81_FR_46990 81 FR 46852 - Approval and Revision of Air Plans; Arizona; Regional Haze State and Federal Implementation Plans; Reconsideration

81 FR 46852 - Approval and Revision of Air Plans; Arizona; Regional Haze State and Federal Implementation Plans; Reconsideration

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 81, Issue 138 (July 19, 2016)

Page Range46852-46865
FR Document2016-16959

The Environmental Protection Agency (EPA) is proposing to approve a source-specific revision to the Arizona State Implementation Plan (SIP) that addresses requirements for best available retrofit technology (BART) at Cholla Generating Station (Cholla). The EPA proposes to find that the SIP revision fulfills the requirements of the Clean Air Act (CAA) and the EPA's Regional Haze Rule (RHR) for BART at Cholla. In conjunction with this proposed approval, we propose to withdraw those portions of the federal implementation plan (FIP) that address BART for Cholla. We previously partially granted petitions for reconsideration of that FIP from Cholla's owners, Arizona Public Service Company (APS) and PacifiCorp. We are now proposing to find that final withdrawal of the FIP, as it applies to Cholla, would constitute our action on APS's and PacifiCorp's petitions for reconsideration of the FIP.

Federal Register, Volume 81 Issue 138 (Tuesday, July 19, 2016)
[Federal Register Volume 81, Number 138 (Tuesday, July 19, 2016)]
[Proposed Rules]
[Pages 46852-46865]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-16959]



[[Page 46852]]

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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 52

[EPA-R09-OAR-2016-0292; FRL-9949-06-Region 9]


Approval and Revision of Air Plans; Arizona; Regional Haze State 
and Federal Implementation Plans; Reconsideration

AGENCY: Environmental Protection Agency (EPA).

ACTION: Proposed rule.

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SUMMARY: The Environmental Protection Agency (EPA) is proposing to 
approve a source-specific revision to the Arizona State Implementation 
Plan (SIP) that addresses requirements for best available retrofit 
technology (BART) at Cholla Generating Station (Cholla). The EPA 
proposes to find that the SIP revision fulfills the requirements of the 
Clean Air Act (CAA) and the EPA's Regional Haze Rule (RHR) for BART at 
Cholla. In conjunction with this proposed approval, we propose to 
withdraw those portions of the federal implementation plan (FIP) that 
address BART for Cholla. We previously partially granted petitions for 
reconsideration of that FIP from Cholla's owners, Arizona Public 
Service Company (APS) and PacifiCorp. We are now proposing to find that 
final withdrawal of the FIP, as it applies to Cholla, would constitute 
our action on APS's and PacifiCorp's petitions for reconsideration of 
the FIP.

DATES: Written comments must be received on or before September 2, 
2016. Requests for public hearing must be received on or before August 
3, 2016.

ADDRESSES: Submit your comments, identified by Docket ID No. EPA-R09-
OAR-2016-0292 at http://www.regulations.gov, or via email to 
[email protected]. For comments submitted at Regulations.gov, follow 
the online instructions for submitting comments. Once submitted, 
comments cannot be edited or removed from Regulations.gov. For either 
manner of submission, the 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. The 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, please contact the person 
identified in the For Further Information Contact section. For 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.

FOR FURTHER INFORMATION CONTACT: Vijay Limaye, U.S. EPA, Region 9, 
Planning Office, Air Division, Air-2, 75 Hawthorne Street, San 
Francisco, CA 94105. Vijay Limaye can be reached at telephone number 
(415) 972-3086 and via electronic mail at [email protected].

SUPPLEMENTARY INFORMATION: Throughout this document, ``we,'' ``us'' and 
``our'' refer to the EPA.

Table of Contents

I. General Information
II. Background
III. Summary of the Cholla SIP Revision
IV. The EPA's Evaluation of the Cholla SIP Revision
V. Proposed Action
VI. Environmental Justice Considerations
VII. Incorporation by Reference
VIII. Statutory and Executive Order Reviews

I. General Information

A. Definitions

    For the purpose of this document, we are giving meaning to certain 
words or initials as follows:
     The words or initials Act or CAA mean or refer to the 
Clean Air Act, unless the context indicates otherwise.
     The initials ADEQ mean or refer to the Arizona Department 
of Environmental Quality.
     The initials AFUDC mean or refer to Allowance for Funds 
Used During Construction.
     The initials APS mean or refer to Arizona Public Service 
Company.
     The words Arizona and State mean the State of Arizona.
     The initials BART mean or refer to Best Available Retrofit 
Technology.
     The term Class I area refers to a mandatory Class I 
Federal area.\1\
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    \1\ Although states and tribes may designate as Class I 
additional areas which they consider to have visibility as an 
important value, the requirements of the visibility program set 
forth in section 169A of the CAA apply only to ``mandatory Class I 
Federal areas.''
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     The initials CBI mean or refer to Confidential Business 
Information.
     The initials CCM mean or refer to the EPA's Control Cost 
Manual.
     The words EPA, we, us or our mean or refer to the United 
States Environmental Protection Agency.
     The initials FIP mean or refer to Federal Implementation 
Plan.
     The initials LNB mean or refer to low-NOX 
burners.
     The initials MMBtu mean or refer to million British 
thermal units
     The initials NOX mean or refer to nitrogen oxides.
     The initials OFA mean or refer to over fire air.
     The initials PM10 mean or refer to particulate matter with 
an aerodynamic diameter of less than 10 micrometers.
     The initials RHR mean or refer to the EPA's Regional Haze 
Rule.
     The initials RP mean or refer to Reasonable Progress.
     The initials RPG or RPGs mean or refer to Reasonable 
Progress Goal(s).
     The initials SCR mean or refer to Selective Catalytic 
Reduction.
     The initials SIP mean or refer to State Implementation 
Plan.
     The initials SNCR mean or refer to Selective Non-catalytic 
Reduction
     The initials SOFA mean or refer to separated over fire 
air.
     The initials SO2 mean or refer to sulfur dioxide.

B. Docket

    The EPA has established docket number EPA-R09-OAR-2016-0292 for 
this action. Generally, documents in the docket for this action are 
available electronically at http://www.regulations.gov or in hard copy 
at EPA Region IX, 75 Hawthorne Street, San Francisco, California 94105-
3901. While all documents in the docket are listed at http://www.regulations.gov, some information may be publicly available only at 
the hard copy location (e.g., copyrighted material, large maps, multi-
volume reports), and some may not be available in either location 
(e.g., confidential business information (CBI)). To inspect the hard 
copy materials, please schedule an appointment during normal business 
hours with the contact listed in the FOR FURTHER INFORMATION CONTACT 
section.

C. Public Hearings

    If anyone contacts the EPA by August 3, 2016 requesting to speak at 
a public hearing, the EPA will schedule a public hearing and announce 
the hearing in the Federal Register. Contact Vijay Limaye at (415) 972-
3086 or at [email protected] to request a hearing or to determine if 
a hearing will be held.

[[Page 46853]]

II. Background

A. Statutory and Regulatory Background

    This section provides a brief overview of the requirements of the 
CAA and RHR, as they apply to this particular action. Please refer to 
our previous rulemakings on the Arizona Regional Haze SIP for 
additional background regarding the visibility protection provisions of 
the CAA and the RHR.\2\
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    \2\ 77 FR 42834, 42837-42839 (July 20, 2012), (Arizona Regional 
Haze ``Phase 1'' Rule) 77 FR 75704, 75709-75712 (December 21, 2012), 
(Arizona Regional Haze ``Phase 2'' Rule).
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    In section 169A of the 1977 Amendments to the CAA, Congress created 
a program for protecting visibility in the nation's national parks and 
wilderness areas. This section of the CAA establishes as a national 
goal the ``prevention of any future, and the remedying of any existing, 
impairment of visibility in mandatory Class I Federal areas which 
impairment results from manmade air pollution.'' \3\ It also directs 
states to evaluate the use of retrofit controls at certain larger, 
often uncontrolled, older stationary sources in order to address 
visibility impacts from these sources. Specifically, section 
169A(b)(2)(A) of the CAA requires states to revise their SIPs to 
contain such measures as may be necessary to make reasonable progress 
towards the natural visibility goal, including a requirement that 
certain categories of existing major stationary sources built between 
1962 and 1977 (known as ``BART-eligible'' sources) procure, install, 
and operate BART. In the 1990 CAA Amendments, Congress amended the 
visibility provisions in the CAA to focus attention on the problem of 
regional haze, which is visibility impairment produced by a multitude 
of sources and activities located across a broad geographic area.\4\
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    \3\ 42 U.S.C. 7491(a)(1).
    \4\ See CAA section 169B, 42 U.S.C. 7492.
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    In 1999, we promulgated the RHR, which requires states to develop 
and implement SIPs to ensure reasonable progress toward improving 
visibility in mandatory Class I Federal areas (Class I areas) \5\ by 
reducing emissions that cause or contribute to regional haze.\6\ Under 
the RHR, states are directed to conduct an analysis and make a BART 
determination for each BART-eligible source that may be anticipated to 
cause or contribute to any visibility impairment in a Class I area.\7\ 
In particular, under CAA section 169A(g)(2) and 40 CFR 
51.308(e)(1)(ii)(A), states must analyze and consider the following 
five factors as part of each source-specific BART analysis: (1) The 
costs of compliance of each technically feasible control technology, 
(2) the energy and non-air quality environmental impacts of compliance 
of the control technologies, (3) any existing pollution control 
technology in use at the source, (4) the remaining useful life of the 
source, and (5) the degree of improvement in visibility which may 
reasonably be anticipated to result from the use of such technology 
(collectively known as the ``five-factor BART analysis'').
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    \5\ Areas designated as mandatory Class I Federal areas consist 
of national parks exceeding 6000 acres, wilderness areas and 
national memorial parks exceeding 5000 acres, and all international 
parks that were in existence on August 7, 1977. 42 U.S.C. 7472(a). 
When we use the term ``Class I area'' in this action, we mean a 
``mandatory Class I Federal area.''
    \6\ See generally 40 CFR 51.308.
    \7\ 40 CFR 51.308(e).
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    In 2005, the EPA published the Guidelines for BART Determinations 
under the Regional Haze Rule at Appendix Y to 40 CFR part 51 (``BART 
Guidelines'') on July 6, 2005. The BART Guidelines assist states in 
determining which of their sources should be subject to the BART 
requirements and in determining appropriate emission limits for each 
such ``subject-to-BART'' source. In making BART determinations for 
fossil fuel-fired electric generating plants with a total generating 
capacity in excess of 750 megawatts, states must use the approaches set 
forth in the BART Guidelines. States are encouraged, but not required, 
to follow the BART Guidelines in making BART determinations for other 
types of sources. In lieu of requiring source-specific BART controls, 
states also have the flexibility to adopt an alternative measure as 
long as the alternative provides greater reasonable progress towards 
natural visibility conditions than BART (i.e., the alternative must be 
``better than BART'').\8\
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    \8\ 40 CFR 51.308(e)(2).
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    In addition to the visibility protection requirements of the CAA 
and the RHR, SIP revisions concerning regional haze are also subject to 
the general requirements of CAA section 110. In particular, they are 
subject to the requirement in CAA section 110(l) that SIP revisions 
must not ``interfere with any applicable requirement concerning 
attainment and reasonable further progress (as defined in [CAA section 
171]), or any other applicable requirement of [the CAA],'' as well as 
the requirement in CAA section 110(a)(2)(A) that SIPs must include 
enforceable emission limits.

B. Cholla Generating Station

    Cholla Generating Station consists of four primarily coal-fired 
electricity generating units with a total plant-wide generating 
capacity of 1,150 megawatts. Unit 1 is a 126 MW tangentially-fired, 
dry-bottom boiler that is not BART-eligible. Units 2, 3 and 4 have 
capacities of 272 MW, 272 MW and 410 MW, respectively, and are 
tangentially-fired, dry-bottom boilers that are each BART-eligible. 
Units 1, 2, and 3 are owned and operated by APS and Unit 4 is owned by 
PacifiCorp and operated by APS.

C. Summary of State Submittals and EPA Actions

1. 2011 Arizona Regional Haze SIP
    On February 28, 2011, the Arizona Department of Environmental 
Quality (ADEQ) submitted a Regional Haze SIP under Section 308 of the 
RHR (``Arizona Regional Haze SIP'') to EPA. This submittal included 
BART analyses and determinations for nitrogen oxides (NOX), 
particulate matter with an aerodynamic diameter of less than 10 
micrometers (PM10), and sulfur dioxide (SO2) at 
Cholla Units 2, 3, and 4. ADEQ's BART analyses for Cholla included the 
following seven steps:
     Step 1: Identify the Existing Control Technologies in Use 
at the Source,
     Step 2: Identify All Available Retrofit Control Options,
     Step 3: Eliminate All Technically Infeasible Control 
Options,
     Step 4: Evaluate Control Effectiveness of Remaining 
Technologies,
     Step 5: Evaluate the Energy and Non-Air Quality 
Environmental Impacts and Document Results,\9\
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    \9\ We note that, while ADEQ referred to its Step 5 as an 
evaluation of energy and non-air quality environmental impacts, this 
step also includes consideration of the costs of compliance and the 
remaining useful life of the source, consistent with the BART 
Guidelines, 40 CFR part 51, appendix Y, section IV.D.4.
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     Step 6: Evaluate Visibility Impacts, and
     Step 7: Select BART.\10\
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    \10\ Arizona Regional Haze SIP Revision, Appendix D, section XI.
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2. 2012 EPA Action on Arizona Regional Haze SIP and FIP
    On December 5, 2012, we issued a final rule approving in part and 
disapproving in part ADEQ's BART determinations for three sources, 
including Cholla.\11\ We found that ADEQ's overall approach to 
conducting BART analyses and its implementation of the first four steps 
of its approach were generally reasonable and consistent with the RHR 
and the BART Guidelines. However, we found significant flaws in ADEQ's 
implementation of the last three steps.

[[Page 46854]]

In particular, under step 5, we found that the costs of compliance were 
not calculated in accordance with the BART Guidelines; under step 6, we 
found that the visibility benefits were not appropriately evaluated and 
considered; and under step 7, we found that ADEQ did not provide a 
sufficient explanation and rationale for its determinations.\12\ As a 
result of these flaws, we disapproved ADEQ's BART determinations for 
NOX at Cholla Units 2, 3, and 4. We also found that the SIP 
lacked enforceable emission limits for all units and pollutants. In the 
same action, we promulgated a FIP for the disapproved portions of the 
SIP, including NOX BART determinations for Units 2, 3, and 
4. We determined that BART for NOX at Units 2, 3, and 4 was 
an emission limit of 0.055 pounds per million British thermal units 
(lb/MMBtu) determined as an average across the three units, based on a 
rolling 30-boiler-operating-day average, which is achievable with the 
use of low-NOX burners (LNB), overfire air (OFA) and 
selective catalytic reduction (SCR). The compliance date for the 
NOX BART emission limit is December 5, 2017. In addition, we 
established an SO2 removal efficiency requirement of 95 
percent for the scrubbers on Cholla Units 2, 3 and 4. Cholla Units 3 
and 4 were required to achieve this removal efficiency by December 5, 
2013, and Cholla Unit 2 was required to comply by April 1, 2016. We 
also established requirements for equipment maintenance, monitoring, 
recordkeeping, and reporting for all units and all pollutants.
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    \11\ 77 FR 72511.
    \12\ See 77 FR 42834, 42840-42941.
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3. 2015 APS Application for Significant Permit Revision for Cholla 
Generating Station
    On January 15, 2015, APS and PacifiCorp submitted an ``Application 
for Significant Permit Revision and Five-Factor BART Reassessment for 
Cholla'' to ADEQ. APS and PacifiCorp requested that ADEQ conduct a 
revised BART analysis and determination based on new facts (``BART 
Reassessment'') and submit this BART Reassessment to the EPA as a 
revision to the Arizona Regional Haze SIP. Under the Cholla BART 
Reassessment, APS and PacifiCorp would commit to the following measures 
in lieu of implementing the FIP requirements for the Cholla Generating 
Station:
     Unit 2 would be permanently shut down by April 1, 2016;
     Unit 3 and Unit 4 would continue to operate with currently 
installed LNB and separated over fire air (SOFA). In addition, by April 
30, 2025, APS and PacifiCorp would permanently cease burning coal at 
both units with the option to convert to pipeline-quality natural gas 
by July 31, 2025, with a <=20 percent annual average capacity factor.
4. 2015 Arizona Regional Haze SIP Revision for Cholla Generating 
Station
    On October 22, 2015, ADEQ submitted a revision to the Arizona 
Regional Haze SIP that incorporates the Cholla BART Reassessment 
(``Cholla SIP Revision''). The Cholla SIP Revision is the subject of 
this proposal.

III. Summary of the Cholla SIP Revision

    The Cholla SIP Revision consists of a revised BART analysis and 
determination for NOX at Cholla, an analysis under CAA 
section 110(l), and a revision to Cholla's operating permit (``Cholla 
Permit Revision'') \13\ to implement both the revised BART 
determination for NOX and ADEQ's prior BART determinations 
for SO2 and PM10 at Cholla. If fully approved by 
the EPA, the Cholla SIP Revision would fill the gap in the Arizona 
Regional Haze SIP that resulted from the EPA's disapproval of ADEQ's 
BART determinations for NOX at Cholla Units 2, 3, and 4 and 
the lack of enforceable emission limits for all units and pollutants. 
Accordingly, full approval of the Cholla SIP Revision would enable the 
EPA to withdraw the provisions of the Arizona Regional Haze FIP that 
apply to Cholla.
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    \13\ Cholla BART SIP Revision, Appendix A Significant Permit 
Revision No. 61713 to Operating Permit No. 53399 for Arizona Public 
Service Company Cholla Generating Station (October 16, 2015).
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    In the Cholla SIP Revision, ADEQ determined that, if Unit 2 were 
shut down by April 1, 2016, no BART determination for Unit 2 would be 
necessary ``because the enforceable shutdown date is within the five-
year BART window.'' \14\ For Units 3 and 4, ADEQ performed a revised 
BART analysis, taking into account the new requirements that would be 
imposed as part of the Cholla BART Reassessment. This re-analysis and 
the resulting BART determinations are summarized in the following 
sections.
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    \14\ Cholla SIP Revision, section 2.2, page 4.
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A. BART Re-Analysis for Cholla Units 3 and 4

    ADEQ's BART re-analysis for Units 3 and 4 consists of an evaluation 
of each of the five BART factors, effectively replacing step 5 
(evaluation of costs of compliance, energy and non-air quality 
environmental impacts, and remaining useful life) and step 6 
(evaluation of visibility benefits) of ADEQ's prior BART analysis for 
Cholla in the Arizona Regional Haze SIP.
1. Cost of Compliance
    ADEQ evaluated the costs of compliance for three control options: 
(1) LNB and SOFA, (2) SNCR with LNB and SOFA, and (3) SCR with LNB and 
SOFA. Two fuel-use scenarios were used as a comparison: (1) Twenty 
years of operation on coal and (2) eight years of operation on coal 
followed by twelve years of operation on natural gas (as provided for 
under the BART Reassessment). The cost-effectiveness values for each 
control option under each of these scenarios are shown in Tables 1 and 
2. For all options, the costs associated with the BART Reassessment are 
due to lower utilization periods (coal firing until 2025 instead of for 
20 years) as well as significantly lower NOX emissions after 
conversion to natural gas.

                           Table 1--Cost-Effectiveness of NOX Control Options at Cholla Assuming 20 Years of Operation on Coal
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                                                                              Average                                     Incremental \a\
                                                         -----------------------------------------------------------------------------------------------
                                                                             Emission
          Unit                    Control option                             reduction     Average cost-    Incremental     Incremental     Incremental
                                                            Annual cost     relative to    effectiveness    annual cost      emission          cost-
                                                             ($/year)     baseline  (ton/     ($/ton)        ($/year)        reduction     effectiveness
                                                                               year)                                        (ton/year)        ($/ton)
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3.......................  LNB and SOFA..................        $483,300           1,219            $396  ..............  ..............  ..............
                          SNCR with LNB and SOFA........       3,070,443           1,911           1,607       2,587,143             691           3,742
                          SCR with LNB and SOFA.........       9,448,912           3,300           2,838       8,965,612           2,110           4,248
4.......................  LNB and SOFA..................         673,550           1,756             384  ..............  ..............  ..............

[[Page 46855]]

 
                          SNCR with LNB and SOFA........       4,086,366           2,643           1,546       3,412,816             887           3,848
                          SCR with LNB and SOFA.........      13,590,853           4,408           3,083      12,917,303           2,652           4,871
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\a\ The incremental cost effectiveness results for SNCR and SCR are based on the emission and cost differences between these technologies and the
  proposed LNB + SOFA option.


       Table 2--Cost-Effectiveness of NOX Control Options at Cholla Assuming 8 Years of Operation on Coal and 12 years of Operation on Natural Gas
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                                                                              Average                                       Incremental
                                                         -----------------------------------------------------------------------------------------------
                                                                             Emission
          Unit                    Control option                             reduction     Average cost-    Incremental     Incremental     Incremental
                                                            Annual cost     relative to    effectiveness    annual cost      emission          cost-
                                                             ($/year)     baseline  (ton/     ($/ton)        ($/year)        reduction     effectiveness
                                                                               year)                                        (ton/year)        ($/ton)
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3.......................  LNB and SOFA..................        $411,300             488            $843  ..............  ..............  ..............
                          SNCR with LNB and SOFA........       2,497,743             786           3,177       2,086,443             299           6,989
                          SCR with LNB and SOFA.........       8,716,452           1,387           6,286       8,305,152             899           9,237
4.......................  LNB and SOFA..................         571,550             702             814  ..............  ..............  ..............
                          SNCR with LNB and SOFA........       3,283,930           1,085           3,027       2,712,380             383           7,091
                          SCR with LNB and SOFA.........      12,480,744           1,833           6,810      11,909,194           1,130          10,539
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2. Energy and Non-Air Environmental Impacts
    ADEQ indicated that the energy impacts of LNB, SOFA, and SNCR are 
minimal and that there are no non-air quality environmental impacts 
associated with LNB and SOFA. ADEQ also noted that SNCR and SCR would 
result in ammonia slip and that the transport and handling of anhydrous 
ammonia presents potential safety hazards.
3. Existing Air Pollution Controls
    ADEQ noted that, under the Cholla BART Reassessment, use of the 
existing LNB and SOFA would be continued at Units 3 and 4. ADEQ 
proposed no additional controls for these two units. Unit 2 would be 
shut down in April 2016, while Unit 1 (the non-BART unit) would cease 
burning coal in 2025.
4. Remaining Useful Life
    ADEQ used a 20-year amortization period in order to calculate the 
costs of compliance for Units 3 and 4 because neither unit is subject 
to an enforceable shutdown date.
5. Degree of Visibility Improvement
    ADEQ included the results of modeling conducted by APS and 
PacifiCorp to predict the degree of visibility improvement associated 
with the three BART scenarios. This modeling predicted visibility 
impacts at the thirteen Class I areas within 300 km of the Cholla 
facility under a baseline scenario (based on 2001-2003 emissions with 
all four units operating), as well as the three BART control scenarios:
     BART Option 1: Unit 1 with 2001-2003 baseline controls 
(pre-LNB), Unit 2 shut down, LNB/SOFA on Units 3 and 4;
     BART Option 2: Unit 1 with 2001-2003 baseline controls 
(pre-LNB), Unit 2 shut down, LNB/SOFA and SNCR on Units 3 and 4; and
     BART Option 3: Unit 1 with 2001-2003 baseline controls 
(pre-LNB), Unit 2 shut down, LNB/SOFA and SCR on Units 3 and 4.

APS and PacifiCorp used CALPUFF version 5.8 and incorporated 
meteorological data for 2001-2003, an assumption of 1.0 part per 
billion background concentration for ammonia, and ``Method 8b'' 20 
percent best days background conditions for all cases. The results of 
this modeling are shown in Tables 3 and 4.

                                      Table 3--Predicted Visibility Impacts
                                   [22nd highest delta-dv over 3-year period]
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                                                              BART Option 1     BART Option 2     BART Option 3
              Class I area                    Baseline         (LNB/SOFA)      (LNB/SOFA/SNCR)   (LNB/SOFA/SCR)
----------------------------------------------------------------------------------------------------------------
Petrified Forest NP.....................              5.31              4.33              4.05              3.55
Grand Canyon NP.........................              3.40              1.79              1.62              1.20
Capitol Reef NP.........................              2.19              1.04              0.91              0.62
Mazatzal WA.............................              2.23              0.96              0.87              0.69
Sycamore Canyon WA......................              2.27              1.00              0.88              0.67
Mount Baldy WA..........................              2.10              0.97              0.85              0.62
Gila WA.................................              1.53              0.53              0.47              0.39
Sierra Ancha WA.........................              2.28              1.05              0.97              0.81

[[Page 46856]]

 
Mesa Verde NP...........................              2.08              0.88              0.78              0.60
Galiuro WA..............................              0.96              0.34              0.31              0.27
Superstition WA.........................              2.00              1.00              0.93              0.73
Saguaro NP..............................              0.70              0.22              0.22              0.20
Pine Mountain WA........................              1.64              0.67              0.59              0.48
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                                     Table 4--Predicted Visibility Improvement over the Baseline Visibility Impacts
                                                       [22nd highest delta-dv over 3-year period]
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                                                                  BART Option 1     BART Option 2     BART Option 3     Option 2 over     Option 3 over
                         Class I area                              (LNB/SOFA)     (LNB/SOFA /SNCR)   (LNB/SOFA /SCR)      Option 1          Option 1
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Petrified Forest NP...........................................              0.98              1.26              1.77              0.28              0.79
Grand Canyon NP...............................................              1.61              1.78              2.20              0.17              0.59
Capitol Reef NP...............................................              1.15              1.28              1.57              0.13              0.42
Mazatzal WA...................................................              1.27              1.36              1.54              0.09              0.27
Sycamore Canyon WA............................................              1.27              1.39              1.60              0.12              0.33
Mount Baldy WA................................................              1.14              1.26              1.48              0.12              0.34
Gila WA.......................................................              1.00              1.06              1.14              0.06              0.14
Sierra Ancha WA...............................................              1.22              1.30              1.47              0.08              0.25
Mesa Verde NP.................................................              1.21              1.30              1.49              0.09              0.28
Galiuro WA....................................................              0.62              0.65              0.69              0.03              0.07
Superstition WA...............................................              1.00              1.07              1.28              0.07              0.28
Saguaro NP....................................................              0.48              0.49              0.50              0.01              0.02
Pine Mountain WA..............................................              0.97              1.04              1.16              0.07              0.19
Cumulative....................................................             13.92             15.24             17.89              1.32              3.97
Average.......................................................              1.07              1.17              1.38              0.10              0.31
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B. BART Determination for Cholla Units 3 and 4

    ADEQ's BART determination for Cholla Units 3 and 4 in the Cholla 
SIP Revision effectively replaces step 7 (select BART) of its prior 
BART analysis for NOX BART for Cholla in the Arizona 
Regional Haze SIP. In making this determination, ADEQ compared the 
three emission control options (LNB and SOFA, SNCR with LNB and SOFA, 
SCR with LNB and SOFA). For Option 1, it found that the LNB and SOFA 
controls could be installed at reasonable cost-effectiveness and would 
deliver visibility improvements ranging from 0.48 to 1.61 dv over 
baseline conditions across thirteen Class I areas. For Option 2, it 
found the SNCR control option to be too costly in comparison to the 
small additional visibility benefits it would be expected to deliver. 
For Option 3, ADEQ noted that the visibility benefits of SCR (3.97 dv 
cumulative incremental visibility improvement) would only last until 
2025 when coal firing would cease, after which the incremental benefits 
of SCR would be ``negligible.'' Based on its analysis, ADEQ found 
Option 1 (LNB with SOFA) to be BART for NOX at Cholla Units 
3 and 4. The rolling 30-boiler-operating-day NOX emission 
limits associated with this BART determination are 0.22 lb/MMbtu 
(effective until April 30, 2025), which reflects the use of coal, and 
0.080 lb/MMbtu (effective May 1, 2025), which reflects the use of 
natural gas.

C. 110(l) Analysis

    In addition to the BART re-analysis and determinations, the Cholla 
SIP Revision also includes a demonstration of ``noninterference'' under 
CAA section 110(l). In particular, ADEQ considered whether the Cholla 
SIP Revision would interfere with (1) any applicable requirement 
concerning attainment of any National Ambient Air Quality Standards 
(NAAQS) or (2) any other applicable requirement of the CAA.
1. Demonstration of Noninterference With NAAQS Attainment
    ADEQ noted that Cholla is located in Navajo County, Arizona, which 
is currently designated as attainment or unclassifiable for the 
following NAAQS: Carbon monoxide (CO), lead (Pb), nitrogen dioxide 
(NO2), ozone (O3) (2008 NAAQS), PM2.5 
(1997 and 2006 NAAQS), PM10, and SO2 (1971 
NAAQS). ADEQ also noted that it has recommended an attainment/
unclassifiable designation for this area for the 2012 PM2.5 
and 2010 SO2 standards.
    ADEQ's demonstration of noninterference with attainment focused on 
the NAAQS for PM10, SO2, NO2, and 
O3 because ambient levels of these pollutants are affected 
by emissions of PM10, SO2, and/or NOX. 
Specifically, ADEQ analyzed emissions of PM10, 
SO2, and NOX under the control strategies in the 
Cholla BART Reassessment, as compared with the existing control 
requirements in the applicable SIP and FIP. This assessment was 
conducted by considering revised emissions limits included in the 
Cholla SIP Revision, summarized in Table 5.

[[Page 46857]]



                              Table 5--Emission Limits for Cholla BART Reassessment
----------------------------------------------------------------------------------------------------------------
                                                                        Emission limit  (lb/MMbtu)
              Unit                        Dates         --------------------------------------------------------
                                                                NOX                PM10               SO2
----------------------------------------------------------------------------------------------------------------
Unit 2.........................                          Unit shut down on April 1, 2016
                                --------------------------------------------------------------------------------
Unit 3.........................  until April 30, 2025..               0.22              0.015               0.15
                                 after April 30, 2025..               0.08               0.01             0.0006
Unit 4.........................  until April 30, 2025..               0.22              0.015               0.15
                                 after April 30, 2025..               0.08               0.01             0.0006
----------------------------------------------------------------------------------------------------------------

    For its PM10 analysis, ADEQ found that the emission 
control strategies in the Cholla BART Reassessment will result in 
greater PM10 reductions than those in the Arizona Regional 
Haze SIP beginning in 2016 and continuing into the future, as shown in 
Table 6. Beginning in 2026, PM10 emissions will be further 
reduced under the Cholla BART Reassessment, due to the 20 percent 
capacity factor limit and the more stringent emission limits (0.01 lb/
MMBtu rather than 0.015 lb/MMBtu) that will apply after the switch to 
natural gas at Units 3 and 4. Therefore, ADEQ found that the Cholla SIP 
Revision will not interfere with attainment and maintenance of the 
PM10 NAAQS.

         Table 6--Comparison of Annual PM10 Emissions for 2011 Arizona SIP vs. Cholla BART Reassessment
----------------------------------------------------------------------------------------------------------------
                                                                              Annual PM10 (tons per year (tpy))
                                                                           -------------------------------------
                Time period                             Unit No.                                   Cholla SIP
                                                                               2011 AZ SIP          revision
----------------------------------------------------------------------------------------------------------------
2016.......................................  Unit 1.......................                 84                 84
                                             Unit 2.......................            \a\ 214             \b\ 78
                                             Unit 3.......................                197                197
                                             Unit 4.......................                269                269
                                            --------------------------------------------------------------------
                                                Total.....................                764                628
----------------------------------------------------------------------------------------------------------------
2017-2025..................................  Unit 1.......................                 84                 84
                                             Unit 2.......................                181                  0
                                             Unit 3.......................                197                197
                                             Unit 4.......................                269                269
                                            --------------------------------------------------------------------
                                                Total.....................                731                550
----------------------------------------------------------------------------------------------------------------
2026 forward...............................  Unit 1.......................                 84                 13
                                             Unit 2.......................                181                  0
                                             Unit 3.......................                197                 30
                                             Unit 4.......................                269                 39
                                            --------------------------------------------------------------------
                                                Total.....................                731                 82
----------------------------------------------------------------------------------------------------------------
\a\ Based on compliance date of April 1, 2016 for emissions limit of 0.015 lb/MMBtu.
\b\ Based on operation of Unit 2 until April 1, 2016.

    ADEQ also compared SO2 emission control strategies in 
the 2011 SIP with those in the Cholla BART Reassessment. As shown in 
Table 7, the control strategies in the Cholla BART Reassessment will 
result in greater SO2 reductions than those in the 2011 SIP 
beginning in 2016 and continuing into the future. Therefore, ADEQ found 
that the emissions reductions achieved by the control strategy outlined 
in the Cholla SIP Revision will not interfere with attainment and 
maintenance of the SO2 NAAQS.

          Table 7--Comparison of Annual SO2 Emissions for 2011 Arizona SIP vs. Cholla BART Reassessment
----------------------------------------------------------------------------------------------------------------
                                                                                         Annual SO2  (tpy)
                                                                                 -------------------------------
                  Time period                               Unit No.                                Cholla SIP
                                                                                    2011 AZ SIP      revision
----------------------------------------------------------------------------------------------------------------
2016..........................................  Unit 1..........................             844             844
                                                Unit 2..........................           1,614         \a\ 452
                                                Unit 3..........................           1,966           1,966
                                                Unit 4..........................           2,688           2,688
                                               -----------------------------------------------------------------

[[Page 46858]]

 
                                                   Total........................           7,112           5,950
----------------------------------------------------------------------------------------------------------------
2017-2025.....................................  Unit 1..........................             844             844
                                                Unit 2..........................           1,614               0
                                                Unit 3..........................           1,966           1,966
                                                Unit 4..........................           2,688           2,688
                                               -----------------------------------------------------------------
                                                   Total........................           7,112           5,498
----------------------------------------------------------------------------------------------------------------
2026 forward..................................  Unit 1..........................             844               1
                                                Unit 2..........................           1,614               0
                                                Unit 3..........................           1,966               2
                                                Unit 4..........................           2,688               2
                                               -----------------------------------------------------------------
                                                   Total........................           7,112               5
----------------------------------------------------------------------------------------------------------------
\a\ Based on operation of Unit 2 until April 1, 2016.

    ADEQ also analyzed the emission control strategies for 
NOX in the Cholla BART Reassessment (Unit 2 shutdown and 
LNB/SOFA controls at Units 3 and 4 until conversion to natural gas by 
2025 with a <=20 percent annual average capacity factor) in comparison 
to the FIP, which requires the installation of SCR with LNB and SOFA at 
all units by December 5, 2017. As shown in Table 8, while the shutdown 
of Unit 2 results in lower NOX emissions than the FIP for 
2016, the Reassessment will allow for 4,161 tpy more NOX 
emissions than the FIP between 2018 and 2025. However, after 2025, due 
to the conversion to natural gas, the Cholla BART Reassessment will 
result in greater annual NOX emission reductions than the 
FIP. ADEQ found that, because there are no nonattainment or maintenance 
SIPs that rely on emission reductions at Cholla to ensure continued 
attainment of the NO2 NAAQS and the Cholla BART Reassessment 
will result in NOX emission reductions relative to the 
existing operating conditions of the facility, it will not interfere 
with attainment or maintenance of the current NO2 NAAQS.

                Table 8--Comparison of NOX Annual Emissions for FIP vs. Cholla BART Reassessment
----------------------------------------------------------------------------------------------------------------
                                                                            Annual NOX  (tpy)
                                                        --------------------------------------------------------
                                                                                                Annual emission
           Time period                   Unit No.                                                change (Cholla
                                                              EPA FIP          Cholla BART            BART
                                                                               reassessment     reassessment  to
                                                                                                    EPA FIP)
----------------------------------------------------------------------------------------------------------------
2016.............................  Unit 1..............              1,131              1,131                  0
                                   Unit 2..............              3,601            \a\ 900             -2,701
                                   Unit 3..............              2,766              2,766                  0
                                   Unit 4..............              3,548              3,548                  0
                                  ------------------------------------------------------------------------------
                                      Total............             11,046              8,345             -2,701
----------------------------------------------------------------------------------------------------------------
2017.............................  Unit 1..............              1,131              1,131                  0
                                   Unit 2..............              3,601                  0             -3,601
                                   Unit 3..............              2,766              2,766                  0
                                   Unit 4..............              3,548              3,548                  0
                                  ------------------------------------------------------------------------------
                                      Total............             11,046              7,445             -3,601
----------------------------------------------------------------------------------------------------------------
2018-2025........................  Unit 1..............              1,131              1,131                  0
                                   Unit 2..............                602                  0               -602
                                   Unit 3..............                655              2,766              2,111
                                   Unit 4..............                896              3,548              2,652
                                  ------------------------------------------------------------------------------
                                      Total............              3,284              7,445              4,161
----------------------------------------------------------------------------------------------------------------
2026 forward.....................  Unit 1..............              1,131                105             -1,026
                                   Unit 2..............                602                  0               -602
                                   Unit 3..............                655                244               -411
                                   Unit 4..............                896                308               -588
                                  ------------------------------------------------------------------------------

[[Page 46859]]

 
                                      Total............              3,284                657             -2,627
----------------------------------------------------------------------------------------------------------------
\a\ Based on operation of Unit 2 until April 1, 2016.

    Similarly, with regard to ozone, for which NOX emissions 
are a precursor, ADEQ noted that there are no nonattainment or 
maintenance SIPs that rely on emission reductions at Cholla to ensure 
continued attainment of the NAAQS and that the Cholla BART Reassessment 
will result in greater long-term NOX emission reductions 
than the existing FIP. Accordingly, ADEQ concluded that the Cholla BART 
Reassessment will not interfere with the attainment or maintenance of 
the 2008 ozone NAAQS.
2. Demonstration of Noninterference With Other CAA Requirements
    With regards to the other applicable CAA requirements, ADEQ 
considered whether the Cholla BART Reassessment would interfere with 
(1) the requirements of the Regional Haze program or (2) the CAA's air 
toxics requirements.
    In evaluating potential interference with the RHR, ADEQ relied 
primarily on the results of air quality modeling (using CALPUFF) 
performed by APS and PacifiCorp to assess the visibility impacts of 
Cholla under the Cholla SIP Revision compared to the existing SIP and 
FIP requirements.\15\ These results, summarized in Table 9, show that, 
compared with the existing SIP and FIP requirements, the Cholla SIP 
Revision would result in less visibility improvement at all affected 
Class I areas between 2018 and 2025, but would result in greater 
improvement starting in 2026. Based on these results and taking into 
consideration the long-term goal of the Regional Haze Rule to achieve 
natural visibility conditions, ADEQ found that the BART Reassessment 
will not interfere with the requirements of the regional haze program.
---------------------------------------------------------------------------

    \15\ Id.

                                  Table 9--Modeled Visibility Impacts of Cholla
----------------------------------------------------------------------------------------------------------------
                                                            EPA FIP and     SIP Revision BART  SIP Revision BART
                                                            existing SIP       (2018-2025)       (2026 forward)
                      Class I Area                      --------------------------------------------------------
                                                             Visibility         Visibility         Visibility
                                                            impacts (dv)       impacts (dv)       impacts (dv)
----------------------------------------------------------------------------------------------------------------
Petrified Forest NP....................................               2.64               3.75               1.45
Grand Canyon NP........................................               1.11               1.48               0.45
Capitol Reef NP........................................               0.62               0.92               0.29
Mazatzal WA............................................               0.75               0.83               0.30
Sycamore Canyon WA.....................................               0.73               0.94               0.29
Mount Baldy WA.........................................               0.69               0.87               0.28
Gila WA................................................               0.46               0.47               0.17
Sierra Ancha WA........................................               0.82               0.94               0.36
Mesa Verde NP..........................................               0.63               0.84               0.30
Galiuro WA.............................................               0.29               0.30               0.09
Superstition WA........................................               0.73               0.88               0.30
Saguaro NP.............................................               0.20               0.19               0.05
Pine Mountain WA.......................................               0.51               0.58               0.17
Cumulative impacts.....................................              10.18              12.99               4.50
----------------------------------------------------------------------------------------------------------------

    Concerning air toxics, ADEQ noted that in addition to ceasing 
operation of Unit 2, the Cholla facility proposes to implement sorbent 
injection at Units 1, 3, and 4 by March 2016 to reduce air toxics and 
achieve compliance with the EPA's Mercury and Air Toxics (MATS) rule. 
Therefore, ADEQ concluded that the Cholla BART Reassessment will not 
interfere with any air toxics requirements of the CAA.

D. Cholla Permit Revision

    The Cholla Permit Revision, which is incorporated as Appendix A to 
the Cholla SIP Revision, was issued by ADEQ on October 16, 2015. The 
Permit Revision incorporates emission limits and compliance dates as 
well as monitoring, recordkeeping, and reporting requirements to 
implement both the Cholla BART Reassessment and ADEQ's prior BART 
determinations for SO2 and PM10 at Cholla.

IV. The EPA's Evaluation of the Cholla SIP Revision

    We have evaluated the Cholla SIP Revision for compliance with the 
requirements of the CAA, the RHR, and the BART Guidelines.\16\ Our 
evaluation of each of the major components of the

[[Page 46860]]

Cholla SIP Revision is summarized in the following sections.
---------------------------------------------------------------------------

    \16\ CAA section 169A(b)(2) and 40 CFR 51.308(e)(1)(ii)(B) 
require that BART for each fossil-fuel fired generating power plant 
having a total generating capacity in excess of 750 megawatts be 
determined pursuant to the BART Guidelines. Cholla has a total 
generating capacity in excess of 750 megawatts, so the BART 
Guidelines are mandatory for the Cholla BART analysis and 
determination.
---------------------------------------------------------------------------

A. The EPA's Evaluation of the Enforceable Retirement Provision for 
Cholla Unit 2

    The Cholla Permit Revision requires Unit 2 to be permanently 
retired by no later than April 1, 2016.\17\ This date coincides with 
the compliance deadlines for SO2 and PM10 in the 
Arizona Regional Haze FIP and precedes the deadline for NOX 
by over a year.\18\ In fact, the unit was shut down on October 1, 
2015.\19\ If Unit 2 were not retired, APS would have been required to 
install additional controls to meet the SO2 and 
PM10 limits in the SIP, as well as the NOX limit 
in the FIP, which is achievable with SCR. The requirement for permanent 
retirement will become effective and federally enforceable when the 
Cholla SIP Revision is approved into the SIP and the FIP provisions 
applicable to Cholla are withdrawn.\20\ Accordingly, we agree with ADEQ 
that no further analysis is required for Cholla Unit 2, and we propose 
to approve the requirement for permanent retirement as satisfying the 
requirements of the CAA and RHR for Cholla Unit 2.
---------------------------------------------------------------------------

    \17\ Cholla Permit Revision section I.C.1.
    \18\ See 40 CFR 51.145(f)(4).
    \19\ Letter from Edward Seal, APS, to Kathleen Johnson, EPA, and 
Eric Massey, ADEQ (October 28, 2015).
    \20\ Cholla Permit Revision section I.A.
---------------------------------------------------------------------------

B. The EPA's Evaluation of ADEQ's BART Analysis for Cholla Units 3 and 
4

    We find that ADEQ's BART analysis for Cholla Units 3 and 4 is 
consistent with the requirements of the CAA, RHR, and the BART 
Guidelines. In particular, we find that ADEQ's BART re-analysis 
addresses the flaws that were the basis for our disapproval of ADEQ's 
prior BART analysis for Cholla.\21\
---------------------------------------------------------------------------

    \21\ See 77 FR 42840-42941 and 42849, 77 FR 72565-72566.
---------------------------------------------------------------------------

    With regard to the cost of compliance, in its previous BART 
analysis for Cholla, ADEQ included certain line item costs not allowed 
by the EPA Control Cost Manual (CCM),\22\ such as owner's costs, 
surcharge, and Allowance for Funds Used During Construction 
(AFUDC).\23\ This approach did not comply with BART Guidelines' 
direction that cost estimates should be based on the CCM. In the Cholla 
SIP revision, by contrast, ADEQ used the cost estimates that the EPA 
developed as part of the Regional Haze FIP,\24\ which were calculated 
using the CCM methodology.\25\
---------------------------------------------------------------------------

    \22\ EPA Air Pollution Control Cost Manual, available at https://www3.epa.gov/ttn/ecas/cost_manual.html.
    \23\ See 77 FR 42849.
    \24\ See, e.g., Cholla SIP Revision, Appendix B, Table B-1, 
footnote (a).
    \25\ See 77 FR 42852.
---------------------------------------------------------------------------

    We note that in May 2016, EPA revised the CCM chapter that concerns 
SCR systems.\26\ The revised CCM recommends use of a 30-year equipment 
life for SCR systems,\27\ whereas the previous version recommended a 
20-year life.\28\ As noted above, ADEQ used a 20-year remaining useful 
life in its cost calculations in the Cholla SIP Revision, which was 
consistent with the current CCM recommendation at the time of SIP 
submittal in October 2015. Given that the majority of other BART 
analyses, including the EPA's analysis for Cholla in the Arizona 
Regional Haze FIP,\29\ have used a 20-year remaining useful life for 
SCR, we believe that this remains an appropriate assumption in this 
instance in order to ensure a consistent comparison with the cost 
estimates for SCR in other BART determinations. Nonetheless, we have 
also conducted an additional analysis to evaluate how use of a 30-year 
remaining useful life would affect the cost-effectiveness values for 
SCR at Cholla Units 3 and 4. We found that use of a 30-year remaining 
useful life would increase the average cost-effectiveness of SCR at 
Unit 3 from $6,286/ton to $7,864/ton and the ``incremental'' cost-
effectiveness (as compared with LNB+SOFA) from $9,237/ton to $11,295/
ton.\30\ The average and ``incremental'' (as compared with LNB+SOFA) 
cost-effectiveness of SCR at Unit 4 would be increased from $6,810/ton 
to $8,401/ton and from $10,539 to $12,674, respectively.\31\ Thus, if 
ADEQ had calculated the average and incremental cost-effectiveness of 
SCR based on a 30-year remaining useful life, it would have provided 
further support for ADEQ's determination that the incremental costs of 
compliance for SCR are not warranted by the incremental benefits.
---------------------------------------------------------------------------

    \26\ CCM (7th Edition), Section 4, Chapter 2--Selective 
Catalytic Reduction (May 2016), available at https://www3.epa.gov/ttn/ecas/docs/SCRCostManualchapter7thEdition_2016.pdf.
    \27\ See id. at 2-78 (``broadly speaking, a representative value 
of the equipment life for SCR at power plants can be considered as 
30 years.'')
    \28\ CCM (6th edition), Section 4.2, Chapter 2--Selective 
Catalytic Reduction (October 2000), available at https://www3.epa.gov/ttn/ecas/docs/cs4-2ch2.pdf, at 2-48 (``An economic 
lifetime of 20 years is assumed for the SCR system.'')
    \29\ See 77 FR 42854.
    \30\ See Cholla_SCR_costs (30 yr life).xlsx.
    \31\ Id.
---------------------------------------------------------------------------

    With regard to visibility modeling, in its previous BART analysis 
for Cholla, ADEQ considered the benefits from controls on only one 
emitting unit at a time and overlooked significant benefits at multiple 
Class I areas, thereby understating the full visibility benefits of the 
candidate controls.\32\ By contrast, in the Cholla SIP revision, ADEQ 
looked at the visibility impacts and potential improvements from all 
three BART-eligible units together and also considered impacts and 
potential improvements at all 13 Class I areas within 300 km of Cholla, 
based on modeling performed by APS and PacifiCorp.\33\
---------------------------------------------------------------------------

    \32\ See 77 FR 42849.
    \33\ See, e.g., Cholla SIP Revision, Table 4 and 5.
---------------------------------------------------------------------------

    In considering the results of this modeling, it should be noted 
that the baseline scenario included emissions from Unit 2, but the 
control scenarios did not include any emissions from Unit 2. As a 
result, the total visibility improvement anticipated under each of the 
control scenarios represents not only the visibility benefits of 
controls on Units 3 and 4, but also the visibility benefits of the 
closure of Unit 2. We consider this to be a reasonable approach because 
it is consistent with the requirement of the BART Guidelines for states 
to consider the visibility improvement from controls applied to the 
entire BART-eligible source.\34\ However, given that ADEQ is not making 
a BART determination for Unit 2 in this instance, we believe it is 
appropriate to also consider the visibility improvement expected to 
result from controls on Units 3 and 4 only. ADEQ's evaluation of the 
``incremental'' visibility benefits of SNCR (``Option 2 over Option 1'' 
in Table 4) and SCR (``Option 3 over Option 1'' in Table 4) effectively 
excludes the benefits of the Unit 2 shutdown because Options 1, 2, and 
3 all exclude emissions from Unit 2. Given that ADEQ relied heavily on 
these ``incremental'' visibility benefits in reaching its ultimate BART 
determination,\35\ we find that ADEQ appropriately considered the 
visibility

[[Page 46861]]

benefits of controls on Units 3 and 4 only, as well as the benefits of 
the Cholla BART Reassessment as a whole.
---------------------------------------------------------------------------

    \34\ In particular, the BART Guidelines explain that, ``[i]f the 
emissions from the list of emissions units at a stationary source 
exceed a potential to emit of 250 tons per year for any visibility-
impairing pollutant, then that collection of emissions units is a 
BART-eligible source.'' 40 CFR part 51, appendix Y, section II.A.4. 
In other words, the BART-eligible source (the list of BART emissions 
units at a source) is the collection of units for which one must 
make a BART determination. The BART Guidelines also state ``you must 
conduct a visibility improvement determination for the source(s) as 
part of the BART determination.'' Id, section IV.D.5. This requires 
consideration of the visibility improvement from BART applied to the 
BART-eligible source as a whole.
    \35\ See Cholla SIP Revision section 2.3.
---------------------------------------------------------------------------

    We also note that ADEQ did not quantify the expected visibility 
benefits of SCR and SNCR on Units 3 and 4 after these units are 
converted to gas in 2025, but characterized these benefits as 
``negligible.'' In order to evaluate ADEQ's characterization, we scaled 
the modeled visibility benefits of SCR under the coal-fired scenario to 
roughly estimate what the benefits would be under the gas-fired 
scenario. The results of this scaling indicate that, under the gas-
fired scenario, the approximate benefits of SNCR would be 0.07 dv at 
the most-improved Class I area and 0.31 dv cumulatively over all 
affected Class I areas, while the approximate benefits of SCR would be 
0.15 dv at the most-improved Class I area and 0.77 dv cumulatively over 
all affected Class I areas.\36\ Thus, the benefits of SNCR or SCR under 
the gas-fired scenario would be significantly less than under the coal-
fired scenario, for which the expected ``incremental'' benefits over 
LNB+SOFA are 0.28 dv at the most-improved area and 1.32 dv cumulative 
for SNCR and 0.79 dv at the most-improved Class I area and 3.97 dv 
cumulative for SCR.
---------------------------------------------------------------------------

    \36\ See Cholla_SCR_vs_NG rev2.xlsx.
---------------------------------------------------------------------------

    In the Cholla SIP Revision, ADEQ also appropriately accounted for 
the requirements that will apply to Units 3 and 4 as of 2025, i.e., the 
permanent cessation of coal burning by April 30, 2025, with the option 
to convert to pipeline-quality natural gas and comply with a 20 percent 
annual average capacity factor limit by July 31, 2025. These new 
requirements significantly decrease the emission reductions achievable 
by SCR or SNCR beginning in 2025 and thus increase the average $/ton of 
both SCR and SNCR over the remaining useful life of the units, as shown 
in Tables 1 and 2 above. Similarly, these requirements limit the 
timeframe in which significant visibility benefits would result from 
either SCR or SNCR to less than eight years.
    We note that ADEQ did diverge slightly from the BART Guidelines in 
its calculation of the incremental cost-effectiveness of SCR. In 
particular, ADEQ calculated the incremental cost, as well as 
incremental visibility benefits, based on a comparison between SCR with 
LNB+SOFA and LNB+SOFA only. This differs from the approach to 
calculating incremental cost-effectiveness that is set forth in the 
BART Guidelines, under which incremental cost-effectiveness is 
calculated by comparing ``the costs and performance level of a control 
option to those of the next most stringent option . . . .'' \37\ In 
this case, SNCR with LNB+SOFA is the next most stringent option 
compared to SCR with LNB+SOFA. Had ADEQ compared SCR with LNB+SOFA to 
SNCR with LNB+SOFA, the incremental cost-effectiveness using a 20-year 
remaining useful life would have been $10,347/ton for Unit 3 and 
$12,295/ton for Unit 4,\38\ rather than $9,237/ton for Unit 3 and 
$10,539/ton for Unit 4. Similarly, had ADEQ calculated the incremental 
visibility benefits of SCR with LNB+SOFA based on a comparison to SNCR 
with LNB+SOFA, the per area incremental benefits would have ranged from 
0.01 dv to 0.51 dv, rather than 0.07 dv to 0.79 dv, and the cumulative 
incremental benefit would have been 2.65 dv rather than 3.97 dv.\39\ 
Thus, if ADEQ had calculated the incremental costs and benefits of SCR 
in accordance with the BART Guidelines, it would have resulted in 
higher incremental cost-effectiveness values and lower incremental 
visibility benefits compared with the figures provided in the Cholla 
SIP Revision, which would provide further support for ADEQ's 
determination that the incremental costs of compliance for SCR are not 
warranted by the incremental benefits. Accordingly, in reviewing the 
reasonableness of ADEQ's re-analysis of BART for these units, we find 
that ADEQ's diversion from the BART Guidelines in this regard was of no 
consequence.
---------------------------------------------------------------------------

    \37\ 40 CFR part 51 appendix Y, section IV.D.4.e (emphasis 
added). The BART Guidelines do not specify a method for calculating 
incremental visibility benefits. We consider it appropriate to 
calculate these benefits in the same manner as incremental costs, 
i.e. by comparing the expected benefits of a control option to those 
of the next most stringent option.
    \38\ Cholla Units 3 and 4 Incremental Costs and Benefits.xlsx.
    \39\ Id.
---------------------------------------------------------------------------

    Based on our findings that the Cholla SIP Revision addresses the 
flaws that were the basis for our disapproval of ADEQ's prior BART 
analysis for Cholla and otherwise meets the requirements of the CAA, 
RHR, and the BART Guidelines, we propose to approve ADEQ's BART re-
analysis for Cholla Units 3 and 4.

C. The EPA's Evaluation of ADEQ's BART Determination for Cholla Units 3 
and 4

    We also find that ADEQ's BART determination for NOX at 
Cholla Units 3 and 4 is consistent with the requirements of the CAA, 
RHR, and the BART Guidelines. In particular, we find that ADEQ 
appropriately considered and weighed the five BART factors in relation 
to the available control options and reached a reasonable BART 
determination based on its consideration of the factors.
    With regard to SCR, we find that it was reasonable for ADEQ to 
conclude that the costs of SCR were not warranted by the visibility 
benefits in this instance. In particular, with regard to costs, we are 
not aware of any instance in which the EPA has determined SCR to be 
BART where the average cost-effectiveness of SCR was greater than 
$6,000/ton and the incremental cost-effectiveness (calculated in 
accordance with the BART Guidelines) was greater than $10,000/ton, as 
is the case with Cholla Units 3 and 4. Similarly, we are not aware of 
any instance in which the EPA has disapproved a state's BART 
determination that rejected SCR as BART based on similar cost-
effectiveness values. Furthermore, while the total visibility benefits 
of the SCR-based control scenario (``BART Option 3'') are large (2.20 
dv at the most improved area and 17.89 dv cumulative across all 
affected areas), as noted in the previous section, these benefits 
include not only the effect of SCR installation on Units 3 and 4, but 
also the retirement of Unit 2. Thus, we believe it was appropriate for 
ADEQ to focus primarily on what it characterized as the ``incremental'' 
visibility benefits, i.e., the relative degree of visibility 
improvement expected under Option 3 (Unit 2 retired and SCR with 
LNB+SOFA on Units 3 and 4) compared with Option 1 (Unit 2 retired and 
LNB+SOFA on Units 3 and 4), which were 0.07 dv to 0.79 dv per area and 
3.97 dv cumulative.\40\ While these benefits are significant, we 
believe it was reasonable for ADEQ to determine that the benefits were 
not warranted in light of the high costs of SCR and the fact that 
benefits of this magnitude would only last for approximately eight 
years, after which the benefits of SCR would be far less (roughly 0.15 
dv at the most-improved Class I area and 0.77 dv cumulatively over all 
affected Class I areas).
---------------------------------------------------------------------------

    \40\ As described in the previous section, if ADEQ had 
calculated the incremental benefits of SCR in accordance with the 
BART Guidelines, the per area incremental benefits would have ranged 
from 0.01 dv to 0.51 dv, and the cumulative incremental benefit 
would have been 2.65 dv.
---------------------------------------------------------------------------

    With regard to SNCR, we find that it was reasonable for ADEQ to 
conclude that the costs of SNCR were not warranted by the visibility 
benefits. In particular, with regard to costs, we are not aware of any 
instance in which the EPA has determined SNCR to be BART where the 
average cost-effectiveness of SNCR was greater than $3,000/ton and

[[Page 46862]]

the incremental cost-effectiveness was roughly $7,000/ton, as is the 
case with Cholla Units 3 and 4. Similarly, we are not aware of any 
instance in which the EPA has disapproved a state's BART determination 
that rejected SNCR as BART based on similar cost-effectiveness values. 
Furthermore, while the total visibility benefits of the SNCR-based 
control scenario (``BART Option 2'') are large (1.78 dv at the most 
improved area and 15.24 dv cumulative across all affected areas), as 
noted above, these benefits include not only the effect of SNCR 
installation on Units 3 and 4, but also the retirement of Unit 2. Thus, 
we believe it was appropriate for ADEQ to focus primarily on 
incremental visibility benefits, i.e., the relative degree of 
visibility improvement expected under Option 2 (Unit 2 retired and SNCR 
with LNB+SOFA on Units 3 and 4) compared with Option 1 (Unit 2 retired 
and LNB+SOFA on Units 3 and 4), which were 0.01 dv to 0.28 dv per area 
and 1.32 dv cumulative. While these benefits are not insignificant, we 
believe it was reasonable for ADEQ to determine that the benefits were 
not warranted in light of the relatively high costs of SNCR and the 
fact that benefits of this magnitude would only last for approximately 
eight years, after which the benefits of SNCR would be far less 
(roughly 0.07 dv at the most-improved Class I area and 0.31 dv 
cumulatively over all affected Class I areas).
    Therefore, we propose to approve ADEQ's determination that BART for 
NOX at Cholla Units 3 and 4 consists of LNB+SOFA with 
associated emission limits of 0.22 lb/MMbtu (rolling 30-boiler-
operating-day average) for each unit. As explained above, these 
emission limits will remain in effect until April 30, 2025, at which 
point both units will be permanently retired or converted to natural 
gas with NOX emission limits of 0.08 lb/MMBtu (rolling 30-
boiler-operating-day average).

D. The EPA's Evaluation Under CAA Section 110(l)

    CAA section 110(l) requires that any revision to an implementation 
plan shall not be approved by the EPA Administrator if the revision 
would interfere with any applicable requirement concerning attainment 
and reasonable further progress (RFP) or any other applicable 
requirement of the Act.\41\ In evaluating whether the Cholla SIP 
Revision would interfere with any CAA requirements, we note that 
overall, the Cholla SIP Revision will result in reduced emissions of 
both SO2 and PM10 compared to the existing SIP 
and FIP requirements beginning in 2016 (see Tables 6 and 7 above) due 
to the retirement of Unit 2. While the Cholla SIP Revision will require 
fewer NOX reductions than the FIP between 2018 and 2025, it 
will ensure that NOX emissions remain at or below current 
levels (i.e., levels consistent with non-operation of Unit 2 \42\ and 
operation of LNB and SOFA on Units 1, 3 and 4) until 2025, after which 
it will require a substantial reduction in NOX emissions 
compared to both current levels and the FIP (see Table 8 above).
---------------------------------------------------------------------------

    \41\ CAA Section 110(l), 42 U.S.C. 7410(l).
    \42\ As shown in Table 8, ADEQ projected that total 
NOX emissions at Cholla Unit 2 would be 900 tpy in 2016, 
based on a Unit 2 shutdown date of April 1, 2016. Because Unit 2 was 
retired in October 2015, 2016 emissions from Unit 2 will actually be 
zero, so we anticipate the total NOX emissions from the 
facility will be roughly 7,445 tpy for all years between 2016 and 
2025.
---------------------------------------------------------------------------

    With regard to applicable requirements concerning attainment and 
RFP, as explained by ADEQ, Cholla is located in north central Navajo 
County, Arizona, which is designated as unclassifiable/attainment for 
all of the NAAQS for which the EPA has issued designations.\43\ ADEQ 
also indicated that it has recommended an attainment/unclassifiable 
designation for this area for the 2012 PM2.5 and 2010 
SO2 standards. With regard to the 2012 PM2.5 
standard, the EPA has finalized a designation of unclassifiable/
attainment for Navajo County.\44\ With regard to the 2010 
SO2 standard, we note that, under the EPA's Data 
Requirements Rule,\45\ ADEQ is required to develop and submit air 
quality data characterizing ambient concentrations of SO2 in 
the area around Cholla.\46\ The EPA will take these data into 
consideration in finalizing a designation for the area. Finally, we 
note that, on October 1, 2015, the EPA promulgated revised primary and 
secondary ozone NAAQS.\47\ State designation recommendations for the 
2015 ozone NAAQS are due to the EPA by October 1, 2016.\48\
---------------------------------------------------------------------------

    \43\ Cholla SIP Revision, pages 12-13, Table 7.
    \44\ See 40 CFR 81.303.
    \45\ 40 CFR part 51, subpart BB.
    \46\ See Letter from Eric Massey, ADEQ, to Doris Lo, EPA 
(January 13, 2016).
    \47\ 80 FR 65292 (October 26, 2015).
    \48\ Id. at 65438.
---------------------------------------------------------------------------

    In summary, Cholla is located in area that is designated 
unclassifiable/attainment or has not yet been designated for each of 
the current NAAQS. Thus, the Arizona SIP does not currently rely on 
emission limitations at Cholla to satisfy any attainment or RFP 
requirements. Given that the Cholla SIP Revision will result in 
equivalent or lower emissions of NOX, PM10 and 
SO2 for all future years, compared to current emission 
levels, in an area that is designated unclassifiable/attainment or has 
not yet been designated for all NAAQS, we propose to find that the 
Cholla SIP Revision would not interfere with any applicable 
requirements concerning attainment or RFP.
    The other requirements of the CAA that apply to Cholla are:
     Standards of Performance for New Stationary Sources 
(NSPS), 40 CFR part 60, subpart D;
     National Emission Standards for Hazardous Air Pollutants 
(NESHAP), 40 CFR part 63, subpart UUUUU (also known as MATS);
     Compliance Assurance Monitoring (CAM), 40 CFR part 64; and
     BART and other visibility protection requirements under 
CAA section 169A and the RHR.
    The Cholla SIP Revision would not affect the applicable NESHAP, 
NSPS and CAM requirements. Therefore, we propose to find that the 
Cholla SIP Revision would not interfere with the applicable NESHAP, 
NSPS and CAM requirements.
    We also propose to find that Cholla SIP Revision would not 
interfere with the visibility protection requirements of the CAA and 
the RHR. Our proposed approval of the BART Reassessment is based on our 
determination that, taking into consideration the differences in the 
facts underlying the EPA's prior BART analysis for NOX in 
Arizona Regional Haze FIP and the Cholla BART Reassessment, ADEQ's 
revised BART analysis and determination for Cholla meet the BART 
requirements of the CAA and RHR. Furthermore, the Cholla SIP Revision 
would result in greater visibility improvement than the existing SIP 
and FIP requirements beginning in 2026, which is consistent with the 
long-term national goal of restoring natural visibility conditions at 
Class I areas. Thus, we propose to find that the Cholla SIP Revision 
would not interfere with the visibility protection requirements of the 
CAA.

E. The EPA's Evaluation of Enforceable Emission Limits

    CAA section 110(a)(2)(A) requires SIPs to include enforceable 
emission limitations as necessary or appropriate to meet the applicable 
requirements of the Act. In addition, SIPs must contain regulatory 
requirements related to monitoring, recordkeeping, and reporting for 
applicable emission limitations.\49\ The Cholla Permit Revision 
includes such enforceable

[[Page 46863]]

emission limits, as well as associated monitoring, recordkeeping, and 
reporting requirements, for all units and pollutants. These 
requirements will become effective and federally enforceable when the 
Cholla SIP Revision is approved into the SIP and the FIP provisions 
applicable to Cholla are withdrawn.\50\ Therefore, we propose to find 
that the Cholla SIP Revision meets the requirements of the CAA and the 
EPA's implementing regulations for enforceable emission limitations.
---------------------------------------------------------------------------

    \49\ See, e.g., CAA section 110(a)(2)(F) and 40 CFR 51.212(c).
    \50\ Cholla Permit Revision section I.A.
---------------------------------------------------------------------------

V. Proposed Action

    For the reasons described above, the EPA proposes to approve the 
Cholla SIP Revision. Because this approval would fill the gap in the 
Arizona Regional Haze SIP left by the EPA's prior partial disapproval 
with respect to Cholla, we propose to withdraw the provisions of the 
Arizona Regional Haze FIP that apply to Cholla. We also propose to find 
that withdrawal of the FIP would constitute our action on APS's and 
PacifiCorp's petitions for reconsideration of the Arizona Regional Haze 
FIP.

VI. Environmental Justice Considerations

    As shown in Tables 6 and 7, the Cholla SIP Revision will result in 
reduced emissions of both SO2 and PM10 compared 
to the existing SIP and FIP requirements beginning in 2016. As shown in 
Table 8, while the Cholla SIP Revision will result in fewer 
NOX reductions than the FIP between 2018 and 2025, it will 
ensure that NOX emissions remain at or below current levels 
until 2025, after which it will require a substantial reduction in 
NOX emissions compared to both current levels and to the 
existing Arizona Regional Haze FIP. Therefore, the EPA believes that 
this action will not have potential disproportionately high and adverse 
human health or environmental effects on minority, low-income, or 
indigenous populations.

VII. Incorporation by Reference

    In this rule, the EPA is proposing to include in a final EPA rule, 
regulatory text that includes incorporation by reference. In accordance 
with requirements of 1 CFR 51.5, the EPA is proposing to incorporate by 
reference ``Significant Permit Revision No. 61713 to Operating Permit 
No. 53399'' issued by ADEQ on October 16, 2015. The EPA has made, and 
will continue to make, this document available electronically through 
www.regulations.gov and in hard copy at U.S. Environmental Protection 
Agency Region IX, Air-2, 75 Hawthorne Street, San Francisco, CA, 94105-
3901.

VIII. Statutory and Executive Order Reviews

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

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

B. Paperwork Reduction Act (PRA)

    This action does not impose an information collection burden under 
the PRA. This rule applies to only one facility. Therefore, its 
recordkeeping and reporting provisions do not constitute a ``collection 
of information'' as defined under 44 U.S.C. 3502(3) and 5 CFR 
1320.3(c).

 C. Regulatory Flexibility Act (RFA)

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

D. Unfunded Mandates Reform Act (UMRA)

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

E. Executive Order 13132: Federalism

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

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

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

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

    The EPA interprets EO 13045 as applying only to those regulatory 
actions that concern 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 Concerning Regulations That 
Significantly Affect Energy Supply, Distribution, or Use

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

I. National Technology Transfer and Advancement Act

    This rulemaking does not involve technical standards. The EPA is 
not revising any technical standards or imposing any new technical 
standards in this action.

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

    The EPA believes the human health or environmental risk addressed 
by this action will not have potential disproportionately high and 
adverse human health or environmental effects on minority, low-income, 
or indigenous populations. The results of this evaluation are contained 
in section VI above.

K. Determination Under Section 307(d)

    Pursuant to CAA section 307(d)(1)(B), the EPA proposes to determine 
that this action is subject to the provisions of section 307(d). 
Section 307(d) establishes procedural requirements specific to certain 
rulemaking actions under the CAA. Pursuant to CAA section 307(d)(1)(B), 
the withdrawal of the provisions of the Arizona Regional Haze FIP that 
apply to Cholla is subject to the requirements of CAA section 307(d), 
as it constitutes a revision to a FIP under CAA section 110(c). 
Furthermore, CAA section 307(d)(1)(V) provides that the provisions of 
section

[[Page 46864]]

307(d) apply to ``such other actions as the Administrator may 
determine.'' The EPA proposes that the provisions of 307(d) apply to 
the EPA's action on the Cholla SIP revision.

List of Subjects in 40 CFR Part 52

    Environmental protection, Air pollution control, Incorporation by 
reference, Intergovernmental relations, Nitrogen dioxide, Particulate 
matter, Reporting and recordkeeping requirements, Sulfur dioxide, 
Visibility.

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

    Dated: June 30, 2016.
Deborah Jordan,
Acting Regional Administrator, EPA Region IX.

PART 52--APPROVAL AND PROMULGATION OF IMPLEMENTATION PLANS

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

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

Subpart D--Arizona

0
2. In Sec.  52.145, revise paragraphs (f)(1), (2), (3), (4), (5), and 
(10) to read as follows:


Sec.  52.145  Visibility protection.

* * * * *
    (f) * * *
    (1) Applicability. This paragraph (f) applies to each owner/
operator of the following coal-fired electricity generating units 
(EGUs) in the state of Arizona: Coronado Generating Station, Units 1 
and 2. The provisions of this paragraph (f) are severable, and if any 
provision of this paragraph (f), or the application of any provision of 
this paragraph (f) to any owner/operator or circumstance, is held 
invalid, the application of such provision to other owner/operators and 
other circumstances, and the remainder of this paragraph (f), shall not 
be affected thereby.
    (2) Definitions. Terms not defined below shall have the meaning 
given to them in the Clean Air Act or EPA's regulations implementing 
the Clean Air Act. For purposes of this paragraph (f):
    ADEQ means the Arizona Department of Environmental Quality.
    Boiler-operating day means a 24-hour period between 12 midnight and 
the following midnight during which any fuel is combusted at any time 
in the unit.
    Coal-fired unit means any of the EGUs identified in paragraph 
(f)(1) of this section.
    Continuous emission monitoring system or CEMS means the equipment 
required by 40 CFR part 75 and this paragraph (f).
    Emissions limitation or emissions limit means any of the Federal 
Emission Limitations required by this paragraph (f) or any of the 
applicable PM10 and SO2 emissions limits for 
Coronado Generating Station submitted to EPA as part of the Arizona 
Regional Haze SIP in a letter dated February 28, 2011, and approved 
into the Arizona State Implementation Plan on December 5, 2012.
    Flue Gas Desulfurization System or FGD means a pollution control 
device that employs flue gas desulfurization technology, including an 
absorber utilizing lime, fly ash, or limestone slurry, for the 
reduction of sulfur dioxide emissions.
    lb means pound(s).
    NOX means nitrogen oxides expressed as nitrogen dioxide 
(NO2).
    Owner(s)/operator(s) means any person(s) who own(s) or who 
operate(s), control(s), or supervise(s) one or more of the units 
identified in paragraph (f)(1) of this section.
    MMBtu means million British thermal unit(s).
    Operating hour means any hour that fossil fuel is fired in the 
unit.
    PM10 means filterable total particulate matter less than 
10 microns and the condensable material in the impingers as measured by 
Methods 201A and 202 in 40 CFR part 51, appendix M.
    Regional Administrator means the Regional Administrator of EPA 
Region IX or his/her authorized representative.
    SO2 means sulfur dioxide.
    SO2 removal efficiency means the quantity of 
SO2 removed as calculated by the procedure in paragraph 
(f)(5)(iii)(B) of this section.
    Unit means any of the EGUs identified in paragraph (f)(1) of this 
section.
    Valid data means data recorded when the CEMS is not out-of-control 
as defined by 40 CFR part 75.
    (3) Federal emission limitations--(i) NOX emission 
limitations. The owner/operator of each coal-fired unit subject to this 
paragraph (f) shall not emit or cause to be emitted NOX in 
excess of the following limitations, in pounds per million British 
thermal units (lb/MMBtu) from any coal-fired unit or group of coal-
fired units. Each emission limit shall be based on a rolling 30-boiler-
operating-day average, unless otherwise indicated in specific 
paragraphs.

------------------------------------------------------------------------
                                                               Federal
        Coal fired unit or group of coal-fired units           emission
                                                              limitation
------------------------------------------------------------------------
Coronado Generating Station Unit 1.........................        0.065
Coronado Generating Station Unit 2.........................        0.080
------------------------------------------------------------------------

    (ii) [Reserved]
    (4) Compliance dates. (i) The owners/operators of each unit subject 
to this paragraph (f) shall comply with the NOX emissions 
limitations and other NOX-related requirements of this 
paragraph (f) no later than December 5, 2017.
    (ii) The owners/operators of each unit subject to this paragraph 
(f) shall comply with the applicable PM10 and SO2 
emissions limits submitted to EPA as part of the Arizona Regional Haze 
SIP in a letter dated February 28, 2011, and approved into the Arizona 
State Implementation Plan on December 5, 2012, as well as the related 
compliance, recordkeeping and reporting of this paragraph (f) no later 
than June 3, 2013.
    (5) Compliance determinations for NOX and SO2--(i) Continuous 
emission monitoring system.
    (A) At all times after the compliance date specified in paragraph 
(f)(4) of this section, the owner/operator of each coal-fired unit 
shall maintain, calibrate, and operate a CEMS, in full compliance with 
the requirements found at 40 CFR part 75, to accurately measure 
SO2, NOX, diluent, and stack gas volumetric flow 
rate from each unit. In addition, the owner/operator of Cholla Units 2, 
3, and 4 shall calibrate, maintain, and operate a CEMS, in full 
compliance with the requirements found at 40 CFR part 75, to accurately 
measure SO2 emissions and diluent at the inlet of the sulfur 
dioxide control device. All valid CEMS hourly data shall be used to 
determine compliance with the emission limitations for NOX 
and SO2 in paragraph (f)(3) of this section for each unit. 
When the CEMS is out-of-control as defined by 40 CFR part 75, that CEMs 
data shall be treated as missing data, and not used to calculate the 
emission average. Each required CEMS must obtain valid data for at 
least 90 percent of the unit operating hours, on an annual basis.
    (B) The owner/operator of each unit shall comply with the quality 
assurance procedures for CEMS found in 40 CFR part 75. In addition to 
these 40 CFR part 75 requirements, relative accuracy test audits shall 
be calculated for both the NOX and SO2 pounds per 
hour measurement and the heat input measurement. The CEMs monitoring 
data shall not be bias adjusted. The inlet SO2 and diluent 
monitors required by this rule shall also meet the Quality Assurance/
Quality Control (QA/QC)

[[Page 46865]]

requirements of 40 CFR part 75. The testing and evaluation of the inlet 
monitors and the calculations of relative accuracy for lb/hr of 
NOX, SO2 and heat input shall be performed each 
time the 40 CFR part 75 CEMS undergo relative accuracy testing.
    (ii) Compliance determinations for NOX.
    (A) [Reserved]
    (B) Coronado Generating Station. Compliance with the NOX 
emission limits for Coronado Unit 1 and Coronado Unit 2 in paragraph 
(f)(3)(i) of this section shall be determined on a rolling 30 boiler-
operating-day basis. The 30-boiler-operating-day rolling NOX 
emission rate for each unit shall be calculated in accordance with the 
following procedure: Step one, sum the total pounds of NOX 
emitted from the unit during the current boiler operating day and the 
previous twenty-nine (29) boiler operating days; Step two, sum the 
total heat input to the unit in MMBtu during the current boiler 
operating day and the previous twenty-nine (29) boiler operating days; 
Step three, divide the total number of pounds of NOX emitted 
from that unit during the thirty (30) boiler operating days by the 
total heat input to the unit during the thirty (30) boiler operating 
days. A new 30-boiler-operating-day rolling average NOX 
emission rate shall be calculated for each new boiler operating day. 
Each 30-boiler-operating-day average NOX emission rate shall 
include all emissions that occur during all periods within any boiler 
operating day, including emissions from startup, shutdown, and 
malfunction.
    (C) If a valid NOX pounds per hour or heat input is not 
available for any hour for a unit, that heat input and NOX 
pounds per hour shall not be used in the calculation of the 30-day 
rolling average.
    (iii) Compliance determinations for SO2. (A) The 30-day rolling 
average SO2 emission rate for each coal-fired unit shall be 
calculated in accordance with the following procedure: Step one, sum 
the total pounds of SO2 emitted from the unit during the 
current boiler-operating day and the previous twenty-nine (29) boiler-
operating days; step two, sum the total heat input to the unit in MMBtu 
during the current boiler-operating day and the previous twenty-nine 
(29) boiler-operating day; and step three, divide the total number of 
pounds of SO2 emitted during the thirty (30) boiler-
operating days by the total heat input during the thirty (30) boiler-
operating days. A new 30-day rolling average SO2 emission 
rate shall be calculated for each new boiler-operating day. Each 30-day 
rolling average SO2 emission rate shall include all 
emissions and all heat input that occur during all periods within any 
boiler-operating day, including emissions from startup, shutdown, and 
malfunction.
    (B) [Reserved]
    (C) If a valid SO2 pounds per hour at the outlet of the 
FGD system or heat input is not available for any hour for a unit, that 
heat input and SO2 pounds per hour shall not be used in the 
calculation of the 30-day rolling average.
    (D) If both a valid inlet and outlet SO2 lb/MMBtu and an 
outlet value of lb/hr of SO2 are not available for any hour, 
that hour shall not be included in the efficiency calculation.
* * * * *
    (10) Equipment operations.
    (i) [Reserved]
    (ii) Coronado Generating Station. At all times, including periods 
of startup, shutdown, and malfunction, the owner or operator of 
Coronado Generating Station Unit 1 and Unit 2 shall, to the extent 
practicable, maintain and operate each unit in a manner consistent with 
good air pollution control practices for minimizing emissions. The 
owner or operator shall continuously operate pollution control 
equipment at all times the unit it serves is in operation, and operate 
pollution control equipment in a manner consistent with technological 
limitations, manufacturer's specifications, and good engineering and 
good air pollution control practices for minimizing emissions. 
Determination of whether acceptable operating and maintenance 
procedures are being used will be based on information available to the 
Regional Administrator which may include, but is not limited to, 
monitoring results, review of operating and maintenance procedures, and 
inspection of each unit.
* * * * *
[FR Doc. 2016-16959 Filed 7-18-16; 8:45 am]
 BILLING CODE 6560-50-P



                                               46852                    Federal Register / Vol. 81, No. 138 / Tuesday, July 19, 2016 / Proposed Rules

                                               ENVIRONMENTAL PROTECTION                                 contents located outside of the primary                   • The words EPA, we, us or our mean
                                               AGENCY                                                   submission (i.e. on the web, cloud, or                  or refer to the United States
                                                                                                        other file sharing system). For                         Environmental Protection Agency.
                                               40 CFR Part 52                                           additional submission methods, please                     • The initials FIP mean or refer to
                                               [EPA–R09–OAR–2016–0292; FRL–9949–06–                     contact the person identified in the FOR                Federal Implementation Plan.
                                                                                                        FURTHER INFORMATION CONTACT section.
                                               Region 9]                                                                                                          • The initials LNB mean or refer to
                                                                                                        For the full EPA public comment policy,                 low-NOX burners.
                                               Approval and Revision of Air Plans;                      information about CBI or multimedia
                                               Arizona; Regional Haze State and                         submissions, and general guidance on                      • The initials MMBtu mean or refer to
                                               Federal Implementation Plans;                            making effective comments, please visit                 million British thermal units
                                               Reconsideration                                          http://www2.epa.gov/dockets/                              • The initials NOX mean or refer to
                                                                                                        commenting-epa-dockets.                                 nitrogen oxides.
                                               AGENCY:  Environmental Protection
                                               Agency (EPA).                                            FOR FURTHER INFORMATION CONTACT:                          • The initials OFA mean or refer to
                                                                                                        Vijay Limaye, U.S. EPA, Region 9,                       over fire air.
                                               ACTION: Proposed rule.
                                                                                                        Planning Office, Air Division, Air–2, 75                  • The initials PM10 mean or refer to
                                               SUMMARY:   The Environmental Protection                  Hawthorne Street, San Francisco, CA                     particulate matter with an aerodynamic
                                               Agency (EPA) is proposing to approve a                   94105. Vijay Limaye can be reached at                   diameter of less than 10 micrometers.
                                               source-specific revision to the Arizona                  telephone number (415) 972–3086 and                       • The initials RHR mean or refer to
                                               State Implementation Plan (SIP) that                     via electronic mail at limaye.vijay@                    the EPA’s Regional Haze Rule.
                                               addresses requirements for best                          epa.gov.
                                               available retrofit technology (BART) at                                                                            • The initials RP mean or refer to
                                               Cholla Generating Station (Cholla). The                  SUPPLEMENTARY INFORMATION:                              Reasonable Progress.
                                               EPA proposes to find that the SIP                        Throughout this document, ‘‘we,’’ ‘‘us’’                  • The initials RPG or RPGs mean or
                                               revision fulfills the requirements of the                and ‘‘our’’ refer to the EPA.                           refer to Reasonable Progress Goal(s).
                                               Clean Air Act (CAA) and the EPA’s                        Table of Contents                                         • The initials SCR mean or refer to
                                               Regional Haze Rule (RHR) for BART at                                                                             Selective Catalytic Reduction.
                                                                                                        I. General Information
                                               Cholla. In conjunction with this                                                                                   • The initials SIP mean or refer to
                                                                                                        II. Background
                                               proposed approval, we propose to                         III. Summary of the Cholla SIP Revision                 State Implementation Plan.
                                               withdraw those portions of the federal                   IV. The EPA’s Evaluation of the Cholla SIP                • The initials SNCR mean or refer to
                                               implementation plan (FIP) that address                         Revision                                          Selective Non-catalytic Reduction
                                               BART for Cholla. We previously                           V. Proposed Action
                                               partially granted petitions for                          VI. Environmental Justice Considerations                  • The initials SOFA mean or refer to
                                               reconsideration of that FIP from Cholla’s                VII. Incorporation by Reference                         separated over fire air.
                                               owners, Arizona Public Service                           VIII. Statutory and Executive Order Reviews               • The initials SO2 mean or refer to
                                               Company (APS) and PacifiCorp. We are                     I. General Information                                  sulfur dioxide.
                                               now proposing to find that final
                                                                                                        A. Definitions                                          B. Docket
                                               withdrawal of the FIP, as it applies to
                                               Cholla, would constitute our action on                     For the purpose of this document, we                     The EPA has established docket
                                               APS’s and PacifiCorp’s petitions for                     are giving meaning to certain words or                  number EPA–R09–OAR–2016–0292 for
                                               reconsideration of the FIP.                              initials as follows:                                    this action. Generally, documents in the
                                               DATES: Written comments must be                                                                                  docket for this action are available
                                                                                                          • The words or initials Act or CAA
                                               received on or before September 2,                       mean or refer to the Clean Air Act,                     electronically at http://
                                               2016. Requests for public hearing must                   unless the context indicates otherwise.                 www.regulations.gov or in hard copy at
                                               be received on or before August 3, 2016.                                                                         EPA Region IX, 75 Hawthorne Street,
                                                                                                          • The initials ADEQ mean or refer to
                                               ADDRESSES: Submit your comments,                                                                                 San Francisco, California 94105–3901.
                                                                                                        the Arizona Department of
                                               identified by Docket ID No. EPA–R09–                                                                             While all documents in the docket are
                                                                                                        Environmental Quality.
                                               OAR–2016–0292 at http://                                                                                         listed at http://www.regulations.gov,
                                                                                                          • The initials AFUDC mean or refer to
                                               www.regulations.gov, or via email to                                                                             some information may be publicly
                                                                                                        Allowance for Funds Used During
                                               limaye.vijay@epa.gov. For comments                                                                               available only at the hard copy location
                                                                                                        Construction.
                                               submitted at Regulations.gov, follow the                                                                         (e.g., copyrighted material, large maps,
                                                                                                          • The initials APS mean or refer to                   multi-volume reports), and some may
                                               online instructions for submitting
                                                                                                        Arizona Public Service Company.                         not be available in either location (e.g.,
                                               comments. Once submitted, comments
                                               cannot be edited or removed from                           • The words Arizona and State mean                    confidential business information
                                               Regulations.gov. For either manner of                    the State of Arizona.                                   (CBI)). To inspect the hard copy
                                               submission, the EPA may publish any                        • The initials BART mean or refer to                  materials, please schedule an
                                               comment received to its public docket.                   Best Available Retrofit Technology.                     appointment during normal business
                                               Do not submit electronically any                           • The term Class I area refers to a                   hours with the contact listed in the FOR
                                               information you consider to be                           mandatory Class I Federal area.1                        FURTHER INFORMATION CONTACT section.
                                               Confidential Business Information (CBI)                    • The initials CBI mean or refer to
                                                                                                        Confidential Business Information.                      C. Public Hearings
                                               or other information whose disclosure is
                                               restricted by statute. Multimedia                          • The initials CCM mean or refer to                      If anyone contacts the EPA by August
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                                               submissions (audio, video, etc.) must be                 the EPA’s Control Cost Manual.                          3, 2016 requesting to speak at a public
                                               accompanied by a written comment.                                                                                hearing, the EPA will schedule a public
                                               The written comment is considered the                      1 Although states and tribes may designate as         hearing and announce the hearing in the
                                               official comment and should include                      Class I additional areas which they consider to have    Federal Register. Contact Vijay Limaye
                                                                                                        visibility as an important value, the requirements of
                                               discussion of all points you wish to                     the visibility program set forth in section 169A of
                                                                                                                                                                at (415) 972–3086 or at limaye.vijay@
                                               make. The EPA will generally not                         the CAA apply only to ‘‘mandatory Class I Federal       epa.gov to request a hearing or to
                                               consider comments or comment                             areas.’’                                                determine if a hearing will be held.


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                                                                         Federal Register / Vol. 81, No. 138 / Tuesday, July 19, 2016 / Proposed Rules                                                      46853

                                               II. Background                                           impairment in a Class I area.7 In                         generating units with a total plant-wide
                                                                                                        particular, under CAA section                             generating capacity of 1,150 megawatts.
                                               A. Statutory and Regulatory Background
                                                                                                        169A(g)(2) and 40 CFR                                     Unit 1 is a 126 MW tangentially-fired,
                                                  This section provides a brief overview                51.308(e)(1)(ii)(A), states must analyze                  dry-bottom boiler that is not BART-
                                               of the requirements of the CAA and                       and consider the following five factors                   eligible. Units 2, 3 and 4 have capacities
                                               RHR, as they apply to this particular                    as part of each source-specific BART                      of 272 MW, 272 MW and 410 MW,
                                               action. Please refer to our previous                     analysis: (1) The costs of compliance of                  respectively, and are tangentially-fired,
                                               rulemakings on the Arizona Regional                      each technically feasible control                         dry-bottom boilers that are each BART-
                                               Haze SIP for additional background                       technology, (2) the energy and non-air                    eligible. Units 1, 2, and 3 are owned and
                                               regarding the visibility protection                      quality environmental impacts of                          operated by APS and Unit 4 is owned
                                               provisions of the CAA and the RHR.2                      compliance of the control technologies,                   by PacifiCorp and operated by APS.
                                                  In section 169A of the 1977                           (3) any existing pollution control
                                               Amendments to the CAA, Congress                          technology in use at the source, (4) the                  C. Summary of State Submittals and
                                               created a program for protecting                         remaining useful life of the source, and                  EPA Actions
                                               visibility in the nation’s national parks                (5) the degree of improvement in                          1. 2011 Arizona Regional Haze SIP
                                               and wilderness areas. This section of the                visibility which may reasonably be
                                               CAA establishes as a national goal the                                                                                On February 28, 2011, the Arizona
                                                                                                        anticipated to result from the use of
                                               ‘‘prevention of any future, and the                                                                                Department of Environmental Quality
                                                                                                        such technology (collectively known as
                                               remedying of any existing, impairment                                                                              (ADEQ) submitted a Regional Haze SIP
                                                                                                        the ‘‘five-factor BART analysis’’).
                                               of visibility in mandatory Class I                          In 2005, the EPA published the                         under Section 308 of the RHR (‘‘Arizona
                                               Federal areas which impairment results                   Guidelines for BART Determinations                        Regional Haze SIP’’) to EPA. This
                                               from manmade air pollution.’’ 3 It also                  under the Regional Haze Rule at                           submittal included BART analyses and
                                               directs states to evaluate the use of                    Appendix Y to 40 CFR part 51 (‘‘BART                      determinations for nitrogen oxides
                                               retrofit controls at certain larger, often               Guidelines’’) on July 6, 2005. The BART                   (NOX), particulate matter with an
                                               uncontrolled, older stationary sources in                Guidelines assist states in determining                   aerodynamic diameter of less than 10
                                               order to address visibility impacts from                 which of their sources should be subject                  micrometers (PM10), and sulfur dioxide
                                               these sources. Specifically, section                     to the BART requirements and in                           (SO2) at Cholla Units 2, 3, and 4.
                                               169A(b)(2)(A) of the CAA requires states                 determining appropriate emission limits                   ADEQ’s BART analyses for Cholla
                                               to revise their SIPs to contain such                     for each such ‘‘subject-to-BART’’ source.                 included the following seven steps:
                                               measures as may be necessary to make                     In making BART determinations for                            • Step 1: Identify the Existing Control
                                               reasonable progress towards the natural                  fossil fuel-fired electric generating                     Technologies in Use at the Source,
                                                                                                        plants with a total generating capacity                      • Step 2: Identify All Available
                                               visibility goal, including a requirement
                                                                                                        in excess of 750 megawatts, states must                   Retrofit Control Options,
                                               that certain categories of existing major
                                                                                                        use the approaches set forth in the                          • Step 3: Eliminate All Technically
                                               stationary sources built between 1962
                                                                                                        BART Guidelines. States are                               Infeasible Control Options,
                                               and 1977 (known as ‘‘BART-eligible’’                                                                                  • Step 4: Evaluate Control
                                               sources) procure, install, and operate                   encouraged, but not required, to follow
                                                                                                                                                                  Effectiveness of Remaining
                                               BART. In the 1990 CAA Amendments,                        the BART Guidelines in making BART
                                                                                                                                                                  Technologies,
                                               Congress amended the visibility                          determinations for other types of
                                                                                                                                                                     • Step 5: Evaluate the Energy and
                                               provisions in the CAA to focus attention                 sources. In lieu of requiring source-
                                                                                                                                                                  Non-Air Quality Environmental Impacts
                                               on the problem of regional haze, which                   specific BART controls, states also have
                                                                                                                                                                  and Document Results,9
                                               is visibility impairment produced by a                   the flexibility to adopt an alternative                      • Step 6: Evaluate Visibility Impacts,
                                               multitude of sources and activities                      measure as long as the alternative                        and
                                               located across a broad geographic area.4                 provides greater reasonable progress                         • Step 7: Select BART.10
                                                  In 1999, we promulgated the RHR,                      towards natural visibility conditions
                                               which requires states to develop and                     than BART (i.e., the alternative must be                  2. 2012 EPA Action on Arizona Regional
                                               implement SIPs to ensure reasonable                      ‘‘better than BART’’).8                                   Haze SIP and FIP
                                               progress toward improving visibility in                     In addition to the visibility protection                  On December 5, 2012, we issued a
                                               mandatory Class I Federal areas (Class I                 requirements of the CAA and the RHR,                      final rule approving in part and
                                               areas) 5 by reducing emissions that                      SIP revisions concerning regional haze                    disapproving in part ADEQ’s BART
                                               cause or contribute to regional haze.6                   are also subject to the general                           determinations for three sources,
                                               Under the RHR, states are directed to                    requirements of CAA section 110. In                       including Cholla.11 We found that
                                               conduct an analysis and make a BART                      particular, they are subject to the                       ADEQ’s overall approach to conducting
                                               determination for each BART-eligible                     requirement in CAA section 110(l) that                    BART analyses and its implementation
                                               source that may be anticipated to cause                  SIP revisions must not ‘‘interfere with                   of the first four steps of its approach
                                               or contribute to any visibility                          any applicable requirement concerning                     were generally reasonable and
                                                                                                        attainment and reasonable further                         consistent with the RHR and the BART
                                                 2 77 FR 42834, 42837–42839 (July 20, 2012),            progress (as defined in [CAA section                      Guidelines. However, we found
                                               (Arizona Regional Haze ‘‘Phase 1’’ Rule) 77 FR           171]), or any other applicable
                                               75704, 75709–75712 (December 21, 2012), (Arizona                                                                   significant flaws in ADEQ’s
                                               Regional Haze ‘‘Phase 2’’ Rule).
                                                                                                        requirement of [the CAA],’’ as well as                    implementation of the last three steps.
                                                 3 42 U.S.C. 7491(a)(1).                                the requirement in CAA section
                                                 4 See CAA section 169B, 42 U.S.C. 7492.                110(a)(2)(A) that SIPs must include                         9 We note that, while ADEQ referred to its Step
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                                                 5 Areas designated as mandatory Class I Federal        enforceable emission limits.                              5 as an evaluation of energy and non-air quality
                                               areas consist of national parks exceeding 6000                                                                     environmental impacts, this step also includes
                                               acres, wilderness areas and national memorial parks      B. Cholla Generating Station                              consideration of the costs of compliance and the
                                               exceeding 5000 acres, and all international parks                                                                  remaining useful life of the source, consistent with
                                                                                                          Cholla Generating Station consists of                   the BART Guidelines, 40 CFR part 51, appendix Y,
                                               that were in existence on August 7, 1977. 42 U.S.C.
                                               7472(a). When we use the term ‘‘Class I area’’ in this   four primarily coal-fired electricity                     section IV.D.4.
                                               action, we mean a ‘‘mandatory Class I Federal                                                                        10 Arizona Regional Haze SIP Revision, Appendix

                                               area.’’                                                       7 40   CFR 51.308(e).                                D, section XI.
                                                 6 See generally 40 CFR 51.308.                              8 40   CFR 51.308(e)(2).                               11 77 FR 72511.




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                                               46854                       Federal Register / Vol. 81, No. 138 / Tuesday, July 19, 2016 / Proposed Rules

                                               In particular, under step 5, we found                       on new facts (‘‘BART Reassessment’’)                    the Arizona Regional Haze FIP that
                                               that the costs of compliance were not                       and submit this BART Reassessment to                    apply to Cholla.
                                               calculated in accordance with the BART                      the EPA as a revision to the Arizona                      In the Cholla SIP Revision, ADEQ
                                               Guidelines; under step 6, we found that                     Regional Haze SIP. Under the Cholla                     determined that, if Unit 2 were shut
                                               the visibility benefits were not                            BART Reassessment, APS and                              down by April 1, 2016, no BART
                                               appropriately evaluated and considered;                     PacifiCorp would commit to the                          determination for Unit 2 would be
                                               and under step 7, we found that ADEQ                        following measures in lieu of                           necessary ‘‘because the enforceable
                                               did not provide a sufficient explanation                    implementing the FIP requirements for                   shutdown date is within the five-year
                                               and rationale for its determinations.12                     the Cholla Generating Station:                          BART window.’’ 14 For Units 3 and 4,
                                               As a result of these flaws, we                                • Unit 2 would be permanently shut                    ADEQ performed a revised BART
                                               disapproved ADEQ’s BART                                     down by April 1, 2016;                                  analysis, taking into account the new
                                               determinations for NOX at Cholla Units                        • Unit 3 and Unit 4 would continue                    requirements that would be imposed as
                                               2, 3, and 4. We also found that the SIP                     to operate with currently installed LNB                 part of the Cholla BART Reassessment.
                                               lacked enforceable emission limits for                      and separated over fire air (SOFA). In                  This re-analysis and the resulting BART
                                               all units and pollutants. In the same                       addition, by April 30, 2025, APS and                    determinations are summarized in the
                                               action, we promulgated a FIP for the                        PacifiCorp would permanently cease                      following sections.
                                               disapproved portions of the SIP,                            burning coal at both units with the
                                               including NOX BART determinations for                       option to convert to pipeline-quality                   A. BART Re-Analysis for Cholla Units 3
                                               Units 2, 3, and 4. We determined that                       natural gas by July 31, 2025, with a ≤20                and 4
                                               BART for NOX at Units 2, 3, and 4 was                       percent annual average capacity factor.
                                               an emission limit of 0.055 pounds per                                                                                 ADEQ’s BART re-analysis for Units 3
                                                                                                           4. 2015 Arizona Regional Haze SIP                       and 4 consists of an evaluation of each
                                               million British thermal units (lb/
                                               MMBtu) determined as an average                             Revision for Cholla Generating Station                  of the five BART factors, effectively
                                               across the three units, based on a rolling                     On October 22, 2015, ADEQ                            replacing step 5 (evaluation of costs of
                                               30-boiler-operating-day average, which                      submitted a revision to the Arizona                     compliance, energy and non-air quality
                                               is achievable with the use of low-NOX                       Regional Haze SIP that incorporates the                 environmental impacts, and remaining
                                               burners (LNB), overfire air (OFA) and                       Cholla BART Reassessment (‘‘Cholla SIP                  useful life) and step 6 (evaluation of
                                               selective catalytic reduction (SCR). The                    Revision’’). The Cholla SIP Revision is                 visibility benefits) of ADEQ’s prior
                                               compliance date for the NOX BART                            the subject of this proposal.                           BART analysis for Cholla in the Arizona
                                               emission limit is December 5, 2017. In                                                                              Regional Haze SIP.
                                                                                                           III. Summary of the Cholla SIP
                                               addition, we established an SO2 removal                                                                             1. Cost of Compliance
                                                                                                           Revision
                                               efficiency requirement of 95 percent for
                                               the scrubbers on Cholla Units 2, 3 and                         The Cholla SIP Revision consists of a                  ADEQ evaluated the costs of
                                               4. Cholla Units 3 and 4 were required                       revised BART analysis and                               compliance for three control options: (1)
                                               to achieve this removal efficiency by                       determination for NOX at Cholla, an                     LNB and SOFA, (2) SNCR with LNB and
                                               December 5, 2013, and Cholla Unit 2                         analysis under CAA section 110(l), and                  SOFA, and (3) SCR with LNB and
                                               was required to comply by April 1,                          a revision to Cholla’s operating permit                 SOFA. Two fuel-use scenarios were
                                               2016. We also established requirements                      (‘‘Cholla Permit Revision’’) 13 to                      used as a comparison: (1) Twenty years
                                               for equipment maintenance, monitoring,                      implement both the revised BART                         of operation on coal and (2) eight years
                                               recordkeeping, and reporting for all                        determination for NOX and ADEQ’s                        of operation on coal followed by twelve
                                               units and all pollutants.                                   prior BART determinations for SO2 and                   years of operation on natural gas (as
                                                                                                           PM10 at Cholla. If fully approved by the                provided for under the BART
                                               3. 2015 APS Application for Significant                     EPA, the Cholla SIP Revision would fill                 Reassessment). The cost-effectiveness
                                               Permit Revision for Cholla Generating                       the gap in the Arizona Regional Haze                    values for each control option under
                                               Station                                                     SIP that resulted from the EPA’s                        each of these scenarios are shown in
                                                  On January 15, 2015, APS and                             disapproval of ADEQ’s BART                              Tables 1 and 2. For all options, the costs
                                               PacifiCorp submitted an ‘‘Application                       determinations for NOX at Cholla Units                  associated with the BART Reassessment
                                               for Significant Permit Revision and                         2, 3, and 4 and the lack of enforceable                 are due to lower utilization periods
                                               Five-Factor BART Reassessment for                           emission limits for all units and                       (coal firing until 2025 instead of for 20
                                               Cholla’’ to ADEQ. APS and PacifiCorp                        pollutants. Accordingly, full approval of               years) as well as significantly lower
                                               requested that ADEQ conduct a revised                       the Cholla SIP Revision would enable                    NOX emissions after conversion to
                                               BART analysis and determination based                       the EPA to withdraw the provisions of                   natural gas.

                                                TABLE 1—COST-EFFECTIVENESS OF NOX CONTROL OPTIONS AT CHOLLA ASSUMING 20 YEARS OF OPERATION ON COAL
                                                                                                                            Average                                                       Incremental a

                                                                                                                            Emission                                                        Incremental                Incremental
                                                 Unit                 Control option                                        reduction        Average cost-       Incremental
                                                                                                       Annual cost                                                                            emission                     cost-
                                                                                                                            relative to      effectiveness       annual cost
                                                                                                        ($/year)                                                                             reduction                effectiveness
                                                                                                                             baseline            ($/ton)           ($/year)                  (ton/year)                   ($/ton)
                                                                                                                            (ton/year)
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                                               3 ........   LNB and SOFA .........................         $483,300                1,219                $396   ........................   ........................   ........................
                                                            SNCR with LNB and SOFA ......                 3,070,443                1,911               1,607           2,587,143                            691                     3,742
                                                            SCR with LNB and SOFA .........               9,448,912                3,300               2,838           8,965,612                         2,110                      4,248
                                               4 ........   LNB and SOFA .........................          673,550                1,756                 384   ........................   ........................   ........................

                                                 12 See 77 FR 42834, 42840–42941.                          Permit No. 53399 for Arizona Public Service                14 Cholla     SIP Revision, section 2.2, page 4.
                                                 13 Cholla BART SIP Revision, Appendix A                   Company Cholla Generating Station (October 16,
                                               Significant Permit Revision No. 61713 to Operating          2015).



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                                                                                 Federal Register / Vol. 81, No. 138 / Tuesday, July 19, 2016 / Proposed Rules                                                                                       46855

                                                     TABLE 1—COST-EFFECTIVENESS OF NOX CONTROL OPTIONS AT CHOLLA ASSUMING 20 YEARS OF OPERATION ON
                                                                                           COAL—Continued
                                                                                                                                                Average                                                        Incremental a

                                                                                                                                               Emission                                                          Incremental                 Incremental
                                                 Unit                     Control option                                                       reduction        Average cost-         Incremental
                                                                                                                   Annual cost                                                                                     emission                      cost-
                                                                                                                                               relative to      effectiveness         annual cost
                                                                                                                    ($/year)                                                                                      reduction                 effectiveness
                                                                                                                                                baseline            ($/ton)             ($/year)                  (ton/year)                    ($/ton)
                                                                                                                                               (ton/year)

                                                            SNCR with LNB and SOFA ......                              4,086,366                      2,643                 1,546          3,412,816                            887                      3,848
                                                            SCR with LNB and SOFA .........                           13,590,853                      4,408                 3,083         12,917,303                          2,652                      4,871
                                                 a The incremental cost effectiveness results for SNCR and SCR are based on the emission and cost differences between these technologies
                                               and the proposed LNB + SOFA option.

                                                 TABLE 2—COST-EFFECTIVENESS OF NOX CONTROL OPTIONS AT CHOLLA ASSUMING 8 YEARS OF OPERATION ON COAL
                                                                             AND 12 YEARS OF OPERATION ON NATURAL GAS

                                                                                                                                                Average                                                         Incremental

                                                                                                                                               Emission                                                          Incremental                 Incremental
                                                 Unit                     Control option                                                       reduction        Average cost-         Incremental
                                                                                                                   Annual cost                                                                                     emission                      cost-
                                                                                                                                               relative to      effectiveness         annual cost
                                                                                                                    ($/year)                                                                                      reduction                 effectiveness
                                                                                                                                                baseline            ($/ton)             ($/year)                  (ton/year)                    ($/ton)
                                                                                                                                               (ton/year)

                                               3 ........   LNB and SOFA .........................                      $411,300                        488                 $843    ........................   ........................    ........................
                                                            SNCR with LNB and SOFA ......                              2,497,743                        786                 3,177           2,086,443                            299                      6,989
                                                            SCR with LNB and SOFA .........                            8,716,452                      1,387                 6,286           8,305,152                            899                      9,237
                                               4 ........   LNB and SOFA .........................                       571,550                        702                   814   ........................   ........................    ........................
                                                            SNCR with LNB and SOFA ......                              3,283,930                      1,085                 3,027           2,712,380                            383                      7,091
                                                            SCR with LNB and SOFA .........                           12,480,744                      1,833                 6,810         11,909,194                          1,130                     10,539



                                               2. Energy and Non-Air Environmental                                       2016, while Unit 1 (the non-BART unit)                            • BART Option 1: Unit 1 with 2001–
                                               Impacts                                                                   would cease burning coal in 2025.                              2003 baseline controls (pre-LNB), Unit 2
                                                                                                                                                                                        shut down, LNB/SOFA on Units 3 and
                                                  ADEQ indicated that the energy                                         4. Remaining Useful Life
                                                                                                                                                                                        4;
                                               impacts of LNB, SOFA, and SNCR are                                           ADEQ used a 20-year amortization                               • BART Option 2: Unit 1 with 2001–
                                               minimal and that there are no non-air                                     period in order to calculate the costs of                      2003 baseline controls (pre-LNB), Unit 2
                                               quality environmental impacts                                             compliance for Units 3 and 4 because                           shut down, LNB/SOFA and SNCR on
                                               associated with LNB and SOFA. ADEQ                                        neither unit is subject to an enforceable                      Units 3 and 4; and
                                               also noted that SNCR and SCR would                                        shutdown date.
                                                                                                                                                                                           • BART Option 3: Unit 1 with 2001–
                                               result in ammonia slip and that the                                       5. Degree of Visibility Improvement                            2003 baseline controls (pre-LNB), Unit 2
                                               transport and handling of anhydrous                                                                                                      shut down, LNB/SOFA and SCR on
                                                                                                                            ADEQ included the results of
                                               ammonia presents potential safety                                                                                                        Units 3 and 4.
                                                                                                                         modeling conducted by APS and
                                               hazards.                                                                  PacifiCorp to predict the degree of                            APS and PacifiCorp used CALPUFF
                                               3. Existing Air Pollution Controls                                        visibility improvement associated with                         version 5.8 and incorporated
                                                                                                                         the three BART scenarios. This                                 meteorological data for 2001–2003, an
                                                 ADEQ noted that, under the Cholla                                       modeling predicted visibility impacts at                       assumption of 1.0 part per billion
                                               BART Reassessment, use of the existing                                    the thirteen Class I areas within 300 km                       background concentration for ammonia,
                                               LNB and SOFA would be continued at                                        of the Cholla facility under a baseline                        and ‘‘Method 8b’’ 20 percent best days
                                               Units 3 and 4. ADEQ proposed no                                           scenario (based on 2001–2003 emissions                         background conditions for all cases. The
                                               additional controls for these two units.                                  with all four units operating), as well as                     results of this modeling are shown in
                                               Unit 2 would be shut down in April                                        the three BART control scenarios:                              Tables 3 and 4.

                                                                                                                       TABLE 3—PREDICTED VISIBILITY IMPACTS
                                                                                                                             [22nd highest delta-dv over 3-year period]

                                                                                                                                                                                                         BART Option 2                    BART Option 3
                                                                                                                                                                             BART Option 1
                                                                                       Class I area                                                       Baseline                                        (LNB/SOFA/                       (LNB/SOFA/
                                                                                                                                                                              (LNB/SOFA)                    SNCR)                             SCR)
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                                               Petrified Forest NP ..........................................................................                        5.31                   4.33                           4.05                            3.55
                                               Grand Canyon NP ...........................................................................                           3.40                   1.79                           1.62                            1.20
                                               Capitol Reef NP ...............................................................................                       2.19                   1.04                           0.91                            0.62
                                               Mazatzal WA ....................................................................................                      2.23                   0.96                           0.87                            0.69
                                               Sycamore Canyon WA ....................................................................                               2.27                   1.00                           0.88                            0.67
                                               Mount Baldy WA ..............................................................................                         2.10                   0.97                           0.85                            0.62
                                               Gila WA ............................................................................................                  1.53                   0.53                           0.47                            0.39
                                               Sierra Ancha WA .............................................................................                         2.28                   1.05                           0.97                            0.81



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                                               46856                            Federal Register / Vol. 81, No. 138 / Tuesday, July 19, 2016 / Proposed Rules

                                                                                                          TABLE 3—PREDICTED VISIBILITY IMPACTS—Continued
                                                                                                                          [22nd highest delta-dv over 3-year period]

                                                                                                                                                                                             BART Option 2    BART Option 3
                                                                                                                                                                         BART Option 1
                                                                                      Class I area                                                     Baseline                               (LNB/SOFA/       (LNB/SOFA/
                                                                                                                                                                          (LNB/SOFA)            SNCR)             SCR)

                                               Mesa Verde NP ...............................................................................                      2.08              0.88               0.78             0.60
                                               Galiuro WA ......................................................................................                  0.96              0.34               0.31             0.27
                                               Superstition WA ...............................................................................                    2.00              1.00               0.93             0.73
                                               Saguaro NP .....................................................................................                   0.70              0.22               0.22             0.20
                                               Pine Mountain WA ...........................................................................                       1.64              0.67               0.59             0.48


                                                                             TABLE 4—PREDICTED VISIBILITY IMPROVEMENT OVER THE BASELINE VISIBILITY IMPACTS
                                                                                                                          [22nd highest delta-dv over 3-year period]

                                                                                                                                                      BART                   BART
                                                                                                                             BART                    Option 2               Option 3         Option 2 over    Option 3 over
                                                                        Class I area                                        Option 1               (LNB/SOFA              (LNB/SOFA            Option 1         Option 1
                                                                                                                          (LNB/SOFA)                 /SNCR)                  /SCR)

                                               Petrified Forest NP ..........................................                           0.98                   1.26                 1.77               0.28             0.79
                                               Grand Canyon NP ...........................................                              1.61                   1.78                 2.20               0.17             0.59
                                               Capitol Reef NP ...............................................                          1.15                   1.28                 1.57               0.13             0.42
                                               Mazatzal WA ....................................................                         1.27                   1.36                 1.54               0.09             0.27
                                               Sycamore Canyon WA ....................................                                  1.27                   1.39                 1.60               0.12             0.33
                                               Mount Baldy WA ..............................................                            1.14                   1.26                 1.48               0.12             0.34
                                               Gila WA ............................................................                     1.00                   1.06                 1.14               0.06             0.14
                                               Sierra Ancha WA .............................................                            1.22                   1.30                 1.47               0.08             0.25
                                               Mesa Verde NP ...............................................                            1.21                   1.30                 1.49               0.09             0.28
                                               Galiuro WA .......................................................                       0.62                   0.65                 0.69               0.03             0.07
                                               Superstition WA ...............................................                          1.00                   1.07                 1.28               0.07             0.28
                                               Saguaro NP .....................................................                         0.48                   0.49                 0.50               0.01             0.02
                                               Pine Mountain WA ...........................................                             0.97                   1.04                 1.16               0.07             0.19
                                               Cumulative .......................................................                      13.92                  15.24                17.89               1.32             3.97
                                               Average ............................................................                     1.07                   1.17                 1.38               0.10             0.31



                                               B. BART Determination for Cholla Units                                  Based on its analysis, ADEQ found                         currently designated as attainment or
                                               3 and 4                                                                 Option 1 (LNB with SOFA) to be BART                       unclassifiable for the following NAAQS:
                                                  ADEQ’s BART determination for                                        for NOX at Cholla Units 3 and 4. The                      Carbon monoxide (CO), lead (Pb),
                                               Cholla Units 3 and 4 in the Cholla SIP                                  rolling 30-boiler-operating-day NOX                       nitrogen dioxide (NO2), ozone (O3)
                                               Revision effectively replaces step 7                                    emission limits associated with this                      (2008 NAAQS), PM2.5 (1997 and 2006
                                               (select BART) of its prior BART analysis                                BART determination are 0.22 lb/MMbtu                      NAAQS), PM10, and SO2 (1971
                                               for NOX BART for Cholla in the Arizona                                  (effective until April 30, 2025), which                   NAAQS). ADEQ also noted that it has
                                               Regional Haze SIP. In making this                                       reflects the use of coal, and 0.080 lb/                   recommended an attainment/
                                               determination, ADEQ compared the                                        MMbtu (effective May 1, 2025), which                      unclassifiable designation for this area
                                               three emission control options (LNB and                                 reflects the use of natural gas.                          for the 2012 PM2.5 and 2010 SO2
                                               SOFA, SNCR with LNB and SOFA, SCR                                       C. 110(l) Analysis                                        standards.
                                               with LNB and SOFA). For Option 1, it
                                                                                                                         In addition to the BART re-analysis                       ADEQ’s demonstration of
                                               found that the LNB and SOFA controls
                                               could be installed at reasonable cost-                                  and determinations, the Cholla SIP                        noninterference with attainment
                                               effectiveness and would deliver                                         Revision also includes a demonstration                    focused on the NAAQS for PM10, SO2,
                                               visibility improvements ranging from                                    of ‘‘noninterference’’ under CAA section                  NO2, and O3 because ambient levels of
                                               0.48 to 1.61 dv over baseline conditions                                110(l). In particular, ADEQ considered                    these pollutants are affected by
                                               across thirteen Class I areas. For Option                               whether the Cholla SIP Revision would                     emissions of PM10, SO2, and/or NOX.
                                               2, it found the SNCR control option to                                  interfere with (1) any applicable                         Specifically, ADEQ analyzed emissions
                                               be too costly in comparison to the small                                requirement concerning attainment of                      of PM10, SO2, and NOX under the
                                               additional visibility benefits it would be                              any National Ambient Air Quality                          control strategies in the Cholla BART
                                               expected to deliver. For Option 3, ADEQ                                 Standards (NAAQS) or (2) any other                        Reassessment, as compared with the
                                               noted that the visibility benefits of SCR                               applicable requirement of the CAA.                        existing control requirements in the
                                               (3.97 dv cumulative incremental                                         1. Demonstration of Noninterference                       applicable SIP and FIP. This assessment
                                               visibility improvement) would only last                                                                                           was conducted by considering revised
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                                                                                                                       With NAAQS Attainment
                                               until 2025 when coal firing would                                                                                                 emissions limits included in the Cholla
                                               cease, after which the incremental                                       ADEQ noted that Cholla is located in                     SIP Revision, summarized in Table 5.
                                               benefits of SCR would be ‘‘negligible.’’                                Navajo County, Arizona, which is




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                                                                                 Federal Register / Vol. 81, No. 138 / Tuesday, July 19, 2016 / Proposed Rules                                                                                           46857

                                                                                                   TABLE 5—EMISSION LIMITS FOR CHOLLA BART REASSESSMENT
                                                                                                                                                                                                                       Emission limit
                                                                                                                                                                                                                        (lb/MMbtu)
                                                                Unit                                                           Dates
                                                                                                                                                                                              NOX                               PM10                 SO2

                                               Unit 2 ................................                                                                       Unit shut down on April 1, 2016

                                               Unit 3 ................................     until April 30, 2025 ......................................................                                   0.22                          0.015                 0.15
                                                                                           after April 30, 2025 .....................................................                                    0.08                           0.01               0.0006
                                               Unit 4 ................................     until April 30, 2025 ......................................................                                   0.22                          0.015                 0.15
                                                                                           after April 30, 2025 .....................................................                                    0.08                           0.01               0.0006



                                                 For its PM10 analysis, ADEQ found                                        Beginning in 2026, PM10 emissions will                                         natural gas at Units 3 and 4. Therefore,
                                               that the emission control strategies in                                    be further reduced under the Cholla                                            ADEQ found that the Cholla SIP
                                               the Cholla BART Reassessment will                                          BART Reassessment, due to the 20                                               Revision will not interfere with
                                               result in greater PM10 reductions than                                     percent capacity factor limit and the                                          attainment and maintenance of the PM10
                                               those in the Arizona Regional Haze SIP                                     more stringent emission limits (0.01 lb/                                       NAAQS.
                                               beginning in 2016 and continuing into                                      MMBtu rather than 0.015 lb/MMBtu)
                                               the future, as shown in Table 6.                                           that will apply after the switch to

                                                      TABLE 6—COMPARISON OF ANNUAL PM10 EMISSIONS FOR 2011 ARIZONA SIP VS. CHOLLA BART REASSESSMENT
                                                                                                                                                                                                                                     Annual PM10
                                                                                                                                                                                                                                 (tons per year (tpy))
                                                                            Time period                                                                          Unit No.
                                                                                                                                                                                                                                                  Cholla SIP
                                                                                                                                                                                                                         2011 AZ SIP               revision

                                               2016 ........................................................................    Unit   1   ......................................................................                        84                     84
                                                                                                                                Unit   2   ......................................................................                      a 214                   b 78

                                                                                                                                Unit   3   ......................................................................                       197                    197
                                                                                                                                Unit   4   ......................................................................                       269                    269

                                                                                                                                       Total ................................................................                           764                    628

                                               2017–2025 ..............................................................         Unit   1   ......................................................................                        84                     84
                                                                                                                                Unit   2   ......................................................................                       181                      0
                                                                                                                                Unit   3   ......................................................................                       197                    197
                                                                                                                                Unit   4   ......................................................................                       269                    269

                                                                                                                                       Total ................................................................                           731                    550

                                               2026 forward ...........................................................         Unit   1   ......................................................................                        84                     13
                                                                                                                                Unit   2   ......................................................................                       181                      0
                                                                                                                                Unit   3   ......................................................................                       197                     30
                                                                                                                                Unit   4   ......................................................................                       269                     39

                                                                                                                                       Total ................................................................                           731                     82
                                                  a Based      on compliance date of April 1, 2016 for emissions limit of 0.015 lb/MMBtu.
                                                  b Based      on operation of Unit 2 until April 1, 2016.


                                                  ADEQ also compared SO2 emission                                         Reassessment will result in greater SO2                                        the control strategy outlined in the
                                               control strategies in the 2011 SIP with                                    reductions than those in the 2011 SIP                                          Cholla SIP Revision will not interfere
                                               those in the Cholla BART Reassessment.                                     beginning in 2016 and continuing into                                          with attainment and maintenance of the
                                               As shown in Table 7, the control                                           the future. Therefore, ADEQ found that                                         SO2 NAAQS.
                                               strategies in the Cholla BART                                              the emissions reductions achieved by

                                                       TABLE 7—COMPARISON OF ANNUAL SO2 EMISSIONS FOR 2011 ARIZONA SIP VS. CHOLLA BART REASSESSMENT
                                                                                                                                                                                                                                          Annual SO2
                                                                                                                                                                                                                                             (tpy)
                                                                               Time period                                                                                Unit No.
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                                                                                                                                                                                                                                                   Cholla SIP
                                                                                                                                                                                                                                 2011 AZ SIP        revision

                                               2016 ..............................................................................   Unit    1   ............................................................................               844                844
                                                                                                                                     Unit    2   ............................................................................             1,614             a 452

                                                                                                                                     Unit    3   ............................................................................             1,966             1,966
                                                                                                                                     Unit    4   ............................................................................             2,688             2,688




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                                               46858                            Federal Register / Vol. 81, No. 138 / Tuesday, July 19, 2016 / Proposed Rules

                                                    TABLE 7—COMPARISON OF ANNUAL SO2 EMISSIONS FOR 2011 ARIZONA SIP VS. CHOLLA BART REASSESSMENT—
                                                                                              Continued
                                                                                                                                                                                                                                      Annual SO2
                                                                                                                                                                                                                                         (tpy)
                                                                              Time period                                                                                Unit No.
                                                                                                                                                                                                                                                 Cholla SIP
                                                                                                                                                                                                                               2011 AZ SIP        revision

                                                                                                                                           Total .......................................................................              7,112            5,950

                                               2017–2025 ....................................................................       Unit    1   ............................................................................            844              844
                                                                                                                                    Unit    2   ............................................................................          1,614                0
                                                                                                                                    Unit    3   ............................................................................          1,966            1,966
                                                                                                                                    Unit    4   ............................................................................          2,688            2,688

                                                                                                                                           Total .......................................................................              7,112            5,498

                                               2026 forward .................................................................       Unit    1   ............................................................................            844                   1
                                                                                                                                    Unit    2   ............................................................................          1,614                   0
                                                                                                                                    Unit    3   ............................................................................          1,966                   2
                                                                                                                                    Unit    4   ............................................................................          2,688                   2

                                                                                                                                           Total .......................................................................              7,112                   5
                                                  a Based     on operation of Unit 2 until April 1, 2016.


                                                 ADEQ also analyzed the emission                                         while the shutdown of Unit 2 results in                                        are no nonattainment or maintenance
                                               control strategies for NOX in the Cholla                                  lower NOX emissions than the FIP for                                           SIPs that rely on emission reductions at
                                               BART Reassessment (Unit 2 shutdown                                        2016, the Reassessment will allow for                                          Cholla to ensure continued attainment
                                               and LNB/SOFA controls at Units 3 and                                      4,161 tpy more NOX emissions than the                                          of the NO2 NAAQS and the Cholla
                                               4 until conversion to natural gas by                                      FIP between 2018 and 2025. However,                                            BART Reassessment will result in NOX
                                               2025 with a ≤20 percent annual average                                    after 2025, due to the conversion to                                           emission reductions relative to the
                                               capacity factor) in comparison to the                                     natural gas, the Cholla BART                                                   existing operating conditions of the
                                               FIP, which requires the installation of                                   Reassessment will result in greater                                            facility, it will not interfere with
                                               SCR with LNB and SOFA at all units by                                     annual NOX emission reductions than                                            attainment or maintenance of the
                                               December 5, 2017. As shown in Table 8,                                    the FIP. ADEQ found that, because there                                        current NO2 NAAQS.

                                                                    TABLE 8—COMPARISON OF NOX ANNUAL EMISSIONS FOR FIP VS. CHOLLA BART REASSESSMENT
                                                                                                                                                                                                                        Annual NOX
                                                                                                                                                                                                                           (tpy)

                                                                                                                                                                                                                                             Annual emission
                                                                    Time period                                                        Unit No.                                                                                              change (Cholla
                                                                                                                                                                                                                        Cholla BART
                                                                                                                                                                                         EPA FIP                                                  BART
                                                                                                                                                                                                                       reassessment           reassessment
                                                                                                                                                                                                                                               to EPA FIP)

                                               2016 .......................................................   Unit   1   .....................................................                        1,131                       1,131                   0
                                                                                                              Unit   2   .....................................................                        3,601                       a 900              ¥2,701
                                                                                                              Unit   3   .....................................................                        2,766                       2,766                   0
                                                                                                              Unit   4   .....................................................                        3,548                       3,548                   0

                                                                                                                     Total ...............................................                          11,046                        8,345              ¥2,701

                                               2017 .......................................................   Unit   1   .....................................................                        1,131                       1,131                   0
                                                                                                              Unit   2   .....................................................                        3,601                           0              ¥3,601
                                                                                                              Unit   3   .....................................................                        2,766                       2,766                   0
                                                                                                              Unit   4   .....................................................                        3,548                       3,548                   0

                                                                                                                     Total ...............................................                          11,046                        7,445              ¥3,601

                                               2018–2025 .............................................        Unit   1   .....................................................                        1,131                       1,131                    0
                                                                                                              Unit   2   .....................................................                          602                           0                ¥602
                                                                                                              Unit   3   .....................................................                          655                       2,766                2,111
                                                                                                              Unit   4   .....................................................                          896                       3,548                2,652
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                                                                                                                     Total ...............................................                            3,284                       7,445                4,161

                                               2026 forward ..........................................        Unit   1   .....................................................                        1,131                          105             ¥1,026
                                                                                                              Unit   2   .....................................................                          602                            0              ¥602
                                                                                                              Unit   3   .....................................................                          655                          244              ¥411
                                                                                                              Unit   4   .....................................................                          896                          308              ¥588




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                                                                                 Federal Register / Vol. 81, No. 138 / Tuesday, July 19, 2016 / Proposed Rules                                                                          46859

                                                          TABLE 8—COMPARISON OF NOX ANNUAL EMISSIONS FOR FIP VS. CHOLLA BART REASSESSMENT—Continued
                                                                                                                                                                                                          Annual NOX
                                                                                                                                                                                                             (tpy)

                                                                                                                                                                                                                              Annual emission
                                                                    Time period                                                         Unit No.                                                                              change (Cholla
                                                                                                                                                                                                           Cholla BART
                                                                                                                                                                                      EPA FIP                                      BART
                                                                                                                                                                                                          reassessment         reassessment
                                                                                                                                                                                                                                to EPA FIP)

                                                                                                                      Total ...............................................                    3,284                   657              ¥2,627
                                                  a Based      on operation of Unit 2 until April 1, 2016.


                                                  Similarly, with regard to ozone, for                                    2. Demonstration of Noninterference                                   Revision compared to the existing SIP
                                               which NOX emissions are a precursor,                                       With Other CAA Requirements                                           and FIP requirements.15 These results,
                                               ADEQ noted that there are no                                                                                                                     summarized in Table 9, show that,
                                               nonattainment or maintenance SIPs that                                       With regards to the other applicable                                compared with the existing SIP and FIP
                                                                                                                          CAA requirements, ADEQ considered                                     requirements, the Cholla SIP Revision
                                               rely on emission reductions at Cholla to
                                                                                                                          whether the Cholla BART Reassessment                                  would result in less visibility
                                               ensure continued attainment of the
                                                                                                                          would interfere with (1) the                                          improvement at all affected Class I areas
                                               NAAQS and that the Cholla BART
                                                                                                                          requirements of the Regional Haze                                     between 2018 and 2025, but would
                                               Reassessment will result in greater long-                                  program or (2) the CAA’s air toxics
                                               term NOX emission reductions than the                                                                                                            result in greater improvement starting in
                                                                                                                          requirements.                                                         2026. Based on these results and taking
                                               existing FIP. Accordingly, ADEQ
                                               concluded that the Cholla BART                                               In evaluating potential interference                                into consideration the long-term goal of
                                               Reassessment will not interfere with the                                   with the RHR, ADEQ relied primarily on                                the Regional Haze Rule to achieve
                                                                                                                          the results of air quality modeling (using                            natural visibility conditions, ADEQ
                                               attainment or maintenance of the 2008
                                                                                                                          CALPUFF) performed by APS and                                         found that the BART Reassessment will
                                               ozone NAAQS.
                                                                                                                          PacifiCorp to assess the visibility                                   not interfere with the requirements of
                                                                                                                          impacts of Cholla under the Cholla SIP                                the regional haze program.

                                                                                                               TABLE 9—MODELED VISIBILITY IMPACTS OF CHOLLA
                                                                                                                                                                                   EPA FIP and            SIP Revision          SIP Revision
                                                                                                                                                                                   existing SIP              BART                  BART
                                                                                                                                                                                                          (2018–2025)          (2026 forward)
                                                                                                    Class I Area
                                                                                                                                                                                  Visibility impacts    Visibility impacts    Visibility impacts
                                                                                                                                                                                          (dv)                  (dv)                  (dv)

                                               Petrified Forest NP ....................................................................................................                         2.64                  3.75                   1.45
                                               Grand Canyon NP .....................................................................................................                            1.11                  1.48                   0.45
                                               Capitol Reef NP .........................................................................................................                        0.62                  0.92                   0.29
                                               Mazatzal WA ..............................................................................................................                       0.75                  0.83                   0.30
                                               Sycamore Canyon WA ..............................................................................................                                0.73                  0.94                   0.29
                                               Mount Baldy WA ........................................................................................................                          0.69                  0.87                   0.28
                                               Gila WA ......................................................................................................................                   0.46                  0.47                   0.17
                                               Sierra Ancha WA .......................................................................................................                          0.82                  0.94                   0.36
                                               Mesa Verde NP .........................................................................................................                          0.63                  0.84                   0.30
                                               Galiuro WA ................................................................................................................                      0.29                  0.30                   0.09
                                               Superstition WA .........................................................................................................                        0.73                  0.88                   0.30
                                               Saguaro NP ...............................................................................................................                       0.20                  0.19                   0.05
                                               Pine Mountain WA .....................................................................................................                           0.51                  0.58                   0.17
                                               Cumulative impacts ...................................................................................................                          10.18                 12.99                   4.50



                                                  Concerning air toxics, ADEQ noted                                       D. Cholla Permit Revision                                             ADEQ’s prior BART determinations for
                                               that in addition to ceasing operation of                                                                                                         SO2 and PM10 at Cholla.
                                               Unit 2, the Cholla facility proposes to                                      The Cholla Permit Revision, which is
                                               implement sorbent injection at Units 1,                                    incorporated as Appendix A to the                                     IV. The EPA’s Evaluation of the Cholla
                                               3, and 4 by March 2016 to reduce air                                       Cholla SIP Revision, was issued by                                    SIP Revision
                                               toxics and achieve compliance with the                                     ADEQ on October 16, 2015. The Permit
                                                                                                                                                                                                  We have evaluated the Cholla SIP
                                               EPA’s Mercury and Air Toxics (MATS)                                        Revision incorporates emission limits
                                                                                                                                                                                                Revision for compliance with the
                                               rule. Therefore, ADEQ concluded that                                       and compliance dates as well as
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                                                                                                                                                                                                requirements of the CAA, the RHR, and
                                               the Cholla BART Reassessment will not                                      monitoring, recordkeeping, and
                                                                                                                                                                                                the BART Guidelines.16 Our evaluation
                                               interfere with any air toxics                                              reporting requirements to implement
                                                                                                                                                                                                of each of the major components of the
                                               requirements of the CAA.                                                   both the Cholla BART Reassessment and
                                                 15 Id.                                                                   fuel fired generating power plant having a total                      750 megawatts, so the BART Guidelines are
                                                 16 CAA  section 169A(b)(2) and 40 CFR                                    generating capacity in excess of 750 megawatts be                     mandatory for the Cholla BART analysis and
                                               51.308(e)(1)(ii)(B) require that BART for each fossil-                     determined pursuant to the BART Guidelines.                           determination.
                                                                                                                          Cholla has a total generating capacity in excess of



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                                               46860                    Federal Register / Vol. 81, No. 138 / Tuesday, July 19, 2016 / Proposed Rules

                                               Cholla SIP Revision is summarized in                     as part of the Regional Haze FIP,24                     ADEQ considered the benefits from
                                               the following sections.                                  which were calculated using the CCM                     controls on only one emitting unit at a
                                                                                                        methodology.25                                          time and overlooked significant benefits
                                               A. The EPA’s Evaluation of the
                                                                                                           We note that in May 2016, EPA                        at multiple Class I areas, thereby
                                               Enforceable Retirement Provision for
                                                                                                        revised the CCM chapter that concerns                   understating the full visibility benefits
                                               Cholla Unit 2                                                                                                    of the candidate controls.32 By contrast,
                                                                                                        SCR systems.26 The revised CCM
                                                  The Cholla Permit Revision requires                   recommends use of a 30-year equipment                   in the Cholla SIP revision, ADEQ looked
                                               Unit 2 to be permanently retired by no                   life for SCR systems,27 whereas the                     at the visibility impacts and potential
                                               later than April 1, 2016.17 This date                    previous version recommended a 20-                      improvements from all three BART-
                                               coincides with the compliance                            year life.28 As noted above, ADEQ used                  eligible units together and also
                                               deadlines for SO2 and PM10 in the                        a 20-year remaining useful life in its                  considered impacts and potential
                                               Arizona Regional Haze FIP and precedes                   cost calculations in the Cholla SIP                     improvements at all 13 Class I areas
                                               the deadline for NOX by over a year.18                   Revision, which was consistent with the                 within 300 km of Cholla, based on
                                               In fact, the unit was shut down on                       current CCM recommendation at the                       modeling performed by APS and
                                               October 1, 2015.19 If Unit 2 were not                    time of SIP submittal in October 2015.                  PacifiCorp.33
                                               retired, APS would have been required                    Given that the majority of other BART                      In considering the results of this
                                               to install additional controls to meet the               analyses, including the EPA’s analysis                  modeling, it should be noted that the
                                               SO2 and PM10 limits in the SIP, as well                  for Cholla in the Arizona Regional Haze                 baseline scenario included emissions
                                                                                                        FIP,29 have used a 20-year remaining                    from Unit 2, but the control scenarios
                                               as the NOX limit in the FIP, which is
                                                                                                        useful life for SCR, we believe that this               did not include any emissions from Unit
                                               achievable with SCR. The requirement
                                                                                                        remains an appropriate assumption in                    2. As a result, the total visibility
                                               for permanent retirement will become
                                                                                                        this instance in order to ensure a                      improvement anticipated under each of
                                               effective and federally enforceable when
                                                                                                        consistent comparison with the cost                     the control scenarios represents not only
                                               the Cholla SIP Revision is approved into
                                                                                                        estimates for SCR in other BART                         the visibility benefits of controls on
                                               the SIP and the FIP provisions
                                                                                                        determinations. Nonetheless, we have                    Units 3 and 4, but also the visibility
                                               applicable to Cholla are withdrawn.20
                                                                                                        also conducted an additional analysis to                benefits of the closure of Unit 2. We
                                               Accordingly, we agree with ADEQ that
                                                                                                        evaluate how use of a 30-year remaining                 consider this to be a reasonable
                                               no further analysis is required for Cholla
                                                                                                        useful life would affect the cost-                      approach because it is consistent with
                                               Unit 2, and we propose to approve the
                                                                                                        effectiveness values for SCR at Cholla                  the requirement of the BART Guidelines
                                               requirement for permanent retirement as
                                                                                                        Units 3 and 4. We found that use of a                   for states to consider the visibility
                                               satisfying the requirements of the CAA
                                                                                                        30-year remaining useful life would                     improvement from controls applied to
                                               and RHR for Cholla Unit 2.
                                                                                                        increase the average cost-effectiveness                 the entire BART-eligible source.34
                                               B. The EPA’s Evaluation of ADEQ’s                        of SCR at Unit 3 from $6,286/ton to                     However, given that ADEQ is not
                                               BART Analysis for Cholla Units 3 and                     $7,864/ton and the ‘‘incremental’’ cost-                making a BART determination for Unit
                                               4                                                        effectiveness (as compared with                         2 in this instance, we believe it is
                                                                                                        LNB+SOFA) from $9,237/ton to                            appropriate to also consider the
                                                 We find that ADEQ’s BART analysis                                                                              visibility improvement expected to
                                               for Cholla Units 3 and 4 is consistent                   $11,295/ton.30 The average and
                                                                                                        ‘‘incremental’’ (as compared with                       result from controls on Units 3 and 4
                                               with the requirements of the CAA, RHR,                                                                           only. ADEQ’s evaluation of the
                                               and the BART Guidelines. In particular,                  LNB+SOFA) cost-effectiveness of SCR at
                                                                                                        Unit 4 would be increased from $6,810/                  ‘‘incremental’’ visibility benefits of
                                               we find that ADEQ’s BART re-analysis                                                                             SNCR (‘‘Option 2 over Option 1’’ in
                                               addresses the flaws that were the basis                  ton to $8,401/ton and from $10,539 to
                                                                                                        $12,674, respectively.31 Thus, if ADEQ                  Table 4) and SCR (‘‘Option 3 over
                                               for our disapproval of ADEQ’s prior                                                                              Option 1’’ in Table 4) effectively
                                               BART analysis for Cholla.21                              had calculated the average and
                                                                                                        incremental cost-effectiveness of SCR                   excludes the benefits of the Unit 2
                                                 With regard to the cost of compliance,                 based on a 30-year remaining useful life,               shutdown because Options 1, 2, and 3
                                               in its previous BART analysis for                        it would have provided further support                  all exclude emissions from Unit 2.
                                               Cholla, ADEQ included certain line item                  for ADEQ’s determination that the                       Given that ADEQ relied heavily on these
                                               costs not allowed by the EPA Control                     incremental costs of compliance for SCR                 ‘‘incremental’’ visibility benefits in
                                               Cost Manual (CCM),22 such as owner’s                     are not warranted by the incremental                    reaching its ultimate BART
                                               costs, surcharge, and Allowance for                      benefits.                                               determination,35 we find that ADEQ
                                               Funds Used During Construction                              With regard to visibility modeling, in               appropriately considered the visibility
                                               (AFUDC).23 This approach did not                         its previous BART analysis for Cholla,
                                               comply with BART Guidelines’                                                                                       32 See   77 FR 42849.
                                               direction that cost estimates should be                       24 See,
                                                                                                                   e.g., Cholla SIP Revision, Appendix B,
                                                                                                                                                                  33 See,   e.g., Cholla SIP Revision, Table 4 and 5.
                                                                                                                                                                   34 In particular, the BART Guidelines explain
                                               based on the CCM. In the Cholla SIP                      Table B–1, footnote (a).
                                                                                                                                                                that, ‘‘[i]f the emissions from the list of emissions
                                               revision, by contrast, ADEQ used the                        25 See 77 FR 42852.
                                                                                                                                                                units at a stationary source exceed a potential to
                                                                                                           26 CCM (7th Edition), Section 4, Chapter 2—
                                               cost estimates that the EPA developed                                                                            emit of 250 tons per year for any visibility-
                                                                                                        Selective Catalytic Reduction (May 2016), available
                                                                                                                                                                impairing pollutant, then that collection of
                                                                                                        at https://www3.epa.gov/ttn/ecas/docs/
                                                 17 Cholla  Permit Revision section I.C.1.                                                                      emissions units is a BART-eligible source.’’ 40 CFR
                                                                                                        SCRCostManualchapter7thEdition_2016.pdf.
                                                 18 See                                                                                                         part 51, appendix Y, section II.A.4. In other words,
                                                        40 CFR 51.145(f)(4).                               27 See id. at 2–78 (‘‘broadly speaking, a
                                                 19 Letter from Edward Seal, APS, to Kathleen
                                                                                                                                                                the BART-eligible source (the list of BART
                                                                                                        representative value of the equipment life for SCR      emissions units at a source) is the collection of
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                                               Johnson, EPA, and Eric Massey, ADEQ (October 28,         at power plants can be considered as 30 years.’’)       units for which one must make a BART
                                               2015).                                                      28 CCM (6th edition), Section 4.2, Chapter 2—
                                                                                                                                                                determination. The BART Guidelines also state
                                                 20 Cholla Permit Revision section I.A.                 Selective Catalytic Reduction (October 2000),           ‘‘you must conduct a visibility improvement
                                                 21 See 77 FR 42840–42941 and 42849, 77 FR              available at https://www3.epa.gov/ttn/ecas/docs/        determination for the source(s) as part of the BART
                                               72565–72566.                                             cs4-2ch2.pdf, at 2–48 (‘‘An economic lifetime of 20     determination.’’ Id, section IV.D.5. This requires
                                                 22 EPA Air Pollution Control Cost Manual,              years is assumed for the SCR system.’’)                 consideration of the visibility improvement from
                                                                                                           29 See 77 FR 42854.
                                               available at https://www3.epa.gov/ttn/ecas/cost_                                                                 BART applied to the BART-eligible source as a
                                               manual.html.                                                30 See Cholla_SCR_costs (30 yr life).xlsx.           whole.
                                                 23 See 77 FR 42849.                                       31 Id.                                                  35 See Cholla SIP Revision section 2.3.




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                                                                         Federal Register / Vol. 81, No. 138 / Tuesday, July 19, 2016 / Proposed Rules                                                     46861

                                               benefits of controls on Units 3 and 4                     those of the next most stringent option                  relation to the available control options
                                               only, as well as the benefits of the                      . . . .’’ 37 In this case, SNCR with                     and reached a reasonable BART
                                               Cholla BART Reassessment as a whole.                      LNB+SOFA is the next most stringent                      determination based on its
                                                  We also note that ADEQ did not                         option compared to SCR with                              consideration of the factors.
                                               quantify the expected visibility benefits                 LNB+SOFA. Had ADEQ compared SCR                             With regard to SCR, we find that it
                                               of SCR and SNCR on Units 3 and 4 after                    with LNB+SOFA to SNCR with                               was reasonable for ADEQ to conclude
                                               these units are converted to gas in 2025,                 LNB+SOFA, the incremental cost-                          that the costs of SCR were not warranted
                                               but characterized these benefits as                       effectiveness using a 20-year remaining                  by the visibility benefits in this
                                               ‘‘negligible.’’ In order to evaluate                      useful life would have been $10,347/ton                  instance. In particular, with regard to
                                               ADEQ’s characterization, we scaled the                    for Unit 3 and $12,295/ton for Unit 4,38                 costs, we are not aware of any instance
                                               modeled visibility benefits of SCR under                  rather than $9,237/ton for Unit 3 and                    in which the EPA has determined SCR
                                               the coal-fired scenario to roughly                        $10,539/ton for Unit 4. Similarly, had                   to be BART where the average cost-
                                               estimate what the benefits would be                       ADEQ calculated the incremental                          effectiveness of SCR was greater than
                                               under the gas-fired scenario. The results                 visibility benefits of SCR with                          $6,000/ton and the incremental cost-
                                               of this scaling indicate that, under the                  LNB+SOFA based on a comparison to                        effectiveness (calculated in accordance
                                               gas-fired scenario, the approximate                       SNCR with LNB+SOFA, the per area                         with the BART Guidelines) was greater
                                               benefits of SNCR would be 0.07 dv at                      incremental benefits would have ranged                   than $10,000/ton, as is the case with
                                               the most-improved Class I area and 0.31                   from 0.01 dv to 0.51 dv, rather than 0.07                Cholla Units 3 and 4. Similarly, we are
                                               dv cumulatively over all affected Class                   dv to 0.79 dv, and the cumulative                        not aware of any instance in which the
                                               I areas, while the approximate benefits                   incremental benefit would have been                      EPA has disapproved a state’s BART
                                               of SCR would be 0.15 dv at the most-                      2.65 dv rather than 3.97 dv.39 Thus, if                  determination that rejected SCR as
                                               improved Class I area and 0.77 dv                         ADEQ had calculated the incremental                      BART based on similar cost-
                                               cumulatively over all affected Class I                    costs and benefits of SCR in accordance                  effectiveness values. Furthermore, while
                                               areas.36 Thus, the benefits of SNCR or                    with the BART Guidelines, it would                       the total visibility benefits of the SCR-
                                               SCR under the gas-fired scenario would                    have resulted in higher incremental                      based control scenario (‘‘BART Option
                                               be significantly less than under the coal-                cost-effectiveness values and lower                      3’’) are large (2.20 dv at the most
                                               fired scenario, for which the expected                    incremental visibility benefits compared                 improved area and 17.89 dv cumulative
                                               ‘‘incremental’’ benefits over LNB+SOFA                    with the figures provided in the Cholla                  across all affected areas), as noted in the
                                               are 0.28 dv at the most-improved area                     SIP Revision, which would provide                        previous section, these benefits include
                                               and 1.32 dv cumulative for SNCR and                       further support for ADEQ’s                               not only the effect of SCR installation on
                                               0.79 dv at the most-improved Class I                      determination that the incremental costs                 Units 3 and 4, but also the retirement of
                                               area and 3.97 dv cumulative for SCR.                      of compliance for SCR are not warranted                  Unit 2. Thus, we believe it was
                                                  In the Cholla SIP Revision, ADEQ also                  by the incremental benefits.                             appropriate for ADEQ to focus primarily
                                               appropriately accounted for the                           Accordingly, in reviewing the                            on what it characterized as the
                                               requirements that will apply to Units 3                   reasonableness of ADEQ’s re-analysis of                  ‘‘incremental’’ visibility benefits, i.e.,
                                               and 4 as of 2025, i.e., the permanent                     BART for these units, we find that                       the relative degree of visibility
                                               cessation of coal burning by April 30,                    ADEQ’s diversion from the BART                           improvement expected under Option 3
                                               2025, with the option to convert to                       Guidelines in this regard was of no                      (Unit 2 retired and SCR with
                                               pipeline-quality natural gas and comply                   consequence.                                             LNB+SOFA on Units 3 and 4) compared
                                               with a 20 percent annual average                             Based on our findings that the Cholla                 with Option 1 (Unit 2 retired and
                                               capacity factor limit by July 31, 2025.                   SIP Revision addresses the flaws that                    LNB+SOFA on Units 3 and 4), which
                                               These new requirements significantly                      were the basis for our disapproval of                    were 0.07 dv to 0.79 dv per area and
                                               decrease the emission reductions                          ADEQ’s prior BART analysis for Cholla                    3.97 dv cumulative.40 While these
                                               achievable by SCR or SNCR beginning                       and otherwise meets the requirements of                  benefits are significant, we believe it
                                               in 2025 and thus increase the average $/                  the CAA, RHR, and the BART                               was reasonable for ADEQ to determine
                                               ton of both SCR and SNCR over the                         Guidelines, we propose to approve                        that the benefits were not warranted in
                                               remaining useful life of the units, as                    ADEQ’s BART re-analysis for Cholla                       light of the high costs of SCR and the
                                               shown in Tables 1 and 2 above.                            Units 3 and 4.                                           fact that benefits of this magnitude
                                               Similarly, these requirements limit the                                                                            would only last for approximately eight
                                               timeframe in which significant visibility                 C. The EPA’s Evaluation of ADEQ’s
                                                                                                                                                                  years, after which the benefits of SCR
                                               benefits would result from either SCR or                  BART Determination for Cholla Units 3
                                                                                                                                                                  would be far less (roughly 0.15 dv at the
                                               SNCR to less than eight years.                            and 4
                                                                                                                                                                  most-improved Class I area and 0.77 dv
                                                  We note that ADEQ did diverge                            We also find that ADEQ’s BART                          cumulatively over all affected Class I
                                               slightly from the BART Guidelines in its                  determination for NOX at Cholla Units                    areas).
                                               calculation of the incremental cost-                      3 and 4 is consistent with the                              With regard to SNCR, we find that it
                                               effectiveness of SCR. In particular,                      requirements of the CAA, RHR, and the                    was reasonable for ADEQ to conclude
                                               ADEQ calculated the incremental cost,                     BART Guidelines. In particular, we find                  that the costs of SNCR were not
                                               as well as incremental visibility                         that ADEQ appropriately considered                       warranted by the visibility benefits. In
                                               benefits, based on a comparison                           and weighed the five BART factors in                     particular, with regard to costs, we are
                                               between SCR with LNB+SOFA and                                                                                      not aware of any instance in which the
                                               LNB+SOFA only. This differs from the                         37 40 CFR part 51 appendix Y, section IV.D.4.e
                                                                                                                                                                  EPA has determined SNCR to be BART
                                                                                                         (emphasis added). The BART Guidelines do not
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                                               approach to calculating incremental                       specify a method for calculating incremental
                                                                                                                                                                  where the average cost-effectiveness of
                                               cost-effectiveness that is set forth in the               visibility benefits. We consider it appropriate to       SNCR was greater than $3,000/ton and
                                               BART Guidelines, under which                              calculate these benefits in the same manner as
                                               incremental cost-effectiveness is                         incremental costs, i.e. by comparing the expected          40 As described in the previous section, if ADEQ
                                                                                                         benefits of a control option to those of the next most   had calculated the incremental benefits of SCR in
                                               calculated by comparing ‘‘the costs and                   stringent option.                                        accordance with the BART Guidelines, the per area
                                               performance level of a control option to                     38 Cholla Units 3 and 4 Incremental Costs and
                                                                                                                                                                  incremental benefits would have ranged from 0.01
                                                                                                         Benefits.xlsx.                                           dv to 0.51 dv, and the cumulative incremental
                                                 36 See   Cholla_SCR_vs_NG rev2.xlsx.                       39 Id.                                                benefit would have been 2.65 dv.



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                                               46862                      Federal Register / Vol. 81, No. 138 / Tuesday, July 19, 2016 / Proposed Rules

                                               the incremental cost-effectiveness was                    reduced emissions of both SO2 and                      for all future years, compared to current
                                               roughly $7,000/ton, as is the case with                   PM10 compared to the existing SIP and                  emission levels, in an area that is
                                               Cholla Units 3 and 4. Similarly, we are                   FIP requirements beginning in 2016 (see                designated unclassifiable/attainment or
                                               not aware of any instance in which the                    Tables 6 and 7 above) due to the                       has not yet been designated for all
                                               EPA has disapproved a state’s BART                        retirement of Unit 2. While the Cholla                 NAAQS, we propose to find that the
                                               determination that rejected SNCR as                       SIP Revision will require fewer NOX                    Cholla SIP Revision would not interfere
                                               BART based on similar cost-                               reductions than the FIP between 2018                   with any applicable requirements
                                               effectiveness values. Furthermore, while                  and 2025, it will ensure that NOX                      concerning attainment or RFP.
                                               the total visibility benefits of the SNCR-                emissions remain at or below current                      The other requirements of the CAA
                                               based control scenario (‘‘BART Option                     levels (i.e., levels consistent with non-              that apply to Cholla are:
                                               2’’) are large (1.78 dv at the most                       operation of Unit 2 42 and operation of                   • Standards of Performance for New
                                               improved area and 15.24 dv cumulative                     LNB and SOFA on Units 1, 3 and 4)                      Stationary Sources (NSPS), 40 CFR part
                                               across all affected areas), as noted                      until 2025, after which it will require a              60, subpart D;
                                               above, these benefits include not only                    substantial reduction in NOX emissions                    • National Emission Standards for
                                               the effect of SNCR installation on Units                  compared to both current levels and the                Hazardous Air Pollutants (NESHAP), 40
                                               3 and 4, but also the retirement of Unit                  FIP (see Table 8 above).                               CFR part 63, subpart UUUUU (also
                                               2. Thus, we believe it was appropriate                       With regard to applicable                           known as MATS);
                                               for ADEQ to focus primarily on                            requirements concerning attainment and                    • Compliance Assurance Monitoring
                                               incremental visibility benefits, i.e., the                RFP, as explained by ADEQ, Cholla is                   (CAM), 40 CFR part 64; and
                                               relative degree of visibility                             located in north central Navajo County,                   • BART and other visibility
                                               improvement expected under Option 2                       Arizona, which is designated as                        protection requirements under CAA
                                               (Unit 2 retired and SNCR with                             unclassifiable/attainment for all of the               section 169A and the RHR.
                                               LNB+SOFA on Units 3 and 4) compared                       NAAQS for which the EPA has issued                        The Cholla SIP Revision would not
                                               with Option 1 (Unit 2 retired and                         designations.43 ADEQ also indicated                    affect the applicable NESHAP, NSPS
                                               LNB+SOFA on Units 3 and 4), which                         that it has recommended an attainment/                 and CAM requirements. Therefore, we
                                               were 0.01 dv to 0.28 dv per area and                      unclassifiable designation for this area               propose to find that the Cholla SIP
                                               1.32 dv cumulative. While these                           for the 2012 PM2.5 and 2010 SO2                        Revision would not interfere with the
                                               benefits are not insignificant, we believe                standards. With regard to the 2012 PM2.5               applicable NESHAP, NSPS and CAM
                                               it was reasonable for ADEQ to                             standard, the EPA has finalized a                      requirements.
                                               determine that the benefits were not                      designation of unclassifiable/attainment                  We also propose to find that Cholla
                                               warranted in light of the relatively high                 for Navajo County.44 With regard to the                SIP Revision would not interfere with
                                               costs of SNCR and the fact that benefits                  2010 SO2 standard, we note that, under                 the visibility protection requirements of
                                               of this magnitude would only last for                     the EPA’s Data Requirements Rule,45                    the CAA and the RHR. Our proposed
                                               approximately eight years, after which                    ADEQ is required to develop and submit                 approval of the BART Reassessment is
                                               the benefits of SNCR would be far less                    air quality data characterizing ambient                based on our determination that, taking
                                               (roughly 0.07 dv at the most-improved                     concentrations of SO2 in the area around               into consideration the differences in the
                                               Class I area and 0.31 dv cumulatively                     Cholla.46 The EPA will take these data                 facts underlying the EPA’s prior BART
                                               over all affected Class I areas).                         into consideration in finalizing a                     analysis for NOX in Arizona Regional
                                                  Therefore, we propose to approve                       designation for the area. Finally, we                  Haze FIP and the Cholla BART
                                               ADEQ’s determination that BART for                        note that, on October 1, 2015, the EPA                 Reassessment, ADEQ’s revised BART
                                               NOX at Cholla Units 3 and 4 consists of                   promulgated revised primary and                        analysis and determination for Cholla
                                               LNB+SOFA with associated emission                         secondary ozone NAAQS.47 State                         meet the BART requirements of the
                                               limits of 0.22 lb/MMbtu (rolling 30-                      designation recommendations for the                    CAA and RHR. Furthermore, the Cholla
                                               boiler-operating-day average) for each                    2015 ozone NAAQS are due to the EPA                    SIP Revision would result in greater
                                               unit. As explained above, these                           by October 1, 2016.48                                  visibility improvement than the existing
                                               emission limits will remain in effect                        In summary, Cholla is located in area               SIP and FIP requirements beginning in
                                               until April 30, 2025, at which point                      that is designated unclassifiable/                     2026, which is consistent with the long-
                                               both units will be permanently retired                    attainment or has not yet been                         term national goal of restoring natural
                                               or converted to natural gas with NOX                      designated for each of the current                     visibility conditions at Class I areas.
                                               emission limits of 0.08 lb/MMBtu                          NAAQS. Thus, the Arizona SIP does not                  Thus, we propose to find that the Cholla
                                               (rolling 30-boiler-operating-day                          currently rely on emission limitations at              SIP Revision would not interfere with
                                               average).                                                 Cholla to satisfy any attainment or RFP                the visibility protection requirements of
                                                                                                         requirements. Given that the Cholla SIP                the CAA.
                                               D. The EPA’s Evaluation Under CAA
                                                                                                         Revision will result in equivalent or
                                               Section 110(l)                                                                                                   E. The EPA’s Evaluation of Enforceable
                                                                                                         lower emissions of NOX, PM10 and SO2
                                                 CAA section 110(l) requires that any                                                                           Emission Limits
                                               revision to an implementation plan                           42 As shown in Table 8, ADEQ projected that total
                                                                                                                                                                  CAA section 110(a)(2)(A) requires
                                               shall not be approved by the EPA                          NOX emissions at Cholla Unit 2 would be 900 tpy        SIPs to include enforceable emission
                                               Administrator if the revision would                       in 2016, based on a Unit 2 shutdown date of April
                                                                                                         1, 2016. Because Unit 2 was retired in October         limitations as necessary or appropriate
                                               interfere with any applicable                             2015, 2016 emissions from Unit 2 will actually be      to meet the applicable requirements of
                                               requirement concerning attainment and                     zero, so we anticipate the total NOX emissions from    the Act. In addition, SIPs must contain
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                                               reasonable further progress (RFP) or any                  the facility will be roughly 7,445 tpy for all years   regulatory requirements related to
                                               other applicable requirement of the                       between 2016 and 2025.
                                                                                                            43 Cholla SIP Revision, pages 12–13, Table 7.
                                                                                                                                                                monitoring, recordkeeping, and
                                               Act.41 In evaluating whether the Cholla                      44 See 40 CFR 81.303.                               reporting for applicable emission
                                               SIP Revision would interfere with any                        45 40 CFR part 51, subpart BB.                      limitations.49 The Cholla Permit
                                               CAA requirements, we note that overall,                      46 See Letter from Eric Massey, ADEQ, to Doris      Revision includes such enforceable
                                               the Cholla SIP Revision will result in                    Lo, EPA (January 13, 2016).
                                                                                                            47 80 FR 65292 (October 26, 2015).                    49 See, e.g., CAA section 110(a)(2)(F) and 40 CFR
                                                 41 CAA   Section 110(l), 42 U.S.C. 7410(l).                48 Id. at 65438.                                    51.212(c).



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                                                                          Federal Register / Vol. 81, No. 138 / Tuesday, July 19, 2016 / Proposed Rules                                           46863

                                               emission limits, as well as associated                     Protection Agency Region IX, Air-2, 75                Government and Indian tribes, or on the
                                               monitoring, recordkeeping, and                             Hawthorne Street, San Francisco, CA,                  distribution of power and
                                               reporting requirements, for all units and                  94105–3901.                                           responsibilities between the Federal
                                               pollutants. These requirements will                                                                              Government and Indian tribes. Thus,
                                                                                                          VIII. Statutory and Executive Order
                                               become effective and federally                                                                                   Executive Order 13175 does not apply
                                                                                                          Reviews
                                               enforceable when the Cholla SIP                                                                                  to this action.
                                               Revision is approved into the SIP and                      A. Executive Order 12866: Regulatory
                                               the FIP provisions applicable to Cholla                    Planning and Review and Executive                     G. Executive Order 13045: Protection of
                                               are withdrawn.50 Therefore, we propose                     Order 13563: Improving Regulation and                 Children From Environmental Health
                                               to find that the Cholla SIP Revision                       Regulatory Review                                     Risks and Safety Risks
                                               meets the requirements of the CAA and                        This action is not a significant                       The EPA interprets EO 13045 as
                                               the EPA’s implementing regulations for                     regulatory action and was therefore not               applying only to those regulatory
                                               enforceable emission limitations.                          submitted to the Office of Management                 actions that concern health or safety
                                                                                                          and Budget (OMB) for review. This rule                risks that the EPA has reason to believe
                                               V. Proposed Action
                                                                                                          applies to only one facility and is                   may disproportionately affect children,
                                                  For the reasons described above, the                                                                          per the definition of ‘‘covered regulatory
                                                                                                          therefore not a rule of general
                                               EPA proposes to approve the Cholla SIP                                                                           action’’ in section 2–202 of the
                                                                                                          applicability.
                                               Revision. Because this approval would                                                                            Executive Order. This action is not
                                               fill the gap in the Arizona Regional Haze                  B. Paperwork Reduction Act (PRA)                      subject to Executive Order 13045
                                               SIP left by the EPA’s prior partial                          This action does not impose an                      because it does not concern an
                                               disapproval with respect to Cholla, we                     information collection burden under the               environmental health risk or safety risk.
                                               propose to withdraw the provisions of                      PRA. This rule applies to only one
                                               the Arizona Regional Haze FIP that                                                                               H. Executive Order 13211: Actions
                                                                                                          facility. Therefore, its recordkeeping                Concerning Regulations That
                                               apply to Cholla. We also propose to find                   and reporting provisions do not
                                               that withdrawal of the FIP would                                                                                 Significantly Affect Energy Supply,
                                                                                                          constitute a ‘‘collection of information’’            Distribution, or Use
                                               constitute our action on APS’s and                         as defined under 44 U.S.C. 3502(3) and
                                               PacifiCorp’s petitions for                                 5 CFR 1320.3(c).                                        This action is not subject to Executive
                                               reconsideration of the Arizona Regional                                                                          Order 13211 because it is not a
                                               Haze FIP.                                                  C. Regulatory Flexibility Act (RFA)                   significant regulatory action under
                                                                                                             I certify that this action will not have           Executive Order 12866.
                                               VI. Environmental Justice
                                               Considerations                                             a significant economic impact on a                    I. National Technology Transfer and
                                                                                                          substantial number of small entities.                 Advancement Act
                                                  As shown in Tables 6 and 7, the                         This action will not impose any
                                               Cholla SIP Revision will result in                         requirements on small entities. Firms                    This rulemaking does not involve
                                               reduced emissions of both SO2 and                          primarily engaged in the generation,                  technical standards. The EPA is not
                                               PM10 compared to the existing SIP and                      transmission, and/or distribution of                  revising any technical standards or
                                               FIP requirements beginning in 2016. As                     electric energy for sale are small if,                imposing any new technical standards
                                               shown in Table 8, while the Cholla SIP                     including affiliates, the total electric              in this action.
                                               Revision will result in fewer NOX                          output for the preceding fiscal year did
                                               reductions than the FIP between 2018                                                                             J. Executive Order 12898: Federal
                                                                                                          not exceed 4 million megawatt hours.                  Actions To Address Environmental
                                               and 2025, it will ensure that NOX                          Both owners of Cholla, APS and
                                               emissions remain at or below current                                                                             Justice in Minority Populations and
                                                                                                          PacifiCorp, exceed this threshold.                    Low-Income Populations
                                               levels until 2025, after which it will
                                               require a substantial reduction in NOX                     D. Unfunded Mandates Reform Act                          The EPA believes the human health or
                                               emissions compared to both current                         (UMRA)                                                environmental risk addressed by this
                                               levels and to the existing Arizona                           This action does not contain an                     action will not have potential
                                               Regional Haze FIP. Therefore, the EPA                      unfunded mandate of $100 million or                   disproportionately high and adverse
                                               believes that this action will not have                    more as described in UMRA, 2 U.S.C.                   human health or environmental effects
                                               potential disproportionately high and                      1531–1538, and does not significantly or              on minority, low-income, or indigenous
                                               adverse human health or environmental                      uniquely affect small governments.                    populations. The results of this
                                               effects on minority, low-income, or                                                                              evaluation are contained in section VI
                                               indigenous populations.                                    E. Executive Order 13132: Federalism                  above.
                                                                                                            This action does not have federalism
                                               VII. Incorporation by Reference                                                                                  K. Determination Under Section 307(d)
                                                                                                          implications. It will not have substantial
                                                  In this rule, the EPA is proposing to                   direct effects on the states, on the                    Pursuant to CAA section 307(d)(1)(B),
                                               include in a final EPA rule, regulatory                    relationship between the national                     the EPA proposes to determine that this
                                               text that includes incorporation by                        government and the states, or on the                  action is subject to the provisions of
                                               reference. In accordance with                              distribution of power and                             section 307(d). Section 307(d)
                                               requirements of 1 CFR 51.5, the EPA is                     responsibilities among the various                    establishes procedural requirements
                                               proposing to incorporate by reference                      levels of government.                                 specific to certain rulemaking actions
                                               ‘‘Significant Permit Revision No. 61713                                                                          under the CAA. Pursuant to CAA
                                                                                                          F. Executive Order 13175: Consultation                section 307(d)(1)(B), the withdrawal of
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                                               to Operating Permit No. 53399’’ issued
                                               by ADEQ on October 16, 2015. The EPA                       and Coordination With Indian Tribal                   the provisions of the Arizona Regional
                                               has made, and will continue to make,                       Governments                                           Haze FIP that apply to Cholla is subject
                                               this document available electronically                       This action does not have tribal                    to the requirements of CAA section
                                               through www.regulations.gov and in                         implications, as specified in Executive               307(d), as it constitutes a revision to a
                                               hard copy at U.S. Environmental                            Order 13175. It will not have substantial             FIP under CAA section 110(c).
                                                                                                          direct effects on any Indian tribes, on               Furthermore, CAA section 307(d)(1)(V)
                                                 50 Cholla   Permit Revision section I.A.                 the relationship between the Federal                  provides that the provisions of section


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                                               46864                    Federal Register / Vol. 81, No. 138 / Tuesday, July 19, 2016 / Proposed Rules

                                               307(d) apply to ‘‘such other actions as                  required by 40 CFR part 75 and this                                                                              Federal
                                                                                                                                                                        Coal fired unit or group of coal-
                                               the Administrator may determine.’’ The                   paragraph (f).                                                             fired units                          emission
                                               EPA proposes that the provisions of                         Emissions limitation or emissions                                                                            limitation
                                               307(d) apply to the EPA’s action on the                  limit means any of the Federal Emission
                                                                                                                                                                       Coronado Generating Station
                                               Cholla SIP revision.                                     Limitations required by this paragraph
                                                                                                                                                                         Unit 2 .....................................        0.080
                                                                                                        (f) or any of the applicable PM10 and
                                               List of Subjects in 40 CFR Part 52                       SO2 emissions limits for Coronado                                 (ii) [Reserved]
                                                 Environmental protection, Air                          Generating Station submitted to EPA as                            (4) Compliance dates. (i) The owners/
                                               pollution control, Incorporation by                      part of the Arizona Regional Haze SIP in                       operators of each unit subject to this
                                               reference, Intergovernmental relations,                  a letter dated February 28, 2011, and                          paragraph (f) shall comply with the NOX
                                               Nitrogen dioxide, Particulate matter,                    approved into the Arizona State                                emissions limitations and other NOX-
                                               Reporting and recordkeeping                              Implementation Plan on December 5,                             related requirements of this paragraph
                                               requirements, Sulfur dioxide, Visibility.                2012.                                                          (f) no later than December 5, 2017.
                                                   Authority: 42 U.S.C. 7401 et seq.                       Flue Gas Desulfurization System or                             (ii) The owners/operators of each unit
                                                                                                        FGD means a pollution control device                           subject to this paragraph (f) shall
                                                 Dated: June 30, 2016.
                                                                                                        that employs flue gas desulfurization                          comply with the applicable PM10 and
                                               Deborah Jordan,                                          technology, including an absorber
                                               Acting Regional Administrator, EPA Region                                                                               SO2 emissions limits submitted to EPA
                                                                                                        utilizing lime, fly ash, or limestone                          as part of the Arizona Regional Haze SIP
                                               IX.                                                      slurry, for the reduction of sulfur                            in a letter dated February 28, 2011, and
                                                                                                        dioxide emissions.                                             approved into the Arizona State
                                               PART 52—APPROVAL AND                                        lb means pound(s).
                                               PROMULGATION OF                                                                                                         Implementation Plan on December 5,
                                                                                                           NOX means nitrogen oxides expressed
                                               IMPLEMENTATION PLANS                                                                                                    2012, as well as the related compliance,
                                                                                                        as nitrogen dioxide (NO2).
                                                                                                           Owner(s)/operator(s) means any                              recordkeeping and reporting of this
                                               ■ 1. The authority citation for part 52                                                                                 paragraph (f) no later than June 3, 2013.
                                                                                                        person(s) who own(s) or who operate(s),
                                               continues to read as follows:                                                                                              (5) Compliance determinations for
                                                                                                        control(s), or supervise(s) one or more of
                                                   Authority: 42 U.S.C. 7401 et seq.                    the units identified in paragraph (f)(1) of                    NOX and SO2—(i) Continuous emission
                                                                                                        this section.                                                  monitoring system.
                                               Subpart D—Arizona                                           MMBtu means million British thermal                            (A) At all times after the compliance
                                                                                                        unit(s).                                                       date specified in paragraph (f)(4) of this
                                               ■ 2. In § 52.145, revise paragraphs (f)(1),                                                                             section, the owner/operator of each
                                               (2), (3), (4), (5), and (10) to read as                     Operating hour means any hour that
                                                                                                        fossil fuel is fired in the unit.                              coal-fired unit shall maintain, calibrate,
                                               follows:                                                                                                                and operate a CEMS, in full compliance
                                                                                                           PM10 means filterable total particulate
                                               § 52.145    Visibility protection.                       matter less than 10 microns and the                            with the requirements found at 40 CFR
                                               *     *     *     *    *                                 condensable material in the impingers                          part 75, to accurately measure SO2,
                                                 (f) * * *                                              as measured by Methods 201A and 202                            NOX, diluent, and stack gas volumetric
                                                 (1) Applicability. This paragraph (f)                  in 40 CFR part 51, appendix M.                                 flow rate from each unit. In addition,
                                               applies to each owner/operator of the                       Regional Administrator means the                            the owner/operator of Cholla Units 2, 3,
                                               following coal-fired electricity                         Regional Administrator of EPA Region                           and 4 shall calibrate, maintain, and
                                               generating units (EGUs) in the state of                  IX or his/her authorized representative.                       operate a CEMS, in full compliance with
                                               Arizona: Coronado Generating Station,                       SO2 means sulfur dioxide.                                   the requirements found at 40 CFR part
                                               Units 1 and 2. The provisions of this                       SO2 removal efficiency means the                            75, to accurately measure SO2 emissions
                                               paragraph (f) are severable, and if any                  quantity of SO2 removed as calculated                          and diluent at the inlet of the sulfur
                                               provision of this paragraph (f), or the                  by the procedure in paragraph                                  dioxide control device. All valid CEMS
                                               application of any provision of this                     (f)(5)(iii)(B) of this section.                                hourly data shall be used to determine
                                               paragraph (f) to any owner/operator or                      Unit means any of the EGUs identified                       compliance with the emission
                                               circumstance, is held invalid, the                       in paragraph (f)(1) of this section.                           limitations for NOX and SO2 in
                                               application of such provision to other                      Valid data means data recorded when                         paragraph (f)(3) of this section for each
                                               owner/operators and other                                the CEMS is not out-of-control as                              unit. When the CEMS is out-of-control
                                               circumstances, and the remainder of                      defined by 40 CFR part 75.                                     as defined by 40 CFR part 75, that CEMs
                                               this paragraph (f), shall not be affected                   (3) Federal emission limitations—(i)                        data shall be treated as missing data,
                                               thereby.                                                 NOX emission limitations. The owner/                           and not used to calculate the emission
                                                 (2) Definitions. Terms not defined                     operator of each coal-fired unit subject                       average. Each required CEMS must
                                               below shall have the meaning given to                    to this paragraph (f) shall not emit or                        obtain valid data for at least 90 percent
                                               them in the Clean Air Act or EPA’s                       cause to be emitted NOX in excess of the                       of the unit operating hours, on an
                                               regulations implementing the Clean Air                   following limitations, in pounds per                           annual basis.
                                               Act. For purposes of this paragraph (f):                 million British thermal units (lb/                                (B) The owner/operator of each unit
                                                 ADEQ means the Arizona Department                      MMBtu) from any coal-fired unit or                             shall comply with the quality assurance
                                               of Environmental Quality.                                group of coal-fired units. Each emission                       procedures for CEMS found in 40 CFR
                                                 Boiler-operating day means a 24-hour                   limit shall be based on a rolling 30-                          part 75. In addition to these 40 CFR part
                                               period between 12 midnight and the                       boiler-operating-day average, unless                           75 requirements, relative accuracy test
                                                                                                        otherwise indicated in specific                                audits shall be calculated for both the
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                                               following midnight during which any
                                               fuel is combusted at any time in the                     paragraphs.                                                    NOX and SO2 pounds per hour
                                               unit.                                                                                                                   measurement and the heat input
                                                 Coal-fired unit means any of the EGUs                                                                     Federal     measurement. The CEMs monitoring
                                                                                                        Coal fired unit or group of coal-                 emission
                                               identified in paragraph (f)(1) of this                              fired units                            limitation   data shall not be bias adjusted. The inlet
                                               section.                                                                                                                SO2 and diluent monitors required by
                                                 Continuous emission monitoring                         Coronado Generating Station                                    this rule shall also meet the Quality
                                               system or CEMS means the equipment                         Unit 1 .....................................         0.065   Assurance/Quality Control (QA/QC)


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                                                                        Federal Register / Vol. 81, No. 138 / Tuesday, July 19, 2016 / Proposed Rules                                           46865

                                               requirements of 40 CFR part 75. The                      emission rate shall include all emissions             SUMMARY:    The Environmental Protection
                                               testing and evaluation of the inlet                      and all heat input that occur during all              Agency (EPA) is proposing to approve
                                               monitors and the calculations of relative                periods within any boiler-operating day,              State Implementation Plan (SIP)
                                               accuracy for lb/hr of NOX, SO2 and heat                  including emissions from startup,                     revisions submitted by the State of Utah
                                               input shall be performed each time the                   shutdown, and malfunction.                            on February 10, 2012 and August 29,
                                               40 CFR part 75 CEMS undergo relative                        (B) [Reserved]                                     2014. These submittals request SIP
                                               accuracy testing.                                           (C) If a valid SO2 pounds per hour at              revisions to remove changes to the
                                                  (ii) Compliance determinations for                    the outlet of the FGD system or heat                  major source baseline date that were
                                               NOX.                                                     input is not available for any hour for               disapproved by the EPA on July 15,
                                                  (A) [Reserved]                                        a unit, that heat input and SO2 pounds                2011. The submittals also address the
                                                  (B) Coronado Generating Station.                      per hour shall not be used in the                     EPA’s February 6, 2014 disapproval of
                                               Compliance with the NOX emission                         calculation of the 30-day rolling                     several permit rules related to the public
                                               limits for Coronado Unit 1 and                           average.                                              availability of good engineering practice
                                               Coronado Unit 2 in paragraph (f)(3)(i) of                   (D) If both a valid inlet and outlet SO2           stack height demonstrations in the
                                               this section shall be determined on a                    lb/MMBtu and an outlet value of lb/hr                 public comment process for an approval
                                               rolling 30 boiler-operating-day basis.                   of SO2 are not available for any hour,                order, and the process for making
                                               The 30-boiler-operating-day rolling NOX                  that hour shall not be included in the                emission reductions enforceable in an
                                               emission rate for each unit shall be                     efficiency calculation.                               approval order. The EPA is taking this
                                               calculated in accordance with the                                                                              action in accordance with section 110 of
                                               following procedure: Step one, sum the                   *       *    *     *     *
                                                                                                           (10) Equipment operations.                         the Clean Air Act (CAA).
                                               total pounds of NOX emitted from the
                                                                                                           (i) [Reserved]                                     DATES: Written comments must be
                                               unit during the current boiler operating
                                                                                                           (ii) Coronado Generating Station. At               received on or before August 18, 2016.
                                               day and the previous twenty-nine (29)
                                               boiler operating days; Step two, sum the                 all times, including periods of startup,              ADDRESSES: Submit your comments,
                                               total heat input to the unit in MMBtu                    shutdown, and malfunction, the owner                  identified by Docket ID No. EPA–R08–
                                               during the current boiler operating day                  or operator of Coronado Generating                    OAR–2016–0221, at http://
                                               and the previous twenty-nine (29) boiler                 Station Unit 1 and Unit 2 shall, to the               www.regulations.gov. Follow the online
                                               operating days; Step three, divide the                   extent practicable, maintain and operate              instructions for submitting comments.
                                               total number of pounds of NOX emitted                    each unit in a manner consistent with                 Once submitted, comments cannot be
                                               from that unit during the thirty (30)                    good air pollution control practices for              edited or removed from Regulations.gov.
                                               boiler operating days by the total heat                  minimizing emissions. The owner or                    The EPA may publish any comment
                                               input to the unit during the thirty (30)                 operator shall continuously operate                   received to its public docket. Do not
                                               boiler operating days. A new 30-boiler-                  pollution control equipment at all times              submit electronically any information
                                               operating-day rolling average NOX                        the unit it serves is in operation, and               you consider to be Confidential
                                               emission rate shall be calculated for                    operate pollution control equipment in                Business Information (CBI) or other
                                               each new boiler operating day. Each 30-                  a manner consistent with technological                information whose disclosure is
                                               boiler-operating-day average NOX                         limitations, manufacturer’s                           restricted by statute. Multimedia
                                               emission rate shall include all emissions                specifications, and good engineering                  submissions (audio, video, etc.,) must be
                                               that occur during all periods within any                 and good air pollution control practices              accompanied by a written comment.
                                               boiler operating day, including                          for minimizing emissions.                             The written comment is considered the
                                               emissions from startup, shutdown, and                    Determination of whether acceptable                   official comment and should include
                                               malfunction.                                             operating and maintenance procedures                  discussion of all points you wish to
                                                  (C) If a valid NOX pounds per hour or                 are being used will be based on                       make. The EPA will generally not
                                               heat input is not available for any hour                 information available to the Regional                 consider comments or comment
                                               for a unit, that heat input and NOX                      Administrator which may include, but                  contents located outside of the primary
                                               pounds per hour shall not be used in the                 is not limited to, monitoring results,                submission (i.e., on the web, cloud, or
                                               calculation of the 30-day rolling                        review of operating and maintenance                   other file sharing system). For
                                               average.                                                 procedures, and inspection of each unit.              additional submission methods, the full
                                                 (iii) Compliance determinations for                    *       *    *     *     *                            EPA public comment policy,
                                               SO2. (A) The 30-day rolling average SO2                  [FR Doc. 2016–16959 Filed 7–18–16; 8:45 am]           information about CBI or multimedia
                                               emission rate for each coal-fired unit                   BILLING CODE 6560–50–P                                submissions, and general guidance on
                                               shall be calculated in accordance with                                                                         making effective comments, please visit
                                               the following procedure: Step one, sum                                                                         http://www2.epa.gov/dockets/
                                               the total pounds of SO2 emitted from the                 ENVIRONMENTAL PROTECTION                              commenting-epa-dockets.
                                               unit during the current boiler-operating                 AGENCY                                                FOR FURTHER INFORMATION CONTACT: Jody
                                               day and the previous twenty-nine (29)                                                                          Ostendorf, Air Program, U.S.
                                               boiler-operating days; step two, sum the                 40 CFR Part 52                                        Environmental Protection Agency
                                               total heat input to the unit in MMBtu                                                                          (EPA), Region 8, Mail Code 8P–AR,
                                               during the current boiler-operating day                  [EPA–R08–OAR–2016–0221; FRL–9948–88–                  1595 Wynkoop Street, Denver, Colorado
                                               and the previous twenty-nine (29)                        Region 8]                                             80202–1129, (303) 312–7814,
                                               boiler-operating day; and step three,                                                                          ostendorf.jody@epa.gov.
                                               divide the total number of pounds of                     Approval and Promulgation of State
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                                               SO2 emitted during the thirty (30)                       Implementation Plan Revisions to                      Incorporation by Reference
                                               boiler-operating days by the total heat                  Permits, Rules and Approval Orders;                     In this rule, the EPA is finalizing
                                               input during the thirty (30) boiler-                     Utah                                                  regulatory text that includes
                                               operating days. A new 30-day rolling                     AGENCY:  Environmental Protection                     incorporation by reference. In
                                               average SO2 emission rate shall be                       Agency.                                               accordance with requirements of 1 CFR
                                               calculated for each new boiler-operating                                                                       51.5, the EPA is proposing to
                                                                                                        ACTION: Proposed rule.
                                               day. Each 30-day rolling average SO2                                                                           incorporate by reference the Utah rules


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Document Created: 2016-07-19 01:10:42
Document Modified: 2016-07-19 01:10:42
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesWritten comments must be received on or before September 2, 2016. Requests for public hearing must be received on or before August 3, 2016.
ContactVijay Limaye, U.S. EPA, Region 9, Planning Office, Air Division, Air-2, 75 Hawthorne Street, San Francisco, CA 94105. Vijay Limaye can be reached at telephone number (415) 972-3086 and via electronic mail at [email protected]
FR Citation81 FR 46852 
CFR AssociatedEnvironmental Protection; Air Pollution Control; Incorporation by Reference; Intergovernmental Relations; Nitrogen Dioxide; Particulate Matter; Reporting and Recordkeeping Requirements; Sulfur Dioxide and Visibility

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