81_FR_75992 81 FR 75781 - Additions to List of Section 241.4 Categorical Non-Waste Fuels: Other Treated Railroad Ties

81 FR 75781 - Additions to List of Section 241.4 Categorical Non-Waste Fuels: Other Treated Railroad Ties

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 81, Issue 211 (November 1, 2016)

Page Range75781-75801
FR Document2016-26381

The Environmental Protection Agency (EPA or the Agency) is proposing to issue amendments to the Non-Hazardous Secondary Materials rule, initially promulgated on March 21, 2011, and amended on February 7, 2013 and February 8, 2016, under the Resource Conservation and Recovery Act. The Non-Hazardous Secondary Materials rule generally established standards and procedures for identifying whether non- hazardous secondary materials are solid wastes when used as fuels or ingredients in combustion units. In the February 7, 2013 amendments, the EPA listed particular non-hazardous secondary materials as ``categorical non-waste fuels'' provided certain conditions are met. Persons burning these non-hazardous secondary materials do not need to evaluate them under the general self-implementing case-by-case standards and procedures that would otherwise apply to non-hazardous secondary materials used in combustion units. The February 8, 2016 amendments added three materials including creosote treated railroad ties to the list of categorical non-waste fuels. This action proposes to add other treated railroad ties to the list, which are processed creosote-borate, copper naphthenate and copper naphthenate-borate treated railroad ties, under certain conditions depending on the chemical treatment.

Federal Register, Volume 81 Issue 211 (Tuesday, November 1, 2016)
[Federal Register Volume 81, Number 211 (Tuesday, November 1, 2016)]
[Proposed Rules]
[Pages 75781-75801]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-26381]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 241

[EPA-HQ-OLEM-2016-0248; FRL-9953-38-OLEM]
RIN 2050-AG83


Additions to List of Section 241.4 Categorical Non-Waste Fuels: 
Other Treated Railroad Ties

AGENCY: Environmental Protection Agency (EPA).

ACTION: Proposed rule.

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SUMMARY: The Environmental Protection Agency (EPA or the Agency) is 
proposing to issue amendments to the Non-Hazardous Secondary Materials 
rule, initially promulgated on March 21, 2011, and amended on February 
7, 2013 and February 8, 2016, under the Resource Conservation and 
Recovery Act. The Non-Hazardous Secondary Materials rule generally 
established standards and procedures for identifying whether non-
hazardous secondary materials are solid wastes when used as fuels or 
ingredients in combustion units. In the February 7, 2013 amendments, 
the EPA listed particular non-hazardous secondary materials as 
``categorical non-waste fuels'' provided certain conditions are met. 
Persons burning these non-hazardous secondary materials do not need to 
evaluate them under the general self-implementing case-by-case 
standards and procedures that would otherwise apply to non-hazardous 
secondary materials used in combustion units. The February 8, 2016 
amendments added three materials including creosote treated railroad 
ties to the list of categorical non-waste fuels. This action proposes 
to add other treated railroad ties to the list, which are processed 
creosote-borate, copper naphthenate and copper naphthenate-borate 
treated railroad ties, under certain conditions depending on the 
chemical treatment.

DATES: Comments must be received on or before January 3, 2017.

ADDRESSES: Submit your comments, identified by Docket ID No. EPA-HQ-
OLEM-2016-0248, at http://www.regulations.gov. Follow the online 
instructions for submitting comments. Once submitted, comments cannot 
be edited or removed from Regulations.gov. 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, the full EPA 
public comment policy, information about CBI or multimedia submissions, 
and general guidance on making effective comments, please visit https://www.epa.gov/dockets/commenting-epa-dockets.

FOR FURTHER INFORMATION CONTACT: George Faison, Office of Resource 
Conservation and Recovery, Materials Recovery and Waste Management 
Division, MC 5304P, Environmental Protection Agency, 1200 Pennsylvania 
Ave. NW., Washington, DC 20460; telephone number: (703) 305-7652; 
email: [email protected].

SUPPLEMENTARY INFORMATION: 
    The following outline is provided to aid in locating information in 
this preamble.

I. General Information
    A. List of Abbreviations and Acronyms Used in This Proposed Rule
    B. What is the statutory authority for this proposed rule?
    C. Does this proposed rule apply to me?
    D. What is the purpose of this proposed rule?
II. Background
    A. History of the NHSM Rulemakings
    B. Background to This Proposed Rule
    C. How will EPA make categorical non-waste determinations?
III. Proposed Categorical Non-Waste Listing Determination for OTRTs
    A. Detailed Description of OTRTs
    B. OTRTs under Current NHSM Rules
    C. Scope of the Proposed Categorical Non-Waste Listing for OTRTs
    D. Rationale for Proposed Listing
    E. Summary and Request for Comment
    F. Copper and Borates Literature Review and Other EPA Program 
Review Summary

[[Page 75782]]

IV. Effect of This Proposal on Other Programs
V. State Authority
    A. Relationship to State Programs
    B. State Adoption of the Rulemaking
VI. Cost and Benefits
VII. Statutory and Executive Order Reviews
    A. Executive Order 12866: Regulatory Planning and Review and 
Executive Order 13563: Improving Regulation and Regulatory Review
    B. Paperwork Reduction Act (PRA)
    C. Regulatory Flexibility Act (RFA)
    D. Unfunded Mandates Reform Act (UMRA)
    E. Executive Order 13132: Federalism
    F. Executive Order 13175: Consultation and Coordination With 
Indian Tribal Governments
    G. Executive Order 13045: Protection of Children from 
Environmental Health Risks and Safety Risks
    H. Executive Order 13211: Actions Concerning Regulations That 
Significantly Affect Energy Supply, Distribution, or Use
    I. National Technology Transfer and Advancement Act (NTTAA)
    J. Executive Order 12898: Federal Actions to Address 
Environmental Justice in Minority Populations and Low-Income 
Populations

I. General Information

A. List of Abbreviations and Acronyms Used in This Proposed Rule

Btu British thermal unit
C&D Construction and demolition
CAA Clean Air Act
CBI Confidential business information
CFR Code of Federal Regulations
CISWI Commercial and Industrial Solid Waste Incinerator
CTRT Cresosote-treated railroad ties
EPA U.S. Environmental Protection Agency
FR Federal Register
HAP Hazardous air pollutant
MACT Maximum achievable control technology
NAICS North American Industrial Classification System
ND Non-detect
NESHAP National emission standards for hazardous air pollutants
NHSM Non-hazardous secondary material
OMB Office of Management and Budget
PAH Polycyclic aromatic hydrocarbons
ppm Parts per million
RCRA Resource Conservation and Recovery Act
RIN Regulatory information number
RL Reporting Limits
SBA Small Business Administration
SO2 Sulfur dioxide
SVOC Semi-volatile organic compound
TCLP Toxicity characteristic leaching procedure
UPL Upper prediction limit
U.S.C. United States Code
VOC Volatile organic compound

B. What is the statutory authority for this proposed rule?

    The EPA is proposing that additional non-hazardous secondary 
materials (NHSMs) be categorically listed as non-waste fuels in 40 CFR 
241.4(a) under the authority of sections 2002(a)(1) and 1004(27) of the 
Resource Conservation and Recovery Act (RCRA), as amended, 42 U.S.C. 
6912(a)(1) and 6903(27). Section 129(a)(1)(D) of the Clean Air Act 
(CAA) directs the EPA to establish standards for Commercial and 
Industrial Solid Waste Incinerators (CISWI), which burn solid waste. 
Section 129(g)(6) of the CAA provides that the term ``solid waste'' is 
to be established by the EPA under RCRA (42 U.S.C. 7429(g)(6)). Section 
2002(a)(1) of RCRA authorizes the Agency to promulgate regulations as 
are necessary to carry out its functions under the Act. The statutory 
definition of ``solid waste'' is stated in RCRA section 1004(27).

C. Does this proposed rule apply to me?

    Categories and entities potentially affected by this action, either 
directly or indirectly, include, but may not be limited to the 
following:

  Generators and Potential Users a of the New Materials Proposed To Be
            Added to the List of Categorical Non-Waste Fuels
------------------------------------------------------------------------
        Primary industry category or sub category            NAICS \b\
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Utilities...............................................             221
Construction of Buildings...............................             236
Site Preparation Contractors............................          238910
Manufacturing...........................................      31, 32, 33
Wood Product Manufacturing..............................             321
Sawmills................................................          321113
Wood Preservation (includes crosstie creosote treating).          321114
Pulp, Paper, and Paper Products.........................             322
Cement manufacturing....................................           32731
Railroads (includes line haul and short line)...........             482
Scenic and Sightseeing Transportation, Land (Includes:            487110
 railroad, scenic and sightseeing)......................
Port and Harbor Operations (Used railroad ties).........          488310
Landscaping Services....................................          561730
Solid Waste Collection..................................          562111
Solid Waste Landfill....................................          562212
Solid Waste Combustors and Incinerators.................          562213
Marinas.................................................          713930
------------------------------------------------------------------------
\a\ Includes: Major Source Boilers, Area Source Boilers, and Solid Waste
  Incinerators.
\b\ NAICS--North American Industrial Classification System.

    This table is not intended to be exhaustive, but rather provides a 
guide for readers regarding entities potentially impacted by this 
action. This table lists examples of the types of entities of which EPA 
is aware that could potentially be affected by this action. Other types 
of entities not listed could also be affected. To determine whether 
your facility, company, business, organization, etc., is affected by 
this action, you should examine the applicability criteria in this 
rule. If you have any questions regarding the applicability of this 
action to a particular entity, consult the person listed in the FOR 
FURTHER INFORMATION CONTACT section.

D. What is the purpose of this proposed rule?

    The RCRA statute defines ``solid waste'' as ``any garbage, refuse, 
sludge from a waste treatment plant, water supply treatment plant, or 
air pollution control facility and other discarded material . . . 
resulting from industrial, commercial, mining, and agricultural 
operations, and from community

[[Page 75783]]

activities.'' (RCRA section 1004(27) (emphasis added)). The key concept 
is that of ``discard'' and, in fact, this definition turns on the 
meaning of the phrase, ``other discarded material,'' since this term 
encompasses all other examples provided in the definition.
    The meaning of ``solid waste,'' as defined under RCRA, is of 
particular importance as it relates to section 129 of the CAA. If 
material is a solid waste under RCRA, a combustion unit burning it is 
required to meet the CAA section 129 emission standards for solid waste 
incineration units. If the material is not a solid waste, combustion 
units are required to meet the CAA section 112 emission standards for 
commercial, industrial, and institutional boilers. Under CAA section 
129, the term ``solid waste incineration unit'' is defined, in 
pertinent part, to mean ``a distinct operating unit of any facility 
which combusts any solid waste material from commercial or industrial 
establishments.'' 42 U.S.C. 7429(g)(1). CAA section 129 further states 
that the term ``solid waste'' shall have the meaning ``established by 
the Administrator pursuant to the Solid Waste Disposal Act.'' Id at 
7429(g)(6). The Solid Waste Disposal Act, as amended, is commonly 
referred to as the Resource Conservation and Recovery Act or RCRA.
    Regulations concerning NHSMs used as fuels or ingredients in 
combustion units are codified in 40 CFR part 241.\1\ This action 
proposes to amend the Part 241 regulations by adding three NHSMs to the 
list of categorical non-waste fuels codified in Sec.  241.4(a). These 
new proposed categorical listings are for:
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    \1\ See 40 CFR 241.2 for the definition of non-hazardous 
secondary material.
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     Creosote-borate railroad ties (and mixtures of creosote, 
copper naphthenate and copper naphthenate-borate railroad ties) that 
are processed and then combusted in units designed to burn both biomass 
and fuel oil. Such combustion must be part of normal operations and not 
solely as part of start-up or shut-down operations. Also included are 
units at major source pulp and paper mills or power producers \2\ 
subject to 40 CFR part 63, subpart DDDDD that combust these types of 
treated railroad ties and had been designed to burn biomass and fuel 
oil, but are modified (e.g., oil delivery mechanisms were removed) in 
order to use natural gas instead of fuel oil. Again, such combustion 
must be part of normal operations and not solely as part of start-up or 
shut-down operations. These treated railroad ties may continue to be 
combusted as product fuel in units that have been modified to use 
natural gas only if the following conditions are met, which are 
intended to ensure that these materials are not being discarded:
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    \2\ 40 CFR 241.2 defines power producer as a boiler unit 
producing electricity for sale to the grid. The term does not 
include units meeting the definition of electricity generating unit 
under 40 CFR 63.10042 of the Utility Mercury and Air Toxics 
Standards rule.
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    [cir] Must be burned in existing (i.e., commenced construction 
prior to April 14, 2014) stoker, bubbling bed, fluidized bed, or hybrid 
suspension grate boilers; and
    [cir] Can comprise no more than 40 percent of the fuel that is used 
on an annual heat input basis.
     Copper naphthenate railroad ties combusted in units 
designed to burn biomass, or biomass and fuel oil.
     Copper naphthenate-borate railroad ties combusted in units 
designed to burn biomass, or biomass and fuel oil.

II. Background

A. History of the NHSM Rulemakings

    The Agency first solicited comments on how the RCRA definition of 
solid waste should apply to NHSMs when used as fuels or ingredients in 
combustion units in an advanced notice of proposed rulemaking (ANPRM), 
which was published in the Federal Register on January 2, 2009 (74 FR 
41). We then published an NHSM proposed rule on June 4, 2010 (75 FR 
31844), which the EPA made final on March 21, 2011 (76 FR 15456).
    In the March 21, 2011 rule, the EPA finalized standards and 
procedures to be used to identify whether NHSMs are solid wastes when 
used as fuels or ingredients in combustion units. ``Secondary 
material'' was defined for the purposes of that rulemaking as any 
material that is not the primary product of a manufacturing or 
commercial process, and can include post-consumer material, off-
specification commercial chemical products or manufacturing chemical 
intermediates, post-industrial material, and scrap (codified in 40 CFR 
241.2). ``Non-hazardous secondary material'' is a secondary material 
that, when discarded, would not be identified as a hazardous waste 
under 40 CFR part 261 (codified in 40 CFR 241.2). Traditional fuels, 
including historically managed traditional fuels (e.g., coal, oil, 
natural gas) and ``alternative'' traditional fuels (e.g., clean 
cellulosic biomass) are not secondary materials and thus, are not solid 
wastes under the rule unless discarded (codified in 40 CFR 241.2).
    A key concept under the March 21, 2011 rule is that NHSMs used as 
non-waste fuels in combustion units must meet the legitimacy criteria 
specified in 40 CFR 241.3(d)(1). Application of the legitimacy criteria 
helps ensure that the fuel product is being legitimately and 
beneficially used and not simply being discarded through combustion 
(i.e., via sham recycling). To meet the legitimacy criteria, the NHSM 
must be managed as a valuable commodity, have a meaningful heating 
value and be used as a fuel in a combustion unit that recovers energy, 
and contain contaminants or groups of contaminants at concentrations 
comparable to (or lower than) those in traditional fuels which the 
combustion unit is designed to burn.
    Based on these criteria, the March 21, 2011 rule identified the 
following NHSMs as not being solid wastes:
     The NHSM is used as a fuel and remains under the control 
of the generator (whether at the site of generation or another site the 
generator has control over) that meets the legitimacy criteria (40 CFR 
241.3(b)(1));
     The NHSM is used as an ingredient in a manufacturing 
process (whether by the generator or outside the control of the 
generator) that meets the legitimacy criteria (40 CFR 241.3(b)(3));
     Discarded NHSM has been sufficiently processed to produce 
a fuel or ingredient that meets the legitimacy criteria (40 CFR 
241.3(b)(4)); or
     Through a case-by-case petition process, it has been 
determined that the NHSM handled outside the control of the generator 
has not been discarded and is indistinguishable in all relevant aspects 
from a fuel product, and meets the legitimacy criteria (40 CFR 
241.3(c)).
    In October 2011, the Agency announced it would be initiating a new 
rulemaking proceeding to revise certain aspects of the NHSM rule.\3\ On 
February 7, 2013, the EPA published a final rule, which addressed 
specific targeted amendments and clarifications to the 40 CFR part 241 
regulations (78 FR 9112). These revisions and clarifications were 
limited to certain issues on which the Agency had received new 
information, as well as targeted revisions that the Agency believed 
were appropriate in order to allow implementation of the rule as the 
EPA originally intended. The amendments modified 40 CFR 241.2 and 
241.3, added 40 CFR 241.4, and included the following: \4\
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    \3\ See October 14, 2011, Letter from Administrator Lisa P. 
Jackson to Senator Olympia Snowe. A copy of this letter is in the 
docket for the February 7, 2013 final rule (EPA-HQ-RCRA-2008-1873).
    \4\ See 78 FR 9112 (February 7, 2013) for a discussion of the 
rule and the Agency's basis for its decisions.
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     Revised Definitions: The EPA revised three definitions 
discussed in the proposed rule: (1) ``clean cellulosic

[[Page 75784]]

biomass,'' (2) ``contaminants,'' and (3) ``established tire collection 
programs.'' In addition, based on comments received on the proposed 
rule, the Agency revised the definition of ``resinated wood.''
     Contaminant Legitimacy Criterion for NHSMs Used as Fuels: 
The EPA issued revised contaminant legitimacy criterion for NHSMs used 
as fuels to provide additional details on how contaminant-specific 
comparisons between NHSMs and traditional fuels may be made.
     Categorical Non-Waste Determinations for Specific NHSMs 
Used as Fuels. The EPA codified determinations that certain NHSMs are 
non-wastes when used as fuels. If a material is categorically listed as 
a non-waste fuel, persons that generate or burn these NHSMs will not 
need to make individual determinations, as required under the existing 
rules, that these NHSMs meet the legitimacy criteria. Except where 
otherwise noted, combustors of these materials will not be required to 
provide further information demonstrating their non-waste status. Based 
on all available information, the EPA determined the following NHSMs 
are not solid wastes when burned as a fuel in combustion units and has 
categorically listed them in 40 CFR 241.4(a).\5\
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    \5\ In the March 21, 2011 NHSM rule (76 FR 15456), EPA 
identified two NHSMs as not being solid wastes, although persons 
would still need to make individual determinations that these NHSMs 
meet the legitimacy criteria: (1) Scrap tires used in a combustion 
unit that are removed from vehicles and managed under the oversight 
of established tire collection programs and (2) resinated wood used 
in a combustion unit. However, in the February 2013 NHSM rule, the 
Agency amended the regulations and listed these NHSMs as categorical 
non-waste fuels.

--Scrap tires that are not discarded and are managed under the 
oversight of established tire collection programs, including tires 
removed from vehicles and off-specification tires;
--Resinated wood;
--Coal refuse that has been recovered from legacy piles and processed 
in the same manner as currently-generated coal that would have been 
refuse if mined in the past;
--Dewatered pulp and paper sludges that are not discarded and are 
generated and burned on-site by pulp and paper mills that burn a 
significant portion of such materials where such dewatered residuals 
are managed in a manner that preserves the meaningful heating value of 
the materials.

     Rulemaking Petition Process for Other Categorical Non-
Waste Determinations: EPA made final a process in 40 CFR 241.4(b) that 
provides persons an opportunity to submit a rulemaking petition to the 
Administrator, seeking a determination for additional NHSMs to be 
categorically listed in 40 CFR 241.4(a) as non-waste fuels, if they can 
demonstrate that the NHSM meets the legitimacy criteria or, after 
balancing the legitimacy criteria with other relevant factors, EPA 
determines that the NHSM is not a solid waste when used as a fuel.
    The February 8, 2016 amendments (81 FR 6688) added the following to 
the list of categorical non-waste fuels:
     Construction and demolition (C&D) wood processed from C&D 
debris according to best management practices. Under this listing, 
combustors of C&D wood must obtain a written certification from C&D 
processing facilities that the C&D wood has been processed by trained 
operators in accordance with best management practices. Best management 
practices must include sorting by trained operators that excludes or 
removes the following materials from the final product fuel: Non-wood 
materials (e.g., polyvinyl chloride and other plastics, drywall, 
concrete, aggregates, dirt, and asbestos), and wood treated with 
creosote, pentachlorophenol, chromated copper arsenate, or other 
copper, chromium, or arsenical preservatives. Additional required best 
management practices address removal of lead-painted wood.
     Paper recycling residuals generated from the recycling of 
recovered paper, paperboard and corrugated containers and combusted by 
paper recycling mills whose boilers are designed to burn solid fuel.
     Creosote-treated railroad ties (CTRT) that are processed 
(which includes metal removal and shredding or grinding at a minimum) 
and then combusted in the following types of units:
    [cir] Units designed to burn both biomass and fuel oil as part of 
normal operations and not solely as part of start-up or shut-down 
operations, and
    [cir] Units at major source pulp and paper mills or power producers 
subject to 40 CFR part 63, subpart DDDDD, that combust CTRTs and had 
been designed to burn biomass and fuel oil, but are modified (e.g., oil 
delivery mechanisms are removed) in order to use natural gas instead of 
fuel oil, as part of normal operations and not solely as part of start-
up or shut-down operations. The CTRTs may continue to be combusted as 
product fuel only if the following conditions are met, which are 
intended to ensure that the CTRTs are not being discarded: CTRTs must 
be burned in existing (i.e., commenced construction prior to April 14, 
2014) stoker, bubbling bed, fluidized bed, or hybrid suspension grate 
boilers; and, CTRTs can comprise no more than 40 percent of the fuel 
that is used on an annual heat input basis.
    Based on these non-waste categorical determinations, as discussed 
previously, facilities burning NHSMs that meet the categorical listing 
description will not need to make individual determinations that the 
NHSM meets the legitimacy criteria or provide further information 
demonstrating their non-waste status on a site-by-site basis, provided 
they meet the conditions of the categorical listing.

B. Background to This Proposed Rule

    The Agency received a petition from the Treated Wood Council (TWC) 
in April 2013 requesting that nonhazardous treated wood (including 
borate and copper naphthenate) be categorically listed as non-waste 
fuels in 40 CFR 241.4(a). Under the April 2013 petition, nonhazardous 
treated wood would include: Waterborne borate based preservatives; 
waterborne organic based preservatives; waterborne copper based wood 
preservatives (ammoniacal/alkaline copper quat, copper azole, copper 
HDO, alkaline copper betaine, or copper naphthenate); creosote; 
oilborne copper naphthenate; pentachlorophenol; or dual-treated with 
any of the above.
    In the course of EPA's review of the April 2013 petition, 
additional data was requested and received, and meetings were held 
between TWC and EPA representatives. Overall, the EPA review determined 
that there were limited data points available and the analytical 
techniques for some contaminants were not appropriate to provide 
information on the entire preserved wood sample as it would be 
combusted. EPA also questioned the representativeness of the samples 
being analyzed and the repeatability of the analyses.
    In the subsequent August 21, 2015 letter from TWC to Barnes 
Johnson,\6\ TWC requested that the Agency move forward on a subset of 
materials that were identified in the original April 2013 petition 
which are creosote borate, copper naphthenate, and copper naphthenate-
borate treated railroad ties. In the letter, TWC indicated that these 
types of ties are increasingly being used as alternatives to CTRT, due, 
in part, to lower overall contaminant levels and that the ability to 
reuse the ties is an important consideration in rail tie purchasing 
decisions. Information from industry also claimed that these

[[Page 75785]]

treatments have proven to increase decay resistance for ties in severe 
decay environments and for species that are difficult to treat with 
creosote alone.\7\ The letter stated that TWC will discuss the 
remaining treated wood materials with EPA as a separate matter.
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    \6\ Included in the docket for the February 2016 final rule. 
Follow-up meetings were also held with TWC on September 14, 2015 and 
December 17, 2015 summaries of which are also included in that 
docket.
    \7\ Railway Tie Association ``Frequently Asked Questions'' 
available on http://www.rta.org/faqs. Assessed on August 26, 2016.
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    The Agency reviewed TWC's information on the three treated railroad 
ties, creosote borate, copper naphthenate, and copper naphthenate-
borate, submitted on September 11, 2015 and requested additional 
contaminant data, which was submitted on October 5, 2015 and October 
19, 2015.\8\ Based on that information, we stated in the February 2016 
final rule that we believe these three treated railroad ties are 
candidates for categorical non-waste listings and expected to begin 
development of a proposed rule under 40 CFR 241.4(a) regarding those 
listings in the near future. The result is this proposal.
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    \8\ These data submissions and the letter from TWC on August 21, 
2015 are included in the docket for this proposed rule.
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C. How will EPA make categorical non-waste determinations?

    The February 7, 2013 revisions to the NHSM rule discuss the process 
and decision criteria whereby the Agency would make additional 
categorical non-waste determinations (78 FR 9158). While the 
categorical non-waste determinations in this action are not based on 
rulemaking petitions, the criteria the EPA used to assess these NHSMs 
as categorical non-wastes match the criteria to be used by the 
Administrator to determine whether to grant or deny the categorical 
non-waste petitions.9 10 These determinations follow the 
criteria set out in 40 CFR 241.4(b)(5) to assess additional categorical 
non-waste petitions and follow the statutory standards as interpreted 
by the EPA in the NHSM rule for deciding whether secondary materials 
are wastes. Those criteria include: (1) Whether each NHSM has not been 
discarded in the first instance (i.e., was not initially abandoned or 
thrown away) and is legitimately used as a fuel in a combustion unit 
or, if discarded, has been sufficiently processed into a material that 
is legitimately used as a fuel; and, (2) if the NHSM does not meet the 
legitimacy criteria described in 40 CFR 241.3(d)(1), whether the NHSM 
is integrally tied to the industrial production process, the NHSM is 
functionally the same as the comparable traditional fuel, or other 
relevant factors as appropriate.
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    \9\ For a full discussion regarding the petition process for 
receiving a categorical non-waste determination, see 78 FR 9112, 
February 7, 2013 (page 9158-9159).
    \10\ Supplementary information received from by M.A. Energy 
Resources (February 2013) in support of the crosstie derived fuel 
was submitted as a categorical petition in accordance 40 CFR 
241.4(b).
---------------------------------------------------------------------------

    Based on the information in the rulemaking record, the Agency is 
proposing to amend 40 CFR 241.4(a) by listing in addition to CTRT, 
three other types of treated railroad ties as categorical non-wastes. 
Specific determinations regarding these other treated railroad ties 
(OTRT), i.e., creosote-borate, copper naphthenate, copper naphthenate-
borate and mixtures of creosote, borate and copper naphthenate treated 
railroad ties, as categorical non-wastes, and how the information was 
assessed by EPA according to the criteria in 40 CFR 241.4(b)(5), are 
discussed in detail in section III of this preamble.
    The rulemaking record for this rule (i.e., EPA-HQ-RCRA-2016-0248) 
includes those documents and information submitted specifically to 
support the categorical listings discussed in this rule. However, the 
principles on which the categorical listings are determined are based 
on the NHSM rules promulgated over the past few years, as discussed 
previously. While EPA is not formally including in the record for this 
rule materials supporting the earlier NHSM rulemaking proceedings, the 
Agency is nevertheless issuing this rule consistent with the NHSM rule 
and its supporting documents. This rulemaking proceeding in no way 
reopens any issues resolved in previous NHSM rulemaking proceedings. It 
simply responds to a petition in accordance with the standards outlined 
in the existing NHSM rule.

III. Proposed Categorical Non-Waste Listing Determination for OTRTs

    The following sections describe the OTRTs that EPA is proposing to 
list in section 241.4(a) as categorical non-wastes when burned as a 
fuel in combustion units.

A. Detailed Description of OTRTs

1. Processing
    Industry representatives stated that the removal of OTRTs from 
service and processing of those ties into a product fuel is analogous 
to that of CTRTs described in the February 2016 rule.\11\ OTRTs are 
typically comprised of North American hardwoods that have been treated 
with a wood preservative. Most of the energy recovery with OTRTs is 
conducted through three parties: The generator of the crossties 
(railroad or utility); the reclamation company that sorts the 
crossties, and in some cases processes the material received from the 
generator; and the combustor as third party energy producers. 
Typically, ownership of the OTRTs are generally transferred directly 
from the generator to the reclamation company that sorts materials for 
highest value secondary uses, and then sells the products to end-users, 
including those combusting the material as fuel. Some reclamation 
companies sell OTRTs to processors who remove metal contaminants and 
grind the ties into chipped wood. Other reclamation companies have 
their own grinders, do their own contaminant removal, and can sell 
directly to the combusting facilities. Information submitted to the 
Agency indicates there are approximately 15 OTRT recovery companies in 
North America with industry wide revenues of $65-75 million.
---------------------------------------------------------------------------

    \11\ 81 FR 6688.
---------------------------------------------------------------------------

    After crossties are removed from service, they are transferred for 
sorting/processing, but in some cases, they may be temporarily stored 
in the railroad rights-of-way or at another location selected by the 
reclamation company. One information source \12\ indicated that when 
the crossties are temporarily stored, they are stored until their value 
as an alternative fuel can be realized, generally through a contract 
completed for transferal of ownership to the reclamation contractor or 
combustor. This means that not all OTRTs originate from crossties 
removed from service in the same year; some OTRTs are processed from 
crossties removed from service in prior years and stored by railroads 
or removal/reclamation companies until their value as a landscaping 
element or fuel could be realized.
---------------------------------------------------------------------------

    \12\ M.A. Energy Resources LLC, Petition submitted to 
Administrator, EPA, February 2013.
---------------------------------------------------------------------------

    Typically, reclamation companies receive OTRTs by rail. The 
processing of the crossties into fuel by the reclamation/processing 
companies involves several steps. Contaminant metals (spikes, nails, 
plates, etc.) undergo initial separation and removal by the user 
organization (railroad company) during inspection. At the reclamation 
company, metal is further removed by magnets and may occur in multiple 
stages. After removal of contaminant metals, the crossties are then 
ground or shredded to a specified size depending on the particular 
needs of the end-use combustor, with chip size typically between 1-2 
inches. Such

[[Page 75786]]

grinding and shredding facilitates handling, storage and metering to 
the combustion chamber. By achieving a uniform particle size, 
combustion efficiency will be improved due to the uniform and 
controlled fuel feed rate and the ability to regulate the air supply. 
Additionally, the reduction process exposes a greater surface area of 
the particle to the heated gases, thus releasing any moisture more 
rapidly, and thereby enhancing its heating value.\13\ This step may 
occur in several phases, including primary and secondary grinding, or 
in a single phase.
---------------------------------------------------------------------------

    \13\ Forest and Agriculture Organization of the United Nations. 
The Potential Use of Wood Residues for Energy Generation, 2016.
---------------------------------------------------------------------------

    Once the crossties are ground to a specific size, there is further 
screening based on the particular needs of the end-use combustor. 
Depending on the configuration of the facility and equipment, screening 
may occur concurrently with grinding or at a subsequent stage. Once the 
processing of OTRTs is complete, the OTRTs are sold directly to the 
end-use combustor for energy recovery. Processed OTRTs are delivered to 
the buyers by railcar or truck. The OTRTs are then stockpiled prior to 
combustion, with a typical storage timeframe ranging from a day to a 
week. When the OTRTs are to be burned for energy recovery, the material 
is then transferred from the storage location using a conveyor belt or 
front-end loader. The OTRTs may be combined with other biomass fuels, 
including hog fuel and bark. OTRTs are commonly used to provide the 
high Btu fuel to supplement low (and sometimes wet) Btu biomass to 
ensure proper combustion, often in lieu of coal or other fossil 
fuels.\14\ The combined fuel may be further hammered and screened prior 
to combustion.
---------------------------------------------------------------------------

    \14\ American Forest & Paper Association, American Wood 
Council--Letter to EPA Administrator, December 6, 2012.
---------------------------------------------------------------------------

    In general, contracts for the purchase and combustion of OTRTs 
include fuel specifications limiting contaminants, such as metals, and 
prohibiting the receipt of wood treated with other preservatives such 
as pentachlorophenol.
2. Treatment Descriptions
i. Copper Naphthenate
    Copper naphthenate's effectiveness as a preservative has been known 
since the early 1900s, and various formulations have been used 
commercially since the 1940s. It is an organometallic compound formed 
as a reaction product of copper salts and naphthenic acids derived from 
petroleum. Unlike other commercially applied wood preservatives, small 
quantities of copper naphthenate can be purchased at retail hardware 
stores and lumberyards. Cuts or holes in treated wood can be treated in 
the field with copper naphthenate. Wood treated with copper naphthenate 
has a distinctive bright green color that weathers to light brown. The 
treated wood also has an odor that dissipates somewhat over time. Oil 
borne copper naphthenate is used for treatment of railroad ties since 
that treatment results in the ties being more resistant to cracks and 
checking. Waterborne copper naphthenate is used only for interior 
millwork and exterior residential dimensional lumber applications such 
as decking, fencing, lattice, recreational equipment, and other 
structures. Thus, this proposal does not address waterborne copper 
naphthenate.
    Copper naphthenate can be dissolved in a variety of solvents. The 
heavy oil solvent (specified in American Wood Protection Association 
(AWPA) Standard P9, Type A) or the lighter solvent (AWPA Standard P9, 
Type C) are the most commonly used. Copper naphthenate is listed in 
AWPA standards for treatment of major softwood species that are used 
for a variety of wood products. It is not listed for treatment of any 
hardwood species, except when the wood is used for railroad ties. The 
minimum copper naphthenate retentions (as elemental copper) range from 
0.04 pounds per cubic foot (0.6 kilograms per cubic meter) for wood 
used aboveground, to 0.06 pounds per cubic foot (1 kilograms per cubic 
meter) for wood that will contact the ground and 0.075 pounds per cubic 
foot (1.2 kilograms per cubic meter) for wood used in critical 
structural applications.
    When dissolved in No. 2 fuel oil, copper naphthenate can penetrate 
wood that is difficult to treat. Copper naphthenate loses some of its 
ability to penetrate wood when it is dissolved in heavier oils. Copper 
naphthenate treatments do not significantly increase the corrosion of 
metal fasteners relative to untreated wood.
    Copper naphthenate is commonly used to treat utility poles, 
although fewer facilities treat utility poles with copper naphthenate 
than with creosote or pentachlorophenol. Unlike creosote and 
pentachlorophenol, copper naphthenate is not listed as a Restricted Use 
Pesticide (RUP) by the EPA. Even though human health concerns do not 
require copper naphthenate to be listed as an RUP, precautions such as 
the use of dust masks and gloves are used when working with wood 
treated with copper naphthenate.
ii. Borates
    Borates is the name for a large number of compounds containing the 
element boron. Borate compounds are the most commonly used unfixed 
waterborne preservatives. Unfixed preservatives can leach from treated 
wood. They are used for pressure treatment of framing lumber used in 
areas with high termite hazard and as surface treatments for a wide 
range of wood products, such as cabin logs and the interiors of wood 
structures. They are also applied as internal treatments using rods or 
pastes. At higher rates of retention, borates also are used as fire-
retardant treatments for wood.
    Performance characteristics include activity against fungi and 
insects, with low mammalian toxicity. Another advantage of boron is its 
ability to diffuse with water into wood that normally resists 
traditional pressure treatment. Wood treated with borates has no added 
color, no odor, and can be finished (primed and painted).
    Inorganic boron is listed as a wood preservative in the AWPA 
standards, which include formulations prepared from sodium octaborate, 
sodium tetraborate, sodium pentaborate, and boric acid. Inorganic boron 
is also standardized as a pressure treatment for a variety of species 
of softwood lumber used out of contact with the ground and continuously 
protected from water. The minimum borate (B2O3) 
retention is 0.17 pounds per cubic foot (2.7 kilograms per cubic 
meter). A retention of 0.28 pounds per cubic foot (4.5 kilograms per 
cubic meter) is specified for areas with Formosan subterranean 
termites.
    Borate preservatives are available in several forms, but the most 
common is disodium octaborate tetrahydrate (DOT). DOT has higher water 
solubility than many other forms of borate, allowing more concentrated 
solutions to be used and increasing the mobility of the borate through 
the wood. With the use of heated solutions, extended pressure periods, 
and diffusion periods after treatment, DOT can penetrate species that 
are relatively difficult to treat, such as spruce. Several pressure 
treatment facilities in the United States use borate solutions. For 
refractory species destined for high decay areas, it has now become 
relatively common practice to use borates as a pre-treatment to protect 
the wood prior to processing with creosote.
iii. Creosote
    Creosote was introduced as a wood preservative in the late 1800's 
to prolong the life of railroad ties. CTRTs remain the material of 
choice by

[[Page 75787]]

railroads due to their long life, durability, cost effectiveness, and 
sustainability. As creosote is a by-product of coal tar distillation, 
and coal tar is a by-product of making coke from coal, creosote is 
considered a derivative of coal. The creosote component of CTRTs is 
also governed by the standards established by AWPA. AWPA has 
established two blends of creosote, P1/13 and P2. Railroad ties are 
typically manufactured using the P2 blend that is more viscous than 
other blends.

B. OTRTs Under Current NHSM Rules

1. March 2011 NHSM Final Rule
    The March 2011 NHSM final rule stated that most creosote-treated 
wood is non-hazardous. However, the presence of hexachlorobenzene, a 
CAA section 112 HAP, as well as other HAP suggested that creosote-
treated wood, including CTRTs, contained contaminants at levels that 
are not comparable to or lower than those found in wood or coal, the 
fuel that creosote-treated wood would replace. In making the 
assessment, the Agency did not consider fuel oil \15\ as a traditional 
fuel that CTRTs would replace, and concluded at the time that 
combustion of creosote-treated wood may result in destruction of 
contaminants contained in those materials. Such destruction is an 
indication of incineration, a waste activity. Accordingly, creosote-
treated wood, including CTRTs when burned, seemed more like a waste 
than a commodity, and did not meet the contaminant legitimacy 
criterion. This material, therefore, was considered a solid waste when 
burned, and units' combusting it would be subject to the CAA section 
129 emission standards (40 CFR part 60, subparts CCCC and DDDD).
---------------------------------------------------------------------------

    \15\ For the purposes of this proposed rule, fuel oil means oils 
1-6, including distillate, residual, kerosene, diesel, and other 
petroleum based oils. It does not include gasoline or unrefined 
crude oil.
---------------------------------------------------------------------------

    Regarding borate treated wood, after reviewing data from one 
commenter which shows that the levels of contaminants in this material 
are comparable to those found in unadulterated wood for the seven 
contaminants for which data was presented, the Agency stated in the 
March 2011 rule that such treated-wood meets the legitimacy criterion 
on the level of contaminants and comparability to traditional fuels. 
Therefore, under that rule, borate-treated wood could be classified as 
a non-waste fuel, provided they met the other two legitimacy criteria 
and provided that the contaminant levels for any other HAP that may be 
present in this material are also comparable to or less than those in 
traditional fuels. The rule noted that such borate-treated wood would 
need to be burned as a fuel for energy recovery within the control of 
the generator. Finally, the rule indicated that some borate-treated 
wood is subsequently treated with creosote, to provide an insoluble 
barrier to prevent the borate compounds from leaching out of the wood. 
The Agency did not receive data on the contaminant levels of the 
resulting material, but data presented on creosote treated lumber when 
combusted in units designed to burn biomass indicated that this NHSM 
would likely no longer meet the legitimacy criteria and would be 
considered a solid waste when burned as a fuel.
    The rule did not have information generally about the transfer of 
borate-treated wood to other companies to make a broad determination 
about its use as a fuel outside the control of the generator. Thus, 
under the March 2011 rule, borate-treated wood would need to be burned 
as a fuel for energy recovery within the control of the generator (76 
FR 15484).
    With regard to wood treated with copper naphthenate, no additional 
contaminant data was provided for the March 2011 rule that would 
reverse the position in the January 2010 proposed rule, which 
considered wood treated with copper naphthenate a solid waste because 
of concerns of elevated levels of contaminants (76 FR 15484). The rule 
acknowledged, as in the proposed rule, that the Agency did not have 
sufficient information on the contaminant levels in wood treated with 
copper naphthenate. Thus, if a person could demonstrate that copper 
naphthenate treated-wood is burned in a combustion unit as a fuel for 
energy recovery within the control of the generator and meets the 
legitimacy criteria or, if discarded, can demonstrate that they have 
sufficiently processed the material, that person can handle its copper 
naphthenate treated-wood as a non-waste fuel.
2. February 2013 NHSM Final Rule
    In the February 2013 NHSM final rule, EPA noted that the American 
Forest and Paper Association (AF&PA) and the American Wood Council 
submitted a letter with supporting information on December 6, 2012, 
seeking a categorical listing for CTRTs combusted in any unit.\16\ The 
letter included information regarding the amounts of railroad ties 
combusted each year and the value of the ties as fuel. The letter also 
discussed how CTRTs satisfy the legitimacy criteria, including its high 
Btu value.
---------------------------------------------------------------------------

    \16\ American Forest & Paper Association, American Wood 
Council--Letter to EPA Administrator, December 6, 2012.
---------------------------------------------------------------------------

    While this information was useful, it was not sufficient for the 
EPA to propose that CTRTs be listed categorically as a non-waste fuel 
at that time. Therefore, to further inform the Agency as to whether to 
list CTRTs categorically as a non-waste fuel, EPA requested that 
additional information be provided, and indicated that if this 
additional information supported and supplemented the representations 
made in the December 2012 letter, EPA would expect to propose a 
categorical listing for CTRTs. The requested information included:
     A list of industry sectors, in addition to forest product 
mills, that burn railroad ties for energy recovery.
     The types of boilers (e.g., kilns, stoker boilers, 
circulating fluidized bed, etc.) that burn railroad ties for energy 
recovery.
     The traditional fuels and relative amounts (e.g., startup, 
30 percent, 100 percent) of these traditional fuels that could 
otherwise generally be burned in these types of units. The extent to 
which non-industrial boilers (e.g., commercial or residential boilers) 
burn CTRTs for energy recover.
     Laboratory analyses for contaminants known or reasonably 
suspected to be present in creosote-treated railroad ties, and 
contaminants known to be significant components of creosote, 
specifically polycyclic aromatic hydrocarbons (i.e., PAH-16), 
dibenzofuran, cresols, hexachlorobenzene, 2,4-dinitrotoluene, biphenyl, 
quinoline, and dioxins.\17\ See 81 FR 6723 for detailed responses to 
those questions.
---------------------------------------------------------------------------

    \17\ The Agency requested these analyses based on the limited 
information previously available concerning the chemical makeup of 
CTRTs. That limited information included one well-studied sample 
from 1990 (showing the presence of both PAHs and dibenzofuran), past 
TCLP results (which showing the presence of cresols, 
hexachlorobenzene and 2,4-dinitrotoluene), Material Safety Data 
Sheets for coal tar creosote (which showing the potential presence 
of biphenyl and quinoline), and the absence of dioxin analyses prior 
to combustion despite extensive dioxin analyses of post-combustion 
emissions.
---------------------------------------------------------------------------

3. February 2016 NHSM Final Rule
    As discussed in section II.B of this preamble, EPA stated in the 
February 2016 final rule that it had reviewed the information submitted 
from stakeholders regarding CTRTs and determined that the information 
received supported a categorical determination for those materials 
under certain conditions (see 40 CFR

[[Page 75788]]

241.4(a)(7)). That rule also indicated that, based on an August 21, 
2015 letter to Barnes Johnson, TWC requested that the Agency move 
forward on a subset of materials that were identified in a previous 
April 2013 petition. EPA stated in the February 2016 rule, the Agency 
had reviewed the TWC information on the three treated railroad ties, 
creosote borate, copper naphthenate, submitted on September 11, 2015 
and had requested additional contaminant data. Based on information 
provided to the Agency at the time, we believed these three treated 
railroad ties were candidates for categorical non-waste listings and 
expected to begin development of a proposed rule under 40 CFR 241.4(a) 
regarding those listings in the near future.

C. Scope of the Proposed Categorical Non-Waste Listing for OTRTs

    As discussed previously in section II.B of this preamble, TWC 
submitted letters and supporting documents to EPA seeking a categorical 
listing for OTRTs. The contaminants found in OTRTs are not materially 
different from the traditional fuels (fuel oil and/or biomass) that 
these facilities are designed to burn as fuel. Therefore, the Agency is 
proposing to list, as categorical non-wastes, processed OTRTs when used 
as fuels. The rationale for this proposal is discussed in detail in the 
following sections.

D. Rationale for Proposed Listing

1. Discard
    When deciding whether an NHSM should be listed as a categorical 
non-waste fuel in accordance with 40 CFR 241.4(b)(5), EPA first 
evaluates whether or not the NHSM has been discarded, and if not 
discarded, whether or not the material is legitimately used as a 
product fuel in a combustion unit. If the material has been discarded, 
EPA evaluates the NHSM as to whether it has been sufficiently processed 
into a material that is legitimately used as a product fuel.
    Data submitted by petitioners regarding OTRTs removed from service 
and processed was analogous to that for CTRTs. Specifically, OTRTs 
removed from service are sometimes temporarily stored in the railroad 
right-of-way or at another location selected by the reclamation 
company. This means that not all OTRTs originate from crossties removed 
from service in the same year; some OTRTs are processed from crossties 
removed from service in prior years and stored by railroads or removal/
reclamation companies until a contract for reclamation is in place.
    EPA is reiterating its statement from the February 8, 2016 final 
rule regarding cases where a railroad or reclamation company waits for 
more than a year to realize the value of OTRTs as a fuel. The Agency 
again concludes that OTRTs are removed from service and stored in a 
railroad right-of-way or location for long periods of time--that is, a 
year or longer, without a determination regarding their final end use 
(e.g., landscaping, as a fuel or landfilled) thus indicating that the 
material has been discarded and is a solid waste (see also the general 
discussion of discard at 76 FR 15463 in the March 2011 rule). Regarding 
any assertion that OTRTs are a valuable commodity in a robust market, 
the Agency would like to remind persons that NHSMs may have value in 
the marketplace and still be considered solid wastes.
2. Processing
    Since the OTRTs removed from service are considered discarded 
because they can be stored for long periods of time without a final 
determination regarding their final end use, in order for them to be 
considered a non-waste fuel, they must be processed, thus transforming 
the OTRTs into a product fuel that meets the legitimacy criteria.\18\ 
The Agency concludes that the processing of OTRTs described previously 
in section III.A.1 of this preamble meets the definition of processing 
in 40 CFR 241.2. As discussed in that section, processing includes 
operations that transform discarded NHSM into a non-waste fuel or non-
waste ingredient, including operations necessary to: remove or destroy 
contaminants; significantly improve the fuel characteristics (e.g., 
sizing or drying of the material, in combination with other 
operations); chemically improve the as-fired energy content; or improve 
the ingredient characteristics. Minimal operations that result only in 
modifying the size of the material by shredding do not constitute 
processing for the purposes of the definition. The Agency concludes 
that OTRTs meet the definition of processing in 40 CFR 241.3 because 
contaminant metals are removed in several steps and the fuel 
characteristics are significantly improved; specifically:
---------------------------------------------------------------------------

    \18\ Persons who concluded that their OTRTs are not discarded 
and thus are not subject to this categorical determination may 
submit an application to the EPA Regional Administrator that the 
material has not been discarded when transferred to a third party 
and is indistinguishable from a product fuel (76 FR 15551).
---------------------------------------------------------------------------

     Contaminants (e.g., spikes, plates, transmission wire and 
insulator bulbs) are removed during initial inspection by the user 
organization.
     Removal of contaminant metals occurs again at the 
reclamation facility using magnets; such removal may occur in multiple 
stages.
     The fuel characteristics of the material are improved when 
the crossties are ground or shredded to a specified size (typically 1-2 
inches) depending on the particular needs of the end-use combustor. The 
grinding may occur in one or more phases.
     Once the contaminant metals are removed and the OTRTs are 
ground, there may be additional screening to bring the material to a 
specified size.
3. Legitimacy Criteria
    EPA can list a discarded NHSM categorically as a non-waste fuel if 
it has been ``sufficiently processed,'' and meets the legitimacy 
criteria. The three legitimacy criteria to be evaluated are: (1) The 
NHSM must be managed as a valuable commodity, (2) the NHSM must have a 
meaningful heating value and be used as a fuel in a combustion unit to 
recover energy, and (3) the NHSM must have contaminants or groups of 
contaminants at levels comparable to or less than those in the 
traditional fuel the unit is designed to burn.\19\
---------------------------------------------------------------------------

    \19\ We note that even if the NHSM does not meet one or more of 
the legitimacy criteria, the Agency could still propose to list an 
NHSM categorically by balancing the legitimacy criteria with other 
relevant factors (see 40 CFR 241.4(b)(2).
---------------------------------------------------------------------------

i. Managed as a Valuable Commodity
    Data submitted \20\ indicates that OTRT processing and subsequent 
management is analogous to the processing of CTRTs outlined in the 
February 8, 2016 final categorical rule. The processing of OTRTs is 
correlated to the particular needs of the end-use combustor.
---------------------------------------------------------------------------

    \20\ See section III.D.4. for a description of EPA's review of 
all data submitted regarding meeting legitimacy criteria.
---------------------------------------------------------------------------

    The process begins when the railroad or utility company removes the 
old OTRTs from service. An initial inspection is conducted where non-
combustible materials are sorted out. OTRTs are stored in staging areas 
until shippable quantities are collected. Shippable quantities are 
transported via truck or rail to a reprocessing center.
    At the reprocessing center, pieces are again inspected, sorted, and 
non-combustible materials are removed. Combustible pieces then undergo 
size reduction and possible blending with compatible combustibles. Once 
the OTRTs meet the end use specification, they are then sold directly 
to the end-use combustor for energy recovery.

[[Page 75789]]

OTRTs are delivered to the end-use combustors via railcar and/or truck 
similar to delivery of traditional biomass fuels.
    After receipt, OTRTs are stockpiled similar to analogous biomass 
fuels (e.g., in fuel silos) to maximize dryness and minimize dust. 
While awaiting combustion at the end-user, which usually occurs within 
one day to a week of arrival, the OTRTs are also transferred and/or 
handled from storage in a manner consistent with the transfer and 
handling of biomass fuels. Procedures include screening by the end-use 
combustor, combining with other biomass fuels, and transferring to the 
combustor via conveyor belt or front-end loader.
    Since the storage of the processed material clearly does not exceed 
reasonable time frames and the processed ties are handled/treated 
similar to analogous biomass fuels by end-use combustors, OTRTs meet 
the criterion for being managed as a valuable commodity.
ii. Meaningful Heating Value and Used as a Fuel To Recover Energy
    EPA received the following information for the heating values of 
processed OTRTs: 6,867 Btu/lb for creosote-borate; 7,333 Btu/lb for 
copper naphthenate; 5,967 Btu/lb for copper naphthenate-borate; 5,232 
Btu/lb for mixed railroad ties containing 56% creosote, 41% creosote-
borate, 1% copper naphthenate, 2% copper naphthenate-borate; and 7,967 
Btu/lb for mixed ties containing 25% creosote, 25% creosote borate, 25% 
copper naphthenate and 25% copper naphthenate-borate.21 22 
In the March 2011 NHSM final rule, the Agency indicated that NHSMs with 
an energy value greater than 5,000 Btu/lb, as fired, are considered to 
have a meaningful heating value.\23\ Thus, OTRTs meet the criterion for 
meaningful heating value and used as a fuel to recover energy.
---------------------------------------------------------------------------

    \21\ Letter from Jeff Miller to Barnes Johnson, September 11, 
2015; see docket for this proposed rule.
    \22\ These values reflect averages from 2013 and 2015 data. 
Relevant lab data on Btu/lb for each types of processed OTRT can be 
viewed in the September and October 2015 letters from Jeff Miller to 
Barnes Johnson included in the docket.
    \23\ See 76 FR 15541.
---------------------------------------------------------------------------

iii. Contaminants Comparable to or Lower Than Traditional Fuels
    For each type of OTRT, EPA has compared the September 2015 data 
submitted on contaminant levels by petitioners to contaminant data for 
two traditional fuels: Biomass, including untreated clean wood, and 
fuel oil (petitioners did not provide data or request that contaminant 
comparisons be made to coal). The petitioner's data included samples 
taken from 15 different used creosote-borate ties, 15 different copper 
naphthenate-borate ties, 15 creosote ties, and 15 copper naphthenate 
ties. Each type of tie sample was divided into three groups of five tie 
samples each. This resulted in 12 total groups corresponding to the 
four different types ties. Each group was then isolated, mixed 
together, processed into a fuel-type consistency, and shipped to the 
laboratory for analysis.
    As noted previously, use of these types of ties are relatively new 
compared to creosote, so few have transitioned to fuel use at this 
time. To simulate that transition over time, three samples of unevenly-
blended tie material (56% creosote, 41% creosote-borate, 1% copper 
naphthenate, 2% copper naphthenate-borate) and three samples of equally 
blended tie material (25% creosote, 25% creosote-borate, 25% copper 
naphthenate, 25% copper naphthenate-borate) were analyzed. The lab 
analyzed three samples of each of tie-derived boiler fuel treated with 
creosote, creosote-borate, copper naphthenate and copper naphthenate-
borate. In addition, the lab analyzed three samples of equally-blended 
tie material, three samples of unevenly-blended tie material, and three 
samples of untreated wood for a total of 21 samples.
    In addition to September 2015 data, copper naphthenate-borate, and 
copper naphthenate test data had also been submitted in conjunction 
with TWC's earlier December 4, 2013 petition and are included in the 
following tables. As noted in section II.B of this preamble, the data 
did not have details on the number of samples collected. In addition, 
sulfur was measured using leachable anion techniques that do not 
provide results of the total contaminant content, and heat content was 
not measured. The results of the analysis of the 2015 and 2013 data are 
shown in the following tables.\24\
---------------------------------------------------------------------------

    \24\ Note for contaminant analyses, when making contaminant 
comparisons for purposes of meeting the legitimacy criterion, it 
would be appropriate in this circumstance to find that grouping of 
contaminants would not result in discard. For example, under the 
grouping concept, individual SVOC levels may be elevated above that 
of the traditional fuel, but the contaminant legitimacy criterion 
will be met as long as total SVOCs is comparable to or less than 
that of the traditional fuel. Such an approach is standard practice 
employed by the Agency in developing regulations and is consistent 
with monitoring standards under CAA sections 112 and 129. See 78 FR 
9146, February 7, 2013, for further findings that relate to the 
issue of grouping contaminants for purposes of determining discard.
---------------------------------------------------------------------------

    Copper Naphthenate

                           Copper Naphthenate
------------------------------------------------------------------------
                                     Copper
                                   naphthenate     Biomass/
          Contaminant             railroad ties   Untreated    Fuel Oil
                                   contaminant     wood \b\       \b\
                                 levels \a\ \f\
------------------------------------------------------------------------
                     Metal Elements (ppm--dry basis)
------------------------------------------------------------------------
Antimony.......................  <1.4            ND-26        ND-15.7
Arsenic........................  0.53-0.93       ND-298       ND-13
Beryllium......................  <0.60-0.05      ND-10        ND-19
Cadmium........................  <0.28-0.20      ND-17        ND-1.4
Chromium.......................  0.22-0.50       ND-340       ND-37
Cobalt.........................  <6.0-0.81       ND-213       ND-8.5
Lead...........................  <0.36-3.5       ND-340       ND-56.8
Manganese......................  7.1-166         ND-15,800    ND-3,200
Mercury........................  <0.20           ND-1.1       ND-0.2
Nickel.........................  0.79-1.1        ND-540       ND-270
Selenium.......................  0.41-0.84       ND-9.0       ND-4
------------------------------------------------------------------------
                   Non-Metal Elements (ppm-dry basis)
------------------------------------------------------------------------
Chlorine.......................  <100            ND-5,400     ND-1,260

[[Page 75790]]

 
Fluorine.......................  <100            ND-300       ND-14
Nitrogen.......................  <500            200-39,500   42-8,950
Sulfur.........................  190-240         ND-8,700     ND-57,000
------------------------------------------------------------------------
            Semivolatile Hazardous Pollutants (ppm-dry basis)
------------------------------------------------------------------------
Acenaphthene...................  3.0-95          ND-50        111
Acenaphthylene.................  <1.3            ND-4         4.1
Anthracene.....................  <1.3-6.3        0.4-87       96
Benzo[a]anthracene.............  <1.3            ND-62        41-1,900
Benzo[a]pyrene.................  <1.3            ND-28        0.60-960
Benzo[b]fluoranthene...........  <1.3            ND-42        11-540
Benzo[ghi]perylene.............  <1.3            ND-9         11.4
Benzo[k]fluoranthene...........  <1.3            ND-16        0.6
Chrysene.......................  <1.3            ND-53        2.2-2,700
Dibenz[a,h]anthracene..........  <1.3            ND-3         4.0
Fluoranthene...................  <1.3-6.5        0.6-160      31.6-240
Fluorene.......................  4.5-53          ND-40        3,600
Indeno[1,2,3-cd]pyrene.........  <1.3            ND-12        2.3
Naphthalene....................  8.2-80          ND-38        34.3-4,000
Phenanthrene...................  8.2-77          0.9-190      0-116,000
Pyrene.........................  <1.3-15         0.2-160      23-178
16-PAH.........................  49-298          5-921        3,900-54,7
                                                               00
Pentachlorophenol..............  <30 \g\         ND-1         --
Biphenyl.......................  -- \e\          --           1,000-1,20
                                                               0
                                ----------------------------------------
    Total SVOC \c\.............  77-328          5-922        4,900-54,7
                                                               00
------------------------------------------------------------------------
   Volatile Organic Compound (VOC) Hazardous Air Pollutants (ppm--dry
                                 basis)
------------------------------------------------------------------------
Benzene........................  <0.69           --           ND-75
                                 --
Phenol.........................  -- \e\          --           ND-7,700
Styrene........................  <0.69           --           ND-320
Toluene........................  <0.69           --           ND-380
Xylenes........................  <0.69           --           ND-3,100
Cumene.........................  -- \e\          --           6,000-8,00
                                                               0
Ethyl benzene..................  <0.69           --           22-1,270
Formaldehyde...................  -- \e\          1.6-27       --
Hexane.........................  -- \e\          --           50-10,000
                                ----------------------------------------
    Total VOC \d\..............  <3.4            1.6-27       6,072-19,8
                                                               10
------------------------------------------------------------------------
\a\ Data provided by Treated Wood Council on April 3, 2013, September
  11, 2015 and October 19, 2015.
\b\ Contaminant Concentrations in Traditional Fuels: Tables for
  Comparison, November 29, 2011, available at http://www.epa.gov/epawaste/nonhaz/define/pdfs/nhsm_cont_tf.pdf. Contaminant data drawn
  from various literature sources and from data submitted to USEPA,
  Office of Air Quality Planning and Standards (OAQPS). SVOC values from
  2013 IEc data that will be available in the rule docket.
\c\ Total SVOC ranges do not represent a simple sum of the minimum and
  maximum values for each contaminant. This is because minimum and
  maximum concentrations for individual VOCs and SVOCs do not always
  come from the same sample.
\d\ Naphthalene was the only analyte detected in Oct 2015 VOC testing,
  but this analyte is included in the SVOC group, so is not reflected
  here.
\e\ Cells with the ``--'' indicate analytes not tested for in treated
  wood, but these are not expected to be present in treated wood
  formulation being analyzed based on preservative chemistry and results
  from previous CTRT testing (i.e., not present in CTRT ties).
\f\ Non-detects are indicated by ``<'' preceding the method reporting
  limit, not the method detection limit. Therefore, there are many cases
  where the non-detect value may be greater than another test's detected
  value due to analysis-specific RLs being different between individual
  tests (i.e., differences in tested amount or analyzer calibration
  range adjustments). If result is less than the method detection limit
  (MDL), the method reporting limit (MRL), which is always greater than
  MDL, was used by the lab.
\g\ Not expected in the treated wood formulation being tested based on
  preservative chemistry.

    As indicated, railroad ties treated with copper naphthenate have 
contaminants that are comparable to or less than those in biomass or 
fuel oil. Given that these railroad ties are a type of treated wood 
biomass, such ties can be combusted in units designed to burn biomass 
or biomass and fuel oil.
    Copper Naphthenate-Borate

[[Page 75791]]



                        Copper Naphthenate-Borate
------------------------------------------------------------------------
                                     Copper
                                  naphthenate-
                                     borate        Biomass/    Fuel oil
          Contaminant             railroad ties   Untreated       \b\
                                   contaminant     wood \b\
                                 levels \a\ \f\
------------------------------------------------------------------------
                     Metal Elements (ppm--dry basis)
------------------------------------------------------------------------
Antimony.......................  <1.4            ND-26        ND-15.7
Arsenic........................  0.52-0.72       ND-298       ND-13
Beryllium......................  <0.67           ND-10        ND-19
Cadmium........................  <0.31-0.078     ND-17        ND-1.4
Chromium.......................  0.11-0.78       ND-340       ND-37
Cobalt.........................  <7.5-0.74       ND-213       ND-8.5
Lead...........................  <0.38-4.0       ND-340       ND-56.8
Manganese......................  14-170          ND-15,800    ND-3,200
Mercury........................  <0.15           ND-1.1       ND-0.2
Nickel.........................  0.46-2.0        ND-540       ND-270
Selenium.......................  <0.64-0.52      ND-9.0       ND-4
------------------------------------------------------------------------
                   Non-Metal Elements (ppm--dry basis)
------------------------------------------------------------------------
Chlorine.......................  <100            ND-5,400     ND-1,260
Fluorine.......................  <100            ND-300       ND-14
Nitrogen.......................  <500            200-39,500   42-8,950
Sulfur.........................  140-170         ND-8,700     ND-57,000
------------------------------------------------------------------------
           Semivolatile Hazardous Pollutants (ppm--dry basis)
------------------------------------------------------------------------
Acenaphthene...................  4.8-17          ND-50        111
Acenaphthylene.................  <1.2-0.9        ND-4         4.1
Anthracene.....................  <1.2-7.2        0.4-87       96
Benzo[a]anthracene.............  <1.2-3.7        ND-62        41-1,900
Benzo[a]pyrene.................  <1.2-1.4        ND-28        0.60-960
Benzo[b]fluoranthene...........  <1.2-3.9        ND-42        11-540
Benzo[ghi]perylene.............  <1.2            ND-9         11.4
Benzo[k]fluoranthene...........  <1.2-20         ND-16        0.6
Chrysene.......................  <1.2-6.6        ND-53        2.2-2,700
Dibenz[a,h]anthracene..........  <1.2            ND-3         4.0
Fluoranthene...................  <1.2-20         0.6-160      31.6-240
Fluorene.......................  2.2-16          ND-40        3,600
Indeno[1,2,3-cd]pyrene.........  <1.2            ND-12        2.3
Naphthalene....................  5.2-82          ND-38        34.3-4,000
Phenanthrene...................  3.6-43          0.9-190      0-116,000
Pyrene.........................  <1.3-19         0.2-160      23-178
16-PAH.........................  39-145          5-921        3,900-54,7
                                                               00
Pentachlorophenol..............  <28 \g\         ND-1         --
Biphenyl.......................  -- \e\          --           1,000-1,20
                                                               0
                                ----------------------------------------
    Total SVOC \c\.............  66-173          5-922        4,900-54,7
                                                               00
------------------------------------------------------------------------
   Volatile Organic Compound (VOC) Hazardous Air Pollutants (ppm--dry
                                 basis)
------------------------------------------------------------------------
Benzene........................  <0.77           --           ND-75
                                 --              --
Phenol.........................  -- \e\          --           ND-7,700
Styrene........................  <0.77           --           ND-320
Toluene........................  <0.77           --           ND-380
Xylenes........................  <0.77           --           ND-3,100
Cumene.........................  -- \e\          --           6,000-8,00
                                                               0
Ethyl benzene..................  <0.77           --           22-1,270
Formaldehyde...................  -- \e\          1.6-27       --
Hexane.........................  -- \e\          --           50-10,000
                                ----------------------------------------
    Total VOC \d\..............  <3.8            1.6-27       6,072-19,8
                                                               10
------------------------------------------------------------------------
\a\ Data provided by Treated Wood Council on April 3, 2013, September
  11, 2015 and October 19, 2015.
\b\ Contaminant Concentrations in Traditional Fuels: Tables for
  Comparison, November 29, 2011, available at http://www.epa.gov/epawaste/nonhaz/define/pdfs/nhsm_cont_tf.pdf. Contaminant data drawn
  from various literature sources and from data submitted to USEPA,
  Office of Air Quality Planning and Standards (OAQPS). SVOC values from
  2013 IEc data that will be available in the rule docket.
\c\ Total SVOC ranges do not represent a simple sum of the minimum and
  maximum values for each contaminant. This is because minimum and
  maximum concentrations for individual VOCs and SVOCs do not always
  come from the same sample.
\d\ Naphthalene was the only analyte detected in Oct 2015 VOC testing,
  but this analyte is included in the SVOC group, so is not reflected
  here.
\e\ Cells with the ``--'' indicate analytes not tested for in treated
  wood, but these are not expected to be present in treated wood
  formulation being analyzed based on preservative chemistry and results
  from previous CTRT testing (i.e., not present in CTRT ties).
\f\ Non-detects are indicated by ``<'' preceding the method reporting
  limit, not the method detection limit. Therefore, there are many cases
  where the non-detect value may be greater than another test's detected
  value due to analysis-specific RLs being different between individual
  tests (i.e., differences in tested amount or analyzer calibration
  range adjustments). If result is less than the method detection limit
  (MDL), the method reporting limit (MRL), which is always greater than
  MDL, was used by the lab.

[[Page 75792]]

 
\g\ Not expected in the treated wood formulation being tested based on
  preservative chemistry.

    As indicated, railroad ties treated with copper naphthenate-borate 
have contaminants that are comparable to or less than those in biomass 
or fuel oil. Given that these railroad ties are a type of treated wood 
biomass, such ties can be combusted in units designed to burn biomass 
or biomass and fuel oil.
    Creosote-Borate

                             Creosote-Borate
------------------------------------------------------------------------
                                    Creosote-
                                     borate        Biomass/
          Contaminant             railroad ties   untreated    Fuel oil
                                   contaminant     wood \b\       \b\
                                 levels \a\ \f\
------------------------------------------------------------------------
                     Metal Elements (ppm--dry basis)
------------------------------------------------------------------------
Antimony.......................  <1.3            ND-26        ND-15.7
Arsenic........................  <1.3-0.80       ND-298       ND-13
Beryllium......................  <0.60-0.032     ND-10        ND-19
Cadmium........................  0.059-0.25      ND-17        ND-1.4
Chromium.......................  0.10-1.1        ND-340       ND-37
Cobalt.........................  <6.0-0.22       ND-213       ND-8.5
Lead...........................  <0.37-1.8       ND-340       ND-56.8
Manganese......................  22-140          ND-15,800    ND-3,200
Mercury........................  <0.15-0.066     ND-1.1       ND-0.2
Nickel.........................  0.71-1.8        ND-540       ND-270
Selenium.......................  0.59-1.4        ND-9.0       ND-4
------------------------------------------------------------------------
                   Non-Metal Elements (ppm--dry basis)
------------------------------------------------------------------------
Chlorine.......................  <100            ND-5,400     ND-1,260
Fluorine.......................  <100            ND-300       ND-14
Nitrogen.......................  <500            200-39,500   42-8,950
Sulfur.........................  170-180         ND-8,700     ND-57,000
------------------------------------------------------------------------
           Semivolatile Hazardous Pollutants (ppm--dry basis)
------------------------------------------------------------------------
Acenaphthene...................  600-2,200       ND-50        111
Acenaphthylene.................  17-96           ND-4         4.1
Anthracene.....................  350-2,000       0.4-87       96
Benzo[a]anthracene.............  200-1,500       ND-62        41-1,900
Benzo[a]pyrene.................  62-500          ND-28        0.60-960
Benzo[b]fluoranthene...........  110-960         ND-42        11-540
Benzo[ghi]perylene.............  13-170          ND-9         11.4
Benzo[k]fluoranthene...........  40-320          ND-16        0.6
Chrysene.......................  210-1,300       ND-53        2.2-2,700
Dibenz[a,h]anthracene..........  <21-58          ND-3         4.0
Fluoranthene...................  1,100-8,400     0.6-160      31.6-240
Fluorene.......................  500-2,200       ND-40        3,600
Indeno[1,2,3-cd]pyrene.........  14-170          ND-12        2.3
Naphthalene....................  660-2,900       ND-38        34.3-4,000
Phenanthrene...................  2,000-12,000    0.9-190      0-116,000
Pyrene.........................  780-5,200       0.2-160      23-178
16-PAH.........................  6,600-38,000    5-921        3,900-54,7
                                                               00
Pentachlorophenol..............  <790 \g\        ND-1         --
Biphenyl.......................  137-330 \h\     --           1,000-1,20
                                                               0
                                ----------------------------------------
    Total SVOC \c\.............  7,200-39,000    5-922        4,900-54,7
                                                               00
------------------------------------------------------------------------
   Volatile Organic Compound (VOC) Hazardous Air Pollutants (ppm--dry
                                 basis)
------------------------------------------------------------------------
Benzene........................  <3.9            --           ND-75
                                 --
Phenol.........................  -- \e\          --           ND-7,700
Styrene........................  <3.9            --           ND-320
Toluene........................  <3.9            --           ND-380
Xylenes........................  <3.9            --           ND-3,100
Cumene.........................  -- \e\          --           6,000-8,00
                                                               0
Ethyl benzene..................  <3.9            --           22-1,270
Formaldehyde...................  -- \e\          1.6-27       --
Hexane.........................  -- \e\          --           50-10,000
                                ----------------------------------------
    Total VOC \d\..............  <20             1.6-27       6,072-19,8
                                                               10
------------------------------------------------------------------------
\a\ Data provided by Treated Wood Council on September 11, 2015 and
  October 19, 2015.
\b\ Contaminant Concentrations in Traditional Fuels: Tables for
  Comparison, November 29, 2011, available at http://www.epa.gov/epawaste/nonhaz/define/pdfs/nhsm_cont_tf.pdf. Contaminant data drawn
  from various literature sources and from data submitted to USEPA,
  Office of Air Quality Planning and Standards (OAQPS). SVOC values from
  2013 IEc data that will be available in the rule docket.

[[Page 75793]]

 
\c\ Total SVOC ranges do not represent a simple sum of the minimum and
  maximum values for each contaminant. This is because minimum and
  maximum concentrations for individual VOCs and SVOCs do not always
  come from the same sample.
\d\ Naphthalene was the only analyte detected in Oct 2015 VOC testing,
  but this analyte is included in the SVOC group, so is not reflected
  here.
\e\ Cells with the ``--'' indicate analytes not tested for in treated
  wood, but these are not expected to be present in treated wood
  formulation being analyzed based on preservative chemistry and results
  from previous CTRT testing (i.e., not present in CTRT ties).
\f\ Non-detects are indicated by ``<'' preceding the method reporting
  limit, not the method detection limit. Therefore, there are many cases
  where the non-detect value may be greater than another test's detected
  value due to analysis-specific RLs being different between individual
  tests (i.e., differences in tested amount or analyzer calibration
  range adjustments). If result is less than the method detection limit
  (MDL), the method reporting limit (MRL), which is always greater than
  MDL, was used by the lab.
\g\ Not expected in the treated wood formulation being tested based on
  preservative chemistry.
\h\ Not tested for, but presumptive worst-case value is presented for
  treated wood type based on data from previous CTRT testing.

    Semi-volatile organic compound (SVOC) levels in creosote-borate 
processed railroad ties are not comparable to biomass. Given that 
creosote-borate railroad ties are a type of treated wood biomass, and 
any unit burning these ties typically burns untreated wood, the EPA 
considered two scenarios.
    In the first scenario, where a combustion unit is designed to only 
burn biomass, EPA compared contaminant levels in creosote-borate to 
contaminant levels in biomass. In this scenario, the total SVOC levels 
can reach 39,000 ppm, driven by high levels of polycyclic aromatic 
hydrocarbons (PAHs).\25\ These compounds are very low levels in clean 
wood and biomass, and the contaminants are therefore not comparable in 
this instance. In fact, they are present at orders of magnitude higher 
than found in clean wood and biomass.
---------------------------------------------------------------------------

    \25\ We note that for several SVOCs--cresols, hexachlorobenzene, 
and 2,4-dinitrotoluene, which were expected to be in creosote, and 
for which information was specifically requested in the February 7, 
2013 NHSM final rule (78 FR 9111), the data demonstrate that they 
were not detectable, or were present at levels so low to be 
considered comparable.
---------------------------------------------------------------------------

    In the second scenario, a combustion unit is designed to burn 
biomass and fuel oil. As previously mentioned, SVOCs are present in 
CTRTs (up to 39,000 ppm) at levels well within the range observed in 
fuel oil (up to 54,700 ppm). Therefore, creosote-borate railroad ties 
have comparable contaminant levels to other fuels combusted in units 
designed to burn both biomass and fuel oil, and as such, meet this 
criterion if used in facilities that are designed to burn both biomass 
and fuel oil.\26\
---------------------------------------------------------------------------

    \26\ As discussed previously, the March 21, 2011 NHSM final rule 
(76 FR 15456), noting the presence of hexachlorobenzene and 
dinitrotoluene, suggested that creosote-treated lumber include 
contaminants at levels that are not comparable to those found in 
wood or coal, the fuel that creosote-treated wood would replace, and 
would thus be considered solid wastes. The February 2016 final rule 
differs in several respects from the conclusions in the March 2011 
rule. The February 2016 final rule concludes that CTRTs are a 
categorical non-waste when combusted in units designed to burn both 
fuel oil and biomass. The March 2011 rule, using 1990 data on 
railroad cross ties, was based on contaminant comparisons to coal 
and biomass and not fuel oil. As discussed above, when compared to 
fuel oil, total SVOC contaminant concentrations (which would include 
dinitrotoluene and hexachlorobenzene) in CTRTs would be less that 
those found in fuel oil, and in fact, the 2012 data referenced in 
this final rule showed non-detects for those two contaminants.
---------------------------------------------------------------------------

    As stated in the preamble to the February 7, 2013, NHSM final rule, 
combustors may burn NHSMs as a product fuel if they compare 
appropriately to any traditional fuel the unit can or does burn (78 FR 
9149). Combustion units are often designed to burn multiple traditional 
fuels, and some units can and do rely on different fuel types at 
different times based on availability of fuel supplies, market 
conditions, power demands, and other factors. Under these 
circumstances, it is arbitrary to restrict the combustion for energy 
recovery of NHSMs based on contaminant comparison to only one 
traditional fuel if the unit could burn a second traditional fuel 
chosen due to such changes in fuel supplies, market conditions, power 
demands or other factors. If a unit can burn both a solid and liquid 
fuel, then comparison to either fuel would be appropriate.
    In order to make comparisons to multiple traditional fuels, units 
must be designed to burn those fuels. If a facility compares 
contaminants in an NHSM to a traditional fuel a unit is not designed to 
burn, and that material is highly contaminated, a facility would then 
be able to burn excessive levels of waste components in the NHSM as a 
means of discard. Such NHSMs would be considered wastes regardless of 
any fuel value (78 FR 9149).\27\ Accordingly, the ability to burn a 
fuel in a combustion unit does have a basic set of requirements, the 
most basic of which is the ability to feed the material into the 
combustion unit. The unit must also be able to ensure the material is 
well-mixed and maintain temperatures within unit specifications.
---------------------------------------------------------------------------

    \27\ 78 FR 9149 states ``If a NHSM does not contain contaminants 
at levels comparable to or lower than those found in any [emphasis 
added] traditional fuel that a combustion unit could burn, then it 
follows that discard could be occurring if the NHSM were combusted. 
Whether contaminants in these cases would be destroyed or discarded 
through releases to the air, they could not be considered a normal 
part of a legitimate fuel and the NHSM would be considered a solid 
waste when used as a fuel in that combustion unit.''
---------------------------------------------------------------------------

    Mixed Treatments-Creosote, Borate, Copper Naphthenate

                               Mix 1-1-1-1
------------------------------------------------------------------------
                                  Mixed railroad
                                ties  (25%C-25%CB-
                                  25%CuN-25%CuNB)   Biomass/    Fuel oil
          Contaminant               contaminant     untreated     \b\
                                  levels \a\ \f\    wood \b\
 
------------------------------------------------------------------------
                     Metal Elements (ppm--dry basis)
------------------------------------------------------------------------
Antimony......................  <1.4               ND-26       ND-15.7
Arsenic.......................  <1.5-0.81          ND-298      ND-13
Beryllium.....................  <0.70              ND-10       ND-19
Cadmium.......................  0.15-0.38          ND-17       ND-1.4
Chromium......................  0.15-0.17          ND-340      ND-37
Cobalt........................  <7.0-0.07          ND-213      ND-8.5
Lead..........................  0.50-0.81          ND-340      ND-56.8
Manganese.....................  110-190            ND-15,800   ND-3,200
Mercury.......................  <0.15-0.06         ND-1.1      ND-0.2
Nickel........................  0.75-1.4           ND-540      ND-270

[[Page 75794]]

 
Selenium......................  <0.66-0.50         ND-9.0      ND-4
------------------------------------------------------------------------
                   Non-Metal Elements (ppm--dry basis)
------------------------------------------------------------------------
Chlorine......................  <100               ND-5,400    ND-1,260
Fluorine......................  <100               ND-300      ND-14
Nitrogen......................  <500               200-39,500  42-8,950
Sulfur........................  140-210            ND-8,700    ND-57,000
------------------------------------------------------------------------
           Semivolatile Hazardous Pollutants (ppm--dry basis)
------------------------------------------------------------------------
Acenaphthene..................  500-1,100          ND-50       111
Acenaphthylene................  12-25              ND-4        4.1
Anthracene....................  290-1,100          0.4 -87     96
Benzo[a]anthracene............  140-350            ND-62       41-1,900
Benzo[a]pyrene................  47-120             ND-28       0.60-960
Benzo[b]fluoranthene..........  83-210             ND-42       11-540
Benzo[ghi]perylene............  9.4-23             ND-9        11.4
Benzo[k]fluoranthene..........  30-64              ND-16       0.6
Chrysene......................  160-360            ND-53       2.2-2,700
Dibenz[a,h]anthracene.........  <7.2-4.7           ND-3        4.0
Fluoranthene..................  800-2,100          0.6-160     31.6-240
Fluorene......................  350-1,000          ND-40       3,600
Indeno[1,2,3-cd]pyrene........  10-28              ND-12       2.3
Naphthalene...................  320-580            ND-38       34.3-4,00
                                                                0
Phenanthrene..................  1,300-3,800        0.9-190     0-116,000
Pyrene........................  520-1,400          0.2-160     23-178
16-PAH........................  4,500-12,000       5-921       3,900-54,
                                                                700
Pentachlorophenol.............  <330 \g\           ND-1        .........
Biphenyl......................  137-330 \h\        ..........  1,000-1,2
                                                                00
                               -----------------------------------------
    Total SVOC \c\............  4,800-13,000       5-922       4,900-54,
                                                                700
------------------------------------------------------------------------
   Volatile Organic Compound (VOC) Hazardous Air Pollutants (ppm--dry
                                 basis)
------------------------------------------------------------------------
Benzene.......................  <1.1               --          ND-75
                                --
Phenol........................  -- \e\             --          ND-7,700
Styrene.......................  <1.1               --          ND-320
Toluene.......................  <1.1               --          ND-380
Xylenes.......................  <1.1               --          ND-3,100
Cumene........................  -- \e\             --          6,000-8,0
                                                                00
Ethyl benzene.................  <1.1               --          22-1,270
Formaldehyde..................  -- \e\             1.6-27      --
Hexane........................  -- \e\             --          50-10,000
    Total VOC \d\.............  <5.3               1.6-27      6,072-19,
                                                                810
------------------------------------------------------------------------
\a\ Data provided by Treated Wood Council on September 11, 2015 and
  October 19, 2015.
\b\ Contaminant Concentrations in Traditional Fuels: Tables for
  Comparison, November 29, 2011, available at http://www.epa.gov/epawaste/nonhaz/define/pdfs/nhsm_cont_tf.pdf. Contaminant data drawn
  from various literature sources and from data submitted to USEPA,
  Office of Air Quality Planning and Standards (OAQPS). SVOC values from
  2013 IEc data that will be available in the rule docket.
\c\ Total SVOC ranges do not represent a simple sum of the minimum and
  maximum values for each contaminant. This is because minimum and
  maximum concentrations for individual VOCs and SVOCs do not always
  come from the same sample.
\d\ Naphthalene was the only analyte detected in Oct 2015 VOC testing,
  but this analyte is included in the SVOC group, so is not reflected
  here.
\e\ Cells with the ``--'' indicate analytes not tested for in treated
  wood, but these are not expected to be present in treated wood
  formulation being analyzed based on preservative chemistry and results
  from previous CTRT testing (i.e., not present in CTRT ties).
\f\ Non-detects are indicated by ``<'' preceding the method reporting
  limit, not the method detection limit. Therefore, there are many cases
  where the non-detect value may be greater than another test's detected
  value due to analysis-specific RLs being different between individual
  tests (i.e., differences in tested amount or analyzer calibration
  range adjustments). If result is less than the method detection limit
  (MDL), the method reporting limit (MRL), which is always greater than
  MDL, was used by the lab.
\g\ Not expected in the treated wood formulation being tested based on
  preservative chemistry.
\h\ Not tested for, but presumptive worst-case value is presented for
  treated wood type based on data from previous CTRT testing.


[[Page 75795]]


                              Mix 56-41-1-2
------------------------------------------------------------------------
                                 Mixed railroad
                                  ties  (56%C-
                                 41%CB-  1%CuN-    Biomass/    Fuel oil
          Contaminant               2%CuNB)       untreated       \b\
                                  contaminant      wood \b\
                                 levels \a\ \f\
------------------------------------------------------------------------
                     Metal Elements (ppm--dry basis)
------------------------------------------------------------------------
Antimony......................  <1.4             ND-26        ND-15.7
Arsenic.......................  <1.4-0.65        ND-298       ND-13
Beryllium.....................  <0.68            ND-10        ND-19
Cadmium.......................  0.08-0.09        ND-17        ND-1.4
Chromium......................  0.12-0.78        ND-340       ND-37
Cobalt........................  <6.8-0.18        ND-213       ND-8.5
Lead..........................  <0.44-0.93       ND-340       ND-56.8
Manganese.....................  47-77            ND-15,800    ND-3,200
Mercury.......................  <0.13-0.03       ND-1.1       ND-0.2
Nickel........................  0.50-0.99        ND-540       ND-270
Selenium......................  0.56-0.68        ND-9.0       ND-4
------------------------------------------------------------------------
                   Non-Metal Elements (ppm--dry basis)
------------------------------------------------------------------------
Chlorine......................  <100             ND-5,400     ND-1,260
Fluorine......................  <100             ND-300       ND-14
Nitrogen......................  <500             200-39,500   42-8,950
Sulfur........................  230-280          ND-8,700     ND-57,000
------------------------------------------------------------------------
           Semivolatile Hazardous Pollutants (ppm--dry basis)
------------------------------------------------------------------------
Acenaphthene..................  1,500-1,800      ND-50        111
Acenaphthylene................  31-40            ND-4         4.1
Anthracene....................  760-1,100        0.4-87       96
Benzo[a]anthracene............  390-490          ND-62        41-1,900
Benzo[a]pyrene................  150-200          ND-28        0.60-960
Benzo[b]fluoranthene..........  230-310          ND-42        11-540
Benzo[ghi]perylene............  28-56            ND-9         11.4
Benzo[k]fluoranthene..........  93-130           ND-16        0.6
Chrysene......................  390-520          ND-53        2.2-2,700
Dibenz[a,h]anthracene.........  <28              ND-3         4.0
Fluoranthene..................  2,000-2,700      0.6-160      31.6-240
Fluorene......................  1,100-1,300      ND-40        3,600
Indeno[1,2,3-cd]pyrene........  32-52            ND-12        2.3
Naphthalene...................  890-1,200        ND-38        34.3-4,000
Phenanthrene..................  3,600-4,500      0.9-190      0-116,000
Pyrene........................  1,300-1,800      0.2-160      23-178
16-PAH........................  13,000-16,000    5-921        3,900-54,7
                                                               00
Pentachlorophenol.............  <630 \g\         ND-1         ..........
Biphenyl......................  137-330 \h\      ...........  1,000-1,20
                                                               0
                               -----------------------------------------
    Total SVOC \c\............  13,000-17,000    5-922        4,900-54,7
                                                               00
------------------------------------------------------------------------
   Volatile Organic Compound (VOC) Hazardous Air Pollutants (ppm--dry
                                 basis)
------------------------------------------------------------------------
Benzene.......................  <2.3             ...........  ND-75
                                --
Phenol........................  -- \e\           --           ND-7,700
Styrene.......................  <2.3             --           ND-320
Toluene.......................  <2.3             --           ND-380
Xylenes.......................  <2.3             --           ND-3,100
Cumene........................  -- \e\           --           6,000-8,00
                                                               0
Ethyl benzene.................  <2.3             --           22-1,270
Formaldehyde..................  -- \e\           1.6-27       --
Hexane........................  -- \e\           --           50-10,000
                               -----------------------------------------
    Total VOC \d\.............  <12              1.6-27       6,072-19,8
                                                               10
------------------------------------------------------------------------
\a\ Data provided by Treated Wood Council on September 11, 2015 and
  October 19, 2015.
\b\ Contaminant Concentrations in Traditional Fuels: Tables for
  Comparison, November 29, 2011, available at http://www.epa.gov/epawaste/nonhaz/define/pdfs/nhsm_cont_tf.pdf. Contaminant data drawn
  from various literature sources and from data submitted to USEPA,
  Office of Air Quality Planning and Standards (OAQPS). SVOC values from
  2013 IEc data that will be available in the rule docket.
\c\ Total SVOC ranges do not represent a simple sum of the minimum and
  maximum values for each contaminant. This is because minimum and
  maximum concentrations for individual VOCs and SVOCs do not always
  come from the same sample.
\d\ Naphthalene was the only analyte detected in Oct 2015 VOC testing,
  but this analyte is included in the SVOC group, so is not reflected
  here.
\e\ Cells with the ``--'' indicate analytes not tested for in treated
  wood, but these are not expected to be present in treated wood
  formulation being analyzed based on preservative chemistry and results
  from previous CTRT testing (i.e., not present in CTRT ties).

[[Page 75796]]

 
\f\ Non-detects are indicated by ``<'' preceding the method reporting
  limit, not the method detection limit. Therefore, there are many cases
  where the non-detect value may be greater than another test's detected
  value due to analysis-specific RLs being different between individual
  tests (i.e., differences in tested amount or analyzer calibration
  range adjustments). If result is less than the method detection limit
  (MDL), the method reporting limit (MRL), which is always greater than
  MDL, was used by the lab.
\g\ Not expected in the treated wood formulation being tested based on
  preservative chemistry.
\h\ Not tested for, but presumptive worst-case value is presented for
  treated wood type based on data from previous CTRT testing.

    In the mixed treated wood scenarios above, as previously discussed, 
SVOCs are present (up to 17,000 ppm) at levels well within the range 
observed in fuel oil (up to 54,700 ppm). Therefore, mixed railroad ties 
with creosote, borate and copper naphthenate have comparable 
contaminant levels to other fuels combusted in units designed to burn 
both biomass and fuel oil, and as such, meet this criterion if used in 
facilities that are designed to burn both biomass and fuel oil.
4. OTRT Sampling and Analysis Data History
    The data collection supporting the OTRT non-waste determination has 
been based on several rounds of data submittals by TWC followed by EPA 
questions and comments on the data provided. We have described the 
process of forming the OTRT data set, and all materials provided by TWC 
are available in the docket to this rulemaking.
    The TWC submitted data on various wood preservative types, 
including those referred to as OTRTs, in their April 3, 2013 petition 
letter requesting a categorical determination that all preserved wood 
types were non-waste fuels. However, the contaminant comparison data 
presented in the petition were incomplete and not based on established 
analytical data. The EPA response to TWC requested submittal of 
analytical data to determine contaminant concentrations in the OTRT 
wood.
    In November 2013, TWC responded to EPA's request, submitting 
laboratory reports on analyses of the various preservative wood types, 
including OTRTs. The EPA reviewed the laboratory reports and 
techniques, and determined that there were limited data points 
available (i.e., one per preservative type) and that the analytical 
techniques for several contaminants (chlorine, nitrogen, sulfur, and 
fluorine) were not appropriate to provide information on the entire 
preserved wood sample as combusted, reflecting only a leachable 
component. Furthermore, EPA questioned the representativeness of the 
samples being analyzed and the repeatability of the analyses.
    In August, 2015, TWC performed additional sampling and analyses to 
address these deficiencies in the data. In response to EPA's concerns 
on previous data, and as described previously, TWC developed a sampling 
program in which 15 OTRT railroad ties of each preservative type were 
collected from various geographical areas. These 15 ties were then 
separated into three 5 tie groups, then processed into a boiler-fuel 
consistency using commercial processing techniques. A sample of each 5-
tie group was then shipped to an independent laboratory for analysis, 
thereby producing 3 data points for each preservative type. TWC also 
prepared two blends: One with equal portions of creosote, creosote-
borate, copper naphthenate, and copper naphthenate-borate; and the 
second a weighted blend of these tie types in proportion to current 
usage ratios of each preservative chemistry. These blends samples were 
analyzed in triplicate, for a total of 18 samples being analyzed (i.e., 
three from each tie sample group). Two laboratories were used by TWC to 
perform the analysis: One laboratory analyzed metals, mercury, 
semivolatiles, and heat of combustion; and the other laboratory 
analyzed volatiles, chlorine, fluorine, and nitrogen. All methods used 
were EPA or ASTM methods, and were appropriate for the materials being 
tested. No specific sampling methodology was employed in taking the 
samples from the 5-ties group.
    The EPA reviewed the 2015 test data, which was provided by TWC on 
September 11, 2015, and provided TWC with additional follow-up 
questions and clarifications, including the specific sources of the 
ties. TWC's response noted the sources of ties for each chemistry and 
indicated that the ties generally originated in the southeast, but 
there are also ties from Pennsylvania, South Dakota, and Kentucky 
represented within the TWC data set. The EPA also noted some exceptions 
and flags within the analytical report, such as sample coolers upon 
receipt at the lab were outside the required temperature criterion; 
surrogate recoveries for semivolatile samples (which represent 
extraction efficiency within a sample matrix) were sometimes lower or 
higher than those for samples containing creosote-treated wood; and 
dilution factors (dilution is used when the sample is higher in 
concentration than can be analyzed) for creosote-treated wood samples 
were high (up to 800). The laboratory noted these issues in the report 
narrative, but concluded that there were no corrective actions 
necessary.
    Finally, EPA requested further information on these issues noted in 
the report narrative, as well as supporting quality assurance 
documentation from the laboratories. With respect to surrogate 
recoveries and dilutions, the lab indicated that the high dilutions 
were required for the creosote-containing matrix to avoid saturation of 
the detector instrument.\28\ Also, the shipping cooler temperature 
criterion of 4 degrees Celsius, which EPA views as standard practice, 
is not wholly applicable in this case due to the nature of the samples. 
Since the ties were used and stored after being taken out of service in 
ambient atmosphere and are not biologically active, the 4 degree 
Celsius receipt condition is not necessary, but was noted in the report 
as part of laboratory standard operating procedure.
---------------------------------------------------------------------------

    \28\ Samples with concentrations exceeding the calibration range 
must be diluted to fall within the calibration range. The more a 
sample is diluted, the higher the reporting limit. Sample dilution 
is required when the concentration of a compound exceeds the amount 
that produces a full-scale response. At that point the detector 
becomes saturated and fails to respond to additional target 
compound(s). Diluting samples to accommodate the high-concentrations 
can reduce the concentration of the target analytes to levels where 
they can no longer be detected.
---------------------------------------------------------------------------

E. Summary and Request for Comment

    EPA believes it has sufficient information to propose to list OTRTs 
categorically as non-waste fuels. For units combusting copper-
naphthenate-borate and/or copper naphthenate railroad ties, such 
materials could be combusted in units designed to burn biomass or 
biomass and fuel oil. For units combusting railroad ties containing 
cresosote, including creosote-borate or any mixtures of ties containing 
cresosote, borate and copper naphthenate, such materials must be burned 
in combustion units that are designed to burn both biomass and fuel 
oil. The Agency would consider units to meet this requirement if the 
unit combusts fuel oil as part of normal operations and not solely as 
part of start up or shut down operations.
    Consistent with the approach for CTRTs outlined in the February 
2016 rule, the Agency is also proposing that units combusting railroad 
ties treated

[[Page 75797]]

with cresosote-borate (or other mixtures of treated railroad ties 
containing creosote, borate and copper naphthenate) in units designed 
to burn biomass and fuel oil, could also combust those materials in 
units at major pulp and paper mills or units at power production 
facilities subject to 40 CFR part 63, subpart DDDDD (Boiler MACT) that 
combust such ties and had been designed to burn biomass and fuel oil, 
but are modified (e.g., oil delivery mechanisms are removed) in order 
to use natural gas instead of fuel oil as part of normal operations and 
not solely as part of start-up or shut-down operations. These ties may 
continue to be combusted as a product fuel only if certain conditions 
are met, which are intended to ensure that they are not being 
discarded:
     Must be combusted in existing (i.e., commenced 
construction prior to April 14, 2014) stoker, bubbling bed, fluidized 
bed or hybrid suspension grate boilers; and
     Must comprise no more than 40 percent of the fuel that is 
used on an annual heat input basis.
    The standard would be applicable to existing units burning 
creosote-borate, and mixtures of creosote, copper naphthenate and 
borate treated railroad ties that had been designed to burn fuel oil 
and biomass and have been modified to burn natural gas. The standard 
will also apply if an existing unit designed to burn fuel oil and 
biomass is modified at some point in the future.
    The approach addresses only the circumstance where contaminants in 
these railroad ties are comparable to or less than the traditional 
fuels the unit was originally designed to burn (both fuel oil and 
biomass) but that design was modified in order to combust natural gas. 
The approach is not a general means to circumvent the contaminant 
legitimacy criterion by allowing combustion of any NHSM with elevated 
contaminant levels, i.e., levels not comparable to the traditional fuel 
the unit is currently designed to burn. The particular facilities in 
this case had used these ties and would clearly be in compliance with 
the legitimacy criteria if they did not switch to the cleaner natural 
gas fuel. Information indicating that these ties are an important part 
of the fuel mix due to the consistently lower moisture content and 
higher Btu value, as well as the benefits of drier more consistent fuel 
to combustion units with significant swings in steam demand, further 
suggest that discard is not occurring. Therefore, EPA believes it 
appropriate to balance other relevant factors in this categorical non-
waste determination and for the Agency to decide that the switching to 
the cleaner natural gas would not render these materials a waste fuel.
    This case is no different from the Agency's determination in the 
February 2016 rule with respect to CTRTs. This determination is 
accepted Agency policy and is appropriately applied to the case of 
other treated railway ties in this proceeding. This determination, as 
discussed in the February 2016 rule, is based on the historical usage 
as a product fuel in stoker, bubbling bed, fluidized bed and hybrid 
suspension grate boilers (i.e., boiler designs used to combust used 
railroad ties, see 81 FR 6732).
    The Agency solicits comments on the proposed non-waste categorical 
determination as described previously. The Agency is also specifically 
requesting comment on the following:
     Whether railroad ties with de minimis levels of creosote 
should be allowed to be combusted in biomass only units;
     Should a particular de minimus level should be designated 
and on what should this level be based;
     Whether these OTRTs are combusted in units designed to 
burn coal in lieu of, or in addition to biomass and fuel oil, and 
whether the contaminant comparisons to meet legitimacy criteria should 
include comparisons to coal;
     In light of the data and sampling history described above, 
whether the quality of data is adequate to support the proposed 
determination;
     Additional data that should be considered in making the 
comparability determinations for OTRTs.

F. Copper and Borates Literature Review and Other EPA Program Review 
Summary

    Neither copper nor borate are hazardous air pollutants (HAP), and 
thus are not contaminants under NHSM standards.29 30 To 
determine whether those compounds pose health risk concerns not 
directly covered by the NHSM standards, and how those concerns may be 
addressed under other Agency programs, we conducted a literature review 
on copper and borate and the rules these constituents and their 
compounds.
---------------------------------------------------------------------------

    \29\ CAA Section 112 requires EPA to promulgate regulations to 
control emissions of 187 HAP from sources in source categories 
listed by EPA under section 112(c), while CAA section 129 CISWI 
standards include numeric emission limitations for the nine 
pollutants, plus opacity (as appropriate), that are specified in CAA 
section 129(a)(4). For the purpose of NHSM standards, the definition 
of contaminants is limited to HAP under CAA 112 and CAA 129.
    \30\ We note also under the CAA standards for smaller area 
sources, emission limits are not required for copper, borate (or for 
HAPs). Standards for area sources focus on tune-ups of the boiler 
unit (see 40 CFR 40 CFR part 63, subpart JJJJJJ.
---------------------------------------------------------------------------

    Under the Clean Water Act, EPA's Office of Water developed the Lead 
and Copper Rule which became effective in 1991 (56 FR 26460). This rule 
set a limit of 1.3 ppm copper concentration in 10% of tap action level 
for public water. Exceedances of this limit require additional 
treatment steps in order to reduce waste corrosivity and prevent 
leaching of these metals (including copper) from plumbing and 
distribution systems. EPA's Office of Water also issued a fact sheet 
for copper under the Clean Water Act section 304(a) titled the Aquatic 
Life Ambient Freshwater Quality Criteria.\31\ This fact sheet explains 
that copper is an essential nutrient at low concentrations, but is 
toxic to aquatic organisms at higher concentrations. The fact sheet 
listed the following industries that contribute to manmade discharges 
of copper to surface waters: Mining, leather and leather products, 
fabricated metal products, and electric equipment. No mention was made 
of deposition from combustion sources, such as area source boilers that 
may not have robust particulate matter control devices installed on 
them. By comparison, there are no National Recommended Aquatic Life 
Criteria for boron or borates.
---------------------------------------------------------------------------

    \31\ Aquatic life criteria for toxic chemicals are the highest 
concentration of specific pollutants or parameters in water that are 
not expected to pose a significant risk to the majority of species 
in a given environment or a narrative description of the desired 
conditions of a water body being ``free from'' certain negative 
conditions.
---------------------------------------------------------------------------

    EPA also investigated whether there were any concerns that copper 
and borate can react to form polychlorinated dibenzodioxin and 
dibenzofurans (PCDD/PCDF) during the combustion process. Specific 
studies evaluating copper involvement in dioxins and furans formation 
in municipal or medical waste incinerator flue gas have been 
conducted.\32\ While the exact mechanism and effects of other 
combustion parameters on PCDD and PCDF formation are still unknown, 
increased copper chloride (CuCl) and/or cupric chloride 
(CuCl2) on fly ash particles has been shown to increase 
concentrations of PCDD and PCDF in fly ash. Various researchers 
conclude that CuCl and/or CuCl2 are serving either roles as 
catalysts in dioxin formation or as chlorine sources for subsequent 
PCDD/PCDF formation reactions (i.e., the CuCl and/or CuCl2 
serve as dechlorination/chlorination catalysts).

[[Page 75798]]

Copper emissions from fly ash are reduced with good particulate matter 
controls. A high performance fabric filter may be the best control 
device, although some portion of fine particulate matter may pass 
through. Cyclone separators and electro-static precipitators have not 
been shown to be effective in controlling these emissions, and these 
types of controls may be more prevalent amongst smaller, area source 
boilers. Overall, results from many studies indicate that most of the 
copper ends up in the bottom ash.
---------------------------------------------------------------------------

    \32\ See technical memorandum on copper-related programs and 
emission studies available in the docket to this rulemaking.
---------------------------------------------------------------------------

    Generally, borates have a low toxicity, and should not be a concern 
from a health risk perspective. As indicated previously, neither boron 
nor borates are listed as HAP under CAA section 112, nor are they 
considered to be criteria air pollutants subject to any emissions 
limitations. However, elemental boron has been identified by EPA in the 
coal combustion residuals (CCR) risk analysis \33\ to present some 
potential risks for ecological receptors. As a result of this risk, and 
boron's ability to move through the subsurface,\34\ boron has been 
included as a monitored constituent in CCR monitoring provisions for 
coal ash impoundments.
---------------------------------------------------------------------------

    \33\ Human and Ecological Risk Assessment of Coal Combustion 
Residuals, EPA, December 2014.
    \34\ See 80 FR 21302, April 17, 2015.
---------------------------------------------------------------------------

    Copper has some acute toxicity, but these exposures appear to be 
the result of direct drinking water or cooking-related intake. We 
anticipate the only routes that copper releases to the environment 
could result from burning copper naphthenate treated ties would be 
stormwater runoff from the ties and deposition from boiler emissions. 
The amount of copper remaining in the tie after its useful life, 
however, may be greatly reduced from the original content, and 
facilities manage the shredded tie material in covered areas to prevent 
significant moisture swings, therefore, we do not expect impacts from 
copper-containing runoff. Due to the high vaporization temperature, 
copper will exist in solid phase after it leaves the furnace, and would 
therefore be controlled in the air pollution control device operated to 
control particulate emissions from the boiler.
    EPA solicits comment and seeks any additional information (e.g. 
preservative leaching rates) that would help further inform the 
determinations outlined above regarding management and combustion of 
borate and copper treated railroad ties and impacts to surface water, 
drinking water or air not addressed under the NHSM standards.

IV. Effect of This Proposal on Other Programs

    Beyond expanding the list of NHSMs that categorically qualify as 
non-waste fuels, this rule does not change the effect of the NHSM 
regulations on other programs as described in the March 21, 2011 NHSM 
final rule, as amended on February 7, 2013 (78 FR 9138) and February 8, 
2016 (81 FR 6688). Refer to section VIII of the preamble to the March 
21, 2011 NHSM final rule \35\ for the discussion on the effect of the 
NHSM rule on other programs.
---------------------------------------------------------------------------

    \35\ 76 FR 15456, March 21, 2011 (page 15545).
---------------------------------------------------------------------------

V. State Authority

A. Relationship to State Programs

    This proposal does not change the relationship to state programs as 
described in the March 21, 2011 NHSM final rule. Refer to section IX of 
the preamble to the March 21, 2011 NHSM final rule \36\ for the 
discussion on state authority including, ``Applicability of State Solid 
Waste Definitions and Beneficial Use Determinations'' and 
``Clarifications on the Relationship to State Programs.'' The Agency, 
however, would like to reiterate that this proposed rule (like the 
March 21, 2011 and the February 7, 2013 final rules) is not intended to 
interfere with a state's program authority over the general management 
of solid waste.
---------------------------------------------------------------------------

    \36\ 76 FR 15456, March 21, 2011 (page 15546).
---------------------------------------------------------------------------

B. State Adoption of the Rulemaking

    No federal approval procedures for state adoption of this proposed 
rule are included in this rulemaking action under RCRA subtitle D. 
Although the EPA does promulgate criteria for solid waste landfills and 
approves state municipal solid waste landfill permitting programs, RCRA 
does not provide the EPA with authority to approve state programs 
beyond those landfill permitting programs. While states are not 
required to adopt regulations promulgated under RCRA subtitle D, some 
states incorporate federal regulations by reference or have specific 
state statutory requirements that their state program can be no more 
stringent than the federal regulations. In those cases, the EPA 
anticipates that, if required by state law, the changes being proposed 
in this document, if finalized, will be incorporated (or possibly 
adopted by authorized state air programs) consistent with the state's 
laws and administrative procedures.

VI. Cost and Benefits

    The value of any regulatory action is traditionally measured by the 
net change in social welfare that it generates. This rulemaking, as 
proposed, establishes a categorical non-waste listing for selected 
NHSMs under RCRA. This categorical non-waste determination allows these 
materials to be combusted as a product fuel in units, subject to the 
CAA section 112 emission standards, without being subject to a detailed 
case-by-case analysis of the material(s) by individual combustion 
facilities, provided they meet the conditions of the categorical 
listing. The proposal establishes no direct standards or requirements 
relative to how these materials are managed or combusted. As a result, 
this action alone does not directly invoke any costs \37\ or benefits. 
Rather, this RCRA proposal is being developed to simplify the rules for 
identifying which NHSMs are not solid wastes and to provide additional 
clarity and direction for owners or operators of combustion facilities. 
In this regard, this proposal provides a procedural benefit to the 
regulated community, as well as the states through the establishment of 
regulatory clarity and enhanced materials management certainty.
---------------------------------------------------------------------------

    \37\ Excluding minor administrative burden/cost (e.g., rule 
familiarization).
---------------------------------------------------------------------------

    Because this RCRA action is definitional only, any costs or 
benefits indirectly associated with this action would not occur without 
the corresponding implementation of the relevant CAA rules. However, in 
an effort to ensure rulemaking transparency, the EPA prepared an 
assessment in support of this action that examines the scope and 
direction of these indirect impacts, for both costs and benefits.\38\ 
This document is available in the docket for review and comment. 
Finally, we recognize that this action would indirectly affect various 
materials management programs and policies, and we are sensitive to 
these concerns. The Agency encourages comment on these effects.
---------------------------------------------------------------------------

    \38\ U.S. EPA, Office of Resource Conservation and Recovery, 
``Assessment of the Potential Costs, Benefits, and Other Impacts for 
the Proposed Rule: Categorical Non-Waste Determination for Selected 
Non Hazardous Secondary Materials (NHSMs): Creosote-Borate Treated 
Railroad Ties, Copper Naphthenate Treated Railroad Ties, and Copper 
Naphthenate-Borate Treated Railroad Ties'' EPA Docket Number: EPA-
HQ-OLEM-2016-0248.
---------------------------------------------------------------------------

    The assessment document, as mentioned previously, finds that 
facilities operating under CAA section 129 standards that are currently 
burning CTRTs, and no other solid wastes, and who had planned to 
continue burning these materials, may experience cost savings 
associated with the potential modification and operational adjustments 
of their affected units. In this case, the unit-level cost savings are

[[Page 75799]]

estimated, on average, to be approximately $266,000 per year. In 
addition, the increased regulatory clarity and certainty associated 
with this action may stimulate increased product fuel use for one or 
more of these NHSMs, potentially resulting in upstream life cycle 
benefits associated with reduced extraction of selected virgin 
materials.

VII. Statutory and Executive Order Reviews

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

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

    This action is not a significant regulatory action. The Office of 
Management and Budget (OMB) waived review. The EPA prepared an economic 
analysis of the potential costs and benefits associated with this 
action. This analysis, ``Assessment of the Potential Costs, Benefits, 
and Other Impacts for the Proposed Rule--Categorical Non-Waste 
Determination for Selected Non-Hazardous Secondary Materials (NHSMs): 
Creosote-Borate Treated Railroad Ties, Copper Naphthenate Treated 
Railroad Ties, and Copper Naphthenate-Borate Treated Railroad Ties'', 
is available in the docket. Interested persons are encouraged to read 
and comment on this document.

B. Paperwork Reduction Act (PRA)

    This action does not impose any new information collection burden 
under the PRA as this action only proposes to add three new categorical 
non-waste fuels to the NHSM regulations. OMB has previously approved 
the information collection activities contained in the existing 
regulations and has assigned OMB control number 2050-0205.

C. Regulatory Flexibility Act (RFA)

    I certify that this action will not have a significant economic 
impact on a substantial number of small entities under the RFA. In 
making this determination, the impact of concern is any significant 
adverse economic impact on small entities. An agency may certify that a 
rule will not have a significant economic impact on a substantial 
number of small entities if the rule relieves regulatory burden, has no 
net burden or otherwise has a positive economic effect on the small 
entities subject to the rule. The proposed addition of three NHSMs to 
the list of categorical non-waste fuels is expected to indirectly 
reduce materials management costs. In addition, this action will reduce 
regulatory uncertainty associated with these materials and help 
increase management efficiency. We have therefore concluded that this 
action will relieve regulatory burden for all directly regulated small 
entities. We continue to be interested in the potential impacts of the 
proposed rule on small entities and welcome comments on issues related 
to such impacts.

D. Unfunded Mandates Reform Act (UMRA)

    This action contains no Federal mandates as described in UMRA, 2 
U.S.C. 1531-1538, and does not significantly or uniquely affect small 
governments. UMRA generally excludes from the definition of ``Federal 
intergovernmental mandate'' duties that arise from participation in a 
voluntary Federal program. Affected entities are not required to manage 
the proposed additional NHSMs as non-waste fuels. As a result, this 
action may be considered voluntary under UMRA. Therefore, this action 
is not subject to the requirements of section 202 or 205 of the UMRA
    This action is also not subject to the requirements of section 203 
of UMRA because it contains no regulatory requirements that might 
significantly or uniquely affect small governments. In addition, this 
proposal will not impose direct compliance costs on 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 neither impose substantial direct 
compliance costs on tribal governments, nor preempt Tribal law. 
Potential aspects associated with the categorical non-waste fuel 
determinations under this proposed rule may invoke minor indirect 
tribal implications to the extent that entities generating or 
consolidating these NHSMs on tribal lands could be affected. However, 
any impacts are expected to be negligible. Thus, Executive Order 13175 
does not apply to this action.

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

    This action is not subject to Executive Order 13045 because it is 
not economically significant as defined in the Executive Order 12866, 
and because the EPA does not believe the environmental health or safety 
risks addressed by this action present a disproportionate risk to 
children. Based on the following discussion, the Agency found that 
populations of children near potentially affected boilers are either 
not significantly greater than national averages, or in the case of 
landfills, may potentially result in reduced discharges near such 
populations.
    The proposed rule, in conjunction with the corresponding CAA rules, 
may indirectly stimulate the increased fuel use of one of more the 
three NHSMs by providing enhanced regulatory clarity and certainty. 
This increased fuel use may result in the diversion of a certain 
quantity of these NHSMs away from current baseline management 
practices. Any corresponding disproportionate impacts among children 
would depend upon whether children make up a disproportionate share of 
the population living near the affected units. Therefore, to assess the 
potential an indirect disproportionate effect on children, we conducted 
a demographic analysis for this population group surrounding CAA 
section 112 major source boilers, municipal solid waste landfills, and 
construction and demolition (C&D) landfills for the Major and Area 
Source Boilers rules and the CISWI rule.\39\ We assessed the share of 
the population under the age of 18 living within a three-mile 
(approximately five kilometers) radius of these facilities. Three miles 
has been used often in other demographic analyses focused on areas 
around industrial sources.\40\
---------------------------------------------------------------------------

    \39\ The extremely large number of area source boilers and the 
absence of site-specific coordinates prevented us from assessing the 
demographics of populations located near these sources. In addition, 
we did not assess child population percentages surrounding cement 
kilns that may use some out-of-service railroad crossties for their 
thermal value.
    \40\ The following publications which have provided demographic 
information using a 3-mile or 5-kilometer circle around a facility:
    * U.S. GAO (Government Accountability Office). Demographics of 
People Living Near Waste Facilities. Washington DC: Government 
Printing Office 1995.
    * Mohai P, Saha R. ``Reassessing Racial and Socio-economic 
Disparities in Environmental Justice Research''. Demography. 
2006;43(2): 383-399.
    * Mennis, Jeremy ``Using Geographic Information Systems to 
Create and Analyze Statistical Surfaces of Population and Risk for 
Environmental Justice Analysis'' Social Science Quarterly, 2002, 
83(1):281-297.
    * Bullard RD, Mohai P, Wright B, Saha R et al. Toxic Wastes and 
Race at Twenty, 1987-2007, March 2007. 5 CICWI Rule and Major Source 
Boilers Rule.

---------------------------------------------------------------------------

[[Page 75800]]

    For major source boilers, our findings indicate that the percentage 
of the population in these areas under age 18 years is generally the 
same as the national average.\41\ In addition, while the fuel source 
and corresponding emission mix for some of these boilers may change as 
an indirect response to this rule, emissions from these sources would 
remain subject to the protective CAA section 112 standards. For 
municipal solid waste and C&D landfills, we do not have demographic 
results specific to children. However, using the population below the 
poverty level as a rough surrogate for children, we found that within 
three miles of facilities that may experience diversions of one or more 
of these NHSMs, low-income populations, as a percent of the total 
population, are disproportionately high relative to the national 
average. Thus, to the extent that these NHSMs are diverted away from 
municipal solid waste or C&D landfills, any landfill-related emissions, 
discharges, or other negative activity potentially affecting low-income 
(children) populations living near these units are likely to be 
reduced. Finally, transportation emissions associated with the 
diversion of some of this material away from landfills to boilers are 
likely to be generally unchanged, while these emissions are likely to 
be reduced for on-site generators of paper recycling residuals that 
would reduce off-site shipments.
---------------------------------------------------------------------------

    \41\ U.S. EPA, Office of Resource Conservation and Recovery. 
Summary of Environmental Justice Impacts for the Non-Hazardous 
Secondary Material (NHSM) Rule, the 2010 Commercial and Industrial 
Solid Waste Incinerator (CISWI) Standards, the 2010 Major Source 
Boiler NESHAP and the 2010 Area Source Boiler NESHAP. February 2011.
---------------------------------------------------------------------------

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 (NTTAA)

    This rulemaking does not involve technical standards.

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

    The EPA believes that it is not feasible to determine whether this 
action has disproportionately high and adverse effects on minority 
populations, low-income populations, and/or indigenous peoples as 
specified in Executive Order 12898 (59 FR 7629, February 16, 1994). 
However, the overall level of emissions, or the emissions mix from 
affected boilers are not expected to change significantly because the 
three NHSMs proposed to be categorically listed as non-waste fuels are 
generally comparable to the types of fuels that these combustors would 
otherwise burn. Furthermore, these units remain subject to the 
protective standards established under CAA section 112.
    Our environmental justice demographics assessment conducted for the 
prior rulemaking \42\ remains relevant to this action. This assessment 
reviewed the distributions of minority and low-income groups living 
near potentially affected sources using U.S. Census blocks. A three-
mile radius (approximately five kilometers) was examined in order to 
determine the demographic composition (e.g., race, income, etc.) of 
these blocks for comparison to the corresponding national compositions. 
Findings from this analysis indicated that populations living within 
three miles of major source boilers represent areas with minority and 
low-income populations that are higher than the national averages. In 
these areas, the minority share \43\ of the population was 33 percent, 
compared to the national average of 25 percent. For these same areas, 
the percent of the population below the poverty line (16 percent) was 
higher than the national average (13 percent).
---------------------------------------------------------------------------

    \42\ U.S. EPA, Office of Resource Conservation and Recovery. 
Summary of Environmental Justice Impacts for the Non-Hazardous 
Secondary Material (NHSM) Rule, the 2010 Commercial and Industrial 
Solid Waste Incinerator (CISWI) Standards, the 2010 Major Source 
Boiler NESHAP and the 2010 Area Source Boiler NESHAP. February 2011.
    \43\ This figure is for overall population minus white 
population and does not include the Census group defined as ``White 
Hispanic.''
---------------------------------------------------------------------------

    In addition to the demographics assessment described previously, we 
also considered the potential for non-combustion environmental justice 
concerns related to the potential incremental increase in NHSMs 
diversions from current baseline management practices. These may 
include the following:
     Reduced upstream emissions resulting from the reduced 
production of virgin fuel: Any reduced upstream emissions that may 
indirectly occur in response to reduced virgin fuel mining or 
extraction may result in a human health and/or environmental benefit to 
minority and low-income populations living near these projects.
     Alternative materials transport patterns: Transportation 
emissions associated with NHSMs diverted from landfills to boilers are 
likely to be similar, except for on-site paper recycling residuals, 
where the potential for less off-site transport to landfills may result 
in reduced truck traffic and emissions where such transport patterns 
may pass through minority or low-income communities.
     Change in emissions from baseline management units: The 
diversion of some of these NHSMs away from disposal in landfills may 
result in a marginal decrease in activity at these facilities. This may 
include non-adverse impacts, such as marginally reduced emissions, 
odors, groundwater and surface water impacts, noise pollution, and 
reduced maintenance cost to local infrastructure. Because municipal 
solid waste and C&D landfills were found to be located in areas where 
minority and low-income populations are disproportionately high 
relative to the national average, any reduction in activity and 
emissions around these facilities is likely to benefit the citizens 
living near these facilities.
    Finally, this rule, in conjunction with the corresponding CAA 
rules, may help accelerate the abatement of any existing stockpiles of 
the targeted NHSMs. To the extent that these stockpiles may represent 
negative human health or environmental implications, minority and/or 
low-income populations that live near such stockpiles may experience 
marginal health or environmental improvements. Aesthetics may also be 
improved in such areas.
    As previously discussed, this RCRA proposed action alone does not 
directly require any change in the management of these materials. Thus, 
any potential materials management changes stimulated by this action, 
and corresponding impacts to minority and low-income communities, are 
considered to be indirect impacts, and would only occur in conjunction 
with the corresponding CAA rules.

List of Subjects in 40 CFR part 241

    Environmental protection, Air pollution control, Waste treatment 
and disposal.


[[Page 75801]]


    Dated: October 19, 2016.
Gina McCarthy,
Administrator.
    For the reasons stated in the preamble, EPA proposes to amend 
40,CFR chapter I as set forth below:

PART 241--SOLID WASTES USED AS FUELS OR INGREDIENTS IN COMBUSTION 
UNITS

0
1. The authority citation for Part 241 continues to read as follows:

    Authority: 42 U.S.C. 6903, 6912, 7429.

0
2. Section 241.2 is amended by adding in alphabetical order the 
definitions ``Copper naphthenate treated railroad ties'', ``Copper 
naphthenate-borate treated railroad ties'' and ``Creosote-borate 
treated railroad ties'' to read as follows:


Sec.  241.2  Definitions.

* * * * *
    Copper naphthenate treated railroad ties means railroad ties 
treated with copper naphthenate made from naphthenic acid and copper 
salt.
    Copper naphthenate-borate treated railroad ties means railroad ties 
treated with copper naphthenate and borate made from disodium 
octaborate tetrahydrate.
    Creosote-borate treated railroad ties means railroad ties treated 
with a wood preservative containing creosols and phenols and made from 
coal tar oil and borate made from disodium octaborate tetrahydrate.
* * * * *
0
3. Section 241.4 is amended by adding paragraphs (a)(8) through (10) to 
read as follows:


Sec.  241.4  Non-waste Determinations for Specific Non-Hazardous 
Secondary Materials When Used as a Fuel.

* * * * *
    (a) * * *
    (8) Creosote-borate treated railroad ties, and mixtures of 
creosote, borate and copper naphthenate treated railroad ties that are 
processed (which must include at a minimum, metal removal and shredding 
or grinding) and then combusted in the following types of units:
    (i) Units designed to burn both biomass and fuel oil as part of 
normal operations and not solely as part of start-up or shut-down 
operations, and
    (ii) Units at major source pulp and paper mills or power producers 
subject to 40 CFR part 63, subpart DDDDD that combust creosote-borate 
treated railroad ties and mixed creosote, borate and copper naphthenate 
treated railroad ties, and had been designed to burn biomass and fuel 
oil, but are modified (e.g., oil delivery mechanisms are removed) in 
order to use natural gas instead of fuel oil, as part of normal 
operations and not solely as part of start-up or shut-down operations. 
The creosote-borate and mixed creosote, borate and copper naphthenate 
treated railroad ties may continue to be combusted as product fuel 
under this subparagraph only if the following conditions are met, which 
are intended to ensure that such railroad ties are not being discarded:
    (A) Creosote-borate and mixed creosote, borate and copper 
naphthenate treated railroad ties must be burned in existing (i.e., 
commenced construction prior to April 14, 2014) stoker, bubbling bed, 
fluidized bed, or hybrid suspension grate boilers; and
    (B) Creosote-borate and mixed creosote, borate and copper 
naphthenate treated railroad ties can comprise no more than 40 percent 
of the fuel that is used on an annual heat input basis.
    (9) Copper naphthenate treated railroad ties that are processed 
(which must include at a minimum, metal removal and shredding or 
grinding) and then combusted in units designed to burn biomass or units 
designed to burn both biomass and fuel oil.
    (10) Copper naphthenate-borate treated railroad ties that are 
processed (which must include at a minimum, metal removal and shredding 
or grinding) and then combusted in units designed to burn biomass or 
units designed to burn both biomass and fuel oil.
* * * * *
[FR Doc. 2016-26381 Filed 10-31-16; 8:45 am]
 BILLING CODE 6560-50-P



                                                                           Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules                                               75781

                                                      www.regulations.gov. Follow the online                  List of Subjects in 40 CFR Part 62                    DATES:  Comments must be received on
                                                      instructions for submitting comments.                     Environmental protection, Air                       or before January 3, 2017.
                                                         Once submitted, comments cannot be                   pollution control, Administrative                     ADDRESSES: Submit your comments,
                                                      edited or removed from Regulations.gov.                 practice and procedure,                               identified by Docket ID No. EPA–HQ–
                                                      The EPA may publish any comment                         Intergovernmental relations, Reporting                OLEM–2016–0248, at http://
                                                      received to its public docket. Do not                   and recordkeeping requirements,                       www.regulations.gov. Follow the online
                                                      submit electronically any information                   Sewage sludge incinerators.                           instructions for submitting comments.
                                                      you consider to be Confidential                                                                               Once submitted, comments cannot be
                                                                                                                Dated: October 3, 2016.
                                                      Business Information (CBI) or other                                                                           edited or removed from Regulations.gov.
                                                                                                              Judith A. Enck,                                       The EPA may publish any comment
                                                      information whose disclosure is
                                                      restricted by statute.                                  Regional Administrator, Region 2.                     received to its public docket. Do not
                                                                                                              [FR Doc. 2016–26172 Filed 10–31–16; 8:45 am]          submit electronically any information
                                                         Multimedia submissions (audio,
                                                                                                              BILLING CODE 6560–50–P                                you consider to be Confidential
                                                      video, etc.) must be accompanied by a
                                                                                                                                                                    Business Information (CBI) or other
                                                      written comment. The written comment
                                                                                                                                                                    information whose disclosure is
                                                      is considered the official comment and                  ENVIRONMENTAL PROTECTION                              restricted by statute. Multimedia
                                                      should include discussion of all points                 AGENCY                                                submissions (audio, video, etc.) must be
                                                      you wish to make. The EPA will
                                                                                                                                                                    accompanied by a written comment.
                                                      generally not consider comments or                      40 CFR Part 241                                       The written comment is considered the
                                                      comment contents located outside of the
                                                                                                              [EPA–HQ–OLEM–2016–0248; FRL–9953–                     official comment and should include
                                                      primary submission (i.e. on the web,
                                                                                                              38–OLEM]                                              discussion of all points you wish to
                                                      cloud, or other file sharing system). For
                                                                                                                                                                    make. The EPA will generally not
                                                      additional submission methods, the full                 RIN 2050–AG83                                         consider comments or comment
                                                      EPA public comment policy,
                                                                                                                                                                    contents located outside of the primary
                                                      information about CBI or multimedia                     Additions to List of Section 241.4                    submission (i.e., on the Web, cloud, or
                                                      submissions, and general guidance on                    Categorical Non-Waste Fuels: Other                    other file sharing system). For
                                                      making effective comments, please visit                 Treated Railroad Ties                                 additional submission methods, the full
                                                      http://www2.epa.gov/dockets/
                                                                                                              AGENCY:  Environmental Protection                     EPA public comment policy,
                                                      commenting-epa-dockets.
                                                                                                              Agency (EPA).                                         information about CBI or multimedia
                                                      FOR FURTHER INFORMATION CONTACT:                        ACTION: Proposed rule.                                submissions, and general guidance on
                                                      Edward J. Linky, Environmental                                                                                making effective comments, please visit
                                                      Protection Agency, Air Programs                         SUMMARY:    The Environmental Protection              https://www.epa.gov/dockets/
                                                      Branch, 290 Broadway New York, New                      Agency (EPA or the Agency) is                         commenting-epa-dockets.
                                                      York 1007–1866 at 212–637–3764 or by                    proposing to issue amendments to the                  FOR FURTHER INFORMATION CONTACT:
                                                      email at linky.edward@epa.gov.                          Non-Hazardous Secondary Materials                     George Faison, Office of Resource
                                                      SUPPLEMENTARY INFORMATION:        In the                rule, initially promulgated on March 21,              Conservation and Recovery, Materials
                                                      final rules section of this Federal                     2011, and amended on February 7, 2013                 Recovery and Waste Management
                                                      Register, the EPA is approving the State                and February 8, 2016, under the                       Division, MC 5304P, Environmental
                                                      of New York’s negative declaration                      Resource Conservation and Recovery                    Protection Agency, 1200 Pennsylvania
                                                      submitted November 13, 2006, the State                  Act. The Non-Hazardous Secondary                      Ave. NW., Washington, DC 20460;
                                                      of New Jersey’s negative declaration                    Materials rule generally established                  telephone number: (703) 305–7652;
                                                      submitted April 5, 2006 and the                         standards and procedures for                          email: faison.george@epa.gov.
                                                      Commonwealth of Puerto Rico’s                           identifying whether non-hazardous                     SUPPLEMENTARY INFORMATION:
                                                      negative declaration submitted                          secondary materials are solid wastes                    The following outline is provided to
                                                      September 25, 2006 as a direct final rule               when used as fuels or ingredients in                  aid in locating information in this
                                                      without prior proposal because the                      combustion units. In the February 7,                  preamble.
                                                      Agency views this as a noncontroversial                 2013 amendments, the EPA listed                       I. General Information
                                                      revision amendment and anticipates no                   particular non-hazardous secondary                       A. List of Abbreviations and Acronyms
                                                      adverse comments to this action.                        materials as ‘‘categorical non-waste                        Used in This Proposed Rule
                                                                                                              fuels’’ provided certain conditions are                  B. What is the statutory authority for this
                                                         A detailed rationale for the approval                met. Persons burning these non-                             proposed rule?
                                                      is set forth in the direct final rule. If no            hazardous secondary materials do not                     C. Does this proposed rule apply to me?
                                                      adverse comments are received in                        need to evaluate them under the general                  D. What is the purpose of this proposed
                                                      response to this action, no further                                                                                 rule?
                                                                                                              self-implementing case-by-case
                                                      activity is contemplated in relation to                                                                       II. Background
                                                                                                              standards and procedures that would                      A. History of the NHSM Rulemakings
                                                      this action. If the EPA receives adverse                otherwise apply to non-hazardous                         B. Background to This Proposed Rule
                                                      comments,the direct final rule will be                  secondary materials used in combustion                   C. How will EPA make categorical non-
                                                      withdrawn and all public comments                       units. The February 8, 2016                                 waste determinations?
                                                      received will be addressed in a                         amendments added three materials                      III. Proposed Categorical Non-Waste Listing
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      subsequent final rule based on this                     including creosote treated railroad ties                    Determination for OTRTs
                                                      proposed action. The EPA will not                       to the list of categorical non-waste fuels.              A. Detailed Description of OTRTs
                                                      institute a second comment period on                    This action proposes to add other                        B. OTRTs under Current NHSM Rules
                                                      this action. Any parties interested in                  treated railroad ties to the list, which are             C. Scope of the Proposed Categorical Non-
                                                      commenting on this action should do so                                                                              Waste Listing for OTRTs
                                                                                                              processed creosote-borate, copper                        D. Rationale for Proposed Listing
                                                      at this time.                                           naphthenate and copper naphthenate-                      E. Summary and Request for Comment
                                                         For additional information, see the                  borate treated railroad ties, under                      F. Copper and Borates Literature Review
                                                      direct final rule which is located in the               certain conditions depending on the                         and Other EPA Program Review
                                                      rules section of this Federal Register.                 chemical treatment.                                         Summary



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                                                      75782                          Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules

                                                      IV. Effect of This Proposal on Other Programs                                 C&D Construction and demolition                                               B. What is the statutory authority for
                                                      V. State Authority                                                            CAA Clean Air Act                                                             this proposed rule?
                                                        A. Relationship to State Programs                                           CBI Confidential business information
                                                        B. State Adoption of the Rulemaking                                         CFR Code of Federal Regulations                                                 The EPA is proposing that additional
                                                      VI. Cost and Benefits                                                         CISWI Commercial and Industrial Solid                                         non-hazardous secondary materials
                                                      VII. Statutory and Executive Order Reviews
                                                        A. Executive Order 12866: Regulatory                                          Waste Incinerator                                                           (NHSMs) be categorically listed as non-
                                                           Planning and Review and Executive                                        CTRT Cresosote-treated railroad ties                                          waste fuels in 40 CFR 241.4(a) under the
                                                           Order 13563: Improving Regulation and                                    EPA U.S. Environmental Protection Agency                                      authority of sections 2002(a)(1) and
                                                           Regulatory Review                                                        FR Federal Register                                                           1004(27) of the Resource Conservation
                                                        B. Paperwork Reduction Act (PRA)                                            HAP Hazardous air pollutant                                                   and Recovery Act (RCRA), as amended,
                                                        C. Regulatory Flexibility Act (RFA)                                         MACT Maximum achievable control
                                                        D. Unfunded Mandates Reform Act
                                                                                                                                                                                                                  42 U.S.C. 6912(a)(1) and 6903(27).
                                                                                                                                      technology
                                                           (UMRA)                                                                                                                                                 Section 129(a)(1)(D) of the Clean Air Act
                                                                                                                                    NAICS North American Industrial
                                                        E. Executive Order 13132: Federalism                                                                                                                      (CAA) directs the EPA to establish
                                                                                                                                      Classification System
                                                        F. Executive Order 13175: Consultation                                                                                                                    standards for Commercial and Industrial
                                                           and Coordination With Indian Tribal                                      ND Non-detect
                                                                                                                                    NESHAP National emission standards for                                        Solid Waste Incinerators (CISWI), which
                                                           Governments                                                                                                                                            burn solid waste. Section 129(g)(6) of
                                                        G. Executive Order 13045: Protection of                                       hazardous air pollutants
                                                           Children from Environmental Health                                       NHSM Non-hazardous secondary material                                         the CAA provides that the term ‘‘solid
                                                           Risks and Safety Risks                                                   OMB Office of Management and Budget                                           waste’’ is to be established by the EPA
                                                        H. Executive Order 13211: Actions                                           PAH Polycyclic aromatic hydrocarbons                                          under RCRA (42 U.S.C. 7429(g)(6)).
                                                           Concerning Regulations That                                              ppm Parts per million                                                         Section 2002(a)(1) of RCRA authorizes
                                                           Significantly Affect Energy Supply,                                      RCRA Resource Conservation and Recovery                                       the Agency to promulgate regulations as
                                                           Distribution, or Use
                                                        I. National Technology Transfer and
                                                                                                                                      Act                                                                         are necessary to carry out its functions
                                                           Advancement Act (NTTAA)                                                  RIN Regulatory information number                                             under the Act. The statutory definition
                                                        J. Executive Order 12898: Federal Actions                                   RL Reporting Limits                                                           of ‘‘solid waste’’ is stated in RCRA
                                                           to Address Environmental Justice in                                      SBA Small Business Administration                                             section 1004(27).
                                                           Minority Populations and Low-Income                                      SO2 Sulfur dioxide
                                                           Populations                                                              SVOC Semi-volatile organic compound                                           C. Does this proposed rule apply to me?
                                                                                                                                    TCLP Toxicity characteristic leaching
                                                      I. General Information                                                                                                                                         Categories and entities potentially
                                                                                                                                      procedure
                                                      A. List of Abbreviations and Acronyms                                         UPL Upper prediction limit                                                    affected by this action, either directly or
                                                      Used in This Proposed Rule                                                    U.S.C. United States Code                                                     indirectly, include, but may not be
                                                                                                                                    VOC Volatile organic compound                                                 limited to the following:
                                                      Btu      British thermal unit

                                                       GENERATORS AND POTENTIAL USERS a OF THE NEW MATERIALS PROPOSED TO BE ADDED TO THE LIST OF CATEGORICAL
                                                                                                 NON-WASTE FUELS
                                                                                                                          Primary industry category or sub category                                                                                                 NAICS b

                                                      Utilities .................................................................................................................................................................................................          221
                                                      Construction of Buildings .....................................................................................................................................................................                      236
                                                      Site Preparation Contractors ...............................................................................................................................................................                     238910
                                                      Manufacturing ......................................................................................................................................................................................           31, 32, 33
                                                      Wood Product Manufacturing ..............................................................................................................................................................                            321
                                                      Sawmills ...............................................................................................................................................................................................         321113
                                                      Wood Preservation (includes crosstie creosote treating) ....................................................................................................................                                     321114
                                                      Pulp, Paper, and Paper Products ........................................................................................................................................................                             322
                                                      Cement manufacturing ........................................................................................................................................................................                      32731
                                                      Railroads (includes line haul and short line) .......................................................................................................................................                                482
                                                      Scenic and Sightseeing Transportation, Land (Includes: railroad, scenic and sightseeing) ..............................................................                                                          487110
                                                      Port and Harbor Operations (Used railroad ties) ................................................................................................................................                                 488310
                                                      Landscaping Services ..........................................................................................................................................................................                  561730
                                                      Solid Waste Collection .........................................................................................................................................................................                 562111
                                                      Solid Waste Landfill .............................................................................................................................................................................               562212
                                                      Solid Waste Combustors and Incinerators ..........................................................................................................................................                               562213
                                                      Marinas ................................................................................................................................................................................................         713930
                                                         a Includes:      Major Source Boilers, Area Source Boilers, and Solid Waste Incinerators.
                                                         b NAICS—North         American Industrial Classification System.


                                                        This table is not intended to be                                            organization, etc., is affected by this                                       D. What is the purpose of this proposed
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      exhaustive, but rather provides a guide                                       action, you should examine the                                                rule?
                                                      for readers regarding entities potentially                                    applicability criteria in this rule. If you
                                                                                                                                                                                                                     The RCRA statute defines ‘‘solid
                                                      impacted by this action. This table lists                                     have any questions regarding the                                              waste’’ as ‘‘any garbage, refuse, sludge
                                                      examples of the types of entities of                                          applicability of this action to a                                             from a waste treatment plant, water
                                                      which EPA is aware that could                                                 particular entity, consult the person                                         supply treatment plant, or air pollution
                                                      potentially be affected by this action.                                       listed in the FOR FURTHER INFORMATION                                         control facility and other discarded
                                                      Other types of entities not listed could                                      CONTACT section.                                                              material . . . resulting from industrial,
                                                      also be affected. To determine whether                                                                                                                      commercial, mining, and agricultural
                                                      your facility, company, business,                                                                                                                           operations, and from community


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                                                                           Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules                                                    75783

                                                      activities.’’ (RCRA section 1004(27)                    Again, such combustion must be part of                meet the legitimacy criteria specified in
                                                      (emphasis added)). The key concept is                   normal operations and not solely as part              40 CFR 241.3(d)(1). Application of the
                                                      that of ‘‘discard’’ and, in fact, this                  of start-up or shut-down operations.                  legitimacy criteria helps ensure that the
                                                      definition turns on the meaning of the                  These treated railroad ties may continue              fuel product is being legitimately and
                                                      phrase, ‘‘other discarded material,’’                   to be combusted as product fuel in units              beneficially used and not simply being
                                                      since this term encompasses all other                   that have been modified to use natural                discarded through combustion (i.e., via
                                                      examples provided in the definition.                    gas only if the following conditions are              sham recycling). To meet the legitimacy
                                                         The meaning of ‘‘solid waste,’’ as                   met, which are intended to ensure that                criteria, the NHSM must be managed as
                                                      defined under RCRA, is of particular                    these materials are not being discarded:              a valuable commodity, have a
                                                      importance as it relates to section 129 of                 Æ Must be burned in existing (i.e.,                meaningful heating value and be used as
                                                      the CAA. If material is a solid waste                   commenced construction prior to April                 a fuel in a combustion unit that recovers
                                                      under RCRA, a combustion unit burning                   14, 2014) stoker, bubbling bed, fluidized             energy, and contain contaminants or
                                                      it is required to meet the CAA section                  bed, or hybrid suspension grate boilers;              groups of contaminants at
                                                      129 emission standards for solid waste                  and                                                   concentrations comparable to (or lower
                                                      incineration units. If the material is not                 Æ Can comprise no more than 40                     than) those in traditional fuels which
                                                      a solid waste, combustion units are                     percent of the fuel that is used on an                the combustion unit is designed to burn.
                                                      required to meet the CAA section 112                    annual heat input basis.                                 Based on these criteria, the March 21,
                                                      emission standards for commercial,                         • Copper naphthenate railroad ties                 2011 rule identified the following
                                                      industrial, and institutional boilers.                  combusted in units designed to burn                   NHSMs as not being solid wastes:
                                                      Under CAA section 129, the term ‘‘solid                 biomass, or biomass and fuel oil.                        • The NHSM is used as a fuel and
                                                      waste incineration unit’’ is defined, in                   • Copper naphthenate-borate railroad               remains under the control of the
                                                      pertinent part, to mean ‘‘a distinct                    ties combusted in units designed to                   generator (whether at the site of
                                                      operating unit of any facility which                    burn biomass, or biomass and fuel oil.                generation or another site the generator
                                                      combusts any solid waste material from                                                                        has control over) that meets the
                                                      commercial or industrial                                II. Background                                        legitimacy criteria (40 CFR 241.3(b)(1));
                                                      establishments.’’ 42 U.S.C. 7429(g)(1).                 A. History of the NHSM Rulemakings                       • The NHSM is used as an ingredient
                                                      CAA section 129 further states that the                                                                       in a manufacturing process (whether by
                                                                                                                 The Agency first solicited comments                the generator or outside the control of
                                                      term ‘‘solid waste’’ shall have the
                                                                                                              on how the RCRA definition of solid                   the generator) that meets the legitimacy
                                                      meaning ‘‘established by the
                                                                                                              waste should apply to NHSMs when                      criteria (40 CFR 241.3(b)(3));
                                                      Administrator pursuant to the Solid
                                                                                                              used as fuels or ingredients in                          • Discarded NHSM has been
                                                      Waste Disposal Act.’’ Id at 7429(g)(6).
                                                                                                              combustion units in an advanced notice                sufficiently processed to produce a fuel
                                                      The Solid Waste Disposal Act, as
                                                                                                              of proposed rulemaking (ANPRM),                       or ingredient that meets the legitimacy
                                                      amended, is commonly referred to as
                                                                                                              which was published in the Federal                    criteria (40 CFR 241.3(b)(4)); or
                                                      the Resource Conservation and
                                                                                                              Register on January 2, 2009 (74 FR 41).                  • Through a case-by-case petition
                                                      Recovery Act or RCRA.
                                                         Regulations concerning NHSMs used                    We then published an NHSM proposed                    process, it has been determined that the
                                                      as fuels or ingredients in combustion                   rule on June 4, 2010 (75 FR 31844),                   NHSM handled outside the control of
                                                      units are codified in 40 CFR part 241.1                 which the EPA made final on March 21,                 the generator has not been discarded
                                                      This action proposes to amend the Part                  2011 (76 FR 15456).                                   and is indistinguishable in all relevant
                                                      241 regulations by adding three NHSMs                      In the March 21, 2011 rule, the EPA                aspects from a fuel product, and meets
                                                      to the list of categorical non-waste fuels              finalized standards and procedures to be              the legitimacy criteria (40 CFR 241.3(c)).
                                                      codified in § 241.4(a). These new                       used to identify whether NHSMs are                       In October 2011, the Agency
                                                      proposed categorical listings are for:                  solid wastes when used as fuels or                    announced it would be initiating a new
                                                         • Creosote-borate railroad ties (and                 ingredients in combustion units.                      rulemaking proceeding to revise certain
                                                      mixtures of creosote, copper                            ‘‘Secondary material’’ was defined for                aspects of the NHSM rule.3 On February
                                                      naphthenate and copper naphthenate-                     the purposes of that rulemaking as any                7, 2013, the EPA published a final rule,
                                                      borate railroad ties) that are processed                material that is not the primary product              which addressed specific targeted
                                                      and then combusted in units designed                    of a manufacturing or commercial                      amendments and clarifications to the 40
                                                      to burn both biomass and fuel oil. Such                 process, and can include post-consumer                CFR part 241 regulations (78 FR 9112).
                                                      combustion must be part of normal                       material, off-specification commercial                These revisions and clarifications were
                                                      operations and not solely as part of                    chemical products or manufacturing                    limited to certain issues on which the
                                                      start-up or shut-down operations. Also                  chemical intermediates, post-industrial               Agency had received new information,
                                                      included are units at major source pulp                 material, and scrap (codified in 40 CFR               as well as targeted revisions that the
                                                      and paper mills or power producers 2                    241.2). ‘‘Non-hazardous secondary                     Agency believed were appropriate in
                                                      subject to 40 CFR part 63, subpart                      material’’ is a secondary material that,              order to allow implementation of the
                                                      DDDDD that combust these types of                       when discarded, would not be                          rule as the EPA originally intended. The
                                                      treated railroad ties and had been                      identified as a hazardous waste under                 amendments modified 40 CFR 241.2
                                                      designed to burn biomass and fuel oil,                  40 CFR part 261 (codified in 40 CFR                   and 241.3, added 40 CFR 241.4, and
                                                      but are modified (e.g., oil delivery                    241.2). Traditional fuels, including                  included the following: 4
                                                                                                              historically managed traditional fuels                   • Revised Definitions: The EPA
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      mechanisms were removed) in order to
                                                      use natural gas instead of fuel oil.                    (e.g., coal, oil, natural gas) and                    revised three definitions discussed in
                                                                                                              ‘‘alternative’’ traditional fuels (e.g.,              the proposed rule: (1) ‘‘clean cellulosic
                                                        1 See 40 CFR 241.2 for the definition of non-         clean cellulosic biomass) are not
                                                      hazardous secondary material.                           secondary materials and thus, are not                   3 See October 14, 2011, Letter from Administrator
                                                        2 40 CFR 241.2 defines power producer as a boiler     solid wastes under the rule unless                    Lisa P. Jackson to Senator Olympia Snowe. A copy
                                                      unit producing electricity for sale to the grid. The    discarded (codified in 40 CFR 241.2).                 of this letter is in the docket for the February 7,
                                                      term does not include units meeting the definition                                                            2013 final rule (EPA–HQ–RCRA–2008–1873).
                                                      of electricity generating unit under 40 CFR
                                                                                                                 A key concept under the March 21,                    4 See 78 FR 9112 (February 7, 2013) for a

                                                      63.10042 of the Utility Mercury and Air Toxics          2011 rule is that NHSMs used as non-                  discussion of the rule and the Agency’s basis for its
                                                      Standards rule.                                         waste fuels in combustion units must                  decisions.



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                                                      75784                 Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules

                                                      biomass,’’ (2) ‘‘contaminants,’’ and (3)                persons an opportunity to submit a                    bed, fluidized bed, or hybrid suspension
                                                      ‘‘established tire collection programs.’’               rulemaking petition to the                            grate boilers; and, CTRTs can comprise
                                                      In addition, based on comments                          Administrator, seeking a determination                no more than 40 percent of the fuel that
                                                      received on the proposed rule, the                      for additional NHSMs to be                            is used on an annual heat input basis.
                                                      Agency revised the definition of                        categorically listed in 40 CFR 241.4(a) as               Based on these non-waste categorical
                                                      ‘‘resinated wood.’’                                     non-waste fuels, if they can demonstrate              determinations, as discussed previously,
                                                         • Contaminant Legitimacy Criterion                   that the NHSM meets the legitimacy                    facilities burning NHSMs that meet the
                                                      for NHSMs Used as Fuels: The EPA                        criteria or, after balancing the legitimacy           categorical listing description will not
                                                      issued revised contaminant legitimacy                   criteria with other relevant factors, EPA             need to make individual determinations
                                                      criterion for NHSMs used as fuels to                    determines that the NHSM is not a solid               that the NHSM meets the legitimacy
                                                      provide additional details on how                       waste when used as a fuel.                            criteria or provide further information
                                                      contaminant-specific comparisons                           The February 8, 2016 amendments (81                demonstrating their non-waste status on
                                                      between NHSMs and traditional fuels                     FR 6688) added the following to the list              a site-by-site basis, provided they meet
                                                      may be made.                                            of categorical non-waste fuels:                       the conditions of the categorical listing.
                                                         • Categorical Non-Waste                                 • Construction and demolition (C&D)
                                                      Determinations for Specific NHSMs                       wood processed from C&D debris                        B. Background to This Proposed Rule
                                                      Used as Fuels. The EPA codified                         according to best management practices.                  The Agency received a petition from
                                                      determinations that certain NHSMs are                   Under this listing, combustors of C&D                 the Treated Wood Council (TWC) in
                                                      non-wastes when used as fuels. If a                     wood must obtain a written certification              April 2013 requesting that
                                                      material is categorically listed as a non-              from C&D processing facilities that the               nonhazardous treated wood (including
                                                      waste fuel, persons that generate or burn               C&D wood has been processed by                        borate and copper naphthenate) be
                                                      these NHSMs will not need to make                       trained operators in accordance with                  categorically listed as non-waste fuels in
                                                      individual determinations, as required                  best management practices. Best                       40 CFR 241.4(a). Under the April 2013
                                                      under the existing rules, that these                    management practices must include                     petition, nonhazardous treated wood
                                                      NHSMs meet the legitimacy criteria.                     sorting by trained operators that                     would include: Waterborne borate based
                                                      Except where otherwise noted,                           excludes or removes the following                     preservatives; waterborne organic based
                                                      combustors of these materials will not                  materials from the final product fuel:                preservatives; waterborne copper based
                                                      be required to provide further                          Non-wood materials (e.g., polyvinyl                   wood preservatives (ammoniacal/
                                                      information demonstrating their non-                    chloride and other plastics, drywall,                 alkaline copper quat, copper azole,
                                                      waste status. Based on all available                    concrete, aggregates, dirt, and asbestos),            copper HDO, alkaline copper betaine, or
                                                      information, the EPA determined the                     and wood treated with creosote,                       copper naphthenate); creosote; oilborne
                                                      following NHSMs are not solid wastes                    pentachlorophenol, chromated copper                   copper naphthenate;
                                                      when burned as a fuel in combustion                     arsenate, or other copper, chromium, or               pentachlorophenol; or dual-treated with
                                                      units and has categorically listed them                 arsenical preservatives. Additional                   any of the above.
                                                      in 40 CFR 241.4(a).5                                    required best management practices                       In the course of EPA’s review of the
                                                      —Scrap tires that are not discarded and                 address removal of lead-painted wood.                 April 2013 petition, additional data was
                                                         are managed under the oversight of                      • Paper recycling residuals generated              requested and received, and meetings
                                                         established tire collection programs,                from the recycling of recovered paper,                were held between TWC and EPA
                                                         including tires removed from vehicles                paperboard and corrugated containers                  representatives. Overall, the EPA review
                                                         and off-specification tires;                         and combusted by paper recycling mills                determined that there were limited data
                                                      —Resinated wood;                                        whose boilers are designed to burn solid              points available and the analytical
                                                      —Coal refuse that has been recovered                    fuel.                                                 techniques for some contaminants were
                                                         from legacy piles and processed in the                  • Creosote-treated railroad ties                   not appropriate to provide information
                                                         same manner as currently-generated                   (CTRT) that are processed (which                      on the entire preserved wood sample as
                                                         coal that would have been refuse if                  includes metal removal and shredding                  it would be combusted. EPA also
                                                         mined in the past;                                   or grinding at a minimum) and then                    questioned the representativeness of the
                                                      —Dewatered pulp and paper sludges                       combusted in the following types of                   samples being analyzed and the
                                                         that are not discarded and are                       units:                                                repeatability of the analyses.
                                                         generated and burned on-site by pulp                    Æ Units designed to burn both                         In the subsequent August 21, 2015
                                                         and paper mills that burn a significant              biomass and fuel oil as part of normal                letter from TWC to Barnes Johnson,6
                                                         portion of such materials where such                 operations and not solely as part of                  TWC requested that the Agency move
                                                         dewatered residuals are managed in a                 start-up or shut-down operations, and                 forward on a subset of materials that
                                                         manner that preserves the meaningful                    Æ Units at major source pulp and                   were identified in the original April
                                                         heating value of the materials.                      paper mills or power producers subject                2013 petition which are creosote borate,
                                                         • Rulemaking Petition Process for                    to 40 CFR part 63, subpart DDDDD, that                copper naphthenate, and copper
                                                      Other Categorical Non-Waste                             combust CTRTs and had been designed                   naphthenate-borate treated railroad ties.
                                                      Determinations: EPA made final a                        to burn biomass and fuel oil, but are                 In the letter, TWC indicated that these
                                                      process in 40 CFR 241.4(b) that provides                modified (e.g., oil delivery mechanisms               types of ties are increasingly being used
                                                                                                              are removed) in order to use natural gas              as alternatives to CTRT, due, in part, to
                                                                                                              instead of fuel oil, as part of normal                lower overall contaminant levels and
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                        5 In the March 21, 2011 NHSM rule (76 FR

                                                      15456), EPA identified two NHSMs as not being           operations and not solely as part of                  that the ability to reuse the ties is an
                                                      solid wastes, although persons would still need to      start-up or shut-down operations. The                 important consideration in rail tie
                                                      make individual determinations that these NHSMs                                                               purchasing decisions. Information from
                                                      meet the legitimacy criteria: (1) Scrap tires used in
                                                                                                              CTRTs may continue to be combusted as
                                                      a combustion unit that are removed from vehicles        product fuel only if the following                    industry also claimed that these
                                                      and managed under the oversight of established tire     conditions are met, which are intended
                                                      collection programs and (2) resinated wood used in      to ensure that the CTRTs are not being                   6 Included in the docket for the February 2016

                                                      a combustion unit. However, in the February 2013                                                              final rule. Follow-up meetings were also held with
                                                      NHSM rule, the Agency amended the regulations
                                                                                                              discarded: CTRTs must be burned in                    TWC on September 14, 2015 and December 17,
                                                      and listed these NHSMs as categorical non-waste         existing (i.e., commenced construction                2015 summaries of which are also included in that
                                                      fuels.                                                  prior to April 14, 2014) stoker, bubbling             docket.



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                                                                           Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules                                                     75785

                                                      treatments have proven to increase                      NHSM does not meet the legitimacy                        of the energy recovery with OTRTs is
                                                      decay resistance for ties in severe decay               criteria described in 40 CFR 241.3(d)(1),                conducted through three parties: The
                                                      environments and for species that are                   whether the NHSM is integrally tied to                   generator of the crossties (railroad or
                                                      difficult to treat with creosote alone.7                the industrial production process, the                   utility); the reclamation company that
                                                      The letter stated that TWC will discuss                 NHSM is functionally the same as the                     sorts the crossties, and in some cases
                                                      the remaining treated wood materials                    comparable traditional fuel, or other                    processes the material received from the
                                                      with EPA as a separate matter.                          relevant factors as appropriate.                         generator; and the combustor as third
                                                         The Agency reviewed TWC’s                               Based on the information in the                       party energy producers. Typically,
                                                      information on the three treated railroad               rulemaking record, the Agency is                         ownership of the OTRTs are generally
                                                      ties, creosote borate, copper                           proposing to amend 40 CFR 241.4(a) by                    transferred directly from the generator
                                                      naphthenate, and copper naphthenate-                    listing in addition to CTRT, three other                 to the reclamation company that sorts
                                                      borate, submitted on September 11,                      types of treated railroad ties as                        materials for highest value secondary
                                                      2015 and requested additional                           categorical non-wastes. Specific                         uses, and then sells the products to end-
                                                      contaminant data, which was submitted                   determinations regarding these other                     users, including those combusting the
                                                      on October 5, 2015 and October 19,                      treated railroad ties (OTRT), i.e.,                      material as fuel. Some reclamation
                                                      2015.8 Based on that information, we                    creosote-borate, copper naphthenate,                     companies sell OTRTs to processors
                                                      stated in the February 2016 final rule                  copper naphthenate-borate and mixtures                   who remove metal contaminants and
                                                      that we believe these three treated                     of creosote, borate and copper                           grind the ties into chipped wood. Other
                                                      railroad ties are candidates for                        naphthenate treated railroad ties, as                    reclamation companies have their own
                                                      categorical non-waste listings and                      categorical non-wastes, and how the                      grinders, do their own contaminant
                                                      expected to begin development of a                      information was assessed by EPA                          removal, and can sell directly to the
                                                      proposed rule under 40 CFR 241.4(a)                     according to the criteria in 40 CFR                      combusting facilities. Information
                                                      regarding those listings in the near                    241.4(b)(5), are discussed in detail in                  submitted to the Agency indicates there
                                                      future. The result is this proposal.                    section III of this preamble.                            are approximately 15 OTRT recovery
                                                                                                                 The rulemaking record for this rule                   companies in North America with
                                                      C. How will EPA make categorical non-
                                                                                                              (i.e., EPA–HQ–RCRA–2016–0248)                            industry wide revenues of $65–75
                                                      waste determinations?
                                                                                                              includes those documents and                             million.
                                                         The February 7, 2013 revisions to the                information submitted specifically to                       After crossties are removed from
                                                      NHSM rule discuss the process and                       support the categorical listings                         service, they are transferred for sorting/
                                                      decision criteria whereby the Agency                    discussed in this rule. However, the                     processing, but in some cases, they may
                                                      would make additional categorical non-                  principles on which the categorical                      be temporarily stored in the railroad
                                                      waste determinations (78 FR 9158).                      listings are determined are based on the                 rights-of-way or at another location
                                                      While the categorical non-waste                         NHSM rules promulgated over the past                     selected by the reclamation company.
                                                      determinations in this action are not                   few years, as discussed previously.                      One information source 12 indicated that
                                                      based on rulemaking petitions, the                      While EPA is not formally including in                   when the crossties are temporarily
                                                      criteria the EPA used to assess these                   the record for this rule materials                       stored, they are stored until their value
                                                      NHSMs as categorical non-wastes match                   supporting the earlier NHSM                              as an alternative fuel can be realized,
                                                      the criteria to be used by the                          rulemaking proceedings, the Agency is                    generally through a contract completed
                                                      Administrator to determine whether to                   nevertheless issuing this rule consistent                for transferal of ownership to the
                                                      grant or deny the categorical non-waste                                                                          reclamation contractor or combustor.
                                                                                                              with the NHSM rule and its supporting
                                                      petitions.9 10 These determinations                                                                              This means that not all OTRTs originate
                                                                                                              documents. This rulemaking proceeding
                                                      follow the criteria set out in 40 CFR                                                                            from crossties removed from service in
                                                                                                              in no way reopens any issues resolved
                                                      241.4(b)(5) to assess additional                                                                                 the same year; some OTRTs are
                                                                                                              in previous NHSM rulemaking
                                                      categorical non-waste petitions and                                                                              processed from crossties removed from
                                                                                                              proceedings. It simply responds to a
                                                      follow the statutory standards as                                                                                service in prior years and stored by
                                                                                                              petition in accordance with the
                                                      interpreted by the EPA in the NHSM                                                                               railroads or removal/reclamation
                                                                                                              standards outlined in the existing
                                                      rule for deciding whether secondary                                                                              companies until their value as a
                                                                                                              NHSM rule.
                                                      materials are wastes. Those criteria                                                                             landscaping element or fuel could be
                                                      include: (1) Whether each NHSM has                      III. Proposed Categorical Non-Waste                      realized.
                                                      not been discarded in the first instance                Listing Determination for OTRTs                             Typically, reclamation companies
                                                      (i.e., was not initially abandoned or                     The following sections describe the                    receive OTRTs by rail. The processing of
                                                      thrown away) and is legitimately used                   OTRTs that EPA is proposing to list in                   the crossties into fuel by the
                                                      as a fuel in a combustion unit or, if                   section 241.4(a) as categorical non-                     reclamation/processing companies
                                                      discarded, has been sufficiently                        wastes when burned as a fuel in                          involves several steps. Contaminant
                                                      processed into a material that is                       combustion units.                                        metals (spikes, nails, plates, etc.)
                                                      legitimately used as a fuel; and, (2) if the                                                                     undergo initial separation and removal
                                                                                                              A. Detailed Description of OTRTs                         by the user organization (railroad
                                                        7 Railway  Tie Association ‘‘Frequently Asked
                                                                                                              1. Processing                                            company) during inspection. At the
                                                      Questions’’ available on http://www.rta.org/faqs.                                                                reclamation company, metal is further
                                                      Assessed on August 26, 2016.                               Industry representatives stated that
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                        8 These data submissions and the letter from TWC
                                                                                                                                                                       removed by magnets and may occur in
                                                                                                              the removal of OTRTs from service and                    multiple stages. After removal of
                                                      on August 21, 2015 are included in the docket for
                                                      this proposed rule.                                     processing of those ties into a product                  contaminant metals, the crossties are
                                                        9 For a full discussion regarding the petition        fuel is analogous to that of CTRTs                       then ground or shredded to a specified
                                                      process for receiving a categorical non-waste           described in the February 2016 rule.11                   size depending on the particular needs
                                                      determination, see 78 FR 9112, February 7, 2013         OTRTs are typically comprised of North
                                                      (page 9158–9159).
                                                                                                                                                                       of the end-use combustor, with chip size
                                                        10 Supplementary information received from by
                                                                                                              American hardwoods that have been                        typically between 1–2 inches. Such
                                                      M.A. Energy Resources (February 2013) in support        treated with a wood preservative. Most
                                                      of the crosstie derived fuel was submitted as a                                                                    12 M.A. Energy Resources LLC, Petition submitted

                                                      categorical petition in accordance 40 CFR 241.4(b).       11 81   FR 6688.                                       to Administrator, EPA, February 2013.



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                                                      75786                Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules

                                                      grinding and shredding facilitates                      applied wood preservatives, small                     ii. Borates
                                                      handling, storage and metering to the                   quantities of copper naphthenate can be                  Borates is the name for a large number
                                                      combustion chamber. By achieving a                      purchased at retail hardware stores and               of compounds containing the element
                                                      uniform particle size, combustion                       lumberyards. Cuts or holes in treated                 boron. Borate compounds are the most
                                                      efficiency will be improved due to the                  wood can be treated in the field with                 commonly used unfixed waterborne
                                                      uniform and controlled fuel feed rate                   copper naphthenate. Wood treated with                 preservatives. Unfixed preservatives can
                                                      and the ability to regulate the air                     copper naphthenate has a distinctive                  leach from treated wood. They are used
                                                      supply. Additionally, the reduction                     bright green color that weathers to light             for pressure treatment of framing lumber
                                                      process exposes a greater surface area of               brown. The treated wood also has an
                                                                                                                                                                    used in areas with high termite hazard
                                                      the particle to the heated gases, thus                  odor that dissipates somewhat over
                                                                                                                                                                    and as surface treatments for a wide
                                                      releasing any moisture more rapidly,                    time. Oil borne copper naphthenate is
                                                                                                                                                                    range of wood products, such as cabin
                                                      and thereby enhancing its heating                       used for treatment of railroad ties since
                                                                                                                                                                    logs and the interiors of wood
                                                      value.13 This step may occur in several                 that treatment results in the ties being
                                                                                                                                                                    structures. They are also applied as
                                                      phases, including primary and                           more resistant to cracks and checking.
                                                                                                                                                                    internal treatments using rods or pastes.
                                                      secondary grinding, or in a single phase.               Waterborne copper naphthenate is used
                                                                                                                                                                    At higher rates of retention, borates also
                                                         Once the crossties are ground to a                   only for interior millwork and exterior
                                                                                                                                                                    are used as fire-retardant treatments for
                                                      specific size, there is further screening               residential dimensional lumber
                                                                                                                                                                    wood.
                                                      based on the particular needs of the                    applications such as decking, fencing,
                                                                                                                                                                       Performance characteristics include
                                                      end-use combustor. Depending on the                     lattice, recreational equipment, and
                                                                                                                                                                    activity against fungi and insects, with
                                                      configuration of the facility and                       other structures. Thus, this proposal
                                                                                                              does not address waterborne copper                    low mammalian toxicity. Another
                                                      equipment, screening may occur                                                                                advantage of boron is its ability to
                                                      concurrently with grinding or at a                      naphthenate.
                                                                                                                 Copper naphthenate can be dissolved                diffuse with water into wood that
                                                      subsequent stage. Once the processing                                                                         normally resists traditional pressure
                                                      of OTRTs is complete, the OTRTs are                     in a variety of solvents. The heavy oil
                                                                                                              solvent (specified in American Wood                   treatment. Wood treated with borates
                                                      sold directly to the end-use combustor                                                                        has no added color, no odor, and can be
                                                      for energy recovery. Processed OTRTs                    Protection Association (AWPA)
                                                                                                              Standard P9, Type A) or the lighter                   finished (primed and painted).
                                                      are delivered to the buyers by railcar or                                                                        Inorganic boron is listed as a wood
                                                      truck. The OTRTs are then stockpiled                    solvent (AWPA Standard P9, Type C)
                                                                                                              are the most commonly used. Copper                    preservative in the AWPA standards,
                                                      prior to combustion, with a typical                                                                           which include formulations prepared
                                                      storage timeframe ranging from a day to                 naphthenate is listed in AWPA
                                                                                                              standards for treatment of major                      from sodium octaborate, sodium
                                                      a week. When the OTRTs are to be                                                                              tetraborate, sodium pentaborate, and
                                                      burned for energy recovery, the material                softwood species that are used for a
                                                                                                              variety of wood products. It is not listed            boric acid. Inorganic boron is also
                                                      is then transferred from the storage                                                                          standardized as a pressure treatment for
                                                      location using a conveyor belt or front-                for treatment of any hardwood species,
                                                                                                              except when the wood is used for                      a variety of species of softwood lumber
                                                      end loader. The OTRTs may be                                                                                  used out of contact with the ground and
                                                      combined with other biomass fuels,                      railroad ties. The minimum copper
                                                                                                              naphthenate retentions (as elemental                  continuously protected from water. The
                                                      including hog fuel and bark. OTRTs are                                                                        minimum borate (B2O3) retention is 0.17
                                                      commonly used to provide the high Btu                   copper) range from 0.04 pounds per
                                                                                                              cubic foot (0.6 kilograms per cubic                   pounds per cubic foot (2.7 kilograms per
                                                      fuel to supplement low (and sometimes                                                                         cubic meter). A retention of 0.28 pounds
                                                      wet) Btu biomass to ensure proper                       meter) for wood used aboveground, to
                                                                                                              0.06 pounds per cubic foot (1 kilograms               per cubic foot (4.5 kilograms per cubic
                                                      combustion, often in lieu of coal or                                                                          meter) is specified for areas with
                                                      other fossil fuels.14 The combined fuel                 per cubic meter) for wood that will
                                                                                                              contact the ground and 0.075 pounds                   Formosan subterranean termites.
                                                      may be further hammered and screened                                                                             Borate preservatives are available in
                                                      prior to combustion.                                    per cubic foot (1.2 kilograms per cubic
                                                                                                              meter) for wood used in critical                      several forms, but the most common is
                                                         In general, contracts for the purchase                                                                     disodium octaborate tetrahydrate (DOT).
                                                      and combustion of OTRTs include fuel                    structural applications.
                                                                                                                 When dissolved in No. 2 fuel oil,                  DOT has higher water solubility than
                                                      specifications limiting contaminants,                                                                         many other forms of borate, allowing
                                                                                                              copper naphthenate can penetrate wood
                                                      such as metals, and prohibiting the                                                                           more concentrated solutions to be used
                                                                                                              that is difficult to treat. Copper
                                                      receipt of wood treated with other                                                                            and increasing the mobility of the borate
                                                                                                              naphthenate loses some of its ability to
                                                      preservatives such as                                                                                         through the wood. With the use of
                                                                                                              penetrate wood when it is dissolved in
                                                      pentachlorophenol.                                                                                            heated solutions, extended pressure
                                                                                                              heavier oils. Copper naphthenate
                                                      2. Treatment Descriptions                               treatments do not significantly increase              periods, and diffusion periods after
                                                                                                              the corrosion of metal fasteners relative             treatment, DOT can penetrate species
                                                      i. Copper Naphthenate
                                                                                                              to untreated wood.                                    that are relatively difficult to treat, such
                                                         Copper naphthenate’s effectiveness as                   Copper naphthenate is commonly                     as spruce. Several pressure treatment
                                                      a preservative has been known since the                 used to treat utility poles, although                 facilities in the United States use borate
                                                      early 1900s, and various formulations                   fewer facilities treat utility poles with             solutions. For refractory species
                                                      have been used commercially since the                   copper naphthenate than with creosote                 destined for high decay areas, it has
                                                      1940s. It is an organometallic compound                 or pentachlorophenol. Unlike creosote                 now become relatively common practice
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      formed as a reaction product of copper                  and pentachlorophenol, copper                         to use borates as a pre-treatment to
                                                      salts and naphthenic acids derived from                 naphthenate is not listed as a Restricted             protect the wood prior to processing
                                                      petroleum. Unlike other commercially                    Use Pesticide (RUP) by the EPA. Even                  with creosote.
                                                                                                              though human health concerns do not
                                                        13 Forest and Agriculture Organization of the
                                                                                                              require copper naphthenate to be listed               iii. Creosote
                                                      United Nations. The Potential Use of Wood               as an RUP, precautions such as the use                  Creosote was introduced as a wood
                                                      Residues for Energy Generation, 2016.
                                                        14 American Forest & Paper Association,               of dust masks and gloves are used when                preservative in the late 1800’s to
                                                      American Wood Council—Letter to EPA                     working with wood treated with copper                 prolong the life of railroad ties. CTRTs
                                                      Administrator, December 6, 2012.                        naphthenate.                                          remain the material of choice by


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                                                                            Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules                                                  75787

                                                      railroads due to their long life,                       traditional fuels. The rule noted that                year and the value of the ties as fuel.
                                                      durability, cost effectiveness, and                     such borate-treated wood would need to                The letter also discussed how CTRTs
                                                      sustainability. As creosote is a by-                    be burned as a fuel for energy recovery               satisfy the legitimacy criteria, including
                                                      product of coal tar distillation, and coal              within the control of the generator.                  its high Btu value.
                                                      tar is a by-product of making coke from                 Finally, the rule indicated that some                    While this information was useful, it
                                                      coal, creosote is considered a derivative               borate-treated wood is subsequently                   was not sufficient for the EPA to
                                                      of coal. The creosote component of                      treated with creosote, to provide an                  propose that CTRTs be listed
                                                      CTRTs is also governed by the standards                 insoluble barrier to prevent the borate               categorically as a non-waste fuel at that
                                                      established by AWPA. AWPA has                           compounds from leaching out of the                    time. Therefore, to further inform the
                                                      established two blends of creosote, P1/                 wood. The Agency did not receive data                 Agency as to whether to list CTRTs
                                                      13 and P2. Railroad ties are typically                  on the contaminant levels of the                      categorically as a non-waste fuel, EPA
                                                      manufactured using the P2 blend that is                 resulting material, but data presented on             requested that additional information be
                                                      more viscous than other blends.                         creosote treated lumber when                          provided, and indicated that if this
                                                      B. OTRTs Under Current NHSM Rules                       combusted in units designed to burn                   additional information supported and
                                                                                                              biomass indicated that this NHSM                      supplemented the representations made
                                                      1. March 2011 NHSM Final Rule                           would likely no longer meet the                       in the December 2012 letter, EPA would
                                                         The March 2011 NHSM final rule                       legitimacy criteria and would be                      expect to propose a categorical listing
                                                      stated that most creosote-treated wood                  considered a solid waste when burned                  for CTRTs. The requested information
                                                      is non-hazardous. However, the                          as a fuel.                                            included:
                                                      presence of hexachlorobenzene, a CAA                       The rule did not have information                     • A list of industry sectors, in
                                                      section 112 HAP, as well as other HAP                   generally about the transfer of borate-               addition to forest product mills, that
                                                      suggested that creosote-treated wood,                   treated wood to other companies to                    burn railroad ties for energy recovery.
                                                      including CTRTs, contained                              make a broad determination about its                     • The types of boilers (e.g., kilns,
                                                      contaminants at levels that are not                     use as a fuel outside the control of the              stoker boilers, circulating fluidized bed,
                                                      comparable to or lower than those found                 generator. Thus, under the March 2011                 etc.) that burn railroad ties for energy
                                                      in wood or coal, the fuel that creosote-                rule, borate-treated wood would need to               recovery.
                                                      treated wood would replace. In making                   be burned as a fuel for energy recovery                  • The traditional fuels and relative
                                                      the assessment, the Agency did not                      within the control of the generator (76               amounts (e.g., startup, 30 percent, 100
                                                      consider fuel oil 15 as a traditional fuel              FR 15484).                                            percent) of these traditional fuels that
                                                      that CTRTs would replace, and                              With regard to wood treated with                   could otherwise generally be burned in
                                                      concluded at the time that combustion                   copper naphthenate, no additional                     these types of units. The extent to which
                                                      of creosote-treated wood may result in                  contaminant data was provided for the                 non-industrial boilers (e.g., commercial
                                                      destruction of contaminants contained                   March 2011 rule that would reverse the                or residential boilers) burn CTRTs for
                                                      in those materials. Such destruction is                 position in the January 2010 proposed                 energy recover.
                                                      an indication of incineration, a waste                  rule, which considered wood treated                      • Laboratory analyses for
                                                      activity. Accordingly, creosote-treated                 with copper naphthenate a solid waste                 contaminants known or reasonably
                                                      wood, including CTRTs when burned,                      because of concerns of elevated levels of             suspected to be present in creosote-
                                                      seemed more like a waste than a                         contaminants (76 FR 15484). The rule                  treated railroad ties, and contaminants
                                                      commodity, and did not meet the                         acknowledged, as in the proposed rule,                known to be significant components of
                                                      contaminant legitimacy criterion. This                  that the Agency did not have sufficient               creosote, specifically polycyclic
                                                      material, therefore, was considered a                   information on the contaminant levels                 aromatic hydrocarbons (i.e., PAH–16),
                                                      solid waste when burned, and units’                     in wood treated with copper                           dibenzofuran, cresols,
                                                      combusting it would be subject to the                   naphthenate. Thus, if a person could                  hexachlorobenzene, 2,4-dinitrotoluene,
                                                      CAA section 129 emission standards (40                  demonstrate that copper naphthenate                   biphenyl, quinoline, and dioxins.17 See
                                                      CFR part 60, subparts CCCC and DDDD).                   treated-wood is burned in a combustion                81 FR 6723 for detailed responses to
                                                         Regarding borate treated wood, after                 unit as a fuel for energy recovery within             those questions.
                                                      reviewing data from one commenter                       the control of the generator and meets
                                                                                                                                                                    3. February 2016 NHSM Final Rule
                                                      which shows that the levels of                          the legitimacy criteria or, if discarded,
                                                      contaminants in this material are                       can demonstrate that they have                          As discussed in section II.B of this
                                                      comparable to those found in                            sufficiently processed the material, that             preamble, EPA stated in the February
                                                      unadulterated wood for the seven                        person can handle its copper                          2016 final rule that it had reviewed the
                                                      contaminants for which data was                         naphthenate treated-wood as a non-                    information submitted from
                                                      presented, the Agency stated in the                     waste fuel.                                           stakeholders regarding CTRTs and
                                                      March 2011 rule that such treated-wood                                                                        determined that the information
                                                                                                              2. February 2013 NHSM Final Rule                      received supported a categorical
                                                      meets the legitimacy criterion on the
                                                      level of contaminants and comparability                    In the February 2013 NHSM final                    determination for those materials under
                                                      to traditional fuels. Therefore, under                  rule, EPA noted that the American                     certain conditions (see 40 CFR
                                                      that rule, borate-treated wood could be                 Forest and Paper Association (AF&PA)
                                                      classified as a non-waste fuel, provided                and the American Wood Council                           17 The Agency requested these analyses based on
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                                                                              submitted a letter with supporting                    the limited information previously available
                                                      they met the other two legitimacy                                                                             concerning the chemical makeup of CTRTs. That
                                                      criteria and provided that the                          information on December 6, 2012,                      limited information included one well-studied
                                                      contaminant levels for any other HAP                    seeking a categorical listing for CTRTs               sample from 1990 (showing the presence of both
                                                      that may be present in this material are                combusted in any unit.16 The letter                   PAHs and dibenzofuran), past TCLP results (which
                                                                                                              included information regarding the                    showing the presence of cresols, hexachlorobenzene
                                                      also comparable to or less than those in                                                                      and 2,4-dinitrotoluene), Material Safety Data Sheets
                                                                                                              amounts of railroad ties combusted each               for coal tar creosote (which showing the potential
                                                        15 For the purposes of this proposed rule, fuel oil                                                         presence of biphenyl and quinoline), and the
                                                      means oils 1–6, including distillate, residual,          16 American Forest & Paper Association,              absence of dioxin analyses prior to combustion
                                                      kerosene, diesel, and other petroleum based oils. It    American Wood Council—Letter to EPA                   despite extensive dioxin analyses of post-
                                                      does not include gasoline or unrefined crude oil.       Administrator, December 6, 2012.                      combustion emissions.



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                                                      75788                Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules

                                                      241.4(a)(7)). That rule also indicated                    EPA is reiterating its statement from                 are removed during initial inspection by
                                                      that, based on an August 21, 2015 letter                the February 8, 2016 final rule regarding               the user organization.
                                                      to Barnes Johnson, TWC requested that                   cases where a railroad or reclamation                     • Removal of contaminant metals
                                                      the Agency move forward on a subset of                  company waits for more than a year to                   occurs again at the reclamation facility
                                                      materials that were identified in a                     realize the value of OTRTs as a fuel. The               using magnets; such removal may occur
                                                      previous April 2013 petition. EPA stated                Agency again concludes that OTRTs are                   in multiple stages.
                                                      in the February 2016 rule, the Agency                   removed from service and stored in a                      • The fuel characteristics of the
                                                      had reviewed the TWC information on                     railroad right-of-way or location for long              material are improved when the
                                                      the three treated railroad ties, creosote               periods of time—that is, a year or                      crossties are ground or shredded to a
                                                      borate, copper naphthenate, submitted                   longer, without a determination                         specified size (typically 1–2 inches)
                                                      on September 11, 2015 and had                           regarding their final end use (e.g.,                    depending on the particular needs of the
                                                      requested additional contaminant data.                  landscaping, as a fuel or landfilled) thus              end-use combustor. The grinding may
                                                      Based on information provided to the                    indicating that the material has been                   occur in one or more phases.
                                                      Agency at the time, we believed these                   discarded and is a solid waste (see also                  • Once the contaminant metals are
                                                      three treated railroad ties were                        the general discussion of discard at 76                 removed and the OTRTs are ground,
                                                      candidates for categorical non-waste                    FR 15463 in the March 2011 rule).                       there may be additional screening to
                                                      listings and expected to begin                          Regarding any assertion that OTRTs are                  bring the material to a specified size.
                                                      development of a proposed rule under                    a valuable commodity in a robust                        3. Legitimacy Criteria
                                                      40 CFR 241.4(a) regarding those listings                market, the Agency would like to
                                                      in the near future.                                     remind persons that NHSMs may have                         EPA can list a discarded NHSM
                                                                                                              value in the marketplace and still be                   categorically as a non-waste fuel if it has
                                                      C. Scope of the Proposed Categorical                                                                            been ‘‘sufficiently processed,’’ and
                                                                                                              considered solid wastes.
                                                      Non-Waste Listing for OTRTs                                                                                     meets the legitimacy criteria. The three
                                                         As discussed previously in section                   2. Processing                                           legitimacy criteria to be evaluated are:
                                                      II.B of this preamble, TWC submitted                       Since the OTRTs removed from                         (1) The NHSM must be managed as a
                                                      letters and supporting documents to                     service are considered discarded                        valuable commodity, (2) the NHSM
                                                      EPA seeking a categorical listing for                   because they can be stored for long                     must have a meaningful heating value
                                                      OTRTs. The contaminants found in                        periods of time without a final                         and be used as a fuel in a combustion
                                                      OTRTs are not materially different from                 determination regarding their final end                 unit to recover energy, and (3) the
                                                      the traditional fuels (fuel oil and/or                  use, in order for them to be considered                 NHSM must have contaminants or
                                                      biomass) that these facilities are                      a non-waste fuel, they must be                          groups of contaminants at levels
                                                      designed to burn as fuel. Therefore, the                processed, thus transforming the OTRTs                  comparable to or less than those in the
                                                      Agency is proposing to list, as                         into a product fuel that meets the                      traditional fuel the unit is designed to
                                                      categorical non-wastes, processed                       legitimacy criteria.18 The Agency                       burn.19
                                                      OTRTs when used as fuels. The                           concludes that the processing of OTRTs                  i. Managed as a Valuable Commodity
                                                      rationale for this proposal is discussed                described previously in section III.A.1
                                                      in detail in the following sections.                                                                               Data submitted 20 indicates that OTRT
                                                                                                              of this preamble meets the definition of
                                                                                                                                                                      processing and subsequent management
                                                      D. Rationale for Proposed Listing                       processing in 40 CFR 241.2. As
                                                                                                                                                                      is analogous to the processing of CTRTs
                                                                                                              discussed in that section, processing
                                                      1. Discard                                                                                                      outlined in the February 8, 2016 final
                                                                                                              includes operations that transform
                                                                                                                                                                      categorical rule. The processing of
                                                         When deciding whether an NHSM                        discarded NHSM into a non-waste fuel
                                                                                                                                                                      OTRTs is correlated to the particular
                                                      should be listed as a categorical non-                  or non-waste ingredient, including
                                                                                                                                                                      needs of the end-use combustor.
                                                      waste fuel in accordance with 40 CFR                    operations necessary to: remove or
                                                                                                                                                                         The process begins when the railroad
                                                      241.4(b)(5), EPA first evaluates whether                destroy contaminants; significantly
                                                                                                                                                                      or utility company removes the old
                                                      or not the NHSM has been discarded,                     improve the fuel characteristics (e.g.,
                                                                                                                                                                      OTRTs from service. An initial
                                                      and if not discarded, whether or not the                sizing or drying of the material, in
                                                                                                                                                                      inspection is conducted where non-
                                                      material is legitimately used as a                      combination with other operations);
                                                                                                                                                                      combustible materials are sorted out.
                                                      product fuel in a combustion unit. If the               chemically improve the as-fired energy
                                                                                                                                                                      OTRTs are stored in staging areas until
                                                      material has been discarded, EPA                        content; or improve the ingredient
                                                                                                                                                                      shippable quantities are collected.
                                                      evaluates the NHSM as to whether it has                 characteristics. Minimal operations that
                                                                                                                                                                      Shippable quantities are transported via
                                                      been sufficiently processed into a                      result only in modifying the size of the
                                                                                                                                                                      truck or rail to a reprocessing center.
                                                      material that is legitimately used as a                 material by shredding do not constitute
                                                                                                                                                                         At the reprocessing center, pieces are
                                                      product fuel.                                           processing for the purposes of the
                                                                                                                                                                      again inspected, sorted, and non-
                                                         Data submitted by petitioners                        definition. The Agency concludes that
                                                                                                                                                                      combustible materials are removed.
                                                      regarding OTRTs removed from service                    OTRTs meet the definition of processing
                                                                                                                                                                      Combustible pieces then undergo size
                                                      and processed was analogous to that for                 in 40 CFR 241.3 because contaminant
                                                                                                                                                                      reduction and possible blending with
                                                      CTRTs. Specifically, OTRTs removed                      metals are removed in several steps and
                                                                                                                                                                      compatible combustibles. Once the
                                                      from service are sometimes temporarily                  the fuel characteristics are significantly
                                                                                                                                                                      OTRTs meet the end use specification,
                                                      stored in the railroad right-of-way or at               improved; specifically:
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                                                                                                                                      they are then sold directly to the end-
                                                      another location selected by the                           • Contaminants (e.g., spikes, plates,                use combustor for energy recovery.
                                                      reclamation company. This means that                    transmission wire and insulator bulbs)
                                                      not all OTRTs originate from crossties                                                                            19 We note that even if the NHSM does not meet
                                                      removed from service in the same year;                    18 Persons who concluded that their OTRTs are         one or more of the legitimacy criteria, the Agency
                                                      some OTRTs are processed from                           not discarded and thus are not subject to this          could still propose to list an NHSM categorically by
                                                      crossties removed from service in prior                 categorical determination may submit an                 balancing the legitimacy criteria with other relevant
                                                                                                              application to the EPA Regional Administrator that      factors (see 40 CFR 241.4(b)(2).
                                                      years and stored by railroads or                        the material has not been discarded when                  20 See section III.D.4. for a description of EPA’s
                                                      removal/reclamation companies until a                   transferred to a third party and is indistinguishable   review of all data submitted regarding meeting
                                                      contract for reclamation is in place.                   from a product fuel (76 FR 15551).                      legitimacy criteria.



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                                                                                    Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules                                                                           75789

                                                      OTRTs are delivered to the end-use                                          naphthenate-borate; and 7,967 Btu/lb for                         transitioned to fuel use at this time. To
                                                      combustors via railcar and/or truck                                         mixed ties containing 25% creosote,                              simulate that transition over time, three
                                                      similar to delivery of traditional                                          25% creosote borate, 25% copper                                  samples of unevenly-blended tie
                                                      biomass fuels.                                                              naphthenate and 25% copper                                       material (56% creosote, 41% creosote-
                                                         After receipt, OTRTs are stockpiled                                      naphthenate-borate.21 22 In the March                            borate, 1% copper naphthenate, 2%
                                                      similar to analogous biomass fuels (e.g.,                                   2011 NHSM final rule, the Agency                                 copper naphthenate-borate) and three
                                                      in fuel silos) to maximize dryness and                                      indicated that NHSMs with an energy                              samples of equally blended tie material
                                                      minimize dust. While awaiting                                               value greater than 5,000 Btu/lb, as fired,                       (25% creosote, 25% creosote-borate,
                                                      combustion at the end-user, which                                           are considered to have a meaningful                              25% copper naphthenate, 25% copper
                                                      usually occurs within one day to a week                                     heating value.23 Thus, OTRTs meet the                            naphthenate-borate) were analyzed. The
                                                      of arrival, the OTRTs are also                                              criterion for meaningful heating value                           lab analyzed three samples of each of
                                                      transferred and/or handled from storage                                     and used as a fuel to recover energy.                            tie-derived boiler fuel treated with
                                                      in a manner consistent with the transfer
                                                                                                                                  iii. Contaminants Comparable to or                               creosote, creosote-borate, copper
                                                      and handling of biomass fuels.
                                                                                                                                  Lower Than Traditional Fuels                                     naphthenate and copper naphthenate-
                                                      Procedures include screening by the
                                                      end-use combustor, combining with                                              For each type of OTRT, EPA has                                borate. In addition, the lab analyzed
                                                      other biomass fuels, and transferring to                                    compared the September 2015 data                                 three samples of equally-blended tie
                                                      the combustor via conveyor belt or                                          submitted on contaminant levels by                               material, three samples of unevenly-
                                                      front-end loader.                                                           petitioners to contaminant data for two                          blended tie material, and three samples
                                                         Since the storage of the processed                                       traditional fuels: Biomass, including                            of untreated wood for a total of 21
                                                      material clearly does not exceed                                            untreated clean wood, and fuel oil                               samples.
                                                      reasonable time frames and the                                              (petitioners did not provide data or                                In addition to September 2015 data,
                                                      processed ties are handled/treated                                          request that contaminant comparisons                             copper naphthenate-borate, and copper
                                                      similar to analogous biomass fuels by                                       be made to coal). The petitioner’s data                          naphthenate test data had also been
                                                      end-use combustors, OTRTs meet the                                          included samples taken from 15                                   submitted in conjunction with TWC’s
                                                      criterion for being managed as a                                            different used creosote-borate ties, 15                          earlier December 4, 2013 petition and
                                                      valuable commodity.                                                         different copper naphthenate-borate                              are included in the following tables. As
                                                                                                                                  ties, 15 creosote ties, and 15 copper                            noted in section II.B of this preamble,
                                                      ii. Meaningful Heating Value and Used
                                                                                                                                  naphthenate ties. Each type of tie                               the data did not have details on the
                                                      as a Fuel To Recover Energy
                                                                                                                                  sample was divided into three groups of                          number of samples collected. In
                                                         EPA received the following                                               five tie samples each. This resulted in
                                                      information for the heating values of                                                                                                        addition, sulfur was measured using
                                                                                                                                  12 total groups corresponding to the
                                                      processed OTRTs: 6,867 Btu/lb for                                                                                                            leachable anion techniques that do not
                                                                                                                                  four different types ties. Each group was
                                                      creosote-borate; 7,333 Btu/lb for copper                                                                                                     provide results of the total contaminant
                                                                                                                                  then isolated, mixed together, processed
                                                      naphthenate; 5,967 Btu/lb for copper                                                                                                         content, and heat content was not
                                                                                                                                  into a fuel-type consistency, and
                                                      naphthenate-borate; 5,232 Btu/lb for                                                                                                         measured. The results of the analysis of
                                                                                                                                  shipped to the laboratory for analysis.
                                                      mixed railroad ties containing 56%                                             As noted previously, use of these                             the 2015 and 2013 data are shown in the
                                                      creosote, 41% creosote-borate, 1%                                           types of ties are relatively new                                 following tables.24
                                                      copper naphthenate, 2% copper                                               compared to creosote, so few have                                   Copper Naphthenate
                                                                                                                                                 COPPER NAPHTHENATE
                                                                                                                                                                              Copper naphthenate               Biomass/
                                                                                                      Contaminant                                                                 railroad ties                                          Fuel Oil b
                                                                                                                                                                                                           Untreated wood b
                                                                                                                                                                              contaminant levels a f

                                                                                                                                           Metal Elements (ppm—dry basis)

                                                      Antimony .......................................................................................................       <1.4                       ND–26                      ND–15.7
                                                      Arsenic ..........................................................................................................     0.53–0.93                  ND–298                     ND–13
                                                      Beryllium ........................................................................................................     <0.60–0.05                 ND–10                      ND–19
                                                      Cadmium .......................................................................................................        <0.28–0.20                 ND–17                      ND–1.4
                                                      Chromium ......................................................................................................        0.22–0.50                  ND–340                     ND–37
                                                      Cobalt ............................................................................................................    <6.0–0.81                  ND–213                     ND–8.5
                                                      Lead ..............................................................................................................    <0.36–3.5                  ND–340                     ND–56.8
                                                      Manganese ....................................................................................................         7.1–166                    ND–15,800                  ND–3,200
                                                      Mercury .........................................................................................................      <0.20                      ND–1.1                     ND–0.2
                                                      Nickel .............................................................................................................   0.79–1.1                   ND–540                     ND–270
                                                      Selenium .......................................................................................................       0.41–0.84                  ND–9.0                     ND–4

                                                                                                                                        Non-Metal Elements (ppm–dry basis)
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      Chlorine .........................................................................................................     <100                       ND–5,400                   ND–1,260

                                                        21 Letter from Jeff Miller to Barnes Johnson,                                24 Note for contaminant analyses, when making                 comparable to or less than that of the traditional
                                                      September 11, 2015; see docket for this proposed                            contaminant comparisons for purposes of meeting                  fuel. Such an approach is standard practice
                                                      rule.                                                                       the legitimacy criterion, it would be appropriate in             employed by the Agency in developing regulations
                                                        22 These values reflect averages from 2013 and                            this circumstance to find that grouping of                       and is consistent with monitoring standards under
                                                      2015 data. Relevant lab data on Btu/lb for each                             contaminants would not result in discard. For                    CAA sections 112 and 129. See 78 FR 9146,
                                                      types of processed OTRT can be viewed in the                                example, under the grouping concept, individual                  February 7, 2013, for further findings that relate to
                                                      September and October 2015 letters from Jeff Miller                         SVOC levels may be elevated above that of the
                                                      to Barnes Johnson included in the docket.                                                                                                    the issue of grouping contaminants for purposes of
                                                                                                                                  traditional fuel, but the contaminant legitimacy
                                                        23 See 76 FR 15541.                                                       criterion will be met as long as total SVOCs is                  determining discard.




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                                                      75790                         Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules

                                                                                                                                     COPPER NAPHTHENATE—Continued
                                                                                                                                                                              Copper naphthenate               Biomass/
                                                                                                      Contaminant                                                                 railroad ties                                   Fuel Oil b
                                                                                                                                                                                                           Untreated wood b
                                                                                                                                                                              contaminant levels a f

                                                      Fluorine .........................................................................................................     <100                      ND–300                 ND–14
                                                      Nitrogen .........................................................................................................     <500                      200–39,500             42–8,950
                                                      Sulfur .............................................................................................................   190–240                   ND–8,700               ND–57,000

                                                                                                                            Semivolatile Hazardous Pollutants (ppm–dry basis)

                                                      Acenaphthene ...............................................................................................           3.0–95                    ND–50                  111
                                                      Acenaphthylene .............................................................................................           <1.3                      ND–4                   4.1
                                                      Anthracene ....................................................................................................        <1.3–6.3                  0.4–87                 96
                                                      Benzo[a]anthracene ......................................................................................              <1.3                      ND–62                  41–1,900
                                                      Benzo[a]pyrene .............................................................................................           <1.3                      ND–28                  0.60–960
                                                      Benzo[b]fluoranthene ....................................................................................              <1.3                      ND–42                  11–540
                                                      Benzo[ghi]perylene ........................................................................................            <1.3                      ND–9                   11.4
                                                      Benzo[k]fluoranthene ....................................................................................              <1.3                      ND–16                  0.6
                                                      Chrysene .......................................................................................................       <1.3                      ND–53                  2.2–2,700
                                                      Dibenz[a,h]anthracene ..................................................................................               <1.3                      ND–3                   4.0
                                                      Fluoranthene .................................................................................................         <1.3–6.5                  0.6–160                31.6–240
                                                      Fluorene ........................................................................................................      4.5–53                    ND–40                  3,600
                                                      Indeno[1,2,3-cd]pyrene .................................................................................               <1.3                      ND–12                  2.3
                                                      Naphthalene ..................................................................................................         8.2–80                    ND–38                  34.3–4,000
                                                      Phenanthrene ................................................................................................          8.2–77                    0.9–190                0–116,000
                                                      Pyrene ...........................................................................................................     <1.3–15                   0.2–160                23–178
                                                      16–PAH .........................................................................................................       49–298                    5–921                  3,900–54,700
                                                      Pentachlorophenol ........................................................................................             <30 g                     ND–1                   —
                                                      Biphenyl .........................................................................................................     —e                        —                      1,000–1,200

                                                            Total SVOC c ..........................................................................................          77–328                    5–922                  4,900–54,700

                                                                                                      Volatile Organic Compound (VOC) Hazardous Air Pollutants (ppm—dry basis)

                                                      Benzene ........................................................................................................       <0.69                     —                      ND–75
                                                                                                                                                                             —
                                                      Phenol ...........................................................................................................     —e                        —                      ND–7,700
                                                      Styrene ..........................................................................................................     <0.69                     —                      ND–320
                                                      Toluene .........................................................................................................      <0.69                     —                      ND–380
                                                      Xylenes ..........................................................................................................     <0.69                     —                      ND–3,100
                                                      Cumene .........................................................................................................       —e                        —                      6,000–8,000
                                                      Ethyl benzene ...............................................................................................          <0.69                     —                      22–1,270
                                                      Formaldehyde ...............................................................................................           —e                        1.6–27                 —
                                                      Hexane ..........................................................................................................      —e                        —                      50–10,000

                                                            Total VOC d ............................................................................................         <3.4                      1.6–27                 6,072–19,810
                                                         a Data  provided by Treated Wood Council on April 3, 2013, September 11, 2015 and October 19, 2015.
                                                         b Contaminant   Concentrations in Traditional Fuels: Tables for Comparison, November 29, 2011, available at http://www.epa.gov/epawaste/
                                                      nonhaz/define/pdfs/nhsm_cont_tf.pdf. Contaminant data drawn from various literature sources and from data submitted to USEPA, Office of Air
                                                      Quality Planning and Standards (OAQPS). SVOC values from 2013 IEc data that will be available in the rule docket.
                                                         c Total SVOC ranges do not represent a simple sum of the minimum and maximum values for each contaminant. This is because minimum
                                                      and maximum concentrations for individual VOCs and SVOCs do not always come from the same sample.
                                                         d Naphthalene was the only analyte detected in Oct 2015 VOC testing, but this analyte is included in the SVOC group, so is not reflected here.
                                                         e Cells with the ‘‘—’’ indicate analytes not tested for in treated wood, but these are not expected to be present in treated wood formulation
                                                      being analyzed based on preservative chemistry and results from previous CTRT testing (i.e., not present in CTRT ties).
                                                         f Non-detects are indicated by ‘‘<’’ preceding the method reporting limit, not the method detection limit. Therefore, there are many cases where
                                                      the non-detect value may be greater than another test’s detected value due to analysis-specific RLs being different between individual tests (i.e.,
                                                      differences in tested amount or analyzer calibration range adjustments). If result is less than the method detection limit (MDL), the method report-
                                                      ing limit (MRL), which is always greater than MDL, was used by the lab.
                                                         g Not expected in the treated wood formulation being tested based on preservative chemistry.




                                                        As indicated, railroad ties treated                                       less than those in biomass or fuel oil.                          be combusted in units designed to burn
                                                      with copper naphthenate have                                                Given that these railroad ties are a type                        biomass or biomass and fuel oil.
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                                                      contaminants that are comparable to or                                      of treated wood biomass, such ties can                             Copper Naphthenate-Borate




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                                                                                    Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules                                                                      75791

                                                                                                                                         COPPER NAPHTHENATE-BORATE
                                                                                                                                                                              Copper naphthenate-bo-              Biomass/
                                                                                                     Contaminant                                                               rate railroad ties con-                               Fuel oil b
                                                                                                                                                                                                              Untreated wood b
                                                                                                                                                                                 taminant levels a f

                                                                                                                                           Metal Elements (ppm—dry basis)

                                                      Antimony ......................................................................................................         <1.4                        ND–26                  ND–15.7
                                                      Arsenic .........................................................................................................       0.52–0.72                   ND–298                 ND–13
                                                      Beryllium ......................................................................................................        <0.67                       ND–10                  ND–19
                                                      Cadmium ......................................................................................................          <0.31–0.078                 ND–17                  ND–1.4
                                                      Chromium .....................................................................................................          0.11–0.78                   ND–340                 ND–37
                                                      Cobalt ...........................................................................................................      <7.5–0.74                   ND–213                 ND–8.5
                                                      Lead .............................................................................................................      <0.38–4.0                   ND–340                 ND–56.8
                                                      Manganese ..................................................................................................            14–170                      ND–15,800              ND–3,200
                                                      Mercury ........................................................................................................        <0.15                       ND–1.1                 ND–0.2
                                                      Nickel ...........................................................................................................      0.46–2.0                    ND–540                 ND–270
                                                      Selenium ......................................................................................................         <0.64–0.52                  ND–9.0                 ND–4

                                                                                                                                       Non-Metal Elements (ppm—dry basis)

                                                      Chlorine ........................................................................................................       <100                        ND–5,400               ND–1,260
                                                      Fluorine ........................................................................................................       <100                        ND–300                 ND–14
                                                      Nitrogen ........................................................................................................       <500                        200–39,500             42–8,950
                                                      Sulfur ............................................................................................................     140–170                     ND–8,700               ND–57,000

                                                                                                                           Semivolatile Hazardous Pollutants (ppm—dry basis)

                                                      Acenaphthene ..............................................................................................             4.8–17                      ND–50                  111
                                                      Acenaphthylene ...........................................................................................              <1.2–0.9                    ND–4                   4.1
                                                      Anthracene ...................................................................................................          <1.2–7.2                    0.4–87                 96
                                                      Benzo[a]anthracene .....................................................................................                <1.2–3.7                    ND–62                  41–1,900
                                                      Benzo[a]pyrene ............................................................................................             <1.2–1.4                    ND–28                  0.60–960
                                                      Benzo[b]fluoranthene ...................................................................................                <1.2–3.9                    ND–42                  11–540
                                                      Benzo[ghi]perylene ......................................................................................               <1.2                        ND–9                   11.4
                                                      Benzo[k]fluoranthene ...................................................................................                <1.2–20                     ND–16                  0.6
                                                      Chrysene ......................................................................................................         <1.2–6.6                    ND–53                  2.2–2,700
                                                      Dibenz[a,h]anthracene .................................................................................                 <1.2                        ND–3                   4.0
                                                      Fluoranthene ................................................................................................           <1.2–20                     0.6–160                31.6–240
                                                      Fluorene .......................................................................................................        2.2–16                      ND–40                  3,600
                                                      Indeno[1,2,3-cd]pyrene ................................................................................                 <1.2                        ND–12                  2.3
                                                      Naphthalene .................................................................................................           5.2–82                      ND–38                  34.3–4,000
                                                      Phenanthrene ...............................................................................................            3.6–43                      0.9–190                0–116,000
                                                      Pyrene ..........................................................................................................       <1.3–19                     0.2–160                23–178
                                                      16–PAH ........................................................................................................         39–145                      5–921                  3,900–54,700
                                                      Pentachlorophenol .......................................................................................               <28 g                       ND–1                   —
                                                      Biphenyl .......................................................................................................        —e                          —                      1,000–1,200

                                                            Total SVOC c .........................................................................................            66–173                      5–922                  4,900–54,700

                                                                                                      Volatile Organic Compound (VOC) Hazardous Air Pollutants (ppm—dry basis)

                                                      Benzene .......................................................................................................         <0.77                       —                      ND–75
                                                                                                                                                                              —                           —
                                                      Phenol ..........................................................................................................       —e                          —                      ND–7,700
                                                      Styrene .........................................................................................................       <0.77                       —                      ND–320
                                                      Toluene ........................................................................................................        <0.77                       —                      ND–380
                                                      Xylenes ........................................................................................................        <0.77                       —                      ND–3,100
                                                      Cumene ........................................................................................................         —e                          —                      6,000–8,000
                                                      Ethyl benzene ..............................................................................................            <0.77                       —                      22–1,270
                                                      Formaldehyde ..............................................................................................             —e                          1.6–27                 —
                                                      Hexane .........................................................................................................        —e                          —                      50–10,000

                                                            Total VOC d ...........................................................................................           <3.8                        1.6–27                 6,072–19,810
                                                         a Data  provided by Treated Wood Council on April 3, 2013, September 11, 2015 and October 19, 2015.
                                                         b Contaminant   Concentrations in Traditional Fuels: Tables for Comparison, November 29, 2011, available at http://www.epa.gov/epawaste/
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                                                      nonhaz/define/pdfs/nhsm_cont_tf.pdf. Contaminant data drawn from various literature sources and from data submitted to USEPA, Office of Air
                                                      Quality Planning and Standards (OAQPS). SVOC values from 2013 IEc data that will be available in the rule docket.
                                                         c Total SVOC ranges do not represent a simple sum of the minimum and maximum values for each contaminant. This is because minimum
                                                      and maximum concentrations for individual VOCs and SVOCs do not always come from the same sample.
                                                         d Naphthalene was the only analyte detected in Oct 2015 VOC testing, but this analyte is included in the SVOC group, so is not reflected here.
                                                         e Cells with the ‘‘—’’ indicate analytes not tested for in treated wood, but these are not expected to be present in treated wood formulation
                                                      being analyzed based on preservative chemistry and results from previous CTRT testing (i.e., not present in CTRT ties).
                                                         f Non-detects are indicated by ‘‘<’’ preceding the method reporting limit, not the method detection limit. Therefore, there are many cases where
                                                      the non-detect value may be greater than another test’s detected value due to analysis-specific RLs being different between individual tests (i.e.,
                                                      differences in tested amount or analyzer calibration range adjustments). If result is less than the method detection limit (MDL), the method report-
                                                      ing limit (MRL), which is always greater than MDL, was used by the lab.



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                                                      75792                         Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules

                                                         g Not    expected in the treated wood formulation being tested based on preservative chemistry.


                                                        As indicated, railroad ties treated                                        less than those in biomass or fuel oil.                             be combusted in units designed to burn
                                                      with copper naphthenate-borate have                                          Given that these railroad ties are a type                           biomass or biomass and fuel oil.
                                                      contaminants that are comparable to or                                       of treated wood biomass, such ties can                                Creosote-Borate

                                                                                                                                                     CREOSOTE-BORATE
                                                                                                                                                                                       Creosote-borate       Biomass/untreated
                                                                                                          Contaminant                                                                 railroad ties con-                             Fuel oil b
                                                                                                                                                                                                                  wood b
                                                                                                                                                                                      taminant levels a f

                                                                                                                                            Metal Elements (ppm—dry basis)

                                                      Antimony ...............................................................................................................       <1.3                   ND–26                ND–15.7
                                                      Arsenic ..................................................................................................................     <1.3–0.80              ND–298               ND–13
                                                      Beryllium ...............................................................................................................      <0.60–0.032            ND–10                ND–19
                                                      Cadmium ...............................................................................................................        0.059–0.25             ND–17                ND–1.4
                                                      Chromium .............................................................................................................         0.10–1.1               ND–340               ND–37
                                                      Cobalt ....................................................................................................................    <6.0–0.22              ND–213               ND–8.5
                                                      Lead ......................................................................................................................    <0.37–1.8              ND–340               ND–56.8
                                                      Manganese ...........................................................................................................          22–140                 ND–15,800            ND–3,200
                                                      Mercury .................................................................................................................      <0.15–0.066            ND–1.1               ND–0.2
                                                      Nickel ....................................................................................................................    0.71–1.8               ND–540               ND–270
                                                      Selenium ...............................................................................................................       0.59–1.4               ND–9.0               ND–4

                                                                                                                                        Non-Metal Elements (ppm—dry basis)

                                                      Chlorine .................................................................................................................     <100                   ND–5,400             ND–1,260
                                                      Fluorine .................................................................................................................     <100                   ND–300               ND–14
                                                      Nitrogen ................................................................................................................      <500                   200–39,500           42–8,950
                                                      Sulfur .....................................................................................................................   170–180                ND–8,700             ND–57,000

                                                                                                                            Semivolatile Hazardous Pollutants (ppm—dry basis)

                                                      Acenaphthene .......................................................................................................           600–2,200              ND–50                111
                                                      Acenaphthylene ....................................................................................................            17–96                  ND–4                 4.1
                                                      Anthracene ............................................................................................................        350–2,000              0.4–87               96
                                                      Benzo[a]anthracene ..............................................................................................              200–1,500              ND–62                41–1,900
                                                      Benzo[a]pyrene .....................................................................................................           62–500                 ND–28                0.60–960
                                                      Benzo[b]fluoranthene ............................................................................................              110–960                ND–42                11–540
                                                      Benzo[ghi]perylene ...............................................................................................             13–170                 ND–9                 11.4
                                                      Benzo[k]fluoranthene ............................................................................................              40–320                 ND–16                0.6
                                                      Chrysene ...............................................................................................................       210–1,300              ND–53                2.2–2,700
                                                      Dibenz[a,h]anthracene ..........................................................................................               <21–58                 ND–3                 4.0
                                                      Fluoranthene .........................................................................................................         1,100–8,400            0.6–160              31.6–240
                                                      Fluorene ................................................................................................................      500–2,200              ND–40                3,600
                                                      Indeno[1,2,3-cd]pyrene .........................................................................................               14–170                 ND–12                2.3
                                                      Naphthalene ..........................................................................................................         660–2,900              ND–38                34.3–4,000
                                                      Phenanthrene .......................................................................................................           2,000–12,000           0.9–190              0–116,000
                                                      Pyrene ...................................................................................................................     780–5,200              0.2–160              23–178
                                                      16–PAH .................................................................................................................       6,600–38,000           5–921                3,900–54,700
                                                      Pentachlorophenol ................................................................................................             <790 g                 ND–1                 —
                                                      Biphenyl ................................................................................................................      137–330 h              —                    1,000–1,200

                                                            Total SVOC c .................................................................................................           7,200–39,000           5–922                4,900–54,700

                                                                                                      Volatile Organic Compound (VOC) Hazardous Air Pollutants (ppm—dry basis)

                                                      Benzene ................................................................................................................       <3.9                   —                    ND–75
                                                                                                                                                                                     —
                                                      Phenol ...................................................................................................................     —e                     —                    ND–7,700
                                                      Styrene ..................................................................................................................     <3.9                   —                    ND–320
                                                      Toluene .................................................................................................................      <3.9                   —                    ND–380
                                                      Xylenes .................................................................................................................      <3.9                   —                    ND–3,100
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                                                      Cumene ................................................................................................................        —e                     —                    6,000–8,000
                                                      Ethyl benzene .......................................................................................................          <3.9                   —                    22–1,270
                                                      Formaldehyde .......................................................................................................           —e                     1.6–27               —
                                                      Hexane ..................................................................................................................      —e                     —                    50–10,000

                                                            Total VOC d ....................................................................................................         <20                    1.6–27               6,072–19,810
                                                         a Dataprovided by Treated Wood Council on September 11, 2015 and October 19, 2015.
                                                         b Contaminant Concentrations in Traditional Fuels: Tables for Comparison, November 29, 2011, available at http://www.epa.gov/epawaste/
                                                      nonhaz/define/pdfs/nhsm_cont_tf.pdf. Contaminant data drawn from various literature sources and from data submitted to USEPA, Office of Air
                                                      Quality Planning and Standards (OAQPS). SVOC values from 2013 IEc data that will be available in the rule docket.



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                                                                                    Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules                                                                         75793
                                                         c Total SVOC ranges do not represent a simple sum of the minimum and maximum values for each contaminant. This is because minimum
                                                      and maximum concentrations for individual VOCs and SVOCs do not always come from the same sample.
                                                         d Naphthalene was the only analyte detected in Oct 2015 VOC testing, but this analyte is included in the SVOC group, so is not reflected here.
                                                         e Cells with the ‘‘—’’ indicate analytes not tested for in treated wood, but these are not expected to be present in treated wood formulation
                                                      being analyzed based on preservative chemistry and results from previous CTRT testing (i.e., not present in CTRT ties).
                                                         f Non-detects are indicated by ‘‘<’’ preceding the method reporting limit, not the method detection limit. Therefore, there are many cases where
                                                      the non-detect value may be greater than another test’s detected value due to analysis-specific RLs being different between individual tests (i.e.,
                                                      differences in tested amount or analyzer calibration range adjustments). If result is less than the method detection limit (MDL), the method report-
                                                      ing limit (MRL), which is always greater than MDL, was used by the lab.
                                                         g Not expected in the treated wood formulation being tested based on preservative chemistry.
                                                         h Not tested for, but presumptive worst-case value is presented for treated wood type based on data from previous CTRT testing.




                                                         Semi-volatile organic compound                                           39,000 ppm) at levels well within the                            such changes in fuel supplies, market
                                                      (SVOC) levels in creosote-borate                                            range observed in fuel oil (up to 54,700                         conditions, power demands or other
                                                      processed railroad ties are not                                             ppm). Therefore, creosote-borate                                 factors. If a unit can burn both a solid
                                                      comparable to biomass. Given that                                           railroad ties have comparable                                    and liquid fuel, then comparison to
                                                      creosote-borate railroad ties are a type of                                 contaminant levels to other fuels                                either fuel would be appropriate.
                                                      treated wood biomass, and any unit                                          combusted in units designed to burn                                 In order to make comparisons to
                                                      burning these ties typically burns                                          both biomass and fuel oil, and as such,                          multiple traditional fuels, units must be
                                                      untreated wood, the EPA considered                                          meet this criterion if used in facilities                        designed to burn those fuels. If a facility
                                                      two scenarios.                                                              that are designed to burn both biomass
                                                                                                                                                                                                   compares contaminants in an NHSM to
                                                         In the first scenario, where a                                           and fuel oil.26
                                                                                                                                                                                                   a traditional fuel a unit is not designed
                                                      combustion unit is designed to only                                            As stated in the preamble to the
                                                      burn biomass, EPA compared                                                  February 7, 2013, NHSM final rule,                               to burn, and that material is highly
                                                      contaminant levels in creosote-borate to                                    combustors may burn NHSMs as a                                   contaminated, a facility would then be
                                                      contaminant levels in biomass. In this                                      product fuel if they compare                                     able to burn excessive levels of waste
                                                      scenario, the total SVOC levels can                                         appropriately to any traditional fuel the                        components in the NHSM as a means of
                                                      reach 39,000 ppm, driven by high levels                                     unit can or does burn (78 FR 9149).                              discard. Such NHSMs would be
                                                      of polycyclic aromatic hydrocarbons                                         Combustion units are often designed to                           considered wastes regardless of any fuel
                                                      (PAHs).25 These compounds are very                                          burn multiple traditional fuels, and                             value (78 FR 9149).27 Accordingly, the
                                                      low levels in clean wood and biomass,                                       some units can and do rely on different                          ability to burn a fuel in a combustion
                                                      and the contaminants are therefore not                                      fuel types at different times based on                           unit does have a basic set of
                                                      comparable in this instance. In fact, they                                  availability of fuel supplies, market                            requirements, the most basic of which is
                                                      are present at orders of magnitude                                          conditions, power demands, and other                             the ability to feed the material into the
                                                      higher than found in clean wood and                                         factors. Under these circumstances, it is                        combustion unit. The unit must also be
                                                      biomass.                                                                    arbitrary to restrict the combustion for                         able to ensure the material is well-
                                                         In the second scenario, a combustion                                     energy recovery of NHSMs based on                                mixed and maintain temperatures
                                                      unit is designed to burn biomass and                                        contaminant comparison to only one                               within unit specifications.
                                                      fuel oil. As previously mentioned,                                          traditional fuel if the unit could burn a                           Mixed Treatments-Creosote, Borate,
                                                      SVOCs are present in CTRTs (up to                                           second traditional fuel chosen due to                            Copper Naphthenate

                                                                                                                                                          MIX 1–1–1–1
                                                                                                                                                                                 Mixed railroad ties
                                                                                                                                                                                  (25%C–25%CB–            Biomass/untreated
                                                                                                       Contaminant                                                                                                                     Fuel oil b
                                                                                                                                                                                25%CuN–25%CuNB)                wood b
                                                                                                                                                                                contaminant levels a f

                                                                                                                                           Metal Elements (ppm—dry basis)

                                                      Antimony ...........................................................................................................      <1.4                      ND–26                  ND–15.7
                                                      Arsenic ..............................................................................................................    <1.5–0.81                 ND–298                 ND–13
                                                      Beryllium ...........................................................................................................     <0.70                     ND–10                  ND–19
                                                      Cadmium ..........................................................................................................        0.15–0.38                 ND–17                  ND–1.4
                                                      Chromium .........................................................................................................        0.15–0.17                 ND–340                 ND–37
                                                      Cobalt ...............................................................................................................    <7.0–0.07                 ND–213                 ND–8.5
                                                      Lead ..................................................................................................................   0.50–0.81                 ND–340                 ND–56.8
                                                      Manganese .......................................................................................................         110–190                   ND–15,800              ND–3,200
                                                      Mercury .............................................................................................................     <0.15–0.06                ND–1.1                 ND–0.2
                                                      Nickel ................................................................................................................   0.75–1.4                  ND–540                 ND–270

                                                         25 We note that for several SVOCs—cresols,                               would replace, and would thus be considered solid                referenced in this final rule showed non-detects for
                                                      hexachlorobenzene, and 2,4-dinitrotoluene, which                            wastes. The February 2016 final rule differs in                  those two contaminants.
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                                                      were expected to be in creosote, and for which                              several respects from the conclusions in the March                 27 78 FR 9149 states ‘‘If a NHSM does not contain
                                                      information was specifically requested in the                               2011 rule. The February 2016 final rule concludes                contaminants at levels comparable to or lower than
                                                      February 7, 2013 NHSM final rule (78 FR 9111), the                          that CTRTs are a categorical non-waste when                      those found in any [emphasis added] traditional
                                                      data demonstrate that they were not detectable, or                          combusted in units designed to burn both fuel oil
                                                      were present at levels so low to be considered                                                                                               fuel that a combustion unit could burn, then it
                                                                                                                                  and biomass. The March 2011 rule, using 1990 data
                                                      comparable.                                                                 on railroad cross ties, was based on contaminant                 follows that discard could be occurring if the
                                                         26 As discussed previously, the March 21, 2011                           comparisons to coal and biomass and not fuel oil.                NHSM were combusted. Whether contaminants in
                                                      NHSM final rule (76 FR 15456), noting the presence                          As discussed above, when compared to fuel oil,                   these cases would be destroyed or discarded
                                                      of hexachlorobenzene and dinitrotoluene, suggested                          total SVOC contaminant concentrations (which                     through releases to the air, they could not be
                                                      that creosote-treated lumber include contaminants                           would include dinitrotoluene and                                 considered a normal part of a legitimate fuel and
                                                      at levels that are not comparable to those found in                         hexachlorobenzene) in CTRTs would be less that                   the NHSM would be considered a solid waste when
                                                      wood or coal, the fuel that creosote-treated wood                           those found in fuel oil, and in fact, the 2012 data              used as a fuel in that combustion unit.’’



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                                                      75794                         Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules

                                                                                                                                              MIX 1–1–1–1—Continued
                                                                                                                                                                                 Mixed railroad ties
                                                                                                                                                                                  (25%C–25%CB–               Biomass/untreated
                                                                                                       Contaminant                                                                                                                   Fuel oil b
                                                                                                                                                                                25%CuN–25%CuNB)                   wood b
                                                                                                                                                                                contaminant levels a f

                                                      Selenium ...........................................................................................................      <0.66–0.50                   ND–9.0              ND–4

                                                                                                                                       Non-Metal Elements (ppm—dry basis)

                                                      Chlorine ............................................................................................................     <100                         ND–5,400            ND–1,260
                                                      Fluorine .............................................................................................................    <100                         ND–300              ND–14
                                                      Nitrogen ............................................................................................................     <500                         200–39,500          42–8,950
                                                      Sulfur ................................................................................................................   140–210                      ND–8,700            ND–57,000

                                                                                                                           Semivolatile Hazardous Pollutants (ppm—dry basis)

                                                      Acenaphthene ...................................................................................................          500–1,100                    ND–50               111
                                                      Acenaphthylene ................................................................................................           12–25                        ND–4                4.1
                                                      Anthracene .......................................................................................................        290–1,100                    0.4 –87             96
                                                      Benzo[a]anthracene ..........................................................................................             140–350                      ND–62               41–1,900
                                                      Benzo[a]pyrene .................................................................................................          47–120                       ND–28               0.60–960
                                                      Benzo[b]fluoranthene ........................................................................................             83–210                       ND–42               11–540
                                                      Benzo[ghi]perylene ...........................................................................................            9.4–23                       ND–9                11.4
                                                      Benzo[k]fluoranthene ........................................................................................             30–64                        ND–16               0.6
                                                      Chrysene ..........................................................................................................       160–360                      ND–53               2.2–2,700
                                                      Dibenz[a,h]anthracene ......................................................................................              <7.2–4.7                     ND–3                4.0
                                                      Fluoranthene .....................................................................................................        800–2,100                    0.6–160             31.6–240
                                                      Fluorene ............................................................................................................     350–1,000                    ND–40               3,600
                                                      Indeno[1,2,3-cd]pyrene .....................................................................................              10–28                        ND–12               2.3
                                                      Naphthalene .....................................................................................................         320–580                      ND–38               34.3–4,000
                                                      Phenanthrene ...................................................................................................          1,300–3,800                  0.9–190             0–116,000
                                                      Pyrene ..............................................................................................................     520–1,400                    0.2–160             23–178
                                                      16–PAH ............................................................................................................       4,500–12,000                 5–921               3,900–54,700
                                                      Pentachlorophenol ............................................................................................            <330 g                       ND–1
                                                      Biphenyl ............................................................................................................     137–330 h                                        1,000–1,200

                                                            Total SVOC c .............................................................................................          4,800–13,000                 5–922               4,900–54,700

                                                                                                      Volatile Organic Compound (VOC) Hazardous Air Pollutants (ppm—dry basis)

                                                      Benzene ............................................................................................................      <1.1                         —                   ND–75
                                                                                                                                                                                —
                                                      Phenol ...............................................................................................................    —e                           —                   ND–7,700
                                                      Styrene .............................................................................................................     <1.1                         —                   ND–320
                                                      Toluene .............................................................................................................     <1.1                         —                   ND–380
                                                      Xylenes .............................................................................................................     <1.1                         —                   ND–3,100
                                                      Cumene ............................................................................................................       —e                           —                   6,000–8,000
                                                      Ethyl benzene ...................................................................................................         <1.1                         —                   22–1,270
                                                      Formaldehyde ...................................................................................................          —e                           1.6–27              —
                                                      Hexane .............................................................................................................      —e                           —                   50–10,000
                                                          Total VOC d ................................................................................................          <5.3                         1.6–27              6,072–19,810
                                                         a Data  provided by Treated Wood Council on September 11, 2015 and October 19, 2015.
                                                         b Contaminant   Concentrations in Traditional Fuels: Tables for Comparison, November 29, 2011, available at http://www.epa.gov/epawaste/
                                                      nonhaz/define/pdfs/nhsm_cont_tf.pdf. Contaminant data drawn from various literature sources and from data submitted to USEPA, Office of Air
                                                      Quality Planning and Standards (OAQPS). SVOC values from 2013 IEc data that will be available in the rule docket.
                                                         c Total SVOC ranges do not represent a simple sum of the minimum and maximum values for each contaminant. This is because minimum
                                                      and maximum concentrations for individual VOCs and SVOCs do not always come from the same sample.
                                                         d Naphthalene was the only analyte detected in Oct 2015 VOC testing, but this analyte is included in the SVOC group, so is not reflected here.
                                                         e Cells with the ‘‘—’’ indicate analytes not tested for in treated wood, but these are not expected to be present in treated wood formulation
                                                      being analyzed based on preservative chemistry and results from previous CTRT testing (i.e., not present in CTRT ties).
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                                                         f Non-detects are indicated by ‘‘<’’ preceding the method reporting limit, not the method detection limit. Therefore, there are many cases where
                                                      the non-detect value may be greater than another test’s detected value due to analysis-specific RLs being different between individual tests (i.e.,
                                                      differences in tested amount or analyzer calibration range adjustments). If result is less than the method detection limit (MDL), the method report-
                                                      ing limit (MRL), which is always greater than MDL, was used by the lab.
                                                         g Not expected in the treated wood formulation being tested based on preservative chemistry.
                                                         h Not tested for, but presumptive worst-case value is presented for treated wood type based on data from previous CTRT testing.




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                                                                                    Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules                                                                          75795

                                                                                                                                                        MIX 56–41–1–2
                                                                                                                                                                                   Mixed railroad ties
                                                                                                                                                                                    (56%C–41%CB–               Biomass/untreated       Fuel oil b
                                                                                                        Contaminant                                                                                                 wood b
                                                                                                                                                                                   1%CuN–2%CuNB)
                                                                                                                                                                                  contaminant levels a f

                                                                                                                                           Metal Elements (ppm—dry basis)

                                                      Antimony ............................................................................................................       <1.4                         ND–26               ND–15.7
                                                      Arsenic ...............................................................................................................     <1.4–0.65                    ND–298              ND–13
                                                      Beryllium ............................................................................................................      <0.68                        ND–10               ND–19
                                                      Cadmium ............................................................................................................        0.08–0.09                    ND–17               ND–1.4
                                                      Chromium ...........................................................................................................        0.12–0.78                    ND–340              ND–37
                                                      Cobalt .................................................................................................................    <6.8–0.18                    ND–213              ND–8.5
                                                      Lead ...................................................................................................................    <0.44–0.93                   ND–340              ND–56.8
                                                      Manganese ........................................................................................................          47–77                        ND–15,800           ND–3,200
                                                      Mercury ..............................................................................................................      <0.13–0.03                   ND–1.1              ND–0.2
                                                      Nickel .................................................................................................................    0.50–0.99                    ND–540              ND–270
                                                      Selenium ............................................................................................................       0.56–0.68                    ND–9.0              ND–4

                                                                                                                                       Non-Metal Elements (ppm—dry basis)

                                                      Chlorine ..............................................................................................................     <100                         ND–5,400            ND–1,260
                                                      Fluorine ..............................................................................................................     <100                         ND–300              ND–14
                                                      Nitrogen ..............................................................................................................     <500                         200–39,500          42–8,950
                                                      Sulfur ..................................................................................................................   230–280                      ND–8,700            ND–57,000

                                                                                                                            Semivolatile Hazardous Pollutants (ppm—dry basis)

                                                      Acenaphthene ....................................................................................................           1,500–1,800                  ND–50               111
                                                      Acenaphthylene .................................................................................................            31–40                        ND–4                4.1
                                                      Anthracene .........................................................................................................        760–1,100                    0.4–87              96
                                                      Benzo[a]anthracene ...........................................................................................              390–490                      ND–62               41–1,900
                                                      Benzo[a]pyrene ..................................................................................................           150–200                      ND–28               0.60–960
                                                      Benzo[b]fluoranthene .........................................................................................              230–310                      ND–42               11–540
                                                      Benzo[ghi]perylene ............................................................................................             28–56                        ND–9                11.4
                                                      Benzo[k]fluoranthene .........................................................................................              93–130                       ND–16               0.6
                                                      Chrysene ............................................................................................................       390–520                      ND–53               2.2–2,700
                                                      Dibenz[a,h]anthracene .......................................................................................               <28                          ND–3                4.0
                                                      Fluoranthene ......................................................................................................         2,000–2,700                  0.6–160             31.6–240
                                                      Fluorene .............................................................................................................      1,100–1,300                  ND–40               3,600
                                                      Indeno[1,2,3-cd]pyrene ......................................................................................               32–52                        ND–12               2.3
                                                      Naphthalene .......................................................................................................         890–1,200                    ND–38               34.3–4,000
                                                      Phenanthrene .....................................................................................................          3,600–4,500                  0.9–190             0–116,000
                                                      Pyrene ................................................................................................................     1,300–1,800                  0.2–160             23–178
                                                      16–PAH ..............................................................................................................       13,000–16,000                5–921               3,900–54,700
                                                      Pentachlorophenol .............................................................................................             <630 g                       ND–1
                                                      Biphenyl .............................................................................................................      137–330 h                                        1,000–1,200

                                                            Total SVOC c ...............................................................................................          13,000–17,000                5–922               4,900–54,700

                                                                                                      Volatile Organic Compound (VOC) Hazardous Air Pollutants (ppm—dry basis)

                                                      Benzene .............................................................................................................       <2.3                                             ND–75
                                                                                                                                                                                  —
                                                      Phenol ................................................................................................................     —e                           —                   ND–7,700
                                                      Styrene ...............................................................................................................     <2.3                         —                   ND–320
                                                      Toluene ..............................................................................................................      <2.3                         —                   ND–380
                                                      Xylenes ..............................................................................................................      <2.3                         —                   ND–3,100
                                                      Cumene ..............................................................................................................       —e                           —                   6,000–8,000
                                                      Ethyl benzene ....................................................................................................          <2.3                         —                   22–1,270
                                                      Formaldehyde ....................................................................................................           —e                           1.6–27              —
                                                      Hexane ...............................................................................................................      —e                           —                   50–10,000
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                                                            Total VOC d .................................................................................................         <12                          1.6–27              6,072–19,810
                                                         a Data provided by Treated Wood Council on September 11, 2015 and October 19, 2015.
                                                         b Contaminant  Concentrations in Traditional Fuels: Tables for Comparison, November 29, 2011, available at http://www.epa.gov/epawaste/
                                                      nonhaz/define/pdfs/nhsm_cont_tf.pdf. Contaminant data drawn from various literature sources and from data submitted to USEPA, Office of Air
                                                      Quality Planning and Standards (OAQPS). SVOC values from 2013 IEc data that will be available in the rule docket.
                                                        c Total SVOC ranges do not represent a simple sum of the minimum and maximum values for each contaminant. This is because minimum
                                                      and maximum concentrations for individual VOCs and SVOCs do not always come from the same sample.
                                                        d Naphthalene was the only analyte detected in Oct 2015 VOC testing, but this analyte is included in the SVOC group, so is not reflected here.
                                                        e Cells with the ‘‘—’’ indicate analytes not tested for in treated wood, but these are not expected to be present in treated wood formulation
                                                      being analyzed based on preservative chemistry and results from previous CTRT testing (i.e., not present in CTRT ties).



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                                                      75796                Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules

                                                         f Non-detects are indicated by ‘‘<’’ preceding the method reporting limit, not the method detection limit. Therefore, there are many cases where
                                                      the non-detect value may be greater than another test’s detected value due to analysis-specific RLs being different between individual tests (i.e.,
                                                      differences in tested amount or analyzer calibration range adjustments). If result is less than the method detection limit (MDL), the method report-
                                                      ing limit (MRL), which is always greater than MDL, was used by the lab.
                                                         g Not expected in the treated wood formulation being tested based on preservative chemistry.
                                                         h Not tested for, but presumptive worst-case value is presented for treated wood type based on data from previous CTRT testing.




                                                        In the mixed treated wood scenarios                   response to EPA’s concerns on previous                these issues in the report narrative, but
                                                      above, as previously discussed, SVOCs                   data, and as described previously, TWC                concluded that there were no corrective
                                                      are present (up to 17,000 ppm) at levels                developed a sampling program in which                 actions necessary.
                                                      well within the range observed in fuel                  15 OTRT railroad ties of each                           Finally, EPA requested further
                                                      oil (up to 54,700 ppm). Therefore,                      preservative type were collected from                 information on these issues noted in the
                                                      mixed railroad ties with creosote, borate               various geographical areas. These 15 ties             report narrative, as well as supporting
                                                      and copper naphthenate have                             were then separated into three 5 tie                  quality assurance documentation from
                                                      comparable contaminant levels to other                  groups, then processed into a boiler-fuel             the laboratories. With respect to
                                                      fuels combusted in units designed to                    consistency using commercial                          surrogate recoveries and dilutions, the
                                                      burn both biomass and fuel oil, and as                  processing techniques. A sample of each               lab indicated that the high dilutions
                                                      such, meet this criterion if used in                    5-tie group was then shipped to an                    were required for the creosote-
                                                      facilities that are designed to burn both               independent laboratory for analysis,                  containing matrix to avoid saturation of
                                                      biomass and fuel oil.                                   thereby producing 3 data points for each              the detector instrument.28 Also, the
                                                                                                              preservative type. TWC also prepared                  shipping cooler temperature criterion of
                                                      4. OTRT Sampling and Analysis Data                      two blends: One with equal portions of                4 degrees Celsius, which EPA views as
                                                      History                                                 creosote, creosote-borate, copper                     standard practice, is not wholly
                                                         The data collection supporting the                   naphthenate, and copper naphthenate-                  applicable in this case due to the nature
                                                      OTRT non-waste determination has                        borate; and the second a weighted blend               of the samples. Since the ties were used
                                                      been based on several rounds of data                    of these tie types in proportion to                   and stored after being taken out of
                                                      submittals by TWC followed by EPA                       current usage ratios of each preservative             service in ambient atmosphere and are
                                                      questions and comments on the data                      chemistry. These blends samples were                  not biologically active, the 4 degree
                                                      provided. We have described the                         analyzed in triplicate, for a total of 18             Celsius receipt condition is not
                                                      process of forming the OTRT data set,                   samples being analyzed (i.e., three from              necessary, but was noted in the report
                                                      and all materials provided by TWC are                   each tie sample group). Two laboratories              as part of laboratory standard operating
                                                      available in the docket to this                         were used by TWC to perform the                       procedure.
                                                      rulemaking.                                             analysis: One laboratory analyzed
                                                         The TWC submitted data on various                    metals, mercury, semivolatiles, and heat              E. Summary and Request for Comment
                                                      wood preservative types, including                      of combustion; and the other laboratory                 EPA believes it has sufficient
                                                      those referred to as OTRTs, in their                    analyzed volatiles, chlorine, fluorine,               information to propose to list OTRTs
                                                      April 3, 2013 petition letter requesting                and nitrogen. All methods used were                   categorically as non-waste fuels. For
                                                      a categorical determination that all                    EPA or ASTM methods, and were                         units combusting copper-naphthenate-
                                                      preserved wood types were non-waste                     appropriate for the materials being                   borate and/or copper naphthenate
                                                      fuels. However, the contaminant                         tested. No specific sampling                          railroad ties, such materials could be
                                                      comparison data presented in the                        methodology was employed in taking                    combusted in units designed to burn
                                                      petition were incomplete and not based                  the samples from the 5-ties group.                    biomass or biomass and fuel oil. For
                                                      on established analytical data. The EPA                    The EPA reviewed the 2015 test data,               units combusting railroad ties
                                                      response to TWC requested submittal of                  which was provided by TWC on                          containing cresosote, including
                                                      analytical data to determine                            September 11, 2015, and provided TWC                  creosote-borate or any mixtures of ties
                                                      contaminant concentrations in the                       with additional follow-up questions and               containing cresosote, borate and copper
                                                      OTRT wood.                                              clarifications, including the specific                naphthenate, such materials must be
                                                         In November 2013, TWC responded to                   sources of the ties. TWC’s response                   burned in combustion units that are
                                                      EPA’s request, submitting laboratory                    noted the sources of ties for each                    designed to burn both biomass and fuel
                                                      reports on analyses of the various                      chemistry and indicated that the ties                 oil. The Agency would consider units to
                                                      preservative wood types, including                      generally originated in the southeast,                meet this requirement if the unit
                                                      OTRTs. The EPA reviewed the                             but there are also ties from                          combusts fuel oil as part of normal
                                                      laboratory reports and techniques, and                  Pennsylvania, South Dakota, and                       operations and not solely as part of start
                                                      determined that there were limited data                 Kentucky represented within the TWC                   up or shut down operations.
                                                      points available (i.e., one per                         data set. The EPA also noted some                       Consistent with the approach for
                                                      preservative type) and that the                         exceptions and flags within the                       CTRTs outlined in the February 2016
                                                      analytical techniques for several                       analytical report, such as sample coolers             rule, the Agency is also proposing that
                                                      contaminants (chlorine, nitrogen, sulfur,               upon receipt at the lab were outside the              units combusting railroad ties treated
                                                      and fluorine) were not appropriate to                   required temperature criterion;
                                                      provide information on the entire                       surrogate recoveries for semivolatile
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                                                                                                                                                                      28 Samples with concentrations exceeding the

                                                      preserved wood sample as combusted,                     samples (which represent extraction                   calibration range must be diluted to fall within the
                                                      reflecting only a leachable component.                  efficiency within a sample matrix) were               calibration range. The more a sample is diluted, the
                                                                                                                                                                    higher the reporting limit. Sample dilution is
                                                      Furthermore, EPA questioned the                         sometimes lower or higher than those                  required when the concentration of a compound
                                                      representativeness of the samples being                 for samples containing creosote-treated               exceeds the amount that produces a full-scale
                                                      analyzed and the repeatability of the                   wood; and dilution factors (dilution is               response. At that point the detector becomes
                                                      analyses.                                               used when the sample is higher in                     saturated and fails to respond to additional target
                                                                                                                                                                    compound(s). Diluting samples to accommodate the
                                                         In August, 2015, TWC performed                       concentration than can be analyzed) for               high-concentrations can reduce the concentration of
                                                      additional sampling and analyses to                     creosote-treated wood samples were                    the target analytes to levels where they can no
                                                      address these deficiencies in the data. In              high (up to 800). The laboratory noted                longer be detected.



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                                                                           Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules                                                         75797

                                                      with cresosote-borate (or other mixtures                decide that the switching to the cleaner                literature review on copper and borate
                                                      of treated railroad ties containing                     natural gas would not render these                      and the rules these constituents and
                                                      creosote, borate and copper                             materials a waste fuel.                                 their compounds.
                                                      naphthenate) in units designed to burn                     This case is no different from the                      Under the Clean Water Act, EPA’s
                                                      biomass and fuel oil, could also                        Agency’s determination in the February                  Office of Water developed the Lead and
                                                      combust those materials in units at                     2016 rule with respect to CTRTs. This                   Copper Rule which became effective in
                                                      major pulp and paper mills or units at                  determination is accepted Agency                        1991 (56 FR 26460). This rule set a limit
                                                      power production facilities subject to 40               policy and is appropriately applied to                  of 1.3 ppm copper concentration in 10%
                                                      CFR part 63, subpart DDDDD (Boiler                      the case of other treated railway ties in               of tap action level for public water.
                                                      MACT) that combust such ties and had                    this proceeding. This determination, as                 Exceedances of this limit require
                                                      been designed to burn biomass and fuel                  discussed in the February 2016 rule, is                 additional treatment steps in order to
                                                      oil, but are modified (e.g., oil delivery               based on the historical usage as a                      reduce waste corrosivity and prevent
                                                      mechanisms are removed) in order to                     product fuel in stoker, bubbling bed,                   leaching of these metals (including
                                                      use natural gas instead of fuel oil as part             fluidized bed and hybrid suspension                     copper) from plumbing and distribution
                                                      of normal operations and not solely as                  grate boilers (i.e., boiler designs used to             systems. EPA’s Office of Water also
                                                      part of start-up or shut-down operations.               combust used railroad ties, see 81 FR                   issued a fact sheet for copper under the
                                                      These ties may continue to be                           6732).                                                  Clean Water Act section 304(a) titled the
                                                      combusted as a product fuel only if                        The Agency solicits comments on the                  Aquatic Life Ambient Freshwater
                                                      certain conditions are met, which are                   proposed non-waste categorical                          Quality Criteria.31 This fact sheet
                                                      intended to ensure that they are not                    determination as described previously.                  explains that copper is an essential
                                                      being discarded:                                        The Agency is also specifically                         nutrient at low concentrations, but is
                                                         • Must be combusted in existing (i.e.,               requesting comment on the following:                    toxic to aquatic organisms at higher
                                                      commenced construction prior to April                      • Whether railroad ties with de                      concentrations. The fact sheet listed the
                                                      14, 2014) stoker, bubbling bed, fluidized               minimis levels of creosote should be                    following industries that contribute to
                                                      bed or hybrid suspension grate boilers;                 allowed to be combusted in biomass
                                                                                                                                                                      manmade discharges of copper to
                                                      and                                                     only units;
                                                                                                                                                                      surface waters: Mining, leather and
                                                         • Must comprise no more than 40                         • Should a particular de minimus
                                                                                                              level should be designated and on what                  leather products, fabricated metal
                                                      percent of the fuel that is used on an                                                                          products, and electric equipment. No
                                                      annual heat input basis.                                should this level be based;
                                                                                                                 • Whether these OTRTs are                            mention was made of deposition from
                                                         The standard would be applicable to
                                                                                                              combusted in units designed to burn                     combustion sources, such as area source
                                                      existing units burning creosote-borate,
                                                                                                              coal in lieu of, or in addition to biomass              boilers that may not have robust
                                                      and mixtures of creosote, copper
                                                                                                              and fuel oil, and whether the                           particulate matter control devices
                                                      naphthenate and borate treated railroad
                                                                                                              contaminant comparisons to meet                         installed on them. By comparison, there
                                                      ties that had been designed to burn fuel
                                                                                                              legitimacy criteria should include                      are no National Recommended Aquatic
                                                      oil and biomass and have been modified
                                                      to burn natural gas. The standard will                  comparisons to coal;                                    Life Criteria for boron or borates.
                                                      also apply if an existing unit designed                    • In light of the data and sampling                     EPA also investigated whether there
                                                      to burn fuel oil and biomass is modified                history described above, whether the                    were any concerns that copper and
                                                      at some point in the future.                            quality of data is adequate to support                  borate can react to form polychlorinated
                                                         The approach addresses only the                      the proposed determination;                             dibenzodioxin and dibenzofurans
                                                      circumstance where contaminants in                         • Additional data that should be                     (PCDD/PCDF) during the combustion
                                                      these railroad ties are comparable to or                considered in making the comparability                  process. Specific studies evaluating
                                                      less than the traditional fuels the unit                determinations for OTRTs.                               copper involvement in dioxins and
                                                      was originally designed to burn (both                                                                           furans formation in municipal or
                                                                                                              F. Copper and Borates Literature Review                 medical waste incinerator flue gas have
                                                      fuel oil and biomass) but that design                   and Other EPA Program Review
                                                      was modified in order to combust                                                                                been conducted.32 While the exact
                                                                                                              Summary                                                 mechanism and effects of other
                                                      natural gas. The approach is not a
                                                      general means to circumvent the                           Neither copper nor borate are                         combustion parameters on PCDD and
                                                      contaminant legitimacy criterion by                     hazardous air pollutants (HAP), and                     PCDF formation are still unknown,
                                                      allowing combustion of any NHSM with                    thus are not contaminants under NHSM                    increased copper chloride (CuCl) and/or
                                                      elevated contaminant levels, i.e., levels               standards.29 30 To determine whether                    cupric chloride (CuCl2) on fly ash
                                                      not comparable to the traditional fuel                  those compounds pose health risk                        particles has been shown to increase
                                                      the unit is currently designed to burn.                 concerns not directly covered by the                    concentrations of PCDD and PCDF in fly
                                                      The particular facilities in this case had              NHSM standards, and how those                           ash. Various researchers conclude that
                                                      used these ties and would clearly be in                 concerns may be addressed under other                   CuCl and/or CuCl2 are serving either
                                                      compliance with the legitimacy criteria                 Agency programs, we conducted a                         roles as catalysts in dioxin formation or
                                                      if they did not switch to the cleaner                                                                           as chlorine sources for subsequent
                                                      natural gas fuel. Information indicating
                                                                                                                29 CAA Section 112 requires EPA to promulgate
                                                                                                                                                                      PCDD/PCDF formation reactions (i.e.,
                                                                                                              regulations to control emissions of 187 HAP from        the CuCl and/or CuCl2 serve as
                                                      that these ties are an important part of                sources in source categories listed by EPA under
                                                      the fuel mix due to the consistently                                                                            dechlorination/chlorination catalysts).
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                                                                                                              section 112(c), while CAA section 129 CISWI
                                                      lower moisture content and higher Btu                   standards include numeric emission limitations for
                                                      value, as well as the benefits of drier                 the nine pollutants, plus opacity (as appropriate),        31 Aquatic life criteria for toxic chemicals are the

                                                                                                              that are specified in CAA section 129(a)(4). For the    highest concentration of specific pollutants or
                                                      more consistent fuel to combustion                      purpose of NHSM standards, the definition of            parameters in water that are not expected to pose
                                                      units with significant swings in steam                  contaminants is limited to HAP under CAA 112 and        a significant risk to the majority of species in a
                                                      demand, further suggest that discard is                 CAA 129.                                                given environment or a narrative description of the
                                                      not occurring. Therefore, EPA believes it                 30 We note also under the CAA standards for           desired conditions of a water body being ‘‘free
                                                                                                              smaller area sources, emission limits are not           from’’ certain negative conditions.
                                                      appropriate to balance other relevant                   required for copper, borate (or for HAPs). Standards       32 See technical memorandum on copper-related
                                                      factors in this categorical non-waste                   for area sources focus on tune-ups of the boiler unit   programs and emission studies available in the
                                                      determination and for the Agency to                     (see 40 CFR 40 CFR part 63, subpart JJJJJJ.             docket to this rulemaking.



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                                                      75798                Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules

                                                      Copper emissions from fly ash are                       IV. Effect of This Proposal on Other                  change in social welfare that it
                                                      reduced with good particulate matter                    Programs                                              generates. This rulemaking, as
                                                      controls. A high performance fabric                        Beyond expanding the list of NHSMs                 proposed, establishes a categorical non-
                                                      filter may be the best control device,                  that categorically qualify as non-waste               waste listing for selected NHSMs under
                                                      although some portion of fine                           fuels, this rule does not change the                  RCRA. This categorical non-waste
                                                      particulate matter may pass through.                    effect of the NHSM regulations on other               determination allows these materials to
                                                      Cyclone separators and electro-static                   programs as described in the March 21,                be combusted as a product fuel in units,
                                                      precipitators have not been shown to be                 2011 NHSM final rule, as amended on                   subject to the CAA section 112 emission
                                                      effective in controlling these emissions,               February 7, 2013 (78 FR 9138) and                     standards, without being subject to a
                                                      and these types of controls may be more                 February 8, 2016 (81 FR 6688). Refer to               detailed case-by-case analysis of the
                                                      prevalent amongst smaller, area source                  section VIII of the preamble to the                   material(s) by individual combustion
                                                      boilers. Overall, results from many                     March 21, 2011 NHSM final rule 35 for                 facilities, provided they meet the
                                                      studies indicate that most of the copper                                                                      conditions of the categorical listing. The
                                                                                                              the discussion on the effect of the
                                                      ends up in the bottom ash.                                                                                    proposal establishes no direct standards
                                                                                                              NHSM rule on other programs.
                                                         Generally, borates have a low toxicity,                                                                    or requirements relative to how these
                                                      and should not be a concern from a                      V. State Authority                                    materials are managed or combusted. As
                                                      health risk perspective. As indicated                                                                         a result, this action alone does not
                                                                                                              A. Relationship to State Programs
                                                      previously, neither boron nor borates                                                                         directly invoke any costs 37 or benefits.
                                                                                                                 This proposal does not change the                  Rather, this RCRA proposal is being
                                                      are listed as HAP under CAA section
                                                                                                              relationship to state programs as                     developed to simplify the rules for
                                                      112, nor are they considered to be
                                                                                                              described in the March 21, 2011 NHSM                  identifying which NHSMs are not solid
                                                      criteria air pollutants subject to any
                                                                                                              final rule. Refer to section IX of the                wastes and to provide additional clarity
                                                      emissions limitations. However,
                                                                                                              preamble to the March 21, 2011 NHSM                   and direction for owners or operators of
                                                      elemental boron has been identified by
                                                                                                              final rule 36 for the discussion on state             combustion facilities. In this regard, this
                                                      EPA in the coal combustion residuals
                                                                                                              authority including, ‘‘Applicability of               proposal provides a procedural benefit
                                                      (CCR) risk analysis 33 to present some
                                                                                                              State Solid Waste Definitions and                     to the regulated community, as well as
                                                      potential risks for ecological receptors.
                                                                                                              Beneficial Use Determinations’’ and                   the states through the establishment of
                                                      As a result of this risk, and boron’s
                                                                                                              ‘‘Clarifications on the Relationship to               regulatory clarity and enhanced
                                                      ability to move through the
                                                                                                              State Programs.’’ The Agency, however,                materials management certainty.
                                                      subsurface,34 boron has been included
                                                                                                              would like to reiterate that this                        Because this RCRA action is
                                                      as a monitored constituent in CCR
                                                                                                              proposed rule (like the March 21, 2011                definitional only, any costs or benefits
                                                      monitoring provisions for coal ash
                                                                                                              and the February 7, 2013 final rules) is              indirectly associated with this action
                                                      impoundments.
                                                                                                              not intended to interfere with a state’s              would not occur without the
                                                         Copper has some acute toxicity, but                  program authority over the general                    corresponding implementation of the
                                                      these exposures appear to be the result                 management of solid waste.                            relevant CAA rules. However, in an
                                                      of direct drinking water or cooking-                                                                          effort to ensure rulemaking
                                                      related intake. We anticipate the only                  B. State Adoption of the Rulemaking                   transparency, the EPA prepared an
                                                      routes that copper releases to the                         No federal approval procedures for                 assessment in support of this action that
                                                      environment could result from burning                   state adoption of this proposed rule are              examines the scope and direction of
                                                      copper naphthenate treated ties would                   included in this rulemaking action                    these indirect impacts, for both costs
                                                      be stormwater runoff from the ties and                  under RCRA subtitle D. Although the                   and benefits.38 This document is
                                                      deposition from boiler emissions. The                   EPA does promulgate criteria for solid                available in the docket for review and
                                                      amount of copper remaining in the tie                   waste landfills and approves state                    comment. Finally, we recognize that
                                                      after its useful life, however, may be                  municipal solid waste landfill                        this action would indirectly affect
                                                      greatly reduced from the original                       permitting programs, RCRA does not                    various materials management programs
                                                      content, and facilities manage the                      provide the EPA with authority to                     and policies, and we are sensitive to
                                                      shredded tie material in covered areas to               approve state programs beyond those                   these concerns. The Agency encourages
                                                      prevent significant moisture swings,                    landfill permitting programs. While                   comment on these effects.
                                                      therefore, we do not expect impacts                     states are not required to adopt                         The assessment document, as
                                                      from copper-containing runoff. Due to                   regulations promulgated under RCRA                    mentioned previously, finds that
                                                      the high vaporization temperature,                      subtitle D, some states incorporate                   facilities operating under CAA section
                                                      copper will exist in solid phase after it               federal regulations by reference or have              129 standards that are currently burning
                                                      leaves the furnace, and would therefore                 specific state statutory requirements that            CTRTs, and no other solid wastes, and
                                                      be controlled in the air pollution control              their state program can be no more                    who had planned to continue burning
                                                      device operated to control particulate                  stringent than the federal regulations. In            these materials, may experience cost
                                                      emissions from the boiler.                              those cases, the EPA anticipates that, if             savings associated with the potential
                                                         EPA solicits comment and seeks any                   required by state law, the changes being              modification and operational
                                                      additional information (e.g. preservative               proposed in this document, if finalized,              adjustments of their affected units. In
                                                      leaching rates) that would help further                 will be incorporated (or possibly                     this case, the unit-level cost savings are
                                                      inform the determinations outlined
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                                                                              adopted by authorized state air
                                                                                                                                                                       37 Excluding minor administrative burden/cost
                                                      above regarding management and                          programs) consistent with the state’s
                                                                                                                                                                    (e.g., rule familiarization).
                                                      combustion of borate and copper treated                 laws and administrative procedures.                      38 U.S. EPA, Office of Resource Conservation and
                                                      railroad ties and impacts to surface                                                                          Recovery, ‘‘Assessment of the Potential Costs,
                                                      water, drinking water or air not                        VI. Cost and Benefits                                 Benefits, and Other Impacts for the Proposed Rule:
                                                      addressed under the NHSM standards.                        The value of any regulatory action is              Categorical Non-Waste Determination for Selected
                                                                                                              traditionally measured by the net                     Non Hazardous Secondary Materials (NHSMs):
                                                                                                                                                                    Creosote-Borate Treated Railroad Ties, Copper
                                                        33 Human and Ecological Risk Assessment of Coal
                                                                                                                                                                    Naphthenate Treated Railroad Ties, and Copper
                                                      Combustion Residuals, EPA, December 2014.                 35 76   FR 15456, March 21, 2011 (page 15545).      Naphthenate-Borate Treated Railroad Ties’’ EPA
                                                        34 See 80 FR 21302, April 17, 2015.                     36 76   FR 15456, March 21, 2011 (page 15546).      Docket Number: EPA–HQ–OLEM–2016–0248.



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                                                                           Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules                                                     75799

                                                      estimated, on average, to be                            the list of categorical non-waste fuels is            Executive Order 13175 does not apply
                                                      approximately $266,000 per year. In                     expected to indirectly reduce materials               to this action.
                                                      addition, the increased regulatory                      management costs. In addition, this
                                                                                                                                                                    G. Executive Order 13045: Protection of
                                                      clarity and certainty associated with this              action will reduce regulatory
                                                                                                                                                                    Children From Environmental Health
                                                      action may stimulate increased product                  uncertainty associated with these
                                                                                                                                                                    Risks and Safety Risks
                                                      fuel use for one or more of these                       materials and help increase
                                                      NHSMs, potentially resulting in                         management efficiency. We have                           This action is not subject to Executive
                                                      upstream life cycle benefits associated                 therefore concluded that this action will             Order 13045 because it is not
                                                      with reduced extraction of selected                     relieve regulatory burden for all directly            economically significant as defined in
                                                      virgin materials.                                       regulated small entities. We continue to              the Executive Order 12866, and because
                                                                                                              be interested in the potential impacts of             the EPA does not believe the
                                                      VII. Statutory and Executive Order                      the proposed rule on small entities and               environmental health or safety risks
                                                      Reviews                                                 welcome comments on issues related to                 addressed by this action present a
                                                        Additional information about these                    such impacts.                                         disproportionate risk to children. Based
                                                      statutes and Executive Orders can be                                                                          on the following discussion, the Agency
                                                      found at https://www.epa.gov/laws-                      D. Unfunded Mandates Reform Act                       found that populations of children near
                                                      regulations/laws-and-executive-orders.                  (UMRA)                                                potentially affected boilers are either not
                                                                                                                This action contains no Federal                     significantly greater than national
                                                      A. Executive Order 12866: Regulatory                    mandates as described in UMRA, 2                      averages, or in the case of landfills, may
                                                      Planning and Review and Executive                       U.S.C. 1531–1538, and does not                        potentially result in reduced discharges
                                                      Order 13563: Improving Regulation and                   significantly or uniquely affect small                near such populations.
                                                      Regulatory Review                                       governments. UMRA generally excludes                     The proposed rule, in conjunction
                                                        This action is not a significant                      from the definition of ‘‘Federal                      with the corresponding CAA rules, may
                                                      regulatory action. The Office of                        intergovernmental mandate’’ duties that               indirectly stimulate the increased fuel
                                                      Management and Budget (OMB) waived                      arise from participation in a voluntary               use of one of more the three NHSMs by
                                                      review. The EPA prepared an economic                    Federal program. Affected entities are                providing enhanced regulatory clarity
                                                      analysis of the potential costs and                     not required to manage the proposed                   and certainty. This increased fuel use
                                                      benefits associated with this action.                   additional NHSMs as non-waste fuels.                  may result in the diversion of a certain
                                                      This analysis, ‘‘Assessment of the                      As a result, this action may be                       quantity of these NHSMs away from
                                                      Potential Costs, Benefits, and Other                    considered voluntary under UMRA.                      current baseline management practices.
                                                      Impacts for the Proposed Rule—                          Therefore, this action is not subject to              Any corresponding disproportionate
                                                      Categorical Non-Waste Determination                     the requirements of section 202 or 205                impacts among children would depend
                                                      for Selected Non-Hazardous Secondary                    of the UMRA                                           upon whether children make up a
                                                      Materials (NHSMs): Creosote-Borate                        This action is also not subject to the              disproportionate share of the population
                                                      Treated Railroad Ties, Copper                           requirements of section 203 of UMRA                   living near the affected units. Therefore,
                                                      Naphthenate Treated Railroad Ties, and                  because it contains no regulatory                     to assess the potential an indirect
                                                      Copper Naphthenate-Borate Treated                       requirements that might significantly or              disproportionate effect on children, we
                                                      Railroad Ties’’, is available in the                    uniquely affect small governments. In                 conducted a demographic analysis for
                                                      docket. Interested persons are                          addition, this proposal will not impose               this population group surrounding CAA
                                                      encouraged to read and comment on                       direct compliance costs on small                      section 112 major source boilers,
                                                      this document.                                          governments.                                          municipal solid waste landfills, and
                                                                                                                                                                    construction and demolition (C&D)
                                                      B. Paperwork Reduction Act (PRA)                        E. Executive Order 13132: Federalism                  landfills for the Major and Area Source
                                                        This action does not impose any new                     This action does not have federalism                Boilers rules and the CISWI rule.39 We
                                                      information collection burden under the                 implications. It will not have substantial            assessed the share of the population
                                                      PRA as this action only proposes to add                 direct effects on the states, on the                  under the age of 18 living within a
                                                      three new categorical non-waste fuels to                relationship between the national                     three-mile (approximately five
                                                      the NHSM regulations. OMB has                           government and the states, or on the                  kilometers) radius of these facilities.
                                                      previously approved the information                     distribution of power and                             Three miles has been used often in other
                                                      collection activities contained in the                  responsibilities among the various                    demographic analyses focused on areas
                                                      existing regulations and has assigned                   levels of government.                                 around industrial sources.40
                                                      OMB control number 2050–0205.
                                                                                                              F. Executive Order 13175: Consultation                  39 The extremely large number of area source
                                                      C. Regulatory Flexibility Act (RFA)                     and Coordination With Indian Tribal                   boilers and the absence of site-specific coordinates
                                                         I certify that this action will not have             Governments                                           prevented us from assessing the demographics of
                                                                                                                                                                    populations located near these sources. In addition,
                                                      a significant economic impact on a                         This action does not have tribal                   we did not assess child population percentages
                                                      substantial number of small entities                    implications as specified in Executive                surrounding cement kilns that may use some out-
                                                      under the RFA. In making this                           Order 13175. It will neither impose                   of-service railroad crossties for their thermal value.
                                                                                                                                                                      40 The following publications which have
                                                      determination, the impact of concern is                 substantial direct compliance costs on                provided demographic information using a 3-mile
                                                      any significant adverse economic                        tribal governments, nor preempt Tribal
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                                                                                                                                    or 5-kilometer circle around a facility:
                                                      impact on small entities. An agency may                 law. Potential aspects associated with                  * U.S. GAO (Government Accountability Office).
                                                      certify that a rule will not have a                     the categorical non-waste fuel                        Demographics of People Living Near Waste
                                                                                                                                                                    Facilities. Washington DC: Government Printing
                                                      significant economic impact on a                        determinations under this proposed rule               Office 1995.
                                                      substantial number of small entities if                 may invoke minor indirect tribal                        * Mohai P, Saha R. ‘‘Reassessing Racial and
                                                      the rule relieves regulatory burden, has                implications to the extent that entities              Socio-economic Disparities in Environmental
                                                      no net burden or otherwise has a                        generating or consolidating these                     Justice Research’’. Demography. 2006;43(2): 383–
                                                                                                                                                                    399.
                                                      positive economic effect on the small                   NHSMs on tribal lands could be                          * Mennis, Jeremy ‘‘Using Geographic Information
                                                      entities subject to the rule. The                       affected. However, any impacts are                    Systems to Create and Analyze Statistical Surfaces
                                                      proposed addition of three NHSMs to                     expected to be negligible. Thus,                                                                   Continued




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                                                      75800                Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules

                                                         For major source boilers, our findings               J. Executive Order 12898: Federal                        • Reduced upstream emissions
                                                      indicate that the percentage of the                     Actions to Address Environmental                      resulting from the reduced production
                                                      population in these areas under age 18                  Justice in Minority Populations and                   of virgin fuel: Any reduced upstream
                                                      years is generally the same as the                      Low-Income Populations                                emissions that may indirectly occur in
                                                      national average.41 In addition, while                                                                        response to reduced virgin fuel mining
                                                                                                                 The EPA believes that it is not feasible           or extraction may result in a human
                                                      the fuel source and corresponding                       to determine whether this action has
                                                      emission mix for some of these boilers                                                                        health and/or environmental benefit to
                                                                                                              disproportionately high and adverse                   minority and low-income populations
                                                      may change as an indirect response to                   effects on minority populations, low-
                                                      this rule, emissions from these sources                                                                       living near these projects.
                                                                                                              income populations, and/or indigenous
                                                      would remain subject to the protective                  peoples as specified in Executive Order                  • Alternative materials transport
                                                      CAA section 112 standards. For                          12898 (59 FR 7629, February 16, 1994).                patterns: Transportation emissions
                                                      municipal solid waste and C&D                           However, the overall level of emissions,              associated with NHSMs diverted from
                                                      landfills, we do not have demographic                   or the emissions mix from affected                    landfills to boilers are likely to be
                                                      results specific to children. However,                  boilers are not expected to change                    similar, except for on-site paper
                                                      using the population below the poverty                  significantly because the three NHSMs                 recycling residuals, where the potential
                                                      level as a rough surrogate for children,                proposed to be categorically listed as                for less off-site transport to landfills may
                                                      we found that within three miles of                     non-waste fuels are generally                         result in reduced truck traffic and
                                                      facilities that may experience diversions               comparable to the types of fuels that                 emissions where such transport patterns
                                                                                                              these combustors would otherwise burn.                may pass through minority or low-
                                                      of one or more of these NHSMs, low-
                                                                                                              Furthermore, these units remain subject               income communities.
                                                      income populations, as a percent of the
                                                      total population, are disproportionately                to the protective standards established                  • Change in emissions from baseline
                                                      high relative to the national average.                  under CAA section 112.                                management units: The diversion of
                                                      Thus, to the extent that these NHSMs                       Our environmental justice                          some of these NHSMs away from
                                                      are diverted away from municipal solid                  demographics assessment conducted for                 disposal in landfills may result in a
                                                                                                              the prior rulemaking 42 remains relevant              marginal decrease in activity at these
                                                      waste or C&D landfills, any landfill-
                                                                                                              to this action. This assessment reviewed              facilities. This may include non-adverse
                                                      related emissions, discharges, or other
                                                                                                              the distributions of minority and low-                impacts, such as marginally reduced
                                                      negative activity potentially affecting
                                                                                                              income groups living near potentially                 emissions, odors, groundwater and
                                                      low-income (children) populations                                                                             surface water impacts, noise pollution,
                                                                                                              affected sources using U.S. Census
                                                      living near these units are likely to be                                                                      and reduced maintenance cost to local
                                                                                                              blocks. A three-mile radius
                                                      reduced. Finally, transportation                                                                              infrastructure. Because municipal solid
                                                                                                              (approximately five kilometers) was
                                                      emissions associated with the diversion                                                                       waste and C&D landfills were found to
                                                                                                              examined in order to determine the
                                                      of some of this material away from                      demographic composition (e.g., race,                  be located in areas where minority and
                                                      landfills to boilers are likely to be                   income, etc.) of these blocks for                     low-income populations are
                                                      generally unchanged, while these                        comparison to the corresponding                       disproportionately high relative to the
                                                      emissions are likely to be reduced for                  national compositions. Findings from                  national average, any reduction in
                                                      on-site generators of paper recycling                   this analysis indicated that populations              activity and emissions around these
                                                      residuals that would reduce off-site                    living within three miles of major                    facilities is likely to benefit the citizens
                                                      shipments.                                              source boilers represent areas with                   living near these facilities.
                                                      H. Executive Order 13211: Actions                       minority and low-income populations                      Finally, this rule, in conjunction with
                                                      Concerning Regulations That                             that are higher than the national                     the corresponding CAA rules, may help
                                                                                                              averages. In these areas, the minority                accelerate the abatement of any existing
                                                      Significantly Affect Energy Supply,
                                                                                                              share 43 of the population was 33                     stockpiles of the targeted NHSMs. To
                                                      Distribution, or Use
                                                                                                              percent, compared to the national                     the extent that these stockpiles may
                                                        This action is not subject to Executive               average of 25 percent. For these same                 represent negative human health or
                                                      Order 13211, because it is not a                        areas, the percent of the population                  environmental implications, minority
                                                      significant regulatory action under                     below the poverty line (16 percent) was               and/or low-income populations that live
                                                      Executive Order 12866.                                  higher than the national average (13                  near such stockpiles may experience
                                                                                                              percent).                                             marginal health or environmental
                                                      I. National Technology Transfer and                        In addition to the demographics                    improvements. Aesthetics may also be
                                                      Advancement Act (NTTAA)                                 assessment described previously, we                   improved in such areas.
                                                                                                              also considered the potential for non-                   As previously discussed, this RCRA
                                                        This rulemaking does not involve                      combustion environmental justice
                                                      technical standards.                                                                                          proposed action alone does not directly
                                                                                                              concerns related to the potential                     require any change in the management
                                                                                                              incremental increase in NHSMs                         of these materials. Thus, any potential
                                                      of Population and Risk for Environmental Justice        diversions from current baseline
                                                      Analysis’’ Social Science Quarterly, 2002,
                                                                                                                                                                    materials management changes
                                                                                                              management practices. These may                       stimulated by this action, and
                                                      83(1):281–297.
                                                                                                              include the following:                                corresponding impacts to minority and
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                        * Bullard RD, Mohai P, Wright B, Saha R et al.
                                                      Toxic Wastes and Race at Twenty, 1987–2007,                                                                   low-income communities, are
                                                      March 2007. 5 CICWI Rule and Major Source                 42 U.S. EPA, Office of Resource Conservation and
                                                                                                                                                                    considered to be indirect impacts, and
                                                      Boilers Rule.                                           Recovery. Summary of Environmental Justice            would only occur in conjunction with
                                                                                                              Impacts for the Non-Hazardous Secondary Material
                                                        41 U.S. EPA, Office of Resource Conservation and
                                                                                                              (NHSM) Rule, the 2010 Commercial and Industrial       the corresponding CAA rules.
                                                      Recovery. Summary of Environmental Justice              Solid Waste Incinerator (CISWI) Standards, the
                                                      Impacts for the Non-Hazardous Secondary Material        2010 Major Source Boiler NESHAP and the 2010
                                                                                                                                                                    List of Subjects in 40 CFR part 241
                                                      (NHSM) Rule, the 2010 Commercial and Industrial         Area Source Boiler NESHAP. February 2011.
                                                      Solid Waste Incinerator (CISWI) Standards, the            43 This figure is for overall population minus        Environmental protection, Air
                                                      2010 Major Source Boiler NESHAP and the 2010            white population and does not include the Census      pollution control, Waste treatment and
                                                      Area Source Boiler NESHAP. February 2011.               group defined as ‘‘White Hispanic.’’                  disposal.


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                                                                           Federal Register / Vol. 81, No. 211 / Tuesday, November 1, 2016 / Proposed Rules                                          75801

                                                        Dated: October 19, 2016.                              delivery mechanisms are removed) in                   chub (Gila nigra) and the roundtail chub
                                                      Gina McCarthy,                                          order to use natural gas instead of fuel              (Gila robusta) distinct population
                                                      Administrator.                                          oil, as part of normal operations and not             segment (DPS) as threatened species to
                                                        For the reasons stated in the                         solely as part of start-up or shut-down               the List of Endangered and Threatened
                                                      preamble, EPA proposes to amend                         operations. The creosote-borate and                   Wildlife. We are taking this action based
                                                      40,CFR chapter I as set forth below:                    mixed creosote, borate and copper                     on significant new information
                                                                                                              naphthenate treated railroad ties may                 regarding the species’ taxonomic status
                                                      PART 241—SOLID WASTES USED AS                           continue to be combusted as product                   as presented by the American Fisheries
                                                      FUELS OR INGREDIENTS IN                                 fuel under this subparagraph only if the              Society and the American Society of
                                                      COMBUSTION UNITS                                        following conditions are met, which are               Ichthyologists and Herpetologists (AFS/
                                                                                                              intended to ensure that such railroad                 ASIH) Joint Committee on the Names of
                                                      ■ 1. The authority citation for Part 241                ties are not being discarded:                         Fishes. We are reopening the comment
                                                      continues to read as follows:                              (A) Creosote-borate and mixed                      period for 45 days to provide the public
                                                          Authority: 42 U.S.C. 6903, 6912, 7429.              creosote, borate and copper naphthenate               additional time to review and consider
                                                      ■  2. Section 241.2 is amended by adding                treated railroad ties must be burned in               our proposed rulemakings in light of
                                                      in alphabetical order the definitions                   existing (i.e., commenced construction                this new information.
                                                      ‘‘Copper naphthenate treated railroad                   prior to April 14, 2014) stoker, bubbling             DATES: The comment period end date
                                                      ties’’, ‘‘Copper naphthenate-borate                     bed, fluidized bed, or hybrid suspension              for the proposed rule that published at
                                                      treated railroad ties’’ and ‘‘Creosote-                 grate boilers; and                                    80 FR 60754 on October 7, 2015, is
                                                      borate treated railroad ties’’ to read as                  (B) Creosote-borate and mixed                      December 16, 2016. We request that
                                                      follows:                                                creosote, borate and copper naphthenate               comments be submitted by 11:59 p.m.
                                                                                                              treated railroad ties can comprise no                 Eastern Time on the closing date.
                                                      § 241.2   Definitions.                                  more than 40 percent of the fuel that is              ADDRESSES: Comment submission: You
                                                      *     *     *    *     *                                used on an annual heat input basis.                   may submit comments by one of the
                                                         Copper naphthenate treated railroad                     (9) Copper naphthenate treated                     following methods:
                                                      ties means railroad ties treated with                   railroad ties that are processed (which                  (1) Electronically: Go to the Federal
                                                      copper naphthenate made from                            must include at a minimum, metal                      eRulemaking Portal: http://
                                                      naphthenic acid and copper salt.                        removal and shredding or grinding) and                www.regulations.gov. In the Search box,
                                                         Copper naphthenate-borate treated                    then combusted in units designed to                   enter the appropriate Docket No.: FWS–
                                                      railroad ties means railroad ties treated               burn biomass or units designed to burn                R2–ES–2015–0148 for the proposed
                                                      with copper naphthenate and borate                      both biomass and fuel oil.                            threatened status for headwater chub
                                                      made from disodium octaborate                              (10) Copper naphthenate-borate                     and the roundtail chub distinct
                                                      tetrahydrate.                                           treated railroad ties that are processed              population segment. You may submit a
                                                         Creosote-borate treated railroad ties                (which must include at a minimum,                     comment by clicking on ‘‘Comment
                                                      means railroad ties treated with a wood                 metal removal and shredding or                        Now!’’
                                                      preservative containing creosols and                    grinding) and then combusted in units                    (2) By hard copy: Submit by U.S. mail
                                                      phenols and made from coal tar oil and                  designed to burn biomass or units                     or hand-delivery to: Public Comments
                                                      borate made from disodium octaborate                    designed to burn both biomass and fuel                Processing, Attn: FWS–R2–ES–2015–
                                                      tetrahydrate.                                           oil.                                                  0148; U.S. Fish and Wildlife Service
                                                      *     *     *    *     *                                *      *     *    *      *                            Headquarters, MS: BPHC, 5275 Leesburg
                                                      ■ 3. Section 241.4 is amended by adding                 [FR Doc. 2016–26381 Filed 10–31–16; 8:45 am]          Pike, Falls Church, VA 22041–3803.
                                                      paragraphs (a)(8) through (10) to read as               BILLING CODE 6560–50–P                                   We request that you send comments
                                                      follows:                                                                                                      only by the methods described above.
                                                      § 241.4 Non-waste Determinations for                                                                          We will post all comments on http://
                                                      Specific Non-Hazardous Secondary                        DEPARTMENT OF THE INTERIOR                            www.regulations.gov. This generally
                                                      Materials When Used as a Fuel.                                                                                means that we will post any personal
                                                      *       *    *    *      *                              Fish and Wildlife Service                             information you provide us (see the
                                                         (a) * * *                                                                                                  Public Comments section below for
                                                         (8) Creosote-borate treated railroad                 50 CFR Part 17                                        more information). Comments
                                                      ties, and mixtures of creosote, borate                  [Docket No. FWS–R2–ES–2015–0148;
                                                                                                                                                                    previously submitted need not be
                                                      and copper naphthenate treated railroad                 4500030113]                                           resubmitted as they are already
                                                      ties that are processed (which must                                                                           incorporated into the public record and
                                                                                                              RIN 1018–BA86                                         will be fully considered in the final
                                                      include at a minimum, metal removal
                                                      and shredding or grinding) and then                                                                           determinations.
                                                                                                              Endangered and Threatened Wildlife                       Document availability: The new
                                                      combusted in the following types of                     and Plants; Threatened Species Status
                                                      units:                                                                                                        scientific information described in this
                                                                                                              for the Headwater Chub and a Distinct                 document is available at http://
                                                         (i) Units designed to burn both                      Population Segment of the Roundtail
                                                      biomass and fuel oil as part of normal                                                                        www.regulations.gov in Docket No.
                                                                                                              Chub                                                  FWS–R2–ES–2015–0148.
                                                      operations and not solely as part of
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      start-up or shut-down operations, and                   AGENCY:   Fish and Wildlife Service,                  FOR FURTHER INFORMATION CONTACT:
                                                         (ii) Units at major source pulp and                  Interior.                                             Steve Spangle, Field Supervisor, U.S.
                                                      paper mills or power producers subject                  ACTION: Proposed rule; reopening of the               Fish and Wildlife Service, Arizona
                                                      to 40 CFR part 63, subpart DDDDD that                   comment period.                                       Ecological Services Field Office;
                                                      combust creosote-borate treated railroad                                                                      telephone 602–242–0210; facsimile
                                                      ties and mixed creosote, borate and                     SUMMARY:  We, the U.S. Fish and                       602–242–2513. Persons who use a
                                                      copper naphthenate treated railroad ties,               Wildlife Service (Service), announce the              telecommunications device for the deaf
                                                      and had been designed to burn biomass                   comment period reopening on our                       (TDD) may call the Federal Information
                                                      and fuel oil, but are modified (e.g., oil               proposed rules to add the headwater                   Relay Service (FIRS) at (800–877–8339).


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Document Created: 2016-11-01 02:36:06
Document Modified: 2016-11-01 02:36:06
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesComments must be received on or before January 3, 2017.
ContactGeorge Faison, Office of Resource Conservation and Recovery, Materials Recovery and Waste Management Division, MC 5304P, Environmental Protection Agency, 1200 Pennsylvania Ave. NW., Washington, DC 20460; telephone number: (703) 305-7652; email: [email protected]
FR Citation81 FR 75781 
RIN Number2050-AG83
CFR AssociatedEnvironmental Protection; Air Pollution Control and Waste Treatment and Disposal

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