and authorized tribes to adopt WQS variances to 
provide time to achieve the applicable WQS, and (4) allow states and 
authorized tribes to include compliance schedules in NPDES permits to 
provide time for dischargers to achieve effluent limits based on the 
applicable WQS. Designated uses, site-specific criteria, variances, and 
compliance schedules are discussed in more detail below.
    Designated Uses: EPA's proposed selenium criteria apply to marine 
and estuarine waters in the San Francisco Bay and Delta where the 
protection of aquatic life and aquatic-dependent wildlife are 
designated uses (see The Water Quality Control Plan for the San 
Francisco Bay/Sacramento-San Joaquin Delta Estuary, SWRCB, December 13, 
2006). The federal regulations at 40 CFR 131.10 provide information on 
establishing, modifying, and removing designated uses. If California 
removes designated uses such that no aquatic life or aquatic-dependent 
wildlife uses apply to any particular water body segment affected by 
this rule and adopts the highest attainable use,\16\ and EPA finds that 
removal to be consistent with CWA section 303(c) and the implementing 
regulations at 40 CFR part 131, then the federal selenium aquatic life 
and aquatic-dependent wildlife criteria would no longer apply to that 
water body segment. Instead, any criteria associated with the newly 
designated highest attainable use would apply to that water body 
segment.
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    \16\ Highest attainable use is the modified aquatic life, 
wildlife, or recreation use that is both closest to the uses 
specified in section 101(a)(2) of the CWA and attainable, based on 
the evaluation of the factor(s) in 40 CFR 131.10(g) that preclude(s) 
attainment of the use and any other information or analyses that 
were used to evaluate attainability. There is no required highest 
attainable use where the state demonstrates the relevant use 
specified in section 101(a)(2) of the CWA and sub-categories of such 
a use are not attainable (see 40 CFR 131.3(m)).
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    Site-Specific Criteria: The regulations at 40 CFR 131.11 specify 
requirements for modifying water quality criteria to reflect site-
specific conditions. In the context of this rulemaking, a site-specific 
criterion (SSC) is an alternative value to the federal selenium 
criteria that would be applied on an area-wide or water body-specific 
basis that meets the regulatory test of protecting the designated uses, 
being scientifically defensible, and ensuring the protection and 
maintenance of downstream WQS. A SSC may be more or less stringent than 
the otherwise applicable federal criteria. A SSC may be appropriate 
when further scientific data and analyses can bring added precision to 
express the concentration of selenium that protects the aquatic life- 
and aquatic-dependent wildlife-related designated uses in a particular 
water body or portion of a water body. Since the San Francisco Bay and 
Delta is a large water body, a different SSC may be appropriate for a 
small segment of the estuary, e.g., South San Francisco Bay, if 
differing flow dynamics indicate that different criteria may be more 
appropriate. As discussed in section II. E., EPA proposes that once EPA 
approves criteria that California adopts and submits after EPA 
finalizes this proposed rule, the site-specific EPA-approved criteria 
in California's WQS would become effective for CWA

[[Page 46039]]

purposes and EPA's promulgated criteria would no longer apply.
    Variances: EPA's regulations at 40 CFR part 131.14 authorize states 
and authorized tribes to adopt WQS variances to provide time to achieve 
the applicable WQS. 40 CFR part 131 defines WQS variances at 131.3(o) 
as time-limited designated uses and supporting criteria for a specific 
pollutant(s) or water quality parameters(s) that reflect the highest 
attainable conditions during the term of the WQS variance. WQS 
variances adopted in accordance with 40 CFR part 131 allow states and 
authorized tribes to address water quality challenges in a transparent 
and predictable way. Variances help states and authorized tribes focus 
on making incremental progress in improving water quality, rather than 
pursuing a downgrade of the underlying water quality goals through a 
designated use change, when the current designated use is difficult to 
attain. EPA is proposing criteria that apply to use designations that 
California has already established. California currently has authority 
to use variances when implementing the criteria, as long as such 
variances are adopted consistent with 40 CFR 131.14 (see Policy for 
Implementation of Toxics Standards for Inland Surface Waters, Enclosed 
Bays, and Estuaries of California, Section 5.3, SWRCB, March 2, 2000, 
amended February 24, 2005; and Procedures for Case-by-Case Exceptions 
from Criteria/Objectives, SWRCB, April 15, 2008). California may use 
EPA-approved variance procedures, with respect to a temporary 
modification of its uses as it pertains to any federal criteria, when 
adopting such variances.
    Compliance Schedules: EPA's regulations at 40 CFR 122.47 and 40 CFR 
131.15 allow states and authorized tribes to include permit compliance 
schedules in their NPDES permits, when appropriate, in order to 
accommodate a discharger's need for additional time to meet its water 
quality-based effluent limits (WQBELs) implementing applicable WQS 
(such as time needed for facility upgrades and operational changes).
    In 1990, EPA concluded that before a permitting authority can 
include a compliance schedule for a WQBEL in an NPDES permit, the state 
or authorized tribe must authorize its use in its WQS or implementing 
regulations.\17\ A permit compliance schedule authorizing provision 
(CSAP) authorizes, but does not require, the permit issuing authority 
to include compliance schedules in permits. EPA's approval of the 
state's or authorized tribe's permit CSAP as a WQS pursuant to 40 CFR 
131.15 ensures that any NPDES permit that contains a compliance 
schedule meets the requirement that the WQBEL and any compliance 
deadlines derive from and comply with applicable WQS.
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    \17\ In the Matter of Star-Kist Caribe, Inc. 3 EAD 172 (April 
16, 1990).
---------------------------------------------------------------------------

    California is authorized to administer the NPDES program in the 
state, and has adopted several mechanisms to authorize compliance 
schedules in NPDES permits. In 2008, California adopted a statewide 
CSAP that EPA subsequently approved under CWA section 303(c), the 
Policy for Compliance Schedules in National Pollutant Discharge 
Elimination System Permits, SWRCB Resolution No. 2008-0025, April 15, 
2008. This EPA-approved regulation authorizes the use of permit 
compliance schedules consistent with 40 CFR 131.15, and is not affected 
by this rule. The CSAP will allow California to grant compliance 
schedules, as appropriate, based on the federal selenium criteria for 
the Bay and Delta, once these criteria are finalized (see letters dated 
May 20, 2016 and May 27, 2016 from the SWRCB to EPA in the docket for 
this rule).

V. Endangered Species Act

    Pursuant to section 7(a) of the ESA, EPA is consulting with the FWS 
and NMFS concerning EPA's rulemaking action for selenium water quality 
criteria in the San Francisco Bay and Delta. EPA will initiate informal 
consultation, and will transmit to the Services documentation that 
supports the selenium water quality criteria in this proposed rule. As 
a result of this consultation, EPA may modify some provisions of this 
proposed rule. The basis for the selenium criteria in this proposed 
rule stems from many years of ongoing collaboration between EPA and the 
Services. EPA, FWS and NMFS will continue to work closely together on 
this ESA consultation process.

VI. Economic Analysis

    POTWs and industrial point sources that discharge to the Bay and 
Delta may incur some incremental compliance actions and costs as a 
result of the proposed criteria. California has NPDES permitting 
authority for these dischargers, and retains considerable discretion in 
implementing standards. EPA evaluated the potential costs to the 
municipal and industrial NPDES dischargers associated with state 
implementation of EPA's proposed dissolved water column criterion. EPA 
did not evaluate the potential costs associated with state 
implementation of EPA's proposed particulate water column criterion 
because particulate data are not available and because the state has 
discretion concerning implementation. This analysis is documented in 
Economic Analysis for Proposed Aquatic Life and Aquatic-Dependent 
Wildlife Criteria for Selenium in the San Francisco Bay and Delta, 
California (prepared for EPA by Abt Associates in Partnership with PG 
Environmental, LLC, June, 2016), which can be found in the docket for 
this rulemaking.
    NPDES-permitted facilities that discharge selenium to affected 
portions of the Bay and Delta could potentially incur compliance costs. 
The types of affected facilities could include industrial facilities 
and POTWs discharging wastewater to surface waters (i.e., point 
sources). EPA expects that dischargers will use the same types of 
controls as they are currently using to comply with existing selenium 
criteria applicable to the Bay and Delta, to come into compliance with 
the revised criteria. Since the state recently adopted the North San 
Francisco Bay Selenium TMDL, and the TMDL requirements and underlying 
analyses indicate that current ambient water quality conditions 
(dissolved selenium levels at or below 0.2 [micro]g/L) will be 
maintained, EPA did not include costs associated with point sources 
covered in the TMDL analysis.
    EPA did not identify incremental compliance costs for nonpoint 
sources. Unlike point sources, California typically does not require 
nonpoint sources to achieve numeric WQBELs; instead, these sources 
often have best management practice (BMP) requirements, as well as load 
allocations associated with TMDLs. Regional Boards have already 
established TMDLs for selenium in the Lower San Joaquin River and the 
North San Francisco Bay, and EPA assumes the proposed selenium criteria 
will not result in the need for additional controls by nonpoint sources 
in those areas. It is uncertain to what extent nonpoint sources 
contribute selenium loadings to the Lower and South San Francisco Bay. 
EPA assumes that naturally-occurring selenium may be the primary source 
of selenium in the Lower and South San Francisco Bay, and as such, the 
incremental controls and costs for nonpoint sources as a result of the 
proposed criteria will not be significant.

A. Identifying Affected Entities

    Potentially affected facilities include those discharging to waters 
subject to the proposed criteria (i.e., marine or estuarine waters) 
that are not already included in the North San Francisco

[[Page 46040]]

Bay Selenium TMDL. EPA identified 16 such point source facilities, all 
discharging to the Lower and South San Francisco Bay. Of these 
potentially affected facilities, 14 are POTWs and 2 are industrial 
dischargers (the San Francisco International Airport and the Bottling 
Group, LLC). Table 3 summarizes these potentially affected facilities 
by type and category.

                Table 3--Potentially Affected Facilities
------------------------------------------------------------------------
                    Category                       Minor   Major    All
------------------------------------------------------------------------
Municipal.......................................       1      13      14
Industrial......................................       1       1       2
                                                 -----------------------
    Total.......................................       2      14      16
------------------------------------------------------------------------

B. Method for Estimating Costs

    For all potentially affected facilities, EPA used the last five 
years of effluent data (when available) and ambient monitoring data 
from the relevant monitoring station to determine whether there is 
reasonable potential for the facility to cause or contribute to an 
excursion above the proposed dissolved water column criterion for 
selenium. For those facilities that have reasonable potential, EPA 
calculated projected effluent limits. EPA conducted reasonable 
potential analyses and calculated effluent limitations for each 
facility based on California's permitting practices.\18\ In instances 
where the facility's maximum effluent selenium concentration exceeded 
the projected effluent limitations under the proposed criterion, EPA 
determined the likely compliance scenarios and costs. Following 
California's Policy for Implementation of Toxics Standards for Inland 
Surface Waters, Enclosed Bays, and Estuaries of California may result 
in a conservative evaluation for some point sources. However, the 
Regional Boards have substantial discretion to apply other implementing 
permitting procedures that are consistent with the Policy's 
requirements, and may elect to follow different methods to determine 
whether effluent limits are necessary and/or the value of the effluent 
limitations. These alternative methods may result in fewer facilities 
requiring action and/or less stringent permit limitations.
---------------------------------------------------------------------------

    \18\ Pursuant to the Policy for Implementation of Toxics 
Standards for Inland Surface Waters, Enclosed Bays, and Estuaries of 
California, SWRCB, California Environmental Protection Agency, March 
2, 2000, amended February 24, 2005.
---------------------------------------------------------------------------

    EPA assumed that dischargers would pursue the least cost means of 
compliance with WQBELs. Incremental compliance actions attributable to 
the proposed rule may include process optimization, source controls, 
end-of-pipe treatment, and alternative compliance mechanisms (e.g., 
site-specific criteria, variances, and dilution credits). For plants 
discharging at levels above California's minimum quantitation level, 
EPA has assumed that the facility will pursue conventional treatment 
methods to comply with the projected effluent limitations. Facilities 
operating below the quantitation level are discharging near the 
projected limitations, and EPA has assumed that compliance is likely to 
be achievable using process optimization methods. EPA annualized 
capital costs over 20 years using a 3% discount rate to obtain total 
annual costs per facility.

C. Results

    Of the 16 potentially affected facilities that EPA identified, 14 
were found to have reasonable potential to cause or contribute to an 
excursion above the proposed criterion. For compliance with revised 
WQBELs under the proposed rule, EPA estimates the total annual cost to 
be approximately $16 million across the 14 facilities. Of these costs, 
nearly all are attributable to POTW dischargers (i.e., 13 POTWs and one 
industrial facility, the San Francisco International Airport).

VII. Statutory 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. The proposed rule does not establish any requirements 
directly applicable to regulated entities or other sources of toxic 
pollutants. However, these WQS may serve as a basis for development of 
NPDES permit limits. California has NPDES permitting authority, and 
retains considerable discretion in implementing WQS. In the spirit of 
Executive Order 12866, EPA evaluated the potential costs to NPDES 
dischargers associated with state implementation of EPA's proposed 
criteria. This analysis, Economic Analysis for Proposed Aquatic Life 
and Aquatic-Dependent Wildlife Criteria for Selenium in the San 
Francisco Bay and Delta, California, is summarized in section VI. of 
the preamble and is available in the docket.

B. Paperwork Reduction Act (PRA)

    This action does not impose an information collection burden under 
the PRA. While actions to implement these WQS could entail additional 
paperwork burden, this action does not directly contain any information 
collection, reporting, or record-keeping requirements.

C. Regulatory Flexibility Act (RFA)

    I certify that this action will not have a significant economic 
impact on a substantial number of small entities under the RFA. This 
action will not impose any requirements on small entities. Small 
entities, such as small businesses or small governmental jurisdictions, 
are not directly regulated by this rule.

D. Unfunded Mandates Reform Act (UMRA)

    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. As these water quality criteria are not self-
implementing, the action imposes no 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 will not have 
substantial direct effects on the states, on the relationship between 
the national government and the states, or on the distribution of power 
and responsibilities among the various levels of government. This rule 
does not alter California's considerable discretion in implementing 
these WQS, nor would it preclude California from adopting WQS that meet 
the requirements of the CWA, either before or after promulgation of the 
final rule, which would eliminate the need for federal standards upon 
EPA approval of the state WQS. Thus, Executive Order 13132 does not 
apply to this action.
    In the spirit of Executive Order 13132 and consistent with EPA 
policy to promote communications between EPA and state and local 
governments, EPA specifically solicits comments on this proposed action 
from state and local officials.

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

    This action does not have tribal implications as specified in 
Executive Order 13175. This proposed rule does not impose substantial 
direct compliance costs on federally recognized tribal governments, nor 
does it substantially affect the relationship between the federal 
government and tribes, or the distribution of power and

[[Page 46041]]

responsibilities between the federal government and tribes. Thus, 
Executive Order 13175 does not apply to this action.
    Consistent with the EPA Policy on Consultation and Coordination 
with Indian Tribes, EPA consulted with tribal officials during the 
development of this action. EPA will continue to communicate with the 
tribes prior to its final action.

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

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

H. Executive Order 13211 (Actions That Significantly Affect Energy 
Supply, Distribution, or Use)

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

I. National Technology Transfer and Advancement Act of 1995

    This proposed rulemaking does not involve technical standards.

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

    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. The criteria in this proposed rule will support the health 
and abundance of aquatic life and aquatic-dependent wildlife in the San 
Francisco Bay and Delta and will, therefore, benefit all communities 
that rely on these ecosystems.

List of Subjects in 40 CFR Part 131

    Environmental protection, Indians-lands, Intergovernmental 
relations, Reporting and recordkeeping requirements, Water pollution 
control.

    Dated: June 30, 2016.
Gina McCarthy,
Administrator.
    For the reasons set forth in the preamble, EPA proposes to amend 40 
CFR part 131 as follows:

PART 131--WATER QUALITY STANDARDS

0
1. The authority citation for part 131 continues to read as follows:

    Authority:  33 U.S.C. 1251 et seq.

Subpart D--Federally Promulgated Water Quality Standards

0
2. Section 131.36 is amended by revising paragraph (d)(10)(ii) table 
entry for ``Waters of San Francisco Bay upstream to and including 
Suisun Bay and the Sacramento-San Joaquin Delta'' to read as follows:


Sec.  131.36  Toxics criteria for those states not complying with Clean 
Water Act section 303(c)(2)(B).

* * * * *
    (d) * * *
    (10) * * *
    (ii) * * *

------------------------------------------------------------------------
      Water and use classification             Applicable criteria
------------------------------------------------------------------------
 
                              * * * * * * *
Waters of San Francisco Bay upstream to  These waters are assigned the
 and including Suisun Bay and the         criteria in:
 Sacramento-San Joaquin Delta.           Column B1--pollutants 5a, 10
                                          \a\ and 14
                                         Column B2--pollutants 5a, 10
                                          \a\ and 14
                                         Column D2--pollutants 1, 12,
                                          17, 18, 21, 22, 29, 30, 32,
                                          33, 37, 38, 42-44, 46, 48, 49,
                                          54, 59, 66, 67, 68, 78-82, 85,
                                          89, 90, 91, 93, 95, 96, 98
 
                              * * * * * * *
------------------------------------------------------------------------
\a\ These freshwater selenium criteria are only applicable to the extent
  that the criteria under 40 CFR 131.38(b)(3) are not applicable (i.e.,
  they are only applicable in fresh waters).

* * * * *
0
3. Section 131.38 is amended as follows:
0
a. Revise paragraph (b)(1) table footnotes ``p'' and ``q'';
0
b. Add paragraph (b)(3);
0
c. Revise paragraph (c)(3)(ii);
0
d. Add paragraphs (c)(3)(iv) and (v).


Sec.  131.38  Establishment of numeric criteria for priority toxic 
pollutants for the State of California.

* * * * *
    (b)(1) * * *
    Footnotes to Table in Paragraph (b)(1):
* * * * *
    p. The [Reserved] criterion referenced by this footnote does not 
supersede any selenium criterion set out in 40 CFR 131.36 for: Waters 
of the San Francisco Bay, upstream to and including Suisun Bay and the 
Sacramento-San Joaquin Delta; and waters of Salt Slough, Mud Slough 
(north) and the San Joaquin River, Sack Dam to the mouth of the Merced 
River. The criteria set out in 40 CFR 131.38(b)(3) apply to the salt 
and estuarine waters of the San Francisco Bay, upstream to and 
including Suisun Bay and the Sacramento-San Joaquin Delta, subject to 
40 CFR 131.38(c)(3)(v). The State of California adopted and EPA 
approved a site specific criterion for the San Joaquin River, mouth of 
Merced to Vernalis; therefore, the criterion referenced by this 
footnote does not apply to these waters.
    q. The 5 [micro]g/L criterion referenced by this footnote does not 
supersede any selenium criterion set out in 40 CFR 131.36 for: Waters 
of the San Francisco Bay, upstream to and including Suisun Bay and the 
Sacramento-San Joaquin Delta; and waters of Salt Slough, Mud Slough 
(north) and the San Joaquin River, Sack Dam to Vernalis. The criteria 
set out in 40 CFR 131.38(b)(3) apply to the salt and estuarine waters 
of the San Francisco Bay, upstream to and including Suisun Bay and the 
Sacramento-San Joaquin Delta, subject to 40 CFR 131.38(c)(3)(v). The 
State of California adopted and EPA approved a site-specific criterion 
for the Grasslands Water District, San Luis National Wildlife Refuge, 
and the Los Banos State Wildlife Refuge; therefore, the criterion 
referenced by this footnote does not apply to these waters.
* * * * *

[[Page 46042]]

    (3) The selenium criteria in Table 1 to this paragraph (b)(3) apply 
to all the waters of San Francisco Bay upstream to and including Suisun 
Bay and the Sacramento-San Joaquin Delta where the salinity is greater 
than 1 part per thousand 95% or more of the time, subject to paragraph 
(c)(3)(v).
[GRAPHIC] [TIFF OMITTED] TP15JY16.098

    (c) * * *
    (3) * * *
    (ii) For waters in which the salinity is equal to or greater than 
10 parts per thousand 95% or more of the time, the applicable criteria 
are the saltwater criteria in Column C.
* * * * *
    (iv) Notwithstanding paragraphs (c)(3)(ii) and (iii) of this 
section, for waters of San Francisco Bay upstream to and including 
Suisun Bay and the Sacramento-San Joaquin Delta with salinity greater 
than 1 part per thousand 95% or more of the time, the selenium criteria 
provided in paragraph (b)(3) of this section are the only applicable 
selenium criteria, subject to paragraph (c)(3)(v).
    (v) The criteria in paragraph (b)(3) of this section apply 
concurrently with any water quality criteria adopted by the state, 
except where California adopts site-specific selenium criteria for a 
segment of the estuary that EPA determines meet the requirements of 
Clean Water Act section 303(c) and 40 CFR part 131, in which case 
California's criteria will apply and not the criteria in paragraph 
(b)(3) of this section.

[FR Doc. 2016-16266 Filed 7-14-16; 8:45 am]
 BILLING CODE 6560-50-P



                                                      46030                             Federal Register / Vol. 81, No. 136 / Friday, July 15, 2016 / Proposed Rules

                                                        Dated: June 20, 2016.                                          not adequate to protect the designated                 SUPPLEMENTARY INFORMATION:    This
                                                      Meredith L. Austin,                                              uses for these waters.                                 proposed rule is organized as follows:
                                                      Admiral, U.S. Coast Guard, Commander,                            DATES: Comments must be received on                    I. General Information
                                                      Fifth Coast Guard District.                                      or before September 13, 2016.                          II. Background
                                                      [FR Doc. 2016–16714 Filed 7–14–16; 8:45 am]                                                                                A. CWA and EPA Regulations
                                                                                                                       ADDRESSES: Submit your comments,
                                                      BILLING CODE 9110–04–P                                                                                                     B. National Toxics Rule
                                                                                                                       identified by Docket ID No. EPA–HQ–                       C. California Toxics Rule
                                                                                                                       OW–2015–0392, at http://                                  D. State of California Actions
                                                                                                                       www.regulations.gov. Follow the online                    E. Applicability of EPA Promulgated Water
                                                      ENVIRONMENTAL PROTECTION                                         instructions for submitting comments.                        Quality Standards When Final
                                                      AGENCY                                                           Once submitted, comments cannot be                        F. Selenium Chemistry and Biology
                                                                                                                       edited or removed from Regulations.gov.                III. Rationale and Approach
                                                      40 CFR Part 131                                                                                                            A. Necessity
                                                                                                                       EPA may publish any comment received
                                                      [EPA–HQ–OW–2015–0392; FRL–9946–01–                               to its public docket. Do not submit                       B. Administrator’s Determination of
                                                      OW]                                                                                                                           Necessity
                                                                                                                       electronically any information you
                                                                                                                                                                                 C. Approach
                                                      RIN 2040–AF61                                                    consider to be Confidential Business                      D. Proposed Criteria
                                                                                                                       Information (CBI) or other information                 IV. Implementation and Alternative
                                                      Water Quality Standards;                                         whose disclosure is restricted by statute.                   Regulatory Approaches
                                                      Establishment of Revised Numeric                                 Multimedia submissions (audio, video,                  V. Endangered Species Act
                                                      Criteria for Selenium for the San                                etc.) must be accompanied by a written                 VI. Economic Analysis
                                                      Francisco Bay and Delta, State of                                comment. The written comment is                           A. Identifying Affected Entities
                                                      California                                                       considered the official comment and                       B. Method for Estimating Costs
                                                                                                                       should include discussion of all points                   C. Results
                                                      AGENCY:  Environmental Protection                                you wish to make. EPA will generally                   VII. Statutory and Executive Orders
                                                      Agency (EPA).                                                                                                              A. Executive Order 12866 (Regulatory
                                                                                                                       not consider comments or comment                             Planning and Review) and Executive
                                                      ACTION: Proposed rule.                                           contents located outside of the primary                      Order 13563 (Improving Regulation and
                                                      SUMMARY:    The Environmental Protection                         submission (i.e. on the web, cloud, or                       Regulatory Review)
                                                      Agency (EPA) is proposing to revise the                          other file sharing system). For                           B. Paperwork Reduction Act (PRA)
                                                      current federal Clean Water Act                                  additional submission methods, the full                   C. Regulatory Flexibility Act (RFA)
                                                                                                                       EPA public comment policy,                                D. Unfunded Mandates Reform Act
                                                      selenium water quality criteria                                                                                               (UMRA)
                                                      applicable to the San Francisco Bay and                          information about CBI or multimedia
                                                                                                                       submissions, and general guidance on                      E. Executive Order 13132 (Federalism)
                                                      Delta to ensure that the criteria are set                                                                                  F. Executive Order 13175 (Consultation
                                                      at levels that protect aquatic life and                          making effective comments, please visit
                                                                                                                                                                                    and Coordination With Indian Tribal
                                                      aquatic-dependent wildlife, including                            http://www2.epa.gov/dockets/                                 Governments)
                                                      federally listed threatened and                                  commenting-epa-dockets.                                   G. Executive Order 13045 (Protection of
                                                      endangered species. The San Francisco                               Two public hearings will be held on                       Children From Environmental Health
                                                      Bay and Delta ecosystem is at risk due                           Tuesday, August 23, 2016, one at 9:00                        and Safety Risks)
                                                                                                                       a.m. and one at 2:00 p.m., at EPA Region                  H. Executive Oder 13211 (Actions That
                                                      to environmental degradation, including
                                                                                                                       9, 75 Hawthorne Street, San Francisco,                       Significantly Affect Energy Supply,
                                                      impacts from elevated levels of                                                                                               Distribution, or Use)
                                                      selenium, and state and federal actions                          CA 94105. Additionally, EPA will offer
                                                                                                                                                                                 I. National Technology Transfer and
                                                      are underway to restore the waterway.                            a virtual public hearing on the proposed
                                                                                                                                                                                    Advancement Act of 1995
                                                      Scientific evidence indicates that                               rule via the internet on Monday                           J. Executive Order 12898 (Federal Actions
                                                      elevated selenium levels can contribute                          evening, August 22, 2016 from 6:00 p.m.                      To Address Environmental Justice in
                                                      to the decline of fish and aquatic-                              to 8:00 p.m. For details on these public                     Minority Populations and Low-Income
                                                      dependent birds. EPA promulgated the                             hearings, as well as registration                            Populations)
                                                      San Francisco Bay and Delta’s existing                           information, please visit: https://
                                                                                                                       epa.gov/wqs-tech/water-quality-                        I. General Information
                                                      selenium criteria in 1992 as part of the
                                                      National Toxics Rule, using EPA’s                                standards-establishment-revised-                          Applicability: Entities such as
                                                      recommended aquatic life criteria                                numeric-criteria-selenium-san-                         industries, stormwater management
                                                      values at the time. However, the latest                          francisco-bay.                                         districts, or publicly owned treatment
                                                      science on selenium fate and                                     FOR FURTHER INFORMATION CONTACT:                       works (POTWs) that directly or
                                                      bioaccumulation indicates that the                               Erica Fleisig, Office of Water, Standards              indirectly discharge selenium to the San
                                                      existing criteria are not protective of                          and Health Protection Division (4305T),                Francisco Bay and Delta could be
                                                      aquatic life and aquatic-dependent                               U.S. Environmental Protection Agency,                  indirectly affected by this rulemaking
                                                      wildlife in the San Francisco Bay and                            1200 Pennsylvania Avenue NW.,                          because federal water quality standards
                                                      Delta. Therefore, EPA is proposing to                            Washington, DC 20460; telephone                        (WQS) promulgated by EPA would be
                                                      revise the existing selenium criteria,                           number: (202) 566–1057; email address:                 applicable to Clean Water Act (CWA)
                                                      taking into account available science,                           Fleisig.Erica@EPA.gov; or Diane E.                     regulatory programs, such as National
                                                      legal requirements, and EPA policies                             Fleck, P.E., Esq., Water Division (WTR–                Pollutant Discharge Elimination System
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      and guidance. EPA’s proposal will                                2–1), U.S. Environmental Protection                    (NPDES) permitting. Citizens concerned
                                                      address the Administrator’s                                      Agency Region 9, 75 Hawthorne Street,                  with water quality in California could
                                                      determination—described in this                                  San Francisco, CA 94105; telephone                     also be interested in this rulemaking.
                                                      preamble—that EPA’s previously                                   number: (415) 972–3527; email address:                 Categories and entities that could be
                                                      promulgated water quality criteria are                           Fleck.Diane@EPA.gov.                                   affected include the following:

                                                                         Category                                                                  Examples of potentially affected entities

                                                      Industry ...........................................   Industries discharging pollutants to the San Francisco Bay and Delta.



                                                 VerDate Sep<11>2014        16:59 Jul 14, 2016      Jkt 238001   PO 00000   Frm 00047   Fmt 4702    Sfmt 4702   E:\FR\FM\15JYP1.SGM   15JYP1


                                                                                       Federal Register / Vol. 81, No. 136 / Friday, July 15, 2016 / Proposed Rules                                                     46031

                                                                        Category                                                                   Examples of potentially affected entities

                                                      Municipalities ...................................   Publicly owned treatment works or other facilities discharging pollutants to the San Francisco Bay and
                                                                                                             Delta.
                                                      Stormwater Management Districts ..                   Entities responsible for managing stormwater runoff in the San Francisco Bay and Delta.



                                                        This table is not intended to be                             must be submitted to EPA for review                      and Revision did not change the
                                                      exhaustive, but rather provides a guide                        and approval or disapproval (CWA                         selenium water quality criteria for the
                                                      for readers regarding entities that could                      section 303(c)(2)(A) and (c)(3)). Under                  San Francisco Bay and Delta. These
                                                      be indirectly affected by this action.                         CWA section 303(c)(4)(B), the                            criteria are currently applicable in the
                                                      Any parties or entities who depend                             Administrator is authorized to                           Bay and Delta, and consist of a chronic
                                                      upon or contribute to the water quality                        determine, even in the absence of a state                criterion of 5 micrograms per liter (mg/
                                                      of the San Francisco Bay and Delta                             submission, that a new or revised                        L), and an acute criterion of 20 mg/L.
                                                      could be affected by this proposed rule.                       standard is needed to meet CWA                           Both criteria are expressed in the total
                                                      To determine whether your facility or                          requirements.                                            recoverable form of selenium.
                                                      activities could be affected by this                              Under CWA section 304(a), EPA                            The currently applicable selenium
                                                      action, you should carefully examine                           periodically publishes criteria                          criteria for the protection of aquatic life
                                                      this proposed rule. If you have                                recommendations for states to consider                   in the San Francisco Bay and Delta were
                                                      questions regarding the applicability of                       when adopting water quality criteria for                 based on EPA’s CWA section 304(a)
                                                      this action to a particular entity, consult                    particular pollutants to meet the CWA                    recommended criteria values at the time
                                                      the person listed in the FOR FURTHER                           section 101(a)(2) goals. In establishing                 that EPA promulgated the criteria in the
                                                      INFORMATION CONTACT section.                                   numeric criteria, states should adopt                    NTR. These recommendations are
                                                                                                                     water quality criteria based on EPA’s                    documented in EPA’s Ambient Water
                                                      II. Background                                                 CWA section 304(a) criteria, section                     Quality Criteria for Selenium—1987,
                                                      A. CWA and EPA Regulations                                     304(a) criteria modified to reflect site-                Office of Water, EPA–440/5–87–008,
                                                                                                                     specific conditions, or other                            September, 1987.
                                                        CWA section 101(a)(2) (33 U.S.C.                             scientifically defensible methods (40                       EPA derived the 1987 freshwater
                                                      1251(a)(2)) establishes a national goal,                       CFR 131.11(b)(1)). CWA section                           aquatic life recommended criteria
                                                      wherever attainable, of ‘‘water quality                        303(c)(2)(B) requires states to adopt                    values for selenium from observed
                                                      which provides for the protection and                          numeric criteria for all toxic pollutants                impacts on fish populations at a
                                                      propagation of fish, shellfish, and                            listed pursuant to CWA section                           contaminated lake, Belews Lake, in
                                                      wildlife and provides for recreation in                        307(a)(1) for which EPA has published                    North Carolina. The lake, a cooling
                                                      and on the water . . .’’ In this proposal,                     304(a) criteria, as necessary to support                 water reservoir, had been affected by
                                                      the relevant goals are the protection and                      the states’ designated uses.                             selenium loads from a coal-fired power
                                                      propagation of fish, shellfish, and                                                                                     plant. Since aquatic life was exposed to
                                                      wildlife.                                                      B. National Toxics Rule
                                                                                                                                                                              selenium from both the water column
                                                        CWA section 303(c) (33 U.S.C.                                  On December 22, 1992, EPA                              and diet, the criteria reflect both types
                                                      1313(c)) directs states to adopt WQS for                       promulgated Water Quality Standards;                     of exposure in Belews Lake. EPA
                                                      their waters subject to the CWA. CWA                           Establishment of Numeric Criteria for                    derived the 1987 saltwater aquatic life
                                                      section 303(c)(2)(A) and EPA’s                                 Priority Toxic Pollutants; States’                       recommended criteria values for
                                                      implementing regulations at 40 CFR part                        Compliance at 57 FR 60848 (hereafter                     selenium using data from lab studies.
                                                      131 require, among other things, that a                        referred to as the National Toxics Rule                  EPA calculated the criteria in
                                                      state’s WQS specify appropriate                                or NTR).1 The NTR established                            accordance with EPA’s Guidelines for
                                                      designated uses of the waters and water                        chemical-specific numeric criteria for                   Deriving Numerical National Water
                                                      quality criteria that protect those uses.                      priority toxic pollutants for states that                Quality Criteria for the Protection of
                                                      EPA’s regulations at 40 CFR 131.11(a)(1)                       EPA had determined were not in                           Aquatic Organisms and Their Uses,
                                                      provide that ‘‘[s]uch criteria must be                         compliance with the requirements of                      Office of Research and Development,
                                                      based on sound scientific rationale and                        CWA section 303(c)(2)(B). The NTR                        1985. The 1987 recommended
                                                      must contain sufficient parameters or                          included selenium water quality criteria                 freshwater criteria values for total
                                                      constituents to protect the designated                         for the protection of aquatic life in the                recoverable selenium are 5 mg/L
                                                      use.’’ For waters with multiple use                            San Francisco Bay and Delta. On May 4,                   (chronic) and 20 mg/L (acute), and the
                                                      designations, the criteria must support                        1995, EPA issued a stay of the criteria                  saltwater criteria values for total
                                                      the most sensitive use (40 CFR                                 for metals in the NTR and immediately                    recoverable selenium are 71 mg/L
                                                      131.11(a)(1)). In addition, 40 CFR                             promulgated revised criteria for metals                  (chronic) and 300 mg/L (acute).
                                                      131.10(b) provides that ‘‘[i]n designating                     in the NTR in the Stay of Federal Water                     In the NTR, EPA promulgated
                                                      uses of a water body and the appropriate                       Quality Criteria for Metals at 60 FR                     selenium criteria for the San Francisco
                                                      criteria for those uses, the [s]tate shall                     22227 and Water Quality Standards;
                                                      take into consideration the water quality                      Establishment of Numeric Criteria for                    Although selenium was included in the analysis for
                                                      standards of downstream waters and                             Priority Toxic Pollutants; States’
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                                                                                                                                              the revised policy, the 1995 amendment did not
                                                      shall ensure that its water quality                            Compliance—Revision of Metals                            include a freshwater conversion factor for selenium,
                                                      standards provide for the attainment                                                                                    and thus, the aquatic life freshwater selenium
                                                                                                                     Criteria, at 60 FR 22229.2 The 1995 Stay                 criteria in the NTR remain in the total recoverable
                                                      and maintenance of the water quality                                                                                    form. The EPA policy memorandum, Office of
                                                      standards of downstream waters.’’                                   1 The
                                                                                                                              NTR is codified at 40 CFR 131.36.               Water Policy and Technical Guidance on
                                                        States are required to review                                     2 The
                                                                                                                              purpose of the 1995 amendment was, in           Interpretation and Implementation of Aquatic Life
                                                      applicable WQS at least once every                             general, to replace aquatic life total recoverable       Metals Criteria, by Martha G. Prothro on October 1,
                                                                                                                     metals criteria with dissolved metals criteria to        1993, states that selenium is a ‘‘bioaccumulative
                                                      three years and, if appropriate, revise or                     reflect a revised EPA policy that dissolved metals       chemical and [it is] not appropriate to adjust to
                                                      adopt new standards (CWA section                               criteria better represent the biologically available     percent dissolved’’ for freshwater selenium criteria
                                                      303(c)(1)). Any new or revised WQS                             fraction of water borne metals to aquatic organisms.     (see policy memorandum, Attachment 2, page 5).



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                                                      46032                      Federal Register / Vol. 81, No. 136 / Friday, July 15, 2016 / Proposed Rules

                                                      Bay and Delta based on the 1987                          surface waters and enclosed bays and                   specific data from the FWS. EPA
                                                      freshwater recommended criteria values                   estuaries in California.                               analyzed the USGS Report and data
                                                      for selenium, even though the San                          As required by section 7 of the                      from the FWS and other relevant reports
                                                      Francisco Bay and Delta are marine and                   Endangered Species Act (ESA) (16                       to develop the selenium criteria for the
                                                      estuarine waters. EPA used the more                      U.S.C. 1531 et seq.), EPA consulted with               San Francisco Bay and Delta in this
                                                      stringent freshwater values because of a                 the U.S. Fish and Wildlife Service                     proposed rule.
                                                      concern that the saltwater criteria were                 (FWS) and the U.S. National Marine                        In 2013, two organizations filed a
                                                      not sufficiently protective ‘‘based on                   Fisheries Service (NMFS) (collectively,                legal complaint against EPA, based in
                                                      substantial evidence that there are high                 the Services) concerning EPA’s                         part on the fact that work on updating
                                                      levels of selenium bioaccumulation in                    rulemaking actions for California. EPA                 the reserved acute freshwater selenium
                                                      San Francisco Bay and the saltwater                      initiated consultation in 1994, and in                 criterion from the 2000 CTR had not yet
                                                      criteria fail to account for food chain                  March 2000, the Services issued a final                been completed while EPA had
                                                      effects’’ and ‘‘utilization of the saltwater             Joint Biological Opinion. The final Joint              previously determined, in the proposed
                                                                                                               Biological Opinion requested that EPA                  CTR, that the criterion was among those
                                                      criteria for selenium in the San
                                                                                                               revise its 1987 recommended criteria                   necessary to implement section
                                                      Francisco Bay/Delta would be
                                                                                                               values for selenium to ensure the                      303(c)(2)(B) of the CWA (62 FR 42160,
                                                      inappropriate.’’ (57 FR 60898).
                                                                                                               protection of species listed as                        August 5, 1997). EPA ultimately
                                                         Since then, EPA has taken steps to                    threatened or endangered, and later                    consented to a court-ordered resolution
                                                      revise the 1987 CWA 304(a)                               update the criteria for California                     of these claims.6 Under the terms of the
                                                      recommended criteria for selenium to                     consistent with the revised                            court order, EPA committed to
                                                      better account for bioaccumulation                       recommendations. In response, EPA                      developing updated selenium criteria
                                                      through the food chain in different                      reserved the acute freshwater selenium                 for the California waters covered by the
                                                      ecosystems. EPA recently published a                     criterion from the final May 2000 CTR.                 original CTR. However, this proposed
                                                      revised CWA 304(a) freshwater                              In September 2002, EPA, the Services,                rule relates to a different set of selenium
                                                      recommended criterion for selenium:                      the U.S. Geological Survey (USGS), and                 criteria: Those selenium criteria that
                                                      Final Aquatic Life Ambient Water                         the State of California met to discuss the             EPA previously proposed and finalized
                                                      Quality Criterion for Selenium—                          development of revised selenium water                  for the San Francisco Bay and Delta in
                                                      Freshwater 2016, US EPA, Office of                       quality criteria and recommended that                  the NTR. Since EPA has chosen to
                                                      Water, EPA 822–R–16–006, June, 2016.                     California-specific selenium water                     prioritize the development of this latter
                                                      EPA considered the methodology and                       quality criteria be developed as wildlife              set of selenium criteria, EPA expects to
                                                      information used to derive the revised                   criteria. The agencies agreed that criteria            defer proposing the remaining selenium
                                                      CWA 304(a) recommended selenium                          should first be developed to protect                   criteria for the rest of California until no
                                                      criterion, along with additional                         aquatic life and aquatic-dependent
                                                                                                                                                                      later than November 30, 2018, pursuant
                                                      information specific to the San                          wildlife using the Luoma-Presser
                                                                                                                                                                      to the terms of the court-ordered
                                                      Francisco Bay and Delta, in developing                   (USGS) bioaccumulation model 5 for the
                                                                                                                                                                      resolution.
                                                      the revised selenium criteria values for                 San Francisco Bay and Delta based on
                                                      the San Francisco Bay and Delta in this                  the necessity for more stringent criteria              D. State of California Actions
                                                      proposed rule.                                           in the estuary, and to subsequently                      The State of California has nine
                                                                                                               develop criteria for the rest of California            Regional Water Quality Control Boards
                                                      C. California Toxics Rule                                using appropriate methods.                             (Regional Boards), each located in and
                                                                                                                 Starting in 2003, EPA and the
                                                        On May 18, 2000, EPA promulgated                                                                              overseeing different areas of the state.
                                                                                                               Services provided assistance to the
                                                      Water Quality Standards; Establishment                                                                          The State Water Resources Control
                                                                                                               USGS to model selenium fate and
                                                      of Numeric Criteria for Priority Toxic                                                                          Board (SWRCB) in Sacramento oversees
                                                                                                               biological uptake in the San Francisco
                                                      Pollutants for the State of California at                                                                       the actions of the nine Regional Boards
                                                                                                               Bay and Delta using the USGS
                                                      65 FR 31681 (hereafter referred to as the                bioaccumulation model. USGS                            and periodically establishes policy and
                                                      California Toxics Rule or CTR).3 The                     completed its report, entitled                         standards for consistency across the
                                                      CTR established numeric water quality                    Ecosystem-Scale Selenium Modeling in                   Regional Boards. The San Francisco Bay
                                                      criteria for priority toxic pollutants for               Support of Fish and Wildlife Criteria                  Regional Water Quality Control Board
                                                      inland surface waters and enclosed bays                  Development for the San Francisco Bay-                 (SFRWQCB) and the Central Valley
                                                      and estuaries within California. EPA                     Delta Estuary, California,                             Regional Water Quality Control Board
                                                      promulgated the CTR after California                     Administrative Report (the USGS                        (CVRWQCB) oversee different parts of
                                                      rescinded its water quality control plans                Report), and submitted it to EPA in                    the Bay and Delta. The SFRWQCB
                                                      containing pollutant objectives                          December 2010. USGS used site-specific                 oversees all parts of the San Francisco
                                                      (criteria). The criteria that EPA                        data from various sources and species-                 Bay including the South San Francisco
                                                                                                                                                                      Bay, Lower San Francisco Bay, Central
                                                      previously promulgated for California in
                                                                                                                 5 The model developed by Theresa Presser and         San Francisco Bay, San Pablo Bay,
                                                      the NTR,4 together with the criteria
                                                                                                               Sam Luoma is the selenium ecosystem                    Carquinez Strait and Suisun Bay, and a
                                                      promulgated in the CTR and California’s                  bioaccumulation model first presented in               small portion of the western side of
                                                      designated uses and anti-degradation                     Forecasting Selenium Discharges to the San             Sacramento-San Joaquin Delta. The
                                                      provisions, set water quality standards
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                                                                               Francisco Bay-Delta Estuary: Ecological Effects of a
                                                                                                               Proposed San Luis Drain Extension, Open File           CVRWQCB oversees the remaining areas
                                                      for priority toxic pollutants for inland
                                                                                                               Report 00–416, Samuel N. Luoma and Theresa S.          of the Delta which include the
                                                        3 The
                                                                                                               Presser, 2000, U.S. Geological Survey, Menlo Park,     confluences of the Sacramento and the
                                                               CTR is codified at 40 CFR 131.38.               California. This report was revised and superseded
                                                        4 The
                                                                                                                                                                      San Joaquin Rivers. Each Regional
                                                               CTR Criteria Table at 40 CFR 131.38(b)(1)       in 2006 by Professional Paper 1646, Theresa S.
                                                      includes all water quality criteria previously           Presser and Samuel N. Luoma, U.S. Geological           Board has a regional water quality
                                                      promulgated in the NTR, so that readers can find         Survey, Reston, Virginia. A detailed explanation of
                                                      all federally promulgated water quality criteria for     the model is contained in A Methodology for              6 Our Children’s Earth Foundation and Ecological

                                                      California in one place. All criteria previously         Ecosystem-Scale Modeling of Selenium, T.S. Presser     Rights Foundation v. U.S. Environmental Protection
                                                      promulgated in the NTR are footnoted as such in          and S.N. Luoma, 2010, Integrated Environmental         Agency, et al., 13–cv–2857 (N.D. Cal, August 22,
                                                      the CTR.                                                 Assessment and Management, Volume 6, Number 4.         2014).



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                                                                                     Federal Register / Vol. 81, No. 136 / Friday, July 15, 2016 / Proposed Rules                                          46033

                                                      control plan (Basin Plan) that sets forth                    The plan was amended in 1991, 1995                    listed threatened and endangered
                                                      the beneficial (designated) uses for the                     and most recently in December 2006.                   species, in the San Francisco Bay and
                                                      waterbodies it oversees. Once EPA                            This plan supplements the two regional                Delta. The designated uses in the
                                                      finalizes the proposed criteria, each                        Basin Plans that cover the estuary and                SWRCB water quality control plan for
                                                      Regional Board will implement the                            establishes a comprehensive set of                    the protection of aquatic life and
                                                      criteria in its WQS programs for the                         designated uses for all parts of the Bay              aquatic-dependent wildlife are listed in
                                                      waters it oversees.                                          and Delta. The plan describes the uses                Table 1. The proposed criteria will
                                                         In 1978, the SWRCB adopted a                              as existing uses.                                     establish levels of selenium that protect
                                                      comprehensive plan for the Bay and                             The site-specific selenium criteria in              California’s designated uses for the
                                                      Delta estuary: The Water Quality                             this proposed rule are intended to
                                                                                                                                                                         estuary.
                                                      Control Plan for the San Francisco Bay/                      protect aquatic life and aquatic-
                                                      Sacramento-San Joaquin Delta Estuary.                        dependent wildlife, including federally

                                                                                     TABLE 1—EXISTING DESIGNATED USES FOR THE SAN FRANCISCO BAY AND DELTA
                                                                        Use                         Abbreviation                                                    Definition

                                                      Warm Freshwater Habitat .........             WARM           Uses of water that support warm water ecosystems including, but not limited to, preservation of
                                                                                                                     aquatic habitats, vegetation, fish, or wildlife, including invertebrates.
                                                      Cold Freshwater Habitat ...........           COLD           Uses of water that support cold water ecosystems including, but not limited to, preservation or
                                                                                                                     enhancements of aquatic habitats, vegetation, fish, or wildlife, including invertebrates.
                                                      Migration of Aquatic Organisms                MIGR           Uses of water that support habitats necessary for the migration or other temporary activities by
                                                                                                                     aquatic organisms, such as anadromous fish.
                                                      Spawning, Reproduction, and/or                SPWN           Uses of water that support high quality aquatic habitats suitable for reproduction and early de-
                                                        Early Development.                                           velopment of fish.
                                                      Estuarine Habitat .......................     EST            Uses of water that support estuarine ecosystems including, but not limited to, preservation or
                                                                                                                     enhancement of estuarine habitats, vegetation, fish, shellfish, or wildlife (e.g., estuarine
                                                                                                                     mammals, waterfowl, shorebirds).
                                                      Wildlife Habitat ..........................   WILD           Uses of water that support estuarine ecosystems including, but not limited to, preservation and
                                                                                                                     enhancement of terrestrial habitats, vegetation, wildlife (e.g., mammals, birds, reptiles, am-
                                                                                                                     phibians, invertebrates), or wildlife water and food sources.
                                                      Rare, Threatened, or Endan-                   RARE           Uses of water that support habitats necessary, at least in part, for the survival and successful
                                                        gered Species.                                               maintenance of plant or animal species established under State or federal law as being rare,
                                                                                                                     threatened, or endangered.



                                                         The proposed criteria are being set at                    promulgation for those waters for which               Depending on environmental
                                                      levels that will protect aquatic life and                    EPA approves California’s criteria.                   conditions, one or another form of
                                                      aquatic-dependent wildlife consistent                          If EPA finalizes this proposed rule                 selenium such as selenate, selenite and
                                                      with WARM, COLD, EST, WILD and                               and California subsequently adopts and                organo-selenium, which differ in
                                                      RARE uses, as well as protect aquatic                        submits selenium criteria for the                     transformation rates and bioavailability,
                                                      life consistent with MIGR and SPWN                           protection of aquatic and aquatic-                    may predominate in the aquatic
                                                      uses.                                                        dependent wildlife for marine and                     environment.
                                                                                                                   estuarine waters in the estuary, EPA                     Selenium is an essential micro-
                                                      E. Applicability of EPA Promgulated                          proposes that once EPA approves                       nutrient, but the range between essential
                                                      Water Quality Standards When Final                           California’s WQS, the EPA-approved                    and toxic levels is narrow. A long-
                                                         Under the CWA, Congress gave states                       criteria in California’s WQS would                    standing hypothesis is that toxicity
                                                                                                                   become the applicable criteria for CWA                occurs through biochemical pathways
                                                      primary responsibility for developing
                                                                                                                   purposes and EPA’s promulgated                        where excess selenium substitutes for
                                                      and adopting WQS for their waters
                                                                                                                   criteria would no longer be applicable                sulphur in proteins, which alters their
                                                      (CWA section 303(a)–(c)). Although EPA
                                                                                                                   criteria. EPA would undertake a                       structure and function. More recent
                                                      is proposing selenium criteria for the                                                                             studies indicate that selenium may
                                                                                                                   rulemaking to withdraw the federal
                                                      protection of aquatic life and aquatic-                                                                            affect organisms through oxidative
                                                                                                                   criteria for selenium, but that process
                                                      dependent wildlife for marine and                            would not delay California’s approved                 stress (see Final Aquatic Life Ambient
                                                      estuarine waters in California’s San                         criteria from becoming the sole                       Water Quality Criteria for Selenium—
                                                      Francisco Bay and Delta, California                          applicable criteria for CWA purposes.                 Freshwater 2016, U.S. EPA, Office of
                                                      continues to have the option to adopt                        EPA solicits comment on this approach.                Water, EPA 822–R–16–006, June, 2016).
                                                      and submit to EPA protective selenium                                                                              Elevated selenium levels in fish and
                                                      criteria for these waters consistent with                    F. Selenium Chemistry and Biology                     other wildlife inhibit normal growth
                                                      CWA section 303(c) and EPA’s                                   Selenium is an element that occurs                  and reduce reproductive success
                                                      implementing regulations at 40 CFR part                      naturally in sediments of marine origin               through effects that lower embryo
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      131. EPA encourages California to                            and enters the aquatic environment                    survival, most notably teratogenesis.
                                                      expeditiously adopt protective criteria.                     when rainwater comes into contact with                   Scientific studies indicate that
                                                      Consistent with CWA section 303(c)(4),                       deposits. Selenium can be further                     selenium toxicity to aquatic life and
                                                      if California adopts and submits                             mobilized through anthropogenic                       aquatic-dependent wildlife is driven by
                                                      selenium criteria for the protection of                      activities such as agriculture irrigation,            diet (i.e., the consumption of selenium-
                                                      aquatic life and aquatic-dependent                           mining and petroleum refining. Once                   contaminated prey food) rather than by
                                                      wildlife, and EPA approves such criteria                     inorganic selenium is converted into a                direct exposure in the water column.
                                                      before finalizing this proposed rule,                        bioavailable form, it enters the food                 Selenium can accumulate in the aquatic
                                                      EPA would not proceed with the                               chain and can bioaccumulate.                          food web through various routes and at


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                                                      46034                      Federal Register / Vol. 81, No. 136 / Friday, July 15, 2016 / Proposed Rules

                                                      various rates. At the bottom of the food                 irrigation for 4 million acres of                     quality monitoring and assessment; 3.
                                                      chain, bacteria and algae can                            farmland, and supporting over 750                     Accelerate water quality restoration
                                                      bioaccumulate selenium to levels that                    different species of plants and animals.              through Total Maximum Daily Loads
                                                      greatly exceed water column                              The estuary contributes to the area’s                 (TMDLs); 4. Strengthen selenium water
                                                      concentrations, and some invertebrates                   economically important recreational                   quality criteria; 5. Prevent pesticide
                                                      such as filter-feeding clams, can                        and commercial fishing and boating                    pollution; 6. Restore aquatic habitats
                                                      efficiently accumulate selenium from                     industries. However, as a result of these             while managing methylmercury; and 7.
                                                      suspended organic and inorganic                          competing demands and associated                      Support the Bay Delta Conservation
                                                      particles. In the San Francisco Bay and                  stresses, the ecosystem has suffered                  Plan (now called the California
                                                      Delta, clam-based food webs accumulate                   greatly and water quality in the estuary              WaterFix). This proposed rule is
                                                      selenium at a much higher rate than                      is impaired, habitat is shrinking,                    intended to advance priority activity
                                                      insect-based food webs, and the                          important fish populations are at an all-             number four, Strengthen selenium water
                                                      invasive clam species, Potamocorbula                     time low, and several species are listed              quality criteria.
                                                      amurensis, now found throughout the                      as threatened or endangered. In recent                   Sources of Selenium: Sources of
                                                      estuary, can accumulate selenium at a                    years, pelagic (open water) species have              selenium in the estuary include the
                                                      much higher rate than supplanted clam                    declined, with some fish populations in               tributaries flowing into the Delta and
                                                      species. Therefore, species that feed on                 serious, critical condition. This sudden              Bay, municipal and industrial
                                                      this clam in the estuary, such as diving                 collapse in pelagic species, referred to              wastewater discharges, stormwater
                                                      birds and sturgeon, are exposed to                       as the pelagic organism decline (or                   discharges, atmospheric deposition, and
                                                      higher levels of bioaccumulated                          POD), has been intensively studied, but               in-bay sediments. The largest
                                                      selenium than species that feed mainly                   no one factor has been identified as the              contributors are the Sacramento and San
                                                      on insects or higher-order species                       cause. Many factors are thought to be                 Joaquin Rivers and the five oil refineries
                                                      within an insect-based food chain. The                   responsible for the decline of the                    located along the Bay.
                                                      vulnerability of a species to selenium                   estuary’s health including water                         The headwaters of both rivers
                                                      toxicity is determined by a number of                    pollution, invasive species, water                    originate from snowmelt in the Sierra
                                                      factors in addition to the amount of                     diversion and water project operations,               Nevada. The Sacramento River flows
                                                      contaminated prey food consumed. A                       ocean conditions (limited food and                    north to south into the Delta, and drains
                                                      species’ sensitivity to selenium, its                    adverse temperatures), and habitat                    the northern portion of the Central
                                                      population status, and the duration,                     destruction and degradation. For a more               Valley. The San Joaquin River flows east
                                                      timing and life stage of exposure are all                detailed discussion, see Unabridged                   to west, then turns and flows south to
                                                      factors to consider. In addition, the                    Advanced Notice of Proposed                           north into the Delta, and drains the
                                                      hydrologic conditions and water                                                                                southern and central portions of the
                                                                                                               Rulemaking for Water Quality
                                                      chemistry of a water body affect                                                                               Central Valley, which are used
                                                                                                               Challenges in the San Francisco Bay/
                                                      bioaccumulation; in general, slow-                                                                             extensively for farming. The two rivers
                                                                                                               Sacramento-San Joaquin Delta Estuary,
                                                      moving, calm waters or lentic waters                                                                           meet in the Delta near Antioch and flow
                                                                                                               U.S. EPA, February 2011; 76 FR 9709,
                                                      enhance the production of bioavailable                                                                         west into the northern reaches of the
                                                                                                               February 22, 2011.
                                                      forms of selenium (selenite), while                                                                            Bay, then southwest to the Pacific
                                                                                                                  Plan for Restoration: In 2009, the                 Ocean.
                                                      faster-moving waters or lotic waters                     Federal Bay Delta Leadership                             Selenium concentrations in the San
                                                      limit selenium uptake given the rapid                    Committee, a Cabinet-level, multi-                    Joaquin River are elevated from
                                                      movement and predominant form of                         agency committee charged with                         selenium enriched soils on the west side
                                                      selenium (selenate). EPA considered                      coordinating federal responses to Bay                 of the Central Valley. Agricultural
                                                      these and other factors in determining                   and Delta issues, issued its Interim                  irrigation practices mobilize naturally
                                                      the proposed selenium criteria for the                   Federal Action Plan, which outlined the               occurring selenium in the heavy soils
                                                      estuary.                                                 federal government’s proposal to                      derived from marine shale and
                                                      III. Rationale and Approach                              address water resource management                     sediment. Selenium concentrations in
                                                                                                               issues in the estuary. The Interim                    the Sacramento River are much lower
                                                      A. Necessity                                             Federal Action Plan included an action                than in the San Joaquin River and are
                                                         Ecological Health of the Estuary: The                 for EPA to ‘‘address the effectiveness of             generally at natural background levels.7
                                                      San Francisco Bay and Delta is the                       current regulatory mechanisms designed                Flow volumes from each river vary
                                                      largest estuary on the West Coast of                     to protect water quality in the Delta and             depending on the water year type and
                                                      North America and, as part of the                        its tributaries, including standards for              season, and for the San Joaquin River,
                                                      Pacific Flyway, serves as an important                   toxics, nutrients, and estuarine habitat              the volume of diversions. Therefore,
                                                      migratory stopover and wintering area                    protection.’’ In response, after extensive            selenium loads from the rivers vary,
                                                      for a variety of waterfowl. The estuary                  public comment, EPA published Water                   while loads from the refineries are more
                                                      is formed by the intersection of two                     Quality Challenges in the San Francisco               constant.
                                                      large river systems, the Sacramento and                  Bay/Sacramento-San Joaquin Delta                         The San Joaquin watershed is much
                                                      San Joaquin Rivers, which drain                          Estuary: EPA’s Action Plan (the Action                drier than the Sacramento watershed,
                                                      approximately 40 percent of California.                  Plan) in August 2012. In the Action                   and flows to the Bay from the San
                                                      The estuary is comprised of a series of                  Plan, EPA concluded that existing                     Joaquin River are significantly smaller
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      large and small bays, marshes, and                       programs under the CWA were not                       than those from the Sacramento River.
                                                      channels leading to the Pacific Ocean                    adequately safeguarding resources, and                In addition, dams for hydropower and
                                                      through the Golden Gate. The system is                   recommended seven priority activities                 flood control further limit flows from
                                                      critical to California’s ecological and                  to advance the protection and                         the San Joaquin. Flow volume from the
                                                      economic well-being, and has long been                   restoration of aquatic resources and
                                                                                                                                                                       7 Water Quality Survey for Selenium in the
                                                      the subject of competing interests. The                  ensure a reliable water supply in the
                                                                                                                                                                     Sacramento River and its Major Tributaries,
                                                      estuary is the hub of California’s water                 watershed. The priority activities are: 1.            California Regional Water Quality Control Board,
                                                      distribution system, providing drinking                  Strengthen estuarine habitat protection               Central Valley Region, 1988, Sacramento,
                                                      water to 25 million people, supplying                    standards; 2. Advance regional water                  California.



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                                                                                 Federal Register / Vol. 81, No. 136 / Friday, July 15, 2016 / Proposed Rules                                                46035

                                                      San Joaquin into the Delta as measured                   recent data from 2010–2012 show levels                significantly higher levels than other
                                                      at Vernalis between 2002 and 2011 has                    between 0.062 and 0.09 mg/L.10                        sources of crude. Available data indicate
                                                      ranged from approximately 8 to 30                           Concentrations of dissolved selenium               that from 1986 through 1992, the
                                                      percent of the flow volume from the                      in the Delta and in the northern and                  cumulative selenium load to the Bay
                                                      Sacramento River at Freeport during the                  central portions of the Bay from 1998–                from the refineries averaged
                                                      same time period.8 At Clifton Court                      1999 ranged from 0.070 to 0.320 mg/L.9                approximately 5,000 lbs/year, and
                                                      Forebay in the San Joaquin Delta below                   Recent data from 2010–2012 show that                  ranged from 3,953 to 5,783 lbs/year.9 In
                                                      Vernalis, the State Water Project pumps                  concentrations have decreased, and                    1991, California required the refineries
                                                      water from the Delta to the California                   range from 0.058 to 0.13 mg/L.10                      to reduce their mass discharge of
                                                      Aqueduct for delivery to Southern                           Agriculture: Selenium concentrations               selenium and achieve more stringent
                                                      California, and the Central Valley                       in the San Joaquin River and the estuary              wastewater concentration limits. The
                                                      Project pumps water to the Delta                         are decreasing, in part, as a result of               refineries achieved their mass-based
                                                      Mendota Canal for delivery to Central                    conservation actions from the                         limits and revised concentration limits
                                                      Valley farmers. As a result of these                     agricultural industry and California’s                by 1998. The average cumulative
                                                      diversions, even less flow from the San                  implementation of three selenium                      selenium load for all refineries since
                                                      Joaquin enters the northern part of the                  TMDLs in the Central Valley. TMDLs for                1999 has been approximately 1,200 lbs/
                                                                                                               a portion of the San Joaquin River, the               year, down approximately 75% from
                                                      Bay.
                                                                                                               Grassland Marshes, and Salt Slough (a                 early 1990 levels.9 Activities undertaken
                                                         Although flows from the San Joaquin                   tributary) are being implemented                      by both the agriculture industry and the
                                                      are much smaller than flows from the                     through Waste Discharge Requirements                  refineries have helped to reduce
                                                      Sacramento, selenium concentrations                      (WDRs) (permits) and the Grassland                    selenium loads to the Bay.
                                                      have been significantly higher than                      Bypass Project to reduce and reroute                     Invasive Clam Species: In the fall of
                                                      concentrations in the Sacramento. In                     discharges of agricultural return flows               1986, after major flooding in the spring
                                                      1998 and 1999, concentrations of                         from the west side of the watershed                   had wiped out large parts of the existing
                                                      dissolved selenium in the San Joaquin                    around sensitive wetlands.                            benthic community, a small bivalve was
                                                      River averaged 0.71 mg/L, and ranged                        Between 1986 and 1996, before                      discovered in the northern reaches of
                                                      from 0.40 to 1.07 mg/L at Vernalis.9                     construction of the Grassland Bypass                  San Francisco Bay.12 Its population
                                                      Concentrations in the San Joaquin have                   Project and implementation of the                     rapidly increased and spread
                                                      declined recently, but continue to be                    TMDLs, selenium loads in the San                      throughout the estuary. The species,
                                                      higher than levels in the Sacramento                     Joaquin at Patterson and Crows Landing                Potamocorbula amurensis (P.
                                                      River. Recent data from 2010–2012                        below the confluence of the Merced                    amurensis), commonly known as
                                                      show that dissolved selenium                             River averaged 8,129 pounds per year                  Corbula, is native to China, Japan, and
                                                      concentrations range from 0.207 to 0.47                  (lbs/year). Since 2000, selenium loads                Korea, and is thought to have been
                                                      mg/L in the San Joaquin.10                               have ranged from 1,526–6,353 lbs/year,                introduced to the estuary from ballast
                                                      Concentrations in the Sacramento have                    with the lowest loads in recent years.11              water. Adults tolerate a wide range of
                                                      not materially changed during this time                  Between the mid-1990s and the mid-                    salinity (1 to 32 parts per thousand), and
                                                      period. In 1998 and 1999,                                2000s, selenium loading to surface                    although Corbula flourish in subtidal
                                                      concentrations of dissolved selenium                     waters decreased by approximately one-                waters, they can also live in intertidal
                                                      averaged 0.07 mg/L, and ranged from                      half to two-thirds through agricultural               mudflats.12 The species is remarkably
                                                      0.05 to 0.11 mg/L at Freeport.9 More                     water conservation measures such as                   efficient in accumulating selenium from
                                                                                                               harvesting crops that require less water,             its environment 13 and is responsible for
                                                        8 USGS National Water Information System,              drip irrigation, water recycling and                  the accelerated bioaccumulation of
                                                      Surface-Water Annual Statistics for California at:       reuse on salt-tolerant crops, and land                selenium in the food chain of the fish
                                                      http://waterdata.usgs.gov/ca/nwis/nwis (search           retirement. Although the final WDR                    and bird species in the Bay and Delta
                                                      terms: Surface Water; Annual Flow Data (Stream);
                                                      Sacramento County at Freeport, USGS 11447650,
                                                                                                               loading targets have not been met, the                ecosystem. The species most at risk in
                                                      and San Joaquin County at Vernalis, USGS                 agriculture industry has helped reduce                the estuary from the Corbula invasion
                                                      11303500, 2002–2012, compare discharge in cubic          selenium loads in the watershed. Final                are believed to be clam-eating fish and
                                                      feet per second based on daily-mean data for water       targets are scheduled to be achieved by               bird species such as green and white
                                                      years 2002–2011).                                        2019.
                                                        9 Ecosystem-Scale Selenium Modeling in Support
                                                                                                                                                                     sturgeon, scoter and scaup.
                                                      of Fish and Wildlife Criteria Development for the
                                                                                                                  Refineries: Another source of                         Need for Revised Criteria: EPA now
                                                      San Francisco Bay-Delta Estuary, California,             selenium to the estuary is wastewater                 has updated scientific information on
                                                      Theresa S. Presser and Samuel N. Luoma, U.S.             from the processing of selenium-rich                  selenium fate and bioaccumulation, as
                                                      Geological Survey, 2010, Menlo, Park, California;        crude oil, from the five major oil                    well as updated information on the Bay
                                                      and using data from: (1) Selenium Biogeochemistry
                                                      in the San Francisco Estuary: Changes in Water
                                                                                                               refineries located along the Bay. The                 and Delta estuary ecosystem that was
                                                      Column Behavior, G.A. Cutter and L.S. Cutter, 2004,      recent decreases in selenium                          not available when EPA developed the
                                                      Estuarine, Coastal, and Shelf Science, 61:3 pp 463–      concentrations in the Bay are also the                existing Bay and Delta selenium criteria
                                                      476; (2) Sources and Biogeochemical Cycling of           result of the refineries reducing                     in the NTR. These data indicate the
                                                      Particulate Selenium in the San Francisco Bay
                                                      Estuary, M.A. Doblin, S.B. Baines, L.S. Cutter, and
                                                                                                               selenium loads in wastewater                          need for revised criteria. The explosion
                                                      G.A. Cutter, 2006, Estuarine, Coastal, and Shelf         discharges in response to California’s
                                                                                                               implementation of more stringent
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      Science, 76:4 pp. 681–694; and (3) Transport,                                                                    12 The Exotics Guide: Non-native Marine Species

                                                      Transformation, and Effects of Selenium and              NPDES permit limits. Selenium levels                  of the North American Pacific Coast, 2011, Andrew
                                                      Carbon in the Delta of the Sacramento-San Joaquin                                                              N. Cohen, Center for Research on Aquatic
                                                      Rivers: Implications for Ecosystem Restoration, L.
                                                                                                               in crude vary, and the crude from the                 Bioinvasions, Richmond, California, and San
                                                      Lucas and A.R. Stewart, 2007, CALFED Ecosystem           San Joaquin Basin can contain                         Francisco Estuary Institute, Oakland, California.
                                                      Restoration Program, Agreement No. 4600001955,                                                                 http://www.exoticsguide.org.
                                                      Project No. ERP–01–C07.                                    11 Grassland Bypass Project Annual Report 2010–       13 Food Web Pathway Determines How Selenium
                                                        10 North San Francisco Bay Selenium                    2011, San Francisco Estuary Institute for the         Affects Ecosystems: A San Francisco Bay Case
                                                      Characterization Study, Final Report (Appendix B         Grassland Bypass Project Oversight Committee,         Study, 2004, A. Robin Stewart, Samuel N. Luoma,
                                                      Data Tables), Tetra Tech, Inc. on behalf of Western      2013, Chapter 1 (Table 7) by Michael C.S. Eacock      Christian E. Schlekat, and Kathryn A. Hieb,
                                                      States Petroleum Association, 2012, Lafayette,           and Stacy Brown, U.S. Bureau of Reclamation,          Environmental Science and Technology, 38:4519–
                                                      California.                                              Fresno, California.                                   4526.



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                                                      46036                      Federal Register / Vol. 81, No. 136 / Friday, July 15, 2016 / Proposed Rules

                                                      of the Corbula population in the early                   aquatic-dependent wildlife are                        and particulate selenium at the base of
                                                      1990s has drastically changed the food                   necessary to meet the requirements of                 its food web in the aquatic environment.
                                                      web and selenium bioaccumulation                         the CWA for these California waters.                     EPA Modeling: Using information
                                                      dynamics in the Bay and Delta. The                       EPA, therefore, proposes the revised                  from the Services on important and/or
                                                      Ecosystem-Scale Selenium Model for                       selenium aquatic life and aquatic-                    vulnerable fish and avian wildlife
                                                      the San Francisco estuary allows EPA to                  dependent wildlife criteria in this rule              species in the estuary, and building on
                                                      develop revised selenium criteria that                   in accordance with this 303(c)(4)(B)                  the USGS modeling of the estuary, EPA
                                                      account for site-specific and species-                   determination. EPA’s determination is                 modeled the estuary to develop site-
                                                      specific characteristics, including                      not itself a final action, nor part of a              specific scenarios on which to base the
                                                      species with greater exposure and/or                     final action, at this time. After                     proposed criteria (see Technical
                                                      susceptibility to selenium. In doing so,                 consideration of comments on the                      Support Document for the Proposed
                                                      EPA is following the requirements at 40                  proposed rule, EPA will take final                    Aquatic Life and Aquatic-Dependent
                                                      CFR 131.11(a)(1) to derive criteria that                 agency action on this rulemaking. It is               Wildlife Selenium Water Quality
                                                      are based on a sound scientific rationale                at that time that any change to the water             Criteria for the San Francisco Bay and
                                                      and protect the most sensitive uses,                     quality standards applicable in                       Delta (2016), US EPA Region 9, June,
                                                      which in the case of the Bay and Delta                   California would occur.                               2016).
                                                      include migration of aquatic organisms                                                                            EPA considered various protective
                                                      (e.g., anadromous fish species), and                     C. Approach
                                                                                                                                                                     (benchmark) tissue values for
                                                      habitat for rare, threatened and                            USGS Ecosystem-Scale Selenium                      representative fish and avian wildlife
                                                      endangered species.                                      Model: The Ecosystem-Scale Selenium                   species to use in the modeling. EPA
                                                         Although conditions have improved                     Model uses species-specific and                       found that the most appropriate tissue
                                                      from reduced agriculture and refinery                    hydrologic site-specific information to               benchmark values for fish species in the
                                                      loads, ambient levels of selenium are                    model the fate and biological uptake of               estuary are the recommended values in
                                                      not consistently below harmful levels in                 selenium in an aquatic ecosystem                      EPA’s recent national recommended
                                                      all parts of the estuary. Revised criteria               through diet. The model was originally                freshwater aquatic life criterion for
                                                      are necessary to help ensure that                        developed for the San Francisco estuary.              selenium 14 and for avian species in the
                                                      protective levels are attained in all parts              It conceptualizes and quantifies several              estuary, the egg tissue value discussed
                                                      of the water body and are maintained in                  key variables in order to predict how                 in EPA’s approval of the State of Utah’s
                                                      the future to protect designated uses.                   selenium moves from the water                         avian wildlife criterion for Gilbert Bay
                                                      Several indigenous species are listed                    environment to wildlife species through               of the Great Salt Lake.15 These
                                                      under the ESA as threatened or                           the food chain. It can link selenium                  benchmark values represent a 10%
                                                      endangered, including green sturgeon,                    tissue concentrations in fish or avian                Effect Concentration (EC10), which is a
                                                      Chinook salmon, steelhead trout, delta                   wildlife to dissolved and particulate                 concentration or level of a pollutant that
                                                      smelt and the California Ridgway’s rail,                 selenium concentrations in the water                  may adversely affect up to 10% of a
                                                      and many migratory bird species use the
                                                                                                               environment and to selenium tissue                    species population. In the national
                                                      estuary as a wintering ground, including
                                                                                                               concentrations in prey food.                          recommended freshwater aquatic life
                                                      greater and lesser scaup, and white-
                                                      winged, surf, and black scoter. The                         Starting in 2003, USGS worked with                 criterion for selenium, EPA used EC10
                                                      analyses to develop the fish tissue and                  the Services and EPA to model the San                 concentrations to develop the selenium
                                                      the avian egg tissue benchmarks used in                  Francisco Bay and Delta using various                 water quality criterion values.14
                                                      the modeling, and the modeling results                   scenarios and endpoints (see the USGS                    EPA modeled two food webs in the
                                                      used to derive the proposed water                        Report). Using the best available data for            estuary, a clam-based web and an
                                                      column criteria, indicate the health of                  the estuary, USGS modeled a clam-                     insect-based web, to determine
                                                      these species would be negatively                        based food web from the Golden Gate                   protective dissolved, particulate and
                                                      impacted from exposure to selenium                       through Suisun Bay to Chipps Island                   prey-tissue selenium values. EPA
                                                      water column concentrations above 0.2                    and an insect-based food web from                     modeled a clam-based food chain for
                                                      mg/L, which would be allowed to occur                    Benicia to Rio Vista (in the Sacramento               fish and two clam-based food chains for
                                                      under the existing NTR selenium                          River Delta area) and to Stockton (in the             birds that consume Corbula from the
                                                      criterion of 5.0 mg/L. Accordingly, EPA                  San Joaquin River Delta area). Using                  estuary, each chain representing at-risk
                                                      finds that it is necessary to propose                    site-specific partitioning coefficients to            fish and bird species in the estuary. The
                                                      revised and more protective criteria for                 determine rates of selenium                           clam-based fish modeling represented
                                                      selenium in order to help ensure the                     transformation between dissolved and                  white and juvenile green sturgeon,
                                                      continued protection of these vulnerable                 particulate phases, the model can                     important species in the estuary that
                                                      species and associated designated uses.                  predict how efficiently selenium enters               EPA determined are the most vulnerable
                                                                                                               the base of the food web. Once selenium               clam-eating fish species. Although
                                                      B. Administrator’s Determination of                      enters the food web, using site-specific              white sturgeon are not listed under the
                                                      Necessity                                                trophic transfer factors, which relate                ESA, green sturgeon are threatened and
                                                         Because California’s existing aquatic                 selenium concentrations in a species to               the estuary is designated as critical
                                                      life criteria for selenium in the salt and               selenium concentrations in its food, the              habitat for the species. Since other
                                                      estuarine waters of the San Francisco                    model can predict how efficiently                     important vulnerable fish species in the
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      Bay, upstream to and including Suisun                    selenium moves up into prey food and                  estuary such as Sacramento splittail
                                                      Bay and the Sacramento-San Joaquin                       to a predator species. Alternatively, a               consume less Corbula than sturgeon, the
                                                      Delta, as promulgated by EPA in the                      protective tissue level of selenium in an
                                                      NTR, are not protective of the applicable                upper trophic level fish species or in a                14 Final Aquatic Life Ambient Water Quality

                                                      designated uses per the CWA and EPA’s                    terrestrial wildlife species (any predator            Criterion for Selenium—Freshwater 2016, EPA 822–
                                                      regulations at 40 CFR 131.11, EPA                        species) can be used to back-calculate                R–16–006, US EPA, Office of Water, 2016,
                                                                                                                                                                     Washington, DC.
                                                      determines under CWA section                             and predict the protective concentration                15 EPA Action on the Gilbert Bay Selenium
                                                      303(c)(4)(B) that new or revised WQS                     of selenium in the species’ prey, and the             Criterion and Footnote (14), and Enclosure, US EPA
                                                      for the protection of aquatic life and                   protective concentration of dissolved                 Region 8, 2011, Denver, Colorado.



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                                                                                 Federal Register / Vol. 81, No. 136 / Friday, July 15, 2016 / Proposed Rules                                         46037

                                                      other species should be protected if                     D. Proposed Criteria                                  be exceeded. The proposed chronic
                                                      sturgeon are protected.                                     Water quality criteria establish the               water column criterion is a dissolved
                                                         EPA modeled two clam-based food                       maximum allowable pollutant level that                selenium criterion of 0.2 mg/L, and the
                                                      web scenarios for at-risk avian wildlife                 is protective of the designated uses of a             proposed particulate criterion is 1 mg/g.
                                                      to represent two different patterns of                   water body. States (or in this case, EPA)             Each of these two values is a 30-day
                                                      avian clam-consumption in the estuary.                   adopt criteria as part of water quality               average, not to be exceeded more than
                                                      The California Ridgway’s rail (formerly                  standards. Under the CWA, water                       once in three years.
                                                      the California clapper rail) is a small,                 quality standards are used to derive                     Although selenium may cause acute
                                                      endangered, indigenous bird that lives                   effluent limitations in permits for point             toxicity at high concentrations, i.e.,
                                                      year-round in the estuary and eats                       source dischargers, thereby limiting the              toxicity from a brief but highly elevated
                                                      mostly mollusks, but only a small                        amount of pollutants that may be                      concentration of selenium in the water,
                                                      percentage of Corbula. The five species                  discharged into a water body to                       chronic dietary exposure poses the
                                                      of migratory diving waterfowl, greater                   maintain its designated uses. EPA is                  highest risk to aquatic life and aquatic-
                                                      and lesser scaup and white-winged,                       proposing selenium water quality                      dependent wildlife. Chronic toxicity
                                                      surf, and black scoter, live part-time in                criteria for the San Francisco Bay and                occurs primarily through maternal
                                                      the estuary, but up to 90% of their diet                 Delta in tissue and in the water column               transfer of selenium to eggs and causes
                                                      may consist of Corbula from the estuary.                 (both dissolved and particulate                       subsequent reproductive effects. These
                                                      These differences in living and eating                   selenium concentrations). EPA is                      chronic effects are observed at much
                                                      patterns are sufficiently significant that               proposing selenium tissue concentration               lower concentrations than acute effects.
                                                      EPA ran the model for each separately                    criteria because they reflect biological              Aquatic and aquatic-dependent
                                                      to ensure the criteria are protective of all             uptake through diet, the predominant                  communities are expected to be
                                                      avian wildlife in the Bay and Delta                      pathway for selenium toxicity, and                    protected by the chronic criteria from
                                                      estuary.                                                 because they are most predictive of the               any potential acute effects of selenium
                                                         Lastly, EPA modeled insect-eating                     observed biological endpoint of                       and an acute toxicity criterion is not
                                                      fish to represent two important                          concern: reproductive toxicity.
                                                                                                                                                                     pertinent for regulatory purposes.
                                                      anadromous species, the endangered                       However, tissue concentrations present
                                                                                                                                                                     However, some high, short-term
                                                      Chinook salmon and the threatened                        challenges when attempting to use them
                                                                                                                                                                     exposures could be detrimental by
                                                      steelhead trout, and an important,                       to regulate or limit sources of pollutants.
                                                                                                                                                                     causing significant long-term, residual,
                                                      threatened, indigenous species in the                    In order to facilitate monitoring and
                                                                                                                                                                     bioaccumulative effects, i.e., by the
                                                                                                               regulation of pollutant discharges, EPA
                                                      estuary, the delta smelt. Since                                                                                introduction of a selenium load into the
                                                                                                               is also proposing dissolved and
                                                      anadromous species use the estuary as                                                                          system. Therefore, EPA is also
                                                                                                               particulate water column selenium
                                                      a migratory corridor, and adults                                                                               proposing an intermittent exposure
                                                                                                               concentration criteria needed to ensure
                                                      returning to spawn do not feed during                                                                          water quality criterion to prevent long-
                                                                                                               the tissue concentration criteria are met.
                                                      in-migration, EPA considered the diet of                                                                       term detrimental effects from these high,
                                                                                                               Because EPA used site-specific species
                                                      juveniles as they out-migrate through                                                                          short-term exposures. EPA derived the
                                                                                                               and hydrologic information in the
                                                      the estuary to the Pacific Ocean. Delta                                                                        proposed intermittent criterion as a
                                                                                                               Ecosystem-Scale Selenium Model to
                                                      smelt, and juvenile Chinook salmon and                                                                         fraction of the 30-day load based on the
                                                                                                               determine the protective dissolved and
                                                      steelhead trout, consume mainly                                                                                chronic water column criterion, after
                                                                                                               particulate water column and prey
                                                      insects, and do not feed on Corbula.                     selenium concentrations associated with               accounting for the background selenium
                                                         The model results indicate that clam-                 the predator tissue concentrations, EPA               concentration. EPA expects that a short-
                                                      eating fish and clam-eating bird species                 proposes that the criteria in different               term, significantly elevated selenium
                                                      are the most vulnerable species, and                     media are equivalently protective and                 scenario would rarely occur in the San
                                                      require lower dissolved and particulate                  exceedance of any one medium would                    Francisco Bay and Delta due to the large
                                                      water column selenium concentrations                     indicate an impairment of the                         volume of water and tidal influences
                                                      in the estuary than insect-eating fish in                designated use.                                       within the estuary that dilute and flush
                                                      order to ensure that tissue levels stay                     The proposed tissue criteria consist of            selenium loads through the Golden
                                                      below concentrations that may cause                      fish tissue criteria, a whole body                    Gate. EPA is proposing this intermittent
                                                      adverse effects. EPA considered the                      criterion of 8.5 micrograms per gram                  criterion to ensure protection of the
                                                      dissolved water column, particulate                      (mg/g) dry weight (dw) or a muscle                    ecosystem and for consistency with
                                                      water column, and prey-tissue values                     criterion of 11.3 mg/g dw, and a clam (or             EPA’s national recommended aquatic
                                                      necessary to protect all three categories                prey) tissue criterion of 15 mg/g dw. EPA             life criterion for selenium. A summary
                                                      of species in setting the proposed                       is proposing each of these tissue criteria            of the proposed criteria is included in
                                                      regulatory criteria values.                              as an instantaneous measurement not to                Table 2.
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                                                      46038                      Federal Register / Vol. 81, No. 136 / Friday, July 15, 2016 / Proposed Rules




                                                        The proposed criteria apply to all                     estuarine waters in the San Francisco                       Site-Specific Criteria: The regulations
                                                      waters of the San Francisco Bay and                      Bay and Delta where the protection of                    at 40 CFR 131.11 specify requirements
                                                      Delta with salinities of greater than 1                  aquatic life and aquatic-dependent                       for modifying water quality criteria to
                                                      part per thousand (ppt) 95% or more of                   wildlife are designated uses (see The                    reflect site-specific conditions. In the
                                                      the time.                                                Water Quality Control Plan for the San                   context of this rulemaking, a site-
                                                                                                               Francisco Bay/Sacramento-San Joaquin                     specific criterion (SSC) is an alternative
                                                      IV. Implementation and Alternative
                                                      Regulatory Approaches                                    Delta Estuary, SWRCB, December 13,                       value to the federal selenium criteria
                                                                                                               2006). The federal regulations at 40 CFR                 that would be applied on an area-wide
                                                         California will have considerable                     131.10 provide information on                            or water body-specific basis that meets
                                                      discretion to implement these selenium                   establishing, modifying, and removing                    the regulatory test of protecting the
                                                      criteria, once finalized, through various                designated uses. If California removes                   designated uses, being scientifically
                                                      water quality control programs,                          designated uses such that no aquatic life                defensible, and ensuring the protection
                                                      including the NPDES program, which                       or aquatic-dependent wildlife uses                       and maintenance of downstream WQS.
                                                      limits discharges to waters except in                    apply to any particular water body                       A SSC may be more or less stringent
                                                      compliance with an NPDES permit.                         segment affected by this rule and adopts                 than the otherwise applicable federal
                                                      Among other things, EPA’s regulations:                   the highest attainable use,16 and EPA                    criteria. A SSC may be appropriate
                                                      (1) Specify how states and authorized                    finds that removal to be consistent with                 when further scientific data and
                                                      tribes establish, modify or remove                       CWA section 303(c) and the                               analyses can bring added precision to
                                                      designated uses, (2) specify the                         implementing regulations at 40 CFR part                  express the concentration of selenium
                                                      requirements for establishing criteria to                131, then the federal selenium aquatic                   that protects the aquatic life- and
                                                      protect designated uses, including                       life and aquatic-dependent wildlife                      aquatic-dependent wildlife-related
                                                      criteria modified to reflect site-specific               criteria would no longer apply to that                   designated uses in a particular water
                                                      conditions, (3) authorize states and                     water body segment. Instead, any                         body or portion of a water body. Since
                                                      authorized tribes to adopt WQS                           criteria associated with the newly                       the San Francisco Bay and Delta is a
                                                      variances to provide time to achieve the                 designated highest attainable use would                  large water body, a different SSC may be
                                                      applicable WQS, and (4) allow states                     apply to that water body segment.                        appropriate for a small segment of the
                                                      and authorized tribes to include                                                                                  estuary, e.g., South San Francisco Bay,
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      compliance schedules in NPDES                               16 Highest attainable use is the modified aquatic     if differing flow dynamics indicate that
                                                      permits to provide time for dischargers                  life, wildlife, or recreation use that is both closest   different criteria may be more
                                                      to achieve effluent limits based on the                  to the uses specified in section 101(a)(2) of the
                                                                                                               CWA and attainable, based on the evaluation of the
                                                                                                                                                                        appropriate. As discussed in section II.
                                                      applicable WQS. Designated uses, site-                   factor(s) in 40 CFR 131.10(g) that preclude(s)           E., EPA proposes that once EPA
                                                      specific criteria, variances, and                        attainment of the use and any other information or       approves criteria that California adopts
                                                      compliance schedules are discussed in                    analyses that were used to evaluate attainability.       and submits after EPA finalizes this
                                                      more detail below.                                       There is no required highest attainable use where
                                                                                                               the state demonstrates the relevant use specified in
                                                                                                                                                                        proposed rule, the site-specific EPA-
                                                         Designated Uses: EPA’s proposed                       section 101(a)(2) of the CWA and sub-categories of       approved criteria in California’s WQS
                                                      selenium criteria apply to marine and                                                                             would become effective for CWA
                                                                                                                                                                                                                     EP15JY16.097</GPH>




                                                                                                               such a use are not attainable (see 40 CFR 131.3(m)).



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                                                                                 Federal Register / Vol. 81, No. 136 / Friday, July 15, 2016 / Proposed Rules                                           46039

                                                      purposes and EPA’s promulgated                           permits. EPA’s approval of the state’s or             column criterion because particulate
                                                      criteria would no longer apply.                          authorized tribe’s permit CSAP as a                   data are not available and because the
                                                         Variances: EPA’s regulations at 40                    WQS pursuant to 40 CFR 131.15 ensures                 state has discretion concerning
                                                      CFR part 131.14 authorize states and                     that any NPDES permit that contains a                 implementation. This analysis is
                                                      authorized tribes to adopt WQS                           compliance schedule meets the                         documented in Economic Analysis for
                                                      variances to provide time to achieve the                 requirement that the WQBEL and any                    Proposed Aquatic Life and Aquatic-
                                                      applicable WQS. 40 CFR part 131                          compliance deadlines derive from and                  Dependent Wildlife Criteria for
                                                      defines WQS variances at 131.3(o) as                     comply with applicable WQS.                           Selenium in the San Francisco Bay and
                                                      time-limited designated uses and                            California is authorized to administer             Delta, California (prepared for EPA by
                                                      supporting criteria for a specific                       the NPDES program in the state, and has               Abt Associates in Partnership with PG
                                                      pollutant(s) or water quality                            adopted several mechanisms to                         Environmental, LLC, June, 2016), which
                                                      parameters(s) that reflect the highest                   authorize compliance schedules in                     can be found in the docket for this
                                                      attainable conditions during the term of                 NPDES permits. In 2008, California                    rulemaking.
                                                      the WQS variance. WQS variances                          adopted a statewide CSAP that EPA                        NPDES-permitted facilities that
                                                      adopted in accordance with 40 CFR part                   subsequently approved under CWA                       discharge selenium to affected portions
                                                      131 allow states and authorized tribes to                section 303(c), the Policy for                        of the Bay and Delta could potentially
                                                      address water quality challenges in a                    Compliance Schedules in National                      incur compliance costs. The types of
                                                      transparent and predictable way.                         Pollutant Discharge Elimination System                affected facilities could include
                                                      Variances help states and authorized                     Permits, SWRCB Resolution No. 2008–                   industrial facilities and POTWs
                                                      tribes focus on making incremental                       0025, April 15, 2008. This EPA-                       discharging wastewater to surface
                                                      progress in improving water quality,                     approved regulation authorizes the use                waters (i.e., point sources). EPA expects
                                                      rather than pursuing a downgrade of the                  of permit compliance schedules                        that dischargers will use the same types
                                                      underlying water quality goals through                   consistent with 40 CFR 131.15, and is                 of controls as they are currently using to
                                                      a designated use change, when the                        not affected by this rule. The CSAP will              comply with existing selenium criteria
                                                      current designated use is difficult to                   allow California to grant compliance                  applicable to the Bay and Delta, to come
                                                      attain. EPA is proposing criteria that                   schedules, as appropriate, based on the               into compliance with the revised
                                                      apply to use designations that California                federal selenium criteria for the Bay and             criteria. Since the state recently adopted
                                                      has already established. California                      Delta, once these criteria are finalized              the North San Francisco Bay Selenium
                                                      currently has authority to use variances                 (see letters dated May 20, 2016 and May               TMDL, and the TMDL requirements and
                                                      when implementing the criteria, as long                  27, 2016 from the SWRCB to EPA in the                 underlying analyses indicate that
                                                      as such variances are adopted consistent                 docket for this rule).                                current ambient water quality
                                                      with 40 CFR 131.14 (see Policy for                                                                             conditions (dissolved selenium levels at
                                                                                                               V. Endangered Species Act
                                                      Implementation of Toxics Standards for                                                                         or below 0.2 mg/L) will be maintained,
                                                      Inland Surface Waters, Enclosed Bays,                      Pursuant to section 7(a) of the ESA,                EPA did not include costs associated
                                                      and Estuaries of California, Section 5.3,                EPA is consulting with the FWS and                    with point sources covered in the TMDL
                                                      SWRCB, March 2, 2000, amended                            NMFS concerning EPA’s rulemaking                      analysis.
                                                      February 24, 2005; and Procedures for                    action for selenium water quality                        EPA did not identify incremental
                                                      Case-by-Case Exceptions from Criteria/                   criteria in the San Francisco Bay and                 compliance costs for nonpoint sources.
                                                      Objectives, SWRCB, April 15, 2008).                      Delta. EPA will initiate informal                     Unlike point sources, California
                                                      California may use EPA-approved                          consultation, and will transmit to the                typically does not require nonpoint
                                                      variance procedures, with respect to a                   Services documentation that supports                  sources to achieve numeric WQBELs;
                                                      temporary modification of its uses as it                 the selenium water quality criteria in                instead, these sources often have best
                                                      pertains to any federal criteria, when                   this proposed rule. As a result of this               management practice (BMP)
                                                      adopting such variances.                                 consultation, EPA may modify some                     requirements, as well as load allocations
                                                         Compliance Schedules: EPA’s                           provisions of this proposed rule. The                 associated with TMDLs. Regional
                                                      regulations at 40 CFR 122.47 and 40                      basis for the selenium criteria in this               Boards have already established TMDLs
                                                      CFR 131.15 allow states and authorized                   proposed rule stems from many years of                for selenium in the Lower San Joaquin
                                                      tribes to include permit compliance                      ongoing collaboration between EPA and                 River and the North San Francisco Bay,
                                                      schedules in their NPDES permits,                        the Services. EPA, FWS and NMFS will                  and EPA assumes the proposed
                                                      when appropriate, in order to                            continue to work closely together on                  selenium criteria will not result in the
                                                      accommodate a discharger’s need for                      this ESA consultation process.                        need for additional controls by nonpoint
                                                      additional time to meet its water                                                                              sources in those areas. It is uncertain to
                                                                                                               VI. Economic Analysis
                                                      quality-based effluent limits (WQBELs)                                                                         what extent nonpoint sources contribute
                                                      implementing applicable WQS (such as                       POTWs and industrial point sources                  selenium loadings to the Lower and
                                                      time needed for facility upgrades and                    that discharge to the Bay and Delta may               South San Francisco Bay. EPA assumes
                                                      operational changes).                                    incur some incremental compliance                     that naturally-occurring selenium may
                                                         In 1990, EPA concluded that before a                  actions and costs as a result of the                  be the primary source of selenium in the
                                                      permitting authority can include a                       proposed criteria. California has NPDES               Lower and South San Francisco Bay,
                                                      compliance schedule for a WQBEL in an                    permitting authority for these                        and as such, the incremental controls
                                                                                                               dischargers, and retains considerable                 and costs for nonpoint sources as a
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                                                      NPDES permit, the state or authorized
                                                      tribe must authorize its use in its WQS                  discretion in implementing standards.                 result of the proposed criteria will not
                                                      or implementing regulations.17 A permit                  EPA evaluated the potential costs to the              be significant.
                                                      compliance schedule authorizing                          municipal and industrial NPDES
                                                                                                               dischargers associated with state                     A. Identifying Affected Entities
                                                      provision (CSAP) authorizes, but does
                                                      not require, the permit issuing authority                implementation of EPA’s proposed                        Potentially affected facilities include
                                                      to include compliance schedules in                       dissolved water column criterion. EPA                 those discharging to waters subject to
                                                                                                               did not evaluate the potential costs                  the proposed criteria (i.e., marine or
                                                        17 In the Matter of Star-Kist Caribe, Inc. 3 EAD       associated with state implementation of               estuarine waters) that are not already
                                                      172 (April 16, 1990).                                    EPA’s proposed particulate water                      included in the North San Francisco


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                                                      46040                           Federal Register / Vol. 81, No. 136 / Friday, July 15, 2016 / Proposed Rules

                                                      Bay Selenium TMDL. EPA identified 16                          proposed rule may include process                    PRA. While actions to implement these
                                                      such point source facilities, all                             optimization, source controls, end-of-               WQS could entail additional paperwork
                                                      discharging to the Lower and South San                        pipe treatment, and alternative                      burden, this action does not directly
                                                      Francisco Bay. Of these potentially                           compliance mechanisms (e.g., site-                   contain any information collection,
                                                      affected facilities, 14 are POTWs and 2                       specific criteria, variances, and dilution           reporting, or record-keeping
                                                      are industrial dischargers (the San                           credits). For plants discharging at levels           requirements.
                                                      Francisco International Airport and the                       above California’s minimum
                                                      Bottling Group, LLC). Table 3                                                                                      C. Regulatory Flexibility Act (RFA)
                                                                                                                    quantitation level, EPA has assumed
                                                      summarizes these potentially affected                         that the facility will pursue                           I certify that this action will not have
                                                      facilities by type and category.                              conventional treatment methods to                    a significant economic impact on a
                                                                                                                    comply with the projected effluent                   substantial number of small entities
                                                         TABLE 3—POTENTIALLY AFFECTED                               limitations. Facilities operating below              under the RFA. This action will not
                                                                  FACILITIES                                        the quantitation level are discharging               impose any requirements on small
                                                                                                                    near the projected limitations, and EPA              entities. Small entities, such as small
                                                             Category                 Minor     Major        All    has assumed that compliance is likely to             businesses or small governmental
                                                                                                                    be achievable using process                          jurisdictions, are not directly regulated
                                                      Municipal .................         1        13          14                                                        by this rule.
                                                                                                                    optimization methods. EPA annualized
                                                      Industrial .................        1         1           2
                                                                                                                    capital costs over 20 years using a 3%               D. Unfunded Mandates Reform Act
                                                            Total .................       2        14          16   discount rate to obtain total annual costs           (UMRA)
                                                                                                                    per facility.
                                                                                                                                                                           This action does not contain any
                                                      B. Method for Estimating Costs                                C. Results                                           unfunded mandate as described in
                                                         For all potentially affected facilities,                      Of the 16 potentially affected facilities         UMRA, 2 U.S.C. 1531–1538, and does
                                                      EPA used the last five years of effluent                      that EPA identified, 14 were found to                not significantly or uniquely affect small
                                                      data (when available) and ambient                             have reasonable potential to cause or                governments. As these water quality
                                                      monitoring data from the relevant                             contribute to an excursion above the                 criteria are not self-implementing, the
                                                      monitoring station to determine whether                       proposed criterion. For compliance with              action imposes no enforceable duty on
                                                      there is reasonable potential for the                         revised WQBELs under the proposed                    any state, local or tribal governments or
                                                      facility to cause or contribute to an                         rule, EPA estimates the total annual cost            the private sector.
                                                      excursion above the proposed dissolved                        to be approximately $16 million across
                                                      water column criterion for selenium.                                                                               E. Executive Order 13132 (Federalism)
                                                                                                                    the 14 facilities. Of these costs, nearly
                                                      For those facilities that have reasonable                                                                             This action does not have federalism
                                                                                                                    all are attributable to POTW dischargers
                                                      potential, EPA calculated projected                                                                                implications. It will not have substantial
                                                                                                                    (i.e., 13 POTWs and one industrial
                                                      effluent limits. EPA conducted                                                                                     direct effects on the states, on the
                                                                                                                    facility, the San Francisco International
                                                      reasonable potential analyses and                                                                                  relationship between the national
                                                                                                                    Airport).
                                                      calculated effluent limitations for each                                                                           government and the states, or on the
                                                      facility based on California’s permitting                     VII. Statutory and Executive Orders                  distribution of power and
                                                      practices.18 In instances where the                                                                                responsibilities among the various
                                                                                                                    A. Executive Order 12866 (Regulatory
                                                      facility’s maximum effluent selenium                                                                               levels of government. This rule does not
                                                                                                                    Planning and Review) and Executive
                                                      concentration exceeded the projected                                                                               alter California’s considerable discretion
                                                      effluent limitations under the proposed                       Order 13563 (Improving Regulation and
                                                                                                                    Regulatory Review)                                   in implementing these WQS, nor would
                                                      criterion, EPA determined the likely                                                                               it preclude California from adopting
                                                      compliance scenarios and costs.                                 This action is not a significant                   WQS that meet the requirements of the
                                                      Following California’s Policy for                             regulatory action and was, therefore, not            CWA, either before or after
                                                      Implementation of Toxics Standards for                        submitted to the Office of Management                promulgation of the final rule, which
                                                      Inland Surface Waters, Enclosed Bays,                         and Budget (OMB) for review. The                     would eliminate the need for federal
                                                      and Estuaries of California may result in                     proposed rule does not establish any                 standards upon EPA approval of the
                                                      a conservative evaluation for some point                      requirements directly applicable to                  state WQS. Thus, Executive Order
                                                      sources. However, the Regional Boards                         regulated entities or other sources of               13132 does not apply to this action.
                                                      have substantial discretion to apply                          toxic pollutants. However, these WQS                    In the spirit of Executive Order 13132
                                                      other implementing permitting                                 may serve as a basis for development of              and consistent with EPA policy to
                                                      procedures that are consistent with the                       NPDES permit limits. California has                  promote communications between EPA
                                                      Policy’s requirements, and may elect to                       NPDES permitting authority, and retains              and state and local governments, EPA
                                                      follow different methods to determine                         considerable discretion in implementing              specifically solicits comments on this
                                                      whether effluent limits are necessary                         WQS. In the spirit of Executive Order                proposed action from state and local
                                                      and/or the value of the effluent                              12866, EPA evaluated the potential                   officials.
                                                      limitations. These alternative methods                        costs to NPDES dischargers associated
                                                      may result in fewer facilities requiring                      with state implementation of EPA’s                   F. Executive Order 13175 (Consultation
                                                      action and/or less stringent permit                           proposed criteria. This analysis,                    and Coordination With Indian Tribal
                                                      limitations.                                                  Economic Analysis for Proposed                       Governments)
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                                                         EPA assumed that dischargers would                         Aquatic Life and Aquatic-Dependent                      This action does not have tribal
                                                      pursue the least cost means of                                Wildlife Criteria for Selenium in the San            implications as specified in Executive
                                                      compliance with WQBELs. Incremental                           Francisco Bay and Delta, California, is              Order 13175. This proposed rule does
                                                      compliance actions attributable to the                        summarized in section VI. of the                     not impose substantial direct
                                                                                                                    preamble and is available in the docket.             compliance costs on federally
                                                         18 Pursuant to the Policy for Implementation of
                                                                                                                                                                         recognized tribal governments, nor does
                                                      Toxics Standards for Inland Surface Waters,                   B. Paperwork Reduction Act (PRA)                     it substantially affect the relationship
                                                      Enclosed Bays, and Estuaries of California, SWRCB,
                                                      California Environmental Protection Agency, March               This action does not impose an                     between the federal government and
                                                      2, 2000, amended February 24, 2005.                           information collection burden under the              tribes, or the distribution of power and


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                                                                                 Federal Register / Vol. 81, No. 136 / Friday, July 15, 2016 / Proposed Rules                                                                46041

                                                      responsibilities between the federal                         significant regulatory action under                             Dated: June 30, 2016.
                                                      government and tribes. Thus, Executive                       Executive Order 12866.                                        Gina McCarthy,
                                                      Order 13175 does not apply to this                                                                                         Administrator.
                                                      action.                                                      I. National Technology Transfer and
                                                         Consistent with the EPA Policy on                         Advancement Act of 1995                                         For the reasons set forth in the
                                                      Consultation and Coordination with                                                                                         preamble, EPA proposes to amend 40
                                                                                                                     This proposed rulemaking does not                           CFR part 131 as follows:
                                                      Indian Tribes, EPA consulted with tribal
                                                                                                                   involve technical standards.
                                                      officials during the development of this
                                                      action. EPA will continue to                                                                                               PART 131—WATER QUALITY
                                                                                                                   J. Executive Order 12898 (Federal
                                                      communicate with the tribes prior to its                                                                                   STANDARDS
                                                                                                                   Actions To Address Environmental
                                                      final action.                                                Justice in Minority Populations and
                                                                                                                   Low-Income Populations)                                       ■ 1. The authority citation for part 131
                                                      G. Executive Order 13045 (Protection of                                                                                    continues to read as follows:
                                                      Children From Environmental Health                              The human health or environmental
                                                      and Safety Risks)                                                                                                              Authority: 33 U.S.C. 1251 et seq.
                                                                                                                   risk addressed by this action will not
                                                        The EPA interprets Executive Order                         have potential disproportionately high                        Subpart D—Federally Promulgated
                                                      13045 as applying only to those                              and adverse human health or                                   Water Quality Standards
                                                      regulatory actions that concern                              environmental effects on minority, low-
                                                      environmental health or safety risks that                    income or indigenous populations. The                         ■ 2. Section 131.36 is amended by
                                                      the EPA has reason to believe may                            criteria in this proposed rule will                           revising paragraph (d)(10)(ii) table entry
                                                      disproportionately affect children, per                      support the health and abundance of                           for ‘‘Waters of San Francisco Bay
                                                      the definition of ‘‘covered regulatory                       aquatic life and aquatic-dependent                            upstream to and including Suisun Bay
                                                      action’’ in section 2–202 of the                             wildlife in the San Francisco Bay and                         and the Sacramento-San Joaquin Delta’’
                                                      Executive Order. This action is not                          Delta and will, therefore, benefit all                        to read as follows:
                                                      subject to Executive Order 13045                             communities that rely on these
                                                      because it does not concern an                                                                                             § 131.36 Toxics criteria for those states
                                                                                                                   ecosystems.                                                   not complying with Clean Water Act section
                                                      environmental health risk or safety risk.
                                                                                                                                                                                 303(c)(2)(B).
                                                                                                                   List of Subjects in 40 CFR Part 131
                                                      H. Executive Order 13211 (Actions That                                                                                     *        *   *        *   *
                                                      Significantly Affect Energy Supply,                            Environmental protection, Indians-
                                                      Distribution, or Use)                                                                                                          (d) * * *
                                                                                                                   lands, Intergovernmental relations,
                                                        This action is not subject to Executive                    Reporting and recordkeeping                                       (10) * * *
                                                      Order 13211, because it is not a                             requirements, Water pollution control.                            (ii) * * *

                                                                              Water and use classification                                                                           Applicable criteria


                                                              *                  *                  *                 *                   *                     *                   *
                                                      Waters of San Francisco Bay upstream to and including Suisun Bay These waters are assigned the criteria in:
                                                       and the Sacramento-San Joaquin Delta.                            Column B1—pollutants 5a, 10 a and 14
                                                                                                                        Column B2—pollutants 5a, 10 a and 14
                                                                                                                        Column D2—pollutants 1, 12, 17, 18, 21, 22, 29, 30, 32, 33, 37, 38,
                                                                                                                          42–44, 46, 48, 49, 54, 59, 66, 67, 68, 78–82, 85, 89, 90, 91, 93, 95,
                                                                                                                          96, 98

                                                                *                           *                           *                          *                        *                      *                     *
                                                          a These
                                                                freshwater selenium criteria are only applicable to the extent that the criteria under 40 CFR 131.38(b)(3) are not applicable (i.e., they
                                                      are only applicable in fresh waters).


                                                      *     *     *     *      *                                   Bay and the Sacramento-San Joaquin                            Bay, upstream to and including Suisun
                                                      ■ 3. Section 131.38 is amended as                            Delta; and waters of Salt Slough, Mud                         Bay and the Sacramento-San Joaquin
                                                      follows:                                                     Slough (north) and the San Joaquin                            Delta; and waters of Salt Slough, Mud
                                                      ■ a. Revise paragraph (b)(1) table                           River, Sack Dam to the mouth of the                           Slough (north) and the San Joaquin
                                                      footnotes ‘‘p’’ and ‘‘q’’;                                   Merced River. The criteria set out in 40                      River, Sack Dam to Vernalis. The
                                                      ■ b. Add paragraph (b)(3);                                   CFR 131.38(b)(3) apply to the salt and                        criteria set out in 40 CFR 131.38(b)(3)
                                                      ■ c. Revise paragraph (c)(3)(ii);                            estuarine waters of the San Francisco
                                                      ■ d. Add paragraphs (c)(3)(iv) and (v).
                                                                                                                                                                                 apply to the salt and estuarine waters of
                                                                                                                   Bay, upstream to and including Suisun                         the San Francisco Bay, upstream to and
                                                      § 131.38 Establishment of numeric criteria                   Bay and the Sacramento-San Joaquin                            including Suisun Bay and the
                                                      for priority toxic pollutants for the State of               Delta, subject to 40 CFR 131.38(c)(3)(v).                     Sacramento-San Joaquin Delta, subject
                                                      California.                                                  The State of California adopted and EPA
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                                                                                                                                                                                 to 40 CFR 131.38(c)(3)(v). The State of
                                                      *     *     *    *     *                                     approved a site specific criterion for the                    California adopted and EPA approved a
                                                        (b)(1) * * *                                               San Joaquin River, mouth of Merced to
                                                                                                                                                                                 site-specific criterion for the Grasslands
                                                        Footnotes to Table in Paragraph (b)(1):                    Vernalis; therefore, the criterion
                                                                                                                                                                                 Water District, San Luis National
                                                      *     *     *    *     *                                     referenced by this footnote does not
                                                                                                                   apply to these waters.                                        Wildlife Refuge, and the Los Banos State
                                                        p. The [Reserved] criterion referenced
                                                                                                                                                                                 Wildlife Refuge; therefore, the criterion
                                                      by this footnote does not supersede any                        q. The 5 mg/L criterion referenced by
                                                                                                                                                                                 referenced by this footnote does not
                                                      selenium criterion set out in 40 CFR                         this footnote does not supersede any
                                                      131.36 for: Waters of the San Francisco                      selenium criterion set out in 40 CFR                          apply to these waters.
                                                      Bay, upstream to and including Suisun                        131.36 for: Waters of the San Francisco                       *     *      *     *    *


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                                                      46042                      Federal Register / Vol. 81, No. 136 / Friday, July 15, 2016 / Proposed Rules

                                                        (3) The selenium criteria in Table 1 to                and including Suisun Bay and the                      thousand 95% or more of the time,
                                                      this paragraph (b)(3) apply to all the                   Sacramento-San Joaquin Delta where                    subject to paragraph (c)(3)(v).
                                                      waters of San Francisco Bay upstream to                  the salinity is greater than 1 part per




                                                         (c) * * *                                             state, except where California adopts                 DEPARTMENT OF HOMELAND
                                                         (3) * * *                                             site-specific selenium criteria for a                 SECURITY
                                                         (ii) For waters in which the salinity is              segment of the estuary that EPA
                                                      equal to or greater than 10 parts per                    determines meet the requirements of                   Coast Guard
                                                      thousand 95% or more of the time, the                    Clean Water Act section 303(c) and 40
                                                      applicable criteria are the saltwater                    CFR part 131, in which case California’s              46 CFR Chapter I
                                                      criteria in Column C.                                    criteria will apply and not the criteria in
                                                      *       *    *      *     *                                                                                    [Docket No. USCG–2016–0669]
                                                                                                               paragraph (b)(3) of this section.
                                                         (iv) Notwithstanding paragraphs                       [FR Doc. 2016–16266 Filed 7–14–16; 8:45 am]           Draft Revisions to the Marine Safety
                                                      (c)(3)(ii) and (iii) of this section, for
                                                                                                               BILLING CODE 6560–50–P                                Manual, Volume III, Parts B and C,
                                                      waters of San Francisco Bay upstream to
                                                                                                                                                                     Change-2
                                                      and including Suisun Bay and the
                                                      Sacramento-San Joaquin Delta with                                                                              AGENCY:  Coast Guard, DHS.
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      salinity greater than 1 part per thousand                                                                      ACTION: Notice of availability with
                                                      95% or more of the time, the selenium                                                                          request for comments.
                                                      criteria provided in paragraph (b)(3) of
                                                      this section are the only applicable                                                                           SUMMARY:   The Coast Guard announces
                                                      selenium criteria, subject to paragraph                                                                        the availability of a draft update to the
                                                      (c)(3)(v).                                                                                                     Marine Safety Manual (MSM), Volume
                                                         (v) The criteria in paragraph (b)(3) of                                                                     III, Marine Industry Personnel, and the
                                                      this section apply concurrently with any                                                                       corresponding Commandant Change
                                                      water quality criteria adopted by the                                                                          Notice that highlights the changes made
                                                                                                                                                                                                                 EP15JY16.098</GPH>




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Document Created: 2016-07-15 02:53:18
Document Modified: 2016-07-15 02:53:18
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesComments must be received on or before September 13, 2016.
ContactErica Fleisig, Office of Water, Standards and Health Protection Division (4305T), U.S. Environmental Protection Agency, 1200 Pennsylvania Avenue NW., Washington, DC 20460;
FR Citation81 FR 46030 
RIN Number2040-AF61

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