81_FR_81935 81 FR 81712 - Approval and Disapproval and Promulgation of Air Quality Implementation Plans; Interstate Transport for Wyoming

81 FR 81712 - Approval and Disapproval and Promulgation of Air Quality Implementation Plans; Interstate Transport for Wyoming

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 81, Issue 223 (November 18, 2016)

Page Range81712-81718
FR Document2016-27672

The Environmental Protection Agency (EPA) is proposing action on the portions of six submissions from the State of Wyoming that are intended to demonstrate that the State Implementation Plan (SIP) meets certain interstate transport requirements of the Clean Air Act (Act or CAA). These submissions address the 2006 and 2012 fine particulate matter (PM<INF>2.5</INF>) National Ambient Air Quality Standards (NAAQS), 2008 ozone NAAQS, 2008 lead (Pb) NAAQS, 2010 sulfur dioxide (SO<INF>2</INF>) NAAQS and 2010 nitrogen dioxide (NO<INF>2</INF>) NAAQS. The interstate transport requirements under the CAA consist of four elements: Significant contribution to nonattainment (prong 1) and interference with maintenance (prong 2) of the NAAQS in other states; and interference with measures required to be included in the plan for other states to prevent significant deterioration of air quality (prong 3) or to protect visibility (prong 4). Specifically, the EPA is proposing to approve interstate transport prongs 1 and 2 for the 2008 Pb and 2010 NO<INF>2</INF> NAAQS, and proposing to approve prong 1 and disapprove prong 2 for the 2008 ozone NAAQS. The EPA is also proposing to approve interstate transport prong 4 for the 2008 Pb and 2010 SO<INF>2</INF> NAAQS, and proposing to disapprove prong 4 for the 2006 PM<INF>2.5</INF>, 2008 ozone, 2010 NO<INF>2</INF> and 2012 PM<INF>2.5</INF> NAAQS.

Federal Register, Volume 81 Issue 223 (Friday, November 18, 2016)
[Federal Register Volume 81, Number 223 (Friday, November 18, 2016)]
[Proposed Rules]
[Pages 81712-81718]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-27672]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 52

[EPA-R08-OAR-2016-0521; FRL-9955-31-Region 8]


Approval and Disapproval and Promulgation of Air Quality 
Implementation Plans; Interstate Transport for Wyoming

AGENCY: Environmental Protection Agency (EPA).

ACTION: Proposed rule.

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SUMMARY: The Environmental Protection Agency (EPA) is proposing action 
on the portions of six submissions from the State of Wyoming that are 
intended to demonstrate that the State Implementation Plan (SIP) meets 
certain interstate transport requirements of the Clean Air Act (Act or 
CAA). These submissions address the 2006 and 2012 fine particulate 
matter (PM2.5) National Ambient Air Quality Standards 
(NAAQS), 2008 ozone NAAQS, 2008 lead (Pb) NAAQS, 2010 sulfur dioxide 
(SO2) NAAQS and 2010 nitrogen dioxide (NO2) 
NAAQS. The interstate transport requirements under the CAA consist of 
four elements: Significant contribution to nonattainment (prong 1) and 
interference with maintenance (prong 2) of the NAAQS in other states; 
and interference with measures required to be included in the plan for 
other states to prevent significant deterioration of air quality (prong 
3) or to protect visibility (prong 4). Specifically, the EPA is 
proposing to approve interstate transport prongs 1 and 2 for the 2008 
Pb and 2010 NO2 NAAQS, and proposing to approve prong 1 and 
disapprove prong 2 for the 2008 ozone NAAQS. The EPA is also proposing 
to approve interstate transport prong 4 for the 2008 Pb and 2010 
SO2 NAAQS, and proposing to disapprove prong 4 for the 2006 
PM2.5, 2008 ozone, 2010 NO2 and 2012 
PM2.5 NAAQS.

DATES: Comments must be received on or before December 19, 2016.

ADDRESSES: Submit your comments, identified by Docket ID No. EPA-R08-
OAR-2016-0521 at http://www.regulations.gov. Follow the online 
instructions for submitting comments. Once submitted, comments cannot 
be edited or removed from www.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 http://www2.epa.gov/dockets/commenting-epa-dockets.

FOR FURTHER INFORMATION CONTACT: Adam Clark, Air Program, U.S. 
Environmental Protection Agency, Region 8, Mail Code 8P-AR, 1595 
Wynkoop Street, Denver, Colorado 80202-1129. (303) 312-7104, 
[email protected].

SUPPLEMENTARY INFORMATION: 

I. General Information

What should I consider as I prepare my comments for EPA?

    1. Submitting Confidential Business Information (CBI). Do not 
submit CBI to EPA through http://www.regulations.gov or email. Clearly 
mark the part or all of the information that you claim to be CBI. For 
CBI information on a disk or CD-ROM that you mail to the EPA, mark the 
outside of the disk or CD-ROM as CBI and then identify electronically 
within the disk or CD-ROM the specific information that is claimed as 
CBI. In addition to one complete version of the comment that includes 
information claimed as CBI, a copy of the comment that does not contain 
the information claimed as CBI must be submitted for inclusion in the 
public docket. Information so marked will not be disclosed except in 
accordance with procedures set forth in 40 CFR part 2.
    2. Tips for preparing your comments. When submitting comments, 
remember to:
     Identify the rulemaking by docket number and other 
identifying information (subject heading, Federal Register volume, 
date, and page number);
     Follow directions and organize your comments;
     Explain why you agree or disagree;
     Suggest alternatives and substitute language for your 
requested changes;
     Describe any assumptions and provide any technical 
information and/or data that you used;
     If you estimate potential costs or burdens, explain how 
you arrived at your estimate in sufficient detail to allow for it to be 
reproduced;
     Provide specific examples to illustrate your concerns, and 
suggest alternatives;
     Explain your views as clearly as possible, avoiding the 
use of profanity or personal threats; and
     Make sure to submit your comments by the comment period 
deadline identified.

II. Background

    On September 21, 2006, the EPA revised the primary 24-hour NAAQS 
for PM2.5 to 35 micrograms per cubic meter

[[Page 81713]]

([micro]g/m\3\). 71 FR 61144 (Oct. 17, 2006). On March 12, 2008, the 
EPA revised the levels of the primary and secondary 8-hour ozone 
standards to 0.075 parts per million (ppm). 73 FR 16436 (Mar. 27, 
2008). On October 15, 2008, the EPA revised the level of the primary 
and secondary Pb NAAQS to 0.15 [mu]g/m\3\. 73 FR 66964 (Nov. 12, 2008). 
On January 22, 2010, the EPA promulgated a new 1-hour primary NAAQS for 
NO2 at a level of 100 parts per billion (ppb) while 
retaining the annual standard of 53 ppb. 75 FR 6474 (Feb. 9, 2010). The 
secondary NO2 NAAQS remains unchanged at 53 ppb. On June 2, 
2010, the EPA promulgated a revised primary 1-hour SO2 
standard at 75 ppb. 75 FR 35520 (June 22, 2010). Finally, on December 
14, 2012, the EPA promulgated a revised annual PM2.5 
standard by lowering the level to 12.0 [mu]g/m\3\ and retaining the 24-
hour PM2.5 standard at a level of 35 [mu]g/m\3\. 78 FR 3086 
(Jan. 15, 2013).
    Pursuant to section 110(a)(1) of the CAA, states are required to 
submit SIPs meeting the applicable requirements of section 110(a)(2) 
within three years after promulgation of a new or revised NAAQS or 
within such shorter period as the EPA may prescribe. Section 110(a)(2) 
requires states to address structural SIP elements such as requirements 
for monitoring, basic program requirements, and legal authority that 
are designed to provide for implementation, maintenance and enforcement 
of the NAAQS. The SIP submission required by these provisions is 
referred to as the ``infrastructure'' SIP. Section 110(a) imposes the 
obligation upon states to make a SIP submission to the EPA for a new or 
revised NAAQS, but the contents of individual state submissions may 
vary depending upon the facts and circumstances.
    CAA Section 110(a)(2)(D)(i)(I) requires SIPs to include provisions 
prohibiting any source or other type of emissions activity in one state 
from emitting any air pollutant in amounts that will contribute 
significantly to nonattainment, or interfere with maintenance, of the 
NAAQS in another state. The two provisions of this section are referred 
to as prong 1 (significant contribution to nonattainment) and prong 2 
(interfere with maintenance). Section 110(a)(2)(D)(i)(II) requires SIPs 
to contain adequate provisions to prohibit emissions that will 
interfere with measures required to be included in the applicable 
implementation plan for any other state under part C to prevent 
significant deterioration of air quality (prong 3) or to protect 
visibility (prong 4).
    The Wyoming Department of Environmental Quality (Department or 
WDEQ) submitted the following: A certification of Wyoming's 
infrastructure SIP for the 2006 PM2.5 NAAQS on August 19, 
2011; a certification of Wyoming's infrastructure SIP for the 2008 Pb 
SIP on October 12, 2011; a certification of Wyoming's infrastructure 
SIP for the 2008 ozone NAAQS on February 6, 2014; a certification of 
Wyoming's infrastructure SIP for the 2010 NO2 NAAQS on 
January 24, 2014; a certification of Wyoming's infrastructure SIP for 
the 2010 SO2 NAAQS on March 6, 2015; and a certification of 
Wyoming's infrastructure SIP for the 2012 PM2.5 on June 24, 
2016.
    Each of these infrastructure certifications addressed all of the 
infrastructure elements including section 110(a)(2)(D)(i)(I), referred 
to as infrastructure element (D).\1\ In this action, we are only 
addressing element (D) prongs 1, 2 and 4 for the 2008 Pb certification, 
2008 ozone certification and 2010 NO2 certification, and 
prong 4 from the 2010 SO2 and 2006 and 2012 PM2.5 
certifications. All other infrastructure elements from these 
certifications, including element (D) prong 3 (prevent significant 
deterioration of air quality), have been or will be addressed in 
separate actions.
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    \1\ For discussion of other infrastructure elements, see EPA's 
``Guidance on Infrastructure State Implementation Plan (SIP) 
Elements under Clean Air Act Sections 110(a)(1) and (2),'' September 
13, 2013.
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III. Evaluation of Significant Contribution to Nonattainment and 
Interference With Maintenance of the NAAQS

2008 Ozone NAAQS

    In its February 6, 2014 infrastructure submittal for the 2008 ozone 
NAAQS, WDEQ addressed 110(a)(2)(D)(i)(I) prongs 1 and 2 by presenting 
ambient monitoring and wind rose data, among other information,\2\ to 
determine that emissions from Wyoming do not significantly contribute 
to nonattainment or interfere with maintenance of the 2008 ozone NAAQS 
in any other state. WDEQ focused its analysis on nearby designated 
nonattainment areas, and in particular, on a nonattainment area in and 
around Denver, Colorado.\3\ Specifically, WDEQ pointed to the attaining 
ozone data at a Cheyenne, Wyoming monitor, which is the monitor in 
Wyoming that is geographically located closest to the Denver, Colorado 
2008 ozone nonattainment area. WDEQ also provided wind rose data in 
Cheyenne, Wyoming, which showed that prevailing winds in Cheyenne came 
from the west and northwest, which WDEQ asserts indicates the transport 
of air pollutants is away from the Denver nonattainment area, which is 
located 30 miles south of the southeastern Wyoming border. WDEQ 
concludes that the combination of low ozone monitor values in Cheyenne, 
Wyoming, and prevailing winds provided evidence that emissions from 
Wyoming do not significantly influence air quality in the Denver ozone 
nonattainment area. WDEQ also noted that downwind states Kansas, 
Nebraska, North Dakota and South Dakota did not contain nonattainment 
areas to which Wyoming could significantly contribute. Accordingly, 
WDEQ concludes that emissions from Wyoming do not contribute to 
nonattainment or interfere with maintenance for the 2008 ozone NAAQS in 
any other state.
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    \2\ The State also provided census data and geographic 
information to support their assertion regarding prongs 1 and 2 in 
the February 6, 2014 submittal.
    \3\ The Denver area, including 7 full counties and 2 partial 
counties, was designated as a marginal nonattainment area in a final 
action dated May 21, 2012. See 77 FR 30110.
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    WDEQ's approach to evaluating its compliance with the CAA section 
110(a)(2)(D)(i)(I) as to the 2008 ozone NAAQS is incomplete for two 
reasons. First, transported emissions may cause an area to measure 
exceedances of the standard even if that area is not formally 
designated nonattainment by the EPA. While WDEQ considered its 
potential impact to the Denver nonattainment area based on general wind 
patterns, the State did not provide analysis showing that it did not 
contribute to ozone levels in the Denver nonattainment area on the 
particular days with measured exceedances. Moreover, while the State 
considered whether there were designated nonattainment areas in four of 
several nearby states, WDEQ did not evaluate whether it contributed to 
ozone levels elsewhere in Colorado or in other nearby states (e.g., in 
Utah) on the days with measured exceedances, whether or not those 
exceedances occurred in designated nonattainment areas. The EPA has 
routinely interpreted the obligation to prohibit emissions that 
``significantly contribute to nonattainment'' of the NAAQS in downwind 
states to be independent of formal designations because exceedances can 
happen in any area.\4\

[[Page 81714]]

Thus, WDEQ did not fully evaluate whether emissions from the State 
significantly contribute to nonattainment in other states as required 
by prong 1 of element (D).
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    \4\ See, e.g., Clean Air Interstate Rule, 70 FR 25162, 25265 
(May 12, 2005) (``As to impacts, CAA section 110(a)(2)(D) refers 
only to prevention of `nonattainment' in other States, not to 
prevention of nonattainment in designated nonattainment areas or any 
similar formulation requiring that designations for downwind 
nonattainment areas must first have occurred.''); Cross-State Air 
Pollution Rule, 76 FR 48208, 48211 (Aug. 8, 2011) (evaluating 
nonattainment and maintenance concerns based on modeled 
projections); Brief for Respondents U.S. Environmental Protection 
Agency at 23-24, EME Homer City Generation, L.P. v. EPA, Case No. 
11-1302 (D.C. Cir. Jan. 16, 2015), ECF No. 1532516 (defending the 
EPA's identification of air quality problems in CSAPR independent of 
area designations). Cf. Final Response to Petition from New Jersey 
Regarding SO2 Emissions From the Portland Generating 
Station, 76 FR 69052 (Nov. 7, 2011) (finding facility in violation 
of the prohibitions of CAA section 110(a)(2)(D)(i)(I) with respect 
to the 2010 SO2 NAAQS prior to issuance of designations 
for that standard).
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    Second, WDEQ's submission does not provide any technical analysis 
demonstrating that the SIP contains adequate provisions prohibiting 
emissions that will interfere with maintenance of the 2008 ozone NAAQS 
in any other state (prong 2). In remanding the Clean Air Interstate 
Rule (CAIR) to the EPA in North Carolina v. EPA, the D.C. Circuit 
explained that the regulating authority must give the ``interfere with 
maintenance'' clause of section 110(a)(2)(D)(i)(I) ``independent 
significance'' by evaluating the impact of upwind state emissions on 
downwind areas that, while currently in attainment, are at risk of 
future nonattainment, considering historic variability.\5\ Wyoming does 
not give the ``interfere with maintenance'' clause of section 
110(a)(2)(D)(i)(I) independent significance because its analysis did 
not evaluate the potential impact of Wyoming emissions on areas that 
are currently measuring clean data, but that may have issues 
maintaining that air quality.
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    \5\ 531 F.3d 896, 910-11 (D.C. Cir. 2008) (holding that the EPA 
must give ``independent significance'' to each prong of CAA section 
110(a)(2)(D)(i)(I)).
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    The EPA developed technical information and a related analysis to 
assist states with meeting section 110(a)(2)(D)(i)(I) requirements for 
the 2008 ozone NAAQS, and used this technical analysis to support the 
recently finalized Cross-State Air Pollution Rule Update for the 2008 
Ozone NAAQS (``CSAPR Update'').\6\ As explained below, this analysis 
supports the conclusions of WDEQ's analysis for prong 1 and contradicts 
the conclusions of WDEQ's analysis regarding prong 2.
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    \6\ 81 FR 74504 (Oct. 26, 2016).
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    In the technical analysis supporting the CSAPR Update, the EPA used 
detailed air quality analyses to determine where projected 
nonattainment or maintenance areas would be and whether emissions from 
an eastern state contribute to downwind air quality problems at those 
projected nonattainment or maintenance receptors.\7\ Specifically, the 
EPA determined whether a state's contributing emissions were at or 
above a specific threshold (i.e., one percent of the ozone NAAQS). If a 
state's contribution did not exceed the one percent threshold, the 
state was not considered ``linked'' to identified downwind 
nonattainment and maintenance receptors and was therefore not 
considered to significantly contribute to nonattainment or interfere 
with maintenance of the standard in those downwind areas. If a state's 
contribution was equal to or exceeded the one percent threshold, that 
state was considered ``linked'' to the downwind nonattainment or 
maintenance receptor(s) and the state's emissions were further 
evaluated, taking into account both air quality and cost 
considerations, to determine what, if any, emissions reductions might 
be necessary to address the state's obligation pursuant to CAA section 
110(a)(2)(D)(i)(I).
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    \7\ For purposes of the CSAPR Update, ``eastern'' states refer 
to all contiguous states east of the Rocky Mountains, specifically 
not including: Montana, Wyoming, Colorado and New Mexico.
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    As discussed in the CSAPR Update, the air quality modeling 
contained in the EPA's technical analysis (1) identified locations in 
the U.S. where the EPA anticipates nonattainment or maintenance issues 
in 2017 for the 2008 ozone NAAQS (these are identified as nonattainment 
and maintenance receptors), and (2) quantified the projected 
contributions from emissions from upwind states to downwind ozone 
concentrations at the receptors in 2017. See CSAPR Update at 81 FR 
74526. This modeling used the Comprehensive Air Quality Model with 
Extensions (CAMx version 6.11) to model the 2011 base year, and the 
2017 future base case emissions scenarios to identify projected 
nonattainment and maintenance sites with respect to the 2008 8-hour 
ozone NAAQS in 2017. The EPA used nationwide state-level ozone source 
apportionment modeling (the CAMx Ozone Source Apportionment Technology/
Anthropogenic Precursor Culpability Analysis technique) to quantify the 
contribution of 2017 base case nitrogen oxides (NOX) and 
volatile organic compounds (VOC) emissions from all sources in each 
state to the 2017 projected receptors. The air quality model runs were 
performed for a modeling domain that covers the 48 contiguous states in 
the U.S. and adjacent portions of Canada and Mexico. Id. at 81 FR 74526 
through 74527. The updated modeling data released to support the final 
CSAPR Update are the most up-to-date information the EPA has developed 
to inform our analysis of upwind state linkages to downwind air quality 
problems for the 2008 ozone NAAQS. See ``Air Quality Modeling Final 
Rule Technical Support Document for the Final CSAPR Update'' in the 
docket for this action for more details regarding the EPA's modeling 
analysis.
    Consistent with the framework established in the original CSAPR 
rulemaking, the EPA's technical analysis in support of the CSAPR Update 
applied a threshold of one percent of the 2008 ozone NAAQS of 75 ppb 
(0.75 ppb) to identify linkages between upwind states and the downwind 
nonattainment and maintenance receptors. See CSAPR Update at 81 FR 
74518 through 74519. The EPA considered eastern states whose 
contributions to a specific receptor meet or exceed the threshold 
``linked'' to that receptor and we analyzed these states further to 
determine if emissions reductions might be required from each state to 
address the downwind air quality problem. The EPA determined that one 
percent was an appropriate threshold to use in that analysis because 
there were important, even if relatively small, contributions to 
identified nonattainment and maintenance receptors from multiple upwind 
states. In response to commenters who advocated a higher or lower 
threshold than one percent, the EPA compiled the contribution modeling 
results for the CSAPR Update to analyze the impact of different 
possible thresholds for the eastern United States. The EPA's analysis 
showed that the one percent threshold captures a high percentage of the 
total pollution transport affecting downwind states. The EPA's analysis 
further showed that the application of a lower threshold would result 
in relatively modest increases in the overall percentage of ozone 
transport pollution captured, while the use of higher thresholds would 
result in a relatively large reduction in the overall percentage of 
ozone pollution transport captured relative to the levels captured at 
one percent at the majority of the receptors. Id.; See also Air Quality 
Modeling Final Rule Technical Support Document for the Final CSAPR 
Update, Appendix F, Analysis of Contribution Thresholds. This approach 
is consistent with the use of a one percent threshold to identify those 
states ``linked'' to air quality

[[Page 81715]]

problems with respect to the 1997 ozone NAAQS in the original CSAPR 
rulemaking, wherein the EPA noted that there are adverse health impacts 
associated with ambient ozone even at low levels. 76 FR 48208, 48236 
through 48237 (August 8, 2011).
    As to western states, the EPA noted in the CSAPR Update that there 
may be geographically specific factors to consider in evaluating 
interstate transport, and given the near-term 2017 implementation 
timeframe, the EPA focused the final CSAPR Update on eastern states. 
See CSAPR Update at 81 FR 74523. Consistent with our statements in the 
CSAPR Update, the EPA intends to address western states, like Wyoming, 
on a case-by-case basis.
    The EPA's air quality modeling as updated for the final CSAPR 
Update projects that for the Western U.S. (outside of California), 
there are no nonattainment receptors and only three maintenance 
receptors located in the Denver, Colorado area. Wyoming emissions are 
projected to contribute above one percent of the NAAQS at one of these 
receptors (the ``Douglas County maintenance receptor''; see Table 1, 
below). The modeling also shows that multiple upwind states would 
collectively contribute to the projected Douglas County maintenance 
receptor in Colorado. The EPA found that the contribution to ozone 
concentrations from all states upwind of the Douglas County maintenance 
receptor in Colorado is about 9.7 percent.\8\ Thus, the collective 
contribution of emissions from upwind states represents a large portion 
of the ozone concentrations at the projected Douglas County maintenance 
receptor in Colorado.
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    \8\ Please see the spreadsheet titled ``Final CSAPR Update--
Ozone Design Values & Contributions,'' in the docket for this 
action.
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    As noted, the Agency has historically found that the one percent 
threshold is appropriate for identifying interstate transport linkages 
for states collectively contributing to downwind ozone nonattainment or 
maintenance problems because that threshold captures a high percentage 
of the total pollution transport affecting downwind receptors. The EPA 
believes contribution from an individual state equal to or above one 
percent of the NAAQS could be considered significant where the 
collective contribution of emissions from one or more upwind states is 
responsible for a considerable portion of the downwind air quality 
problem regardless of where the receptor is geographically located. In 
this case, three states contributing to the Douglas County maintenance 
receptor, including Wyoming, contribute emissions greater than or equal 
to one percent of the 2008 ozone NAAQS. Given these data, the EPA is 
proposing to find that the one percent threshold is also appropriate to 
determine the linkage from Wyoming to the Douglas County maintenance 
receptor in Colorado with respect to the 2008 ozone NAAQS.
    The EPA is not necessarily determining that one percent of the 
NAAQS is always an appropriate threshold for identifying interstate 
transport linkages for all states in the West. For example, the EPA 
recently evaluated the impact of emissions from Arizona on two 
projected nonattainment receptors identified in California and 
concluded that even though Arizona's modeled contribution was greater 
than one percent of the 2008 ozone NAAQS, Arizona did not significantly 
contribute to nonattainment or interfere with maintenance at those 
receptors. See Proposed Rule, 81 FR 15202 (March 22, 2016); Final Rule, 
81 FR 31513 (May 19, 2016). The EPA evaluated the nature of the ozone 
nonattainment problem at the California receptors and determined that, 
unlike the receptors identified in the East and unlike the Douglas 
County maintenance receptor to which Wyoming contributes, only one 
state--Arizona--contributed above the one percent threshold to the 
California receptors and that the total contribution from all states 
linked to the receptors was negligible. See 81 FR at 15203. Considering 
this information, along with emissions inventories and emissions 
projections showing Arizona emissions decreasing over time, the EPA 
determined that Arizona had satisfied the requirements of section 
110(a)(2)(D)(i)(I) with respect to the 2008 ozone NAAQS. Id. 
Accordingly, where the facts and circumstances support a different 
conclusion, the EPA has not directly applied the one percent threshold 
to identify states which may significantly contribute to nonattainment 
or interfere with maintenance of the 2008 ozone NAAQS in other states.
    Likewise, the EPA is not determining that because Wyoming 
contributes above the one percent threshold, it is necessarily making a 
significant contribution that warrants further reductions in emissions. 
As noted above, the one percent threshold identifies a state as 
``linked,'' prompting further inquiry into whether the contributions 
are significant and whether there are cost-effective controls that can 
be employed. That inquiry with regard to Wyoming's SIP submittal is 
provided below.
    In summary, Table 1 shows the air quality modeling results from the 
final modeling in support of the CSAPR Update. The modeling indicates 
that Wyoming contributes emissions above the one percent threshold of 
0.75 ppb with respect to the Douglas County maintenance receptor in the 
Denver, Colorado area.

  Table 1--Maintenance Receptor With Wyoming Contribution Modeled Above
------------------------------------------------------------------------
                                                               Wyoming
                                                               modeled
         Monitor I.D.               State         County    contribution
                                                                (ppb)
------------------------------------------------------------------------
80350004.....................  Colorado......  Douglas....          1.18
------------------------------------------------------------------------

    Wyoming's largest contribution to any projected downwind 
maintenance-only site is 1.18 ppb, which is approximately 1.57% of the 
2008 ozone NAAQS of 75 ppb. Thus, the final modeling in support of the 
CSAPR Update indicates that the contributions from Wyoming are above 
the one percent threshold of 0.75 ppb with respect to the Douglas 
County maintenance receptor in the Denver, Colorado area, and the 
State's emissions require further evaluation, taking into account both 
air quality and cost considerations, to determine what, if any, 
emissions reductions might be necessary to address the State's emission 
reduction obligation pursuant to 110(a)(2)(D)(i)(I). However, WDEQ in 
its SIP submittal neither identified nor included any ozone or ozone 
precursor emission reduction measures that the EPA could evaluate to 
determine whether the state has fully addressed these transport 
impacts. Accordingly, the EPA cannot conclude that Wyoming's SIP 
contains sufficient provisions to prohibit emissions that will 
interfere with maintenance of the 2008 ozone NAAQS in the Denver, 
Colorado area.
    WDEQ's analysis regarding prong 1 is also incomplete as previously 
described, but the EPA's modeling indicates that Wyoming does not 
contribute above the one percent threshold to any nonattainment 
receptors. As discussed above, while the EPA is not necessarily 
determining that one percent of the NAAQS is always an appropriate 
threshold for identifying interstate transport linkages for all states 
in the West, this low level of contribution suggests that Wyoming does 
not contribute significantly to nonattainment of the 2008 ozone NAAQS 
in any other state. Thus, the EPA is proposing that the Wyoming SIP 
meets the 110(a)(2)(D)(i) prong 1 requirement for the 2008 ozone NAAQS.

[[Page 81716]]

    Based on WDEQ's SIP submittal and the EPA's most recent modeling, 
the EPA proposes to approve prong 1 and disapprove the prong 2 portion 
of the February 6, 2014, 2008 ozone NAAQS infrastructure submittal. The 
EPA is soliciting public comments on this proposed action and will 
consider public comments received during the comment period.

2008 Pb NAAQS

    WDEQ's analysis of potential interstate transport for the 2008 Pb 
NAAQS discussed the lack of sources with significant Pb emissions near 
the State's borders. As noted in our October 14, 2011 Infrastructure 
Guidance Memo, there is a sharp decrease in Pb concentrations, at least 
in the coarse fraction, as the distance from a Pb source increases. See 
``Guidance on Infrastructure SIP Elements Required Under Sections 
110(a)(1) and (2) for the 2008 Lead (Pb) National Ambient Air Quality 
Standards (NAAQS).'' October 14, 2011 at 8. For this reason, the EPA 
found that the requirements of subsection 110(a)(2)(D)(i)(I) (prongs 1 
and 2) could be satisfied through a state's assessment as to whether or 
not emissions from Pb sources located in close proximity to their state 
borders have emissions that impact the neighboring state such that they 
contribute significantly to nonattainment or interfere with maintenance 
in that state. Id. at 8. In that guidance document, the EPA further 
specified that any source appeared unlikely to contribute significantly 
to nonattainment unless it was located less than two miles from a state 
border and emitted at least 0.5 tons per year of Pb. WDEQ's 
110(a)(2)(D)(i)(I) analysis noted that there are no Pb sources within 
two miles of the State's borders. The EPA concurs with the Department's 
analysis and conclusion that no Wyoming sources have the combination of 
Pb emission levels and proximity to nearby nonattainment or maintenance 
areas to contribute significantly to nonattainment in or interfere with 
maintenance by other states for this NAAQS. Since Wyoming's SIP is 
therefore adequate to ensure that such impacts do not occur, the EPA is 
proposing to approve WDEQ's submittal with regard to the requirements 
of section 110(a)(2)(D)(i) prongs 1 and 2 for the 2008 Pb NAAQS.

2010 NO2 NAAQS

    Wyoming's 2010 NO2 transport analysis for elements 1 and 
2 of section 110(a)(2)(D)(i) describes how all NO2 monitors 
within the State and elsewhere in the U.S. showed no violations of the 
NO2 NAAQS. WDEQ asserted that because the entire country had 
been designated unclassifiable/attainment for the 2010 NO2 
NAAQS, Wyoming sources do not contribute significantly to nonattainment 
or interfere with maintenance of the NAAQS in other states. The 
Department's analysis is available in the docket for this action.
    The EPA does not agree with the Wyoming's reliance on area 
designations for purposes of determining whether the State has met the 
requirements of section 110(a)(2)(D)(i)(I) with respect to the 2010 
NO2 NAAQS. As noted above, the EPA has routinely interpreted 
the obligation to prohibit emissions that significantly contribute to 
nonattainment or interfere with maintenance of the NAAQS in downwind 
states to be independent of formal designations because exceedances can 
happen in any area. However, for the reasons explained below, the EPA 
concurs with the conclusion that emissions from the state do not 
significantly contribute to nonattainment or interfere with maintenance 
of the 2010 NO2 NAAQS in any other state.
    Due to the State's limited technical analysis, the EPA evaluated 
NO2 monitoring data from Wyoming and surrounding states in 
reaching its conclusion. The EPA notes that the highest monitored 
NO2 design values in each state bordering or near Wyoming 
are significantly below the NAAQS (see Table 2).\9\ The EPA has 
determined that this information supports the State's contention that 
it does not significantly contribute to nonattainment or interfere with 
maintenance of the NO2 NAAQS. As shown in Table 2, the 
maximum design values in states bordering Wyoming are well below the 
2010 NO2 NAAQS. As the states near Wyoming are not only 
attaining, but also maintaining the NAAQS, there are no areas to which 
Wyoming could significantly contribute to nonattainment or interfere 
with maintenance of the 2010 NO2 NAAQS.
---------------------------------------------------------------------------

    \9\ There is not an NO2 design value presented for 
Nebraska, as none is available in EPA's Air Trends or AirData Web 
sites.
    \10\ The design values for Montana and Utah were derived using 
EPA's AirData Web site at https://www3.epa.gov/airdata/ad_rep_mon.html. These are not official design values.

         Table 2--Highest Monitored 2010 NO2 NAAQS Design Values
------------------------------------------------------------------------
                                                2013-2015
                   State                      design value   % of  NAAQS
                                                  (ppb)       (100 ppb)
------------------------------------------------------------------------
Colorado...................................              72           72
Idaho......................................              43           43
Montana....................................         \10\ 29           29
South Dakota...............................              37           37
Utah.......................................              65           65
------------------------------------------------------------------------
* Source: https://www.epa.gov/air-trends/air-quality-design-values.

    In addition to the monitored levels of NO2 in states 
near Wyoming being well below the NAAQS, Wyoming's highest official 
design value from 2013-2015 was also significantly below this NAAQS-49 
ppb, compared to the NAAQS level of 100 ppb.\11\
---------------------------------------------------------------------------

    \11\ https://www.epa.gov/air-trends/air-quality-design-values.
---------------------------------------------------------------------------

    Based on all of these factors, EPA concurs with the State's 
conclusion that Wyoming does not contribute significantly to 
nonattainment or interfere with maintenance of the 2010 NO2 
NAAQS in other states. The EPA is therefore proposing to determine that 
Wyoming's SIP includes adequate provisions to prohibit sources or other 
emission activities within the State from emitting NO2 in 
amounts that will contribute significantly to nonattainment in or 
interfere with maintenance by any other state with respect to the 
NO2 NAAQS.

IV. Evaluation of Interference With Measures To Protect Visibility

State Submissions

    In Wyoming's 2008 ozone, 2010 SO2, 2010 NO2 
and 2012 PM2.5 NAAQS infrastructure certifications, the 
Department pointed to both its Regional Haze SIP and Wyoming Air 
Quality Standards and Regulations (WAQSR) Chapter 9, Section 2, 
``Visibility,'' to certify that the State meets the visibility 
requirements of section 110(a)(2)(D)(i)(II) (prong 4). As explained 
below, this information is relevant in determining whether Wyoming's 
SIP will achieve the emission reductions that the Western Regional Air 
Partnership (WRAP) states mutually agreed are necessary to avoid 
interstate visibility impacts in Class I areas. See ``Guidance on 
Infrastructure State Implementation Plan (SIP) Elements under Clean Air 
Act Sections 110(a)(1) and (2),'' September 13, 2013, (``2013 
Guidance'') at 34.
    WDEQ addressed visibility for the 2008 Pb NAAQS by pointing to the 
lack of significant sources of Pb in Wyoming near the State's border. 
Id. at 33. The

[[Page 81717]]

State did not point to any visibility-related state regulations in its 
2006 PM2.5, certification, but generally indicated that they 
met this requirement.

Wyoming's Regional Haze SIP

    As stated in the EPA's 2013 Guidance, ``[o]ne way in which prong 4 
may be satisfied for any relevant NAAQS is through an air agency's 
confirmation in its infrastructure SIP submission that it has an 
approved regional haze SIP that fully meets the requirements of 40 CFR 
51.308 or 51.309. 40 CFR 51.308 and 51.309 specifically require that a 
state participating in a regional planning process include all measures 
needed to achieve its apportionment of emission reduction obligations 
agreed upon through that process.'' Id. at 33.
    On January 12, 2011 and April 19, 2012, Wyoming submitted to the 
EPA SIP revisions to address the requirements of the regional haze 
program. The EPA approved Wyoming's April 19, 2012 submittal and 
partially approved Wyoming's January 12, 2011 submittal in a final 
action published December 12, 2012. 77 FR 73926. This included EPA 
approval of Wyoming's BART alternative for SO2, which relied 
on the State's participation in the backstop SO2 trading 
program under 40 CFR 51.309.\12\ In a separate action, the EPA 
partially approved and partially disapproved the remainder of Wyoming's 
January 12, 2011 SIP revision. 79 FR 5032 (Jan. 30, 2014). In that 
action, the EPA disapproved the following portions of the submittal: 
Wyoming's NOX Best Available Retrofit Technology (BART) 
determinations for five units at three facilities; the State's 
reasonable progress goals; monitoring, recordkeeping and reporting 
requirements; portions of the long term strategy, and; the provisions 
necessary to review reasonably attributable visibility improvement. Id. 
at 5038. The EPA also promulgated a final federal implementation plan 
(FIP) to address these deficiencies. Id.
---------------------------------------------------------------------------

    \12\ Wyoming's ``Western Backstop Sulfur Dioxide Trading 
Program'' can be found in Wyoming Air Quality Standards and 
Regulations (WAQSR) Chapter 14, Section 2.
---------------------------------------------------------------------------

EPA's Assessment

    The 2013 Guidance states that section 110(a)(2)(D)(i)(II)'s prong 4 
requirements can be satisfied by approved SIP provisions that the EPA 
has found to adequately address a state's contribution to visibility 
impairment in other states. The EPA interprets prong 4 to be pollutant-
specific, such that the infrastructure SIP submission need only address 
the potential for interference with protection of visibility caused by 
the pollutant (including precursors) to which the new or revised NAAQS 
applies. See 2013 Guidance at 33.
    The 2013 Guidance lays out two ways in which a state's 
infrastructure SIP submittal may satisfy prong 4. As explained above, 
one way is through a state's confirmation in its infrastructure SIP 
submittal that it has an EPA approved regional haze SIP in place. 
Alternatively, in the absence of a fully approved regional haze SIP, a 
state can make a demonstration in its infrastructure SIP submittal that 
emissions within its jurisdiction do not interfere with other states' 
plans to protect visibility. Such a submittal should point to measures 
in the state's SIP that limit visibility-impairing pollutants and 
ensure that the resulting reductions conform to any mutually agreed 
emission reductions under the relevant regional haze regional planning 
organization (RPO) process.\13\
---------------------------------------------------------------------------

    \13\ See id. at 34, and also 76 FR 22036 (April 20, 2011) 
containing EPA's approval of the visibility requirement of 
110(a)(2)(D)(i)(II) based on a demonstration by Colorado that did 
not rely on the Colorado Regional Haze SIP.
---------------------------------------------------------------------------

    WDEQ worked through its RPO, the WRAP, to develop strategies to 
address regional haze. To help states in establishing reasonable 
progress goals for improving visibility in Class I areas, the WRAP 
modeled future visibility conditions based on the mutually agreed 
emissions reductions from each state. The WRAP states then relied on 
this modeling in setting their respective reasonable progress goals. As 
a result, we consider emissions reductions from measures in Wyoming's 
SIP that conform with the level of emission reductions the State agreed 
to include in the WRAP modeling to meet the visibility requirement of 
CAA section 110(a)(2)(D)(i)(II).
    With regard to the 2010 SO2 NAAQS, the EPA proposes to 
find that the State's implementation of the Western Backstop Sulfur 
Dioxide Trading Program and the agreed upon SO2 reductions 
achieved through that program sufficient to meet the requirements of 
prong 4.\14\ Under 40 CFR 51.309, certain states, including Wyoming, 
can satisfy their SO2 BART requirements by adopting an 
alternative program consisting of SO2 emission milestones 
and a backstop trading program. See 40 CFR 51.309. Wyoming Air Quality 
Standards and Regulations (WAQSR) Chapter 14, section 2 implements the 
backstop trading program provisions and the EPA has approved the 
State's rules, including the SO2 reduction milestones, as 
satisfying its regional haze SO2 obligations. 77 FR 73926 
(Dec. 12, 2012). Wyoming's SIP thus contains measures requiring 
reductions of SO2 consistent with what the State agreed to 
achieve under the WRAP process in order to protect visibility. As a 
result, the EPA is proposing to approve 110(a)(2)(D)(i)(II) prong 4 for 
the 2010 SO2 NAAQS.
---------------------------------------------------------------------------

    \14\ Specifically, the State is required to reach its 
``emissions milestone'' for this program by keeping its 
SO2 emissions below 141,849 tons/SO2 in 2018 
and each year thereafter.
---------------------------------------------------------------------------

    The EPA is also proposing to approve Wyoming's prong 4 SIP 
submittal for the 2008 Pb NAAQS. The EPA has found that significant 
impacts from Pb emissions from stationary sources are expected to be 
limited to short distances from the source. The State noted that it 
does not have any major sources of Pb located near any bordering state. 
Further, when evaluating the extent to which Pb could impact 
visibility, the EPA has found Pb-related visibility impacts 
insignificant (e.g., less than 0.10 percent). See 2013 Guidance, at 33. 
The EPA proposes to approve prong 4 for the 2008 Pb NAAQS based on 
Wyoming's conclusion that it does not have any significant sources of 
lead emissions near another state's border and that it, therefore, does 
not have emissions of Pb that would interfere with the requirements of 
section 110(a)(2)(D)(i)(II) with respect to visibility.
    The EPA is proposing to disapprove Wyoming's prong 4 infrastructure 
SIP submittals for the 2006 PM2.5, 2008 ozone, 2010 
NO2, and 2012 PM2.5 NAAQS. The EPA's disapproval 
of Wyoming's NOX BART determination in our January 30, 2014 
final rulemaking included the specific disapproval of the NOx control 
measures the State submitted for PacifiCorp Dave Johnston Unit 3, 
PacifiCorp Wyodak Unit 1, and Basin Electric Laramie River Units 1, 2 
and 3. See 79 FR 5038.
    As noted, Wyoming referenced both its Regional Haze SIP and WAQSR 
Chapter 9, Section 2 as justification for the approvability of prong 4 
for the 2008 ozone, 2010 NO2 and 2012 PM2.5 
NAAQS. Because the Department did not provide an alternative 
demonstration that its SIP contains measures to limit NOX 
emissions in accordance with the emission reductions it agreed to under 
the WRAP,\15\ the EPA's disapproval of portions of Wyoming's NOx BART 
determination means that Wyoming's SIP does not include measures needed 
to ensure that its emissions will not

[[Page 81718]]

interfere with other states' plans to protect visibility from the 
effects of NAAQS pollutants impacted by NOx. Specifically, NOx is a 
precursor of PM2.5 and ozone, and is also a term which 
refers to both NO (nitrogen oxide) and NO2. The EPA is 
therefore proposing to disapprove prong 4 of Wyoming's infrastructure 
certifications with regard to the 2006 PM2.5, 2008 ozone, 
2010 NO2 and 2012 PM2.5 NAAQS.
---------------------------------------------------------------------------

    \15\ The Visibility section of WAQSR Chapter 9, Section 2 does 
not address NOx emissions reductions.
---------------------------------------------------------------------------

    If the EPA disapproves an infrastructure SIP submission for prong 
4, as we are proposing for the 2006 PM2.5, 2008 ozone, 2010 
NO2 and 2012 PM2.5 NAAQS, a FIP obligation will 
be created. However, as noted previously, the EPA has promulgated a FIP 
for Wyoming that corrects all regional haze SIP deficiencies. 79 FR 
5032. Therefore, there will be no additional practical consequences 
from the disapproval for WDEQ, the sources within its jurisdiction, or 
the EPA, and the EPA will not be required to take further action with 
respect to these prong 4 disapprovals, if finalized, because the FIP 
already in place would satisfy the requirements with respect to prong 
4. See 2013 Guidance at 34-35. Additionally, since the infrastructure 
SIP submission is not required in response to a SIP call under CAA 
section 110(k)(5), mandatory sanctions under CAA section 179 would not 
apply because the deficiencies are not with respect to a submission 
that is required under CAA title I part D. Id.

V. Proposed Action

    The EPA is proposing to approve CAA section 110(a)(2)(D)(i)(I) 
prongs 1, 2 and 4 for the 2008 Pb NAAQS, prong 1 for the 2008 ozone 
NAAQS, and prong 4 for the 2010 SO2 NAAQS, as shown in Table 
3, below. The EPA is also proposing to disapprove prong 4 for the 2006 
PM2.5, 2008 ozone, 2010 NO2 and 2012 
PM2.5 NAAQS, and prong 2 for the 2008 ozone NAAQS, as shown 
in Table 4. The EPA is soliciting public comments on this proposed 
action and will consider public comments received during the comment 
period.

  Table 3--List of Wyoming Interstate Transport Prongs That the EPA Is
                          Proposing To Approve
------------------------------------------------------------------------
                            Proposed approval
-------------------------------------------------------------------------
February 6, 2014 submittal--2008 Ozone NAAQS: (D)(i)(I) prong 1.
October 12, 2011 submittal--2008 Pb NAAQS: (D)(i)(I) prongs 1 and 2,
 (D)(i)(II) prong 4.
January 24, 2014 submittal--2010 NO2 NAAQS: (D)(i)(I) prongs 1 and 2.
March 6, 2015 submittal--2010 SO2 NAAQS:
(D)(i)(II) prong 4.
------------------------------------------------------------------------


  Table 4--List of Wyoming Interstate Transport Prongs That the EPA Is
                         Proposing To Disapprove
------------------------------------------------------------------------
                          Proposed disapproval
-------------------------------------------------------------------------
August 19, 2011 submittal--2006 PM2.5 NAAQS:
(D)(i)(II) prong 4.
February 6, 2014 submittal--2008 Ozone NAAQS:
(D)(i)(I) prong 2, (D)(i)(II) prong 4.
January 24, 2014 submittal--2010 NO2 NAAQS:
(D)(i)(II) prong 4.
June 24, 2016 submittal--2012 PM2.5 NAAQS:
(D)(i)(II) prong 4.
------------------------------------------------------------------------

VI. Statutory and Executive Order Reviews

    Under the CAA, the Administrator is required to approve a SIP 
submission that complies with the provisions of the Act and applicable 
federal regulations. 42 U.S.C. 7410(k); 40 CFR 52.02(a). Thus, in 
reviewing SIP submissions, the EPA's role is to approve state actions, 
provided that they meet the criteria of the Clean Air Act. Accordingly, 
this proposed action merely proposes approval of some state law as 
meeting federal requirements and proposes disapproval of other state 
law because it does not meet federal requirements; this proposed action 
does not propose additional requirements beyond those imposed by state 
law. For that reason, this proposed action:
     Is not a significant regulatory action subject to review 
by the Office of Management and Budget under Executive Orders 12866 (58 
FR 51735, October 4, 1993) and 13563 (76 FR 3821, January 21, 2011);
     Does not impose an information collection burden under the 
provisions of the Paperwork Reduction Act (44 U.S.C. 3501 et seq.);
     Is certified as not having a significant economic impact 
on a substantial number of small entities under the Regulatory 
Flexibility Act (5 U.S.C. 601 et seq.);
     Does not contain any unfunded mandate or significantly or 
uniquely affect small governments, as described in the Unfunded 
Mandates Reform Act of 1995 (Pub. L. 104-4);
     Does not have Federalism implications as specified in 
Executive Order 13132 (64 FR 43255, August 10, 1999);
     Is not an economically significant regulatory action based 
on health or safety risks subject to Executive Order 13045 (62 FR 
19885, April 23, 1997);
     Is not a significant regulatory action subject to 
Executive Order 13211 (66 FR 28355, May 22, 2001);
     Is not subject to requirements of Section 12(d) of the 
National Technology Transfer and Advancement Act of 1995 (15 U.S.C. 272 
note) because application of those requirements would be inconsistent 
with the Clean Air Act; and
     Does not provide the EPA with the discretionary authority 
to address, as appropriate, disproportionate human health or 
environmental effects, using practicable and legally permissible 
methods, under Executive Order 12898 (59 FR 7629, February 16, 1994).
    In addition, the SIP does not apply on any Indian reservation land 
or in any other area where the EPA or an Indian tribe has demonstrated 
that a tribe has jurisdiction. In those areas of Indian country, the 
proposed rule does not have tribal implications and will not impose 
substantial direct costs on tribal governments or preempt tribal law as 
specified by Executive Order 13175 (65 FR 67249, November 9, 2000).

List of Subjects in 40 CFR Part 52

    Environmental protection, Air pollution control, Carbon monoxide, 
Incorporation by Reference, Intergovernmental relations, Lead, Nitrogen 
dioxide, Ozone, Particulate matter, Reporting and recordkeeping 
requirements, Sulfur oxides, Volatile organic compounds.

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

    Dated: November 9, 2016.
Shaun L. McGrath,
Regional Administrator, Region 8.
[FR Doc. 2016-27672 Filed 11-17-16; 8:45 am]
BILLING CODE 6560-50-P



                                                    81712                 Federal Register / Vol. 81, No. 223 / Friday, November 18, 2016 / Proposed Rules

                                                    Once submitted, comments cannot be                      SUMMARY:    The Environmental Protection              http://www2.epa.gov/dockets/
                                                    edited or removed from Regulations.gov.                 Agency (EPA) is proposing action on the               commenting-epa-dockets.
                                                    The EPA may publish any comment                         portions of six submissions from the                  FOR FURTHER INFORMATION CONTACT:
                                                    received to its public docket. Do not                   State of Wyoming that are intended to                 Adam Clark, Air Program, U.S.
                                                    submit electronically any information                   demonstrate that the State                            Environmental Protection Agency,
                                                    you consider to be Confidential                         Implementation Plan (SIP) meets certain               Region 8, Mail Code 8P–AR, 1595
                                                    Business Information (CBI) or other                     interstate transport requirements of the              Wynkoop Street, Denver, Colorado
                                                    information whose disclosure is                         Clean Air Act (Act or CAA). These                     80202–1129. (303) 312–7104,
                                                    restricted by statute. Multimedia                       submissions address the 2006 and 2012                 clark.adam@epa.gov.
                                                    submissions (audio, video, etc.) must be                fine particulate matter (PM2.5) National              SUPPLEMENTARY INFORMATION:
                                                    accompanied by a written comment.                       Ambient Air Quality Standards
                                                    The written comment is considered the                   (NAAQS), 2008 ozone NAAQS, 2008                       I. General Information
                                                    official comment and should include                     lead (Pb) NAAQS, 2010 sulfur dioxide                  What should I consider as I prepare my
                                                    discussion of all points you wish to                    (SO2) NAAQS and 2010 nitrogen                         comments for EPA?
                                                    make. The EPA will generally not                        dioxide (NO2) NAAQS. The interstate
                                                    consider comments or comment                            transport requirements under the CAA                     1. Submitting Confidential Business
                                                    contents located outside of the primary                 consist of four elements: Significant                 Information (CBI). Do not submit CBI to
                                                    submission (i.e., on the Web, Cloud, or                 contribution to nonattainment (prong 1)               EPA through http://www.regulations.gov
                                                    other file sharing system). For                         and interference with maintenance                     or email. Clearly mark the part or all of
                                                    additional submission methods, the full                 (prong 2) of the NAAQS in other states;               the information that you claim to be
                                                    EPA public comment policy,                              and interference with measures required               CBI. For CBI information on a disk or
                                                    information about CBI or multimedia                     to be included in the plan for other                  CD–ROM that you mail to the EPA,
                                                    submissions, and general guidance on                    states to prevent significant                         mark the outside of the disk or CD–ROM
                                                    making effective comments, please visit                 deterioration of air quality (prong 3) or             as CBI and then identify electronically
                                                    http://www2.epa.gov/dockets/                            to protect visibility (prong 4).                      within the disk or CD–ROM the specific
                                                    commenting-epa-dockets.                                 Specifically, the EPA is proposing to                 information that is claimed as CBI. In
                                                    FOR FURTHER INFORMATION CONTACT: For                    approve interstate transport prongs 1                 addition to one complete version of the
                                                    additional information on this action,                  and 2 for the 2008 Pb and 2010 NO2                    comment that includes information
                                                    contact Jessica Montañez, Office of Air                NAAQS, and proposing to approve                       claimed as CBI, a copy of the comment
                                                    Quality Planning and Standards,                         prong 1 and disapprove prong 2 for the                that does not contain the information
                                                    Environmental Protection Agency                         2008 ozone NAAQS. The EPA is also                     claimed as CBI must be submitted for
                                                    (C504–03), Research Triangle Park,                      proposing to approve interstate                       inclusion in the public docket.
                                                    North Carolina 27711; telephone                         transport prong 4 for the 2008 Pb and                 Information so marked will not be
                                                    number (919) 541–3407; fax number                       2010 SO2 NAAQS, and proposing to                      disclosed except in accordance with
                                                    (919) 541–5509; email address:                          disapprove prong 4 for the 2006 PM2.5,                procedures set forth in 40 CFR part 2.
                                                    montanez.jessica@epa.gov.                               2008 ozone, 2010 NO2 and 2012 PM2.5                      2. Tips for preparing your comments.
                                                    SUPPLEMENTARY INFORMATION: After                        NAAQS.                                                When submitting comments, remember
                                                    considering the request to extend the                   DATES: Comments must be received on
                                                                                                                                                                  to:
                                                    public comment period, the EPA has                                                                               • Identify the rulemaking by docket
                                                                                                            or before December 19, 2016.
                                                    decided to extend the public comment                                                                          number and other identifying
                                                                                                            ADDRESSES: Submit your comments,
                                                    period by 2 weeks, until December 16,                                                                         information (subject heading, Federal
                                                                                                            identified by Docket ID No. EPA–R08–                  Register volume, date, and page
                                                    2016. This extension will ensure that                   OAR–2016–0521 at http://
                                                    the public has additional time to review                                                                      number);
                                                                                                            www.regulations.gov. Follow the online                   • Follow directions and organize your
                                                    the proposed rule and its supporting                    instructions for submitting comments.
                                                    documents.                                                                                                    comments;
                                                                                                            Once submitted, comments cannot be                       • Explain why you agree or disagree;
                                                      Dated: November 9, 2016.                              edited or removed from                                   • Suggest alternatives and substitute
                                                    Mary Henigin,                                           www.regulations.gov. The EPA may                      language for your requested changes;
                                                    Acting Director, Office of Air Quality Planning         publish any comment received to its                      • Describe any assumptions and
                                                    and Standards.                                          public docket. Do not submit                          provide any technical information and/
                                                    [FR Doc. 2016–27670 Filed 11–17–16; 8:45 am]            electronically any information you                    or data that you used;
                                                    BILLING CODE 6560–50–P                                  consider to be Confidential Business                     • If you estimate potential costs or
                                                                                                            Information (CBI) or other information                burdens, explain how you arrived at
                                                                                                            whose disclosure is restricted by statute.            your estimate in sufficient detail to
                                                    ENVIRONMENTAL PROTECTION                                Multimedia submissions (audio, video,                 allow for it to be reproduced;
                                                    AGENCY                                                  etc.) must be accompanied by a written                   • Provide specific examples to
                                                                                                            comment. The written comment is                       illustrate your concerns, and suggest
                                                    40 CFR Part 52                                          considered the official comment and                   alternatives;
                                                    [EPA–R08–OAR–2016–0521; FRL–9955–31–                    should include discussion of all points                  • Explain your views as clearly as
                                                    Region 8]                                               you wish to make. The EPA will                        possible, avoiding the use of profanity
                                                                                                            generally not consider comments or                    or personal threats; and
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    Approval and Disapproval and                            comment contents located outside of the                  • Make sure to submit your
                                                    Promulgation of Air Quality                             primary submission (i.e., on the web,                 comments by the comment period
                                                    Implementation Plans; Interstate                        cloud, or other file sharing system). For             deadline identified.
                                                    Transport for Wyoming                                   additional submission methods, the full
                                                                                                            EPA public comment policy,                            II. Background
                                                    AGENCY:  Environmental Protection
                                                    Agency (EPA).                                           information about CBI or multimedia                     On September 21, 2006, the EPA
                                                                                                            submissions, and general guidance on                  revised the primary 24-hour NAAQS for
                                                    ACTION: Proposed rule.
                                                                                                            making effective comments, please visit               PM2.5 to 35 micrograms per cubic meter


                                               VerDate Sep<11>2014   17:41 Nov 17, 2016   Jkt 241001   PO 00000   Frm 00012   Fmt 4702   Sfmt 4702   E:\FR\FM\18NOP1.SGM   18NOP1


                                                                          Federal Register / Vol. 81, No. 223 / Friday, November 18, 2016 / Proposed Rules                                                     81713

                                                    (mg/m3). 71 FR 61144 (Oct. 17, 2006). On                  The Wyoming Department of                            pointed to the attaining ozone data at a
                                                    March 12, 2008, the EPA revised the                     Environmental Quality (Department or                   Cheyenne, Wyoming monitor, which is
                                                    levels of the primary and secondary 8-                  WDEQ) submitted the following: A                       the monitor in Wyoming that is
                                                    hour ozone standards to 0.075 parts per                 certification of Wyoming’s                             geographically located closest to the
                                                    million (ppm). 73 FR 16436 (Mar. 27,                    infrastructure SIP for the 2006 PM2.5                  Denver, Colorado 2008 ozone
                                                    2008). On October 15, 2008, the EPA                     NAAQS on August 19, 2011; a                            nonattainment area. WDEQ also
                                                    revised the level of the primary and                    certification of Wyoming’s                             provided wind rose data in Cheyenne,
                                                    secondary Pb NAAQS to 0.15 mg/m3. 73                    infrastructure SIP for the 2008 Pb SIP on              Wyoming, which showed that
                                                    FR 66964 (Nov. 12, 2008). On January                    October 12, 2011; a certification of                   prevailing winds in Cheyenne came
                                                    22, 2010, the EPA promulgated a new 1-                  Wyoming’s infrastructure SIP for the                   from the west and northwest, which
                                                    hour primary NAAQS for NO2 at a level                   2008 ozone NAAQS on February 6,                        WDEQ asserts indicates the transport of
                                                    of 100 parts per billion (ppb) while                    2014; a certification of Wyoming’s                     air pollutants is away from the Denver
                                                    retaining the annual standard of 53 ppb.                infrastructure SIP for the 2010 NO2                    nonattainment area, which is located 30
                                                    75 FR 6474 (Feb. 9, 2010). The                          NAAQS on January 24, 2014; a                           miles south of the southeastern
                                                    secondary NO2 NAAQS remains                             certification of Wyoming’s                             Wyoming border. WDEQ concludes that
                                                    unchanged at 53 ppb. On June 2, 2010,                   infrastructure SIP for the 2010 SO2                    the combination of low ozone monitor
                                                    the EPA promulgated a revised primary                   NAAQS on March 6, 2015; and a                          values in Cheyenne, Wyoming, and
                                                    1-hour SO2 standard at 75 ppb. 75 FR                    certification of Wyoming’s                             prevailing winds provided evidence that
                                                    35520 (June 22, 2010). Finally, on                      infrastructure SIP for the 2012 PM2.5 on               emissions from Wyoming do not
                                                    December 14, 2012, the EPA                              June 24, 2016.                                         significantly influence air quality in the
                                                    promulgated a revised annual PM2.5                        Each of these infrastructure                         Denver ozone nonattainment area.
                                                    standard by lowering the level to 12.0                  certifications addressed all of the                    WDEQ also noted that downwind states
                                                    mg/m3 and retaining the 24-hour PM2.5                   infrastructure elements including                      Kansas, Nebraska, North Dakota and
                                                    standard at a level of 35 mg/m3. 78 FR                  section 110(a)(2)(D)(i)(I), referred to as             South Dakota did not contain
                                                    3086 (Jan. 15, 2013).                                   infrastructure element (D).1 In this                   nonattainment areas to which Wyoming
                                                       Pursuant to section 110(a)(1) of the                 action, we are only addressing element                 could significantly contribute.
                                                    CAA, states are required to submit SIPs                 (D) prongs 1, 2 and 4 for the 2008 Pb                  Accordingly, WDEQ concludes that
                                                    meeting the applicable requirements of                  certification, 2008 ozone certification                emissions from Wyoming do not
                                                    section 110(a)(2) within three years after              and 2010 NO2 certification, and prong 4                contribute to nonattainment or interfere
                                                                                                            from the 2010 SO2 and 2006 and 2012                    with maintenance for the 2008 ozone
                                                    promulgation of a new or revised
                                                                                                            PM2.5 certifications. All other                        NAAQS in any other state.
                                                    NAAQS or within such shorter period
                                                                                                            infrastructure elements from these                        WDEQ’s approach to evaluating its
                                                    as the EPA may prescribe. Section
                                                                                                            certifications, including element (D)                  compliance with the CAA section
                                                    110(a)(2) requires states to address
                                                                                                            prong 3 (prevent significant                           110(a)(2)(D)(i)(I) as to the 2008 ozone
                                                    structural SIP elements such as
                                                                                                            deterioration of air quality), have been               NAAQS is incomplete for two reasons.
                                                    requirements for monitoring, basic
                                                                                                            or will be addressed in separate actions.              First, transported emissions may cause
                                                    program requirements, and legal
                                                                                                                                                                   an area to measure exceedances of the
                                                    authority that are designed to provide                  III. Evaluation of Significant
                                                                                                                                                                   standard even if that area is not formally
                                                    for implementation, maintenance and                     Contribution to Nonattainment and
                                                                                                                                                                   designated nonattainment by the EPA.
                                                    enforcement of the NAAQS. The SIP                       Interference With Maintenance of the
                                                                                                                                                                   While WDEQ considered its potential
                                                    submission required by these provisions                 NAAQS
                                                                                                                                                                   impact to the Denver nonattainment
                                                    is referred to as the ‘‘infrastructure’’ SIP.           2008 Ozone NAAQS                                       area based on general wind patterns, the
                                                    Section 110(a) imposes the obligation                                                                          State did not provide analysis showing
                                                    upon states to make a SIP submission to                   In its February 6, 2014 infrastructure
                                                                                                            submittal for the 2008 ozone NAAQS,                    that it did not contribute to ozone levels
                                                    the EPA for a new or revised NAAQS,                                                                            in the Denver nonattainment area on the
                                                    but the contents of individual state                    WDEQ addressed 110(a)(2)(D)(i)(I)
                                                                                                            prongs 1 and 2 by presenting ambient                   particular days with measured
                                                    submissions may vary depending upon                                                                            exceedances. Moreover, while the State
                                                    the facts and circumstances.                            monitoring and wind rose data, among
                                                                                                            other information,2 to determine that                  considered whether there were
                                                       CAA Section 110(a)(2)(D)(i)(I) requires                                                                     designated nonattainment areas in four
                                                    SIPs to include provisions prohibiting                  emissions from Wyoming do not
                                                                                                            significantly contribute to                            of several nearby states, WDEQ did not
                                                    any source or other type of emissions                                                                          evaluate whether it contributed to ozone
                                                    activity in one state from emitting any                 nonattainment or interfere with
                                                                                                            maintenance of the 2008 ozone NAAQS                    levels elsewhere in Colorado or in other
                                                    air pollutant in amounts that will                                                                             nearby states (e.g., in Utah) on the days
                                                                                                            in any other state. WDEQ focused its
                                                    contribute significantly to                                                                                    with measured exceedances, whether or
                                                                                                            analysis on nearby designated
                                                    nonattainment, or interfere with                                                                               not those exceedances occurred in
                                                                                                            nonattainment areas, and in particular,
                                                    maintenance, of the NAAQS in another                                                                           designated nonattainment areas. The
                                                                                                            on a nonattainment area in and around
                                                    state. The two provisions of this section                                                                      EPA has routinely interpreted the
                                                                                                            Denver, Colorado.3 Specifically, WDEQ
                                                    are referred to as prong 1 (significant                                                                        obligation to prohibit emissions that
                                                    contribution to nonattainment) and                        1 For discussion of other infrastructure elements,   ‘‘significantly contribute to
                                                    prong 2 (interfere with maintenance).                   see EPA’s ‘‘Guidance on Infrastructure State           nonattainment’’ of the NAAQS in
                                                    Section 110(a)(2)(D)(i)(II) requires SIPs               Implementation Plan (SIP) Elements under Clean         downwind states to be independent of
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                                                    to contain adequate provisions to                       Air Act Sections 110(a)(1) and (2),’’ September 13,
                                                                                                            2013.
                                                                                                                                                                   formal designations because
                                                    prohibit emissions that will interfere                    2 The State also provided census data and            exceedances can happen in any area.4
                                                    with measures required to be included                   geographic information to support their assertion
                                                    in the applicable implementation plan                   regarding prongs 1 and 2 in the February 6, 2014         4 See, e.g., Clean Air Interstate Rule, 70 FR 25162,

                                                    for any other state under part C to                     submittal.                                             25265 (May 12, 2005) (‘‘As to impacts, CAA section
                                                                                                              3 The Denver area, including 7 full counties and     110(a)(2)(D) refers only to prevention of
                                                    prevent significant deterioration of air                2 partial counties, was designated as a marginal       ‘nonattainment’ in other States, not to prevention of
                                                    quality (prong 3) or to protect visibility              nonattainment area in a final action dated May 21,     nonattainment in designated nonattainment areas or
                                                    (prong 4).                                              2012. See 77 FR 30110.                                                                             Continued




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                                                    81714                 Federal Register / Vol. 81, No. 223 / Friday, November 18, 2016 / Proposed Rules

                                                    Thus, WDEQ did not fully evaluate                       would be and whether emissions from                       adjacent portions of Canada and
                                                    whether emissions from the State                        an eastern state contribute to downwind                   Mexico. Id. at 81 FR 74526 through
                                                    significantly contribute to                             air quality problems at those projected                   74527. The updated modeling data
                                                    nonattainment in other states as                        nonattainment or maintenance                              released to support the final CSAPR
                                                    required by prong 1 of element (D).                     receptors.7 Specifically, the EPA                         Update are the most up-to-date
                                                       Second, WDEQ’s submission does not                   determined whether a state’s                              information the EPA has developed to
                                                    provide any technical analysis                          contributing emissions were at or above                   inform our analysis of upwind state
                                                    demonstrating that the SIP contains                     a specific threshold (i.e., one percent of                linkages to downwind air quality
                                                    adequate provisions prohibiting                         the ozone NAAQS). If a state’s                            problems for the 2008 ozone NAAQS.
                                                    emissions that will interfere with                      contribution did not exceed the one                       See ‘‘Air Quality Modeling Final Rule
                                                    maintenance of the 2008 ozone NAAQS                     percent threshold, the state was not                      Technical Support Document for the
                                                    in any other state (prong 2). In                        considered ‘‘linked’’ to identified                       Final CSAPR Update’’ in the docket for
                                                    remanding the Clean Air Interstate Rule                 downwind nonattainment and                                this action for more details regarding the
                                                    (CAIR) to the EPA in North Carolina v.                  maintenance receptors and was                             EPA’s modeling analysis.
                                                    EPA, the D.C. Circuit explained that the                therefore not considered to significantly                    Consistent with the framework
                                                    regulating authority must give the                      contribute to nonattainment or interfere                  established in the original CSAPR
                                                    ‘‘interfere with maintenance’’ clause of                with maintenance of the standard in                       rulemaking, the EPA’s technical
                                                    section 110(a)(2)(D)(i)(I) ‘‘independent                those downwind areas. If a state’s                        analysis in support of the CSAPR
                                                    significance’’ by evaluating the impact                 contribution was equal to or exceeded                     Update applied a threshold of one
                                                    of upwind state emissions on                            the one percent threshold, that state was                 percent of the 2008 ozone NAAQS of 75
                                                    downwind areas that, while currently in                 considered ‘‘linked’’ to the downwind                     ppb (0.75 ppb) to identify linkages
                                                    attainment, are at risk of future                       nonattainment or maintenance                              between upwind states and the
                                                    nonattainment, considering historic                     receptor(s) and the state’s emissions                     downwind nonattainment and
                                                    variability.5 Wyoming does not give the                 were further evaluated, taking into                       maintenance receptors. See CSAPR
                                                    ‘‘interfere with maintenance’’ clause of                account both air quality and cost                         Update at 81 FR 74518 through 74519.
                                                    section 110(a)(2)(D)(i)(I) independent                  considerations, to determine what, if                     The EPA considered eastern states
                                                    significance because its analysis did not               any, emissions reductions might be                        whose contributions to a specific
                                                    evaluate the potential impact of                        necessary to address the state’s                          receptor meet or exceed the threshold
                                                    Wyoming emissions on areas that are                     obligation pursuant to CAA section
                                                    currently measuring clean data, but that                                                                          ‘‘linked’’ to that receptor and we
                                                                                                            110(a)(2)(D)(i)(I).                                       analyzed these states further to
                                                    may have issues maintaining that air                       As discussed in the CSAPR Update,
                                                    quality.                                                                                                          determine if emissions reductions might
                                                                                                            the air quality modeling contained in                     be required from each state to address
                                                       The EPA developed technical                          the EPA’s technical analysis (1)
                                                    information and a related analysis to                                                                             the downwind air quality problem. The
                                                                                                            identified locations in the U.S. where                    EPA determined that one percent was
                                                    assist states with meeting section                      the EPA anticipates nonattainment or
                                                    110(a)(2)(D)(i)(I) requirements for the                                                                           an appropriate threshold to use in that
                                                                                                            maintenance issues in 2017 for the 2008                   analysis because there were important,
                                                    2008 ozone NAAQS, and used this                         ozone NAAQS (these are identified as
                                                    technical analysis to support the                                                                                 even if relatively small, contributions to
                                                                                                            nonattainment and maintenance                             identified nonattainment and
                                                    recently finalized Cross-State Air                      receptors), and (2) quantified the
                                                    Pollution Rule Update for the 2008                                                                                maintenance receptors from multiple
                                                                                                            projected contributions from emissions                    upwind states. In response to
                                                    Ozone NAAQS (‘‘CSAPR Update’’).6 As                     from upwind states to downwind ozone
                                                    explained below, this analysis supports                                                                           commenters who advocated a higher or
                                                                                                            concentrations at the receptors in 2017.                  lower threshold than one percent, the
                                                    the conclusions of WDEQ’s analysis for                  See CSAPR Update at 81 FR 74526. This
                                                    prong 1 and contradicts the conclusions                                                                           EPA compiled the contribution
                                                                                                            modeling used the Comprehensive Air                       modeling results for the CSAPR Update
                                                    of WDEQ’s analysis regarding prong 2.                   Quality Model with Extensions (CAMx
                                                       In the technical analysis supporting                                                                           to analyze the impact of different
                                                                                                            version 6.11) to model the 2011 base                      possible thresholds for the eastern
                                                    the CSAPR Update, the EPA used
                                                                                                            year, and the 2017 future base case                       United States. The EPA’s analysis
                                                    detailed air quality analyses to
                                                                                                            emissions scenarios to identify                           showed that the one percent threshold
                                                    determine where projected
                                                                                                            projected nonattainment and                               captures a high percentage of the total
                                                    nonattainment or maintenance areas
                                                                                                            maintenance sites with respect to the                     pollution transport affecting downwind
                                                    any similar formulation requiring that designations
                                                                                                            2008 8-hour ozone NAAQS in 2017. The                      states. The EPA’s analysis further
                                                    for downwind nonattainment areas must first have        EPA used nationwide state-level ozone                     showed that the application of a lower
                                                    occurred.’’); Cross-State Air Pollution Rule, 76 FR     source apportionment modeling (the                        threshold would result in relatively
                                                    48208, 48211 (Aug. 8, 2011) (evaluating                 CAMx Ozone Source Apportionment
                                                    nonattainment and maintenance concerns based on                                                                   modest increases in the overall
                                                    modeled projections); Brief for Respondents U.S.        Technology/Anthropogenic Precursor                        percentage of ozone transport pollution
                                                    Environmental Protection Agency at 23–24, EME           Culpability Analysis technique) to                        captured, while the use of higher
                                                    Homer City Generation, L.P. v. EPA, Case No. 11–        quantify the contribution of 2017 base                    thresholds would result in a relatively
                                                    1302 (D.C. Cir. Jan. 16, 2015), ECF No. 1532516         case nitrogen oxides (NOX) and volatile
                                                    (defending the EPA’s identification of air quality                                                                large reduction in the overall percentage
                                                    problems in CSAPR independent of area                   organic compounds (VOC) emissions                         of ozone pollution transport captured
                                                    designations). Cf. Final Response to Petition from      from all sources in each state to the                     relative to the levels captured at one
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                                                    New Jersey Regarding SO2 Emissions From the             2017 projected receptors. The air quality                 percent at the majority of the receptors.
                                                    Portland Generating Station, 76 FR 69052 (Nov. 7,       model runs were performed for a
                                                    2011) (finding facility in violation of the                                                                       Id.; See also Air Quality Modeling Final
                                                    prohibitions of CAA section 110(a)(2)(D)(i)(I) with     modeling domain that covers the 48                        Rule Technical Support Document for
                                                    respect to the 2010 SO2 NAAQS prior to issuance         contiguous states in the U.S. and                         the Final CSAPR Update, Appendix F,
                                                    of designations for that standard).
                                                      5 531 F.3d 896, 910–11 (D.C. Cir. 2008) (holding        7 For purposes of the CSAPR Update, ‘‘eastern’’
                                                                                                                                                                      Analysis of Contribution Thresholds.
                                                    that the EPA must give ‘‘independent significance’’     states refer to all contiguous states east of the Rocky
                                                                                                                                                                      This approach is consistent with the use
                                                    to each prong of CAA section 110(a)(2)(D)(i)(I)).       Mountains, specifically not including: Montana,           of a one percent threshold to identify
                                                      6 81 FR 74504 (Oct. 26, 2016).                        Wyoming, Colorado and New Mexico.                         those states ‘‘linked’’ to air quality


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                                                                          Federal Register / Vol. 81, No. 223 / Friday, November 18, 2016 / Proposed Rules                                                    81715

                                                    problems with respect to the 1997 ozone                 Wyoming, contribute emissions greater                   In summary, Table 1 shows the air
                                                    NAAQS in the original CSAPR                             than or equal to one percent of the 2008              quality modeling results from the final
                                                    rulemaking, wherein the EPA noted that                  ozone NAAQS. Given these data, the                    modeling in support of the CSAPR
                                                    there are adverse health impacts                        EPA is proposing to find that the one                 Update. The modeling indicates that
                                                    associated with ambient ozone even at                   percent threshold is also appropriate to              Wyoming contributes emissions above
                                                    low levels. 76 FR 48208, 48236 through                  determine the linkage from Wyoming to                 the one percent threshold of 0.75 ppb
                                                    48237 (August 8, 2011).                                 the Douglas County maintenance                        with respect to the Douglas County
                                                       As to western states, the EPA noted in               receptor in Colorado with respect to the              maintenance receptor in the Denver,
                                                    the CSAPR Update that there may be                      2008 ozone NAAQS.                                     Colorado area.
                                                    geographically specific factors to                         The EPA is not necessarily
                                                    consider in evaluating interstate                       determining that one percent of the                      TABLE 1—MAINTENANCE RECEPTOR
                                                    transport, and given the near-term 2017                 NAAQS is always an appropriate                           WITH   WYOMING   CONTRIBUTION
                                                    implementation timeframe, the EPA                       threshold for identifying interstate                     MODELED ABOVE
                                                    focused the final CSAPR Update on                       transport linkages for all states in the
                                                    eastern states. See CSAPR Update at 81                  West. For example, the EPA recently                                                              Wyoming
                                                    FR 74523. Consistent with our                                                                                  Monitor                                   modeled
                                                                                                            evaluated the impact of emissions from                                  State       County
                                                                                                                                                                    I.D.                                    contribution
                                                    statements in the CSAPR Update, the                     Arizona on two projected nonattainment                                                             (ppb)
                                                    EPA intends to address western states,                  receptors identified in California and                80350004    Colorado .....   Douglas ..           1.18
                                                    like Wyoming, on a case-by-case basis.                  concluded that even though Arizona’s
                                                       The EPA’s air quality modeling as                    modeled contribution was greater than                    Wyoming’s largest contribution to any
                                                    updated for the final CSAPR Update                      one percent of the 2008 ozone NAAQS,                  projected downwind maintenance-only
                                                    projects that for the Western U.S.                      Arizona did not significantly contribute              site is 1.18 ppb, which is approximately
                                                    (outside of California), there are no                   to nonattainment or interfere with                    1.57% of the 2008 ozone NAAQS of 75
                                                    nonattainment receptors and only three                  maintenance at those receptors. See                   ppb. Thus, the final modeling in
                                                    maintenance receptors located in the                    Proposed Rule, 81 FR 15202 (March 22,                 support of the CSAPR Update indicates
                                                    Denver, Colorado area. Wyoming                          2016); Final Rule, 81 FR 31513 (May 19,               that the contributions from Wyoming
                                                    emissions are projected to contribute                   2016). The EPA evaluated the nature of                are above the one percent threshold of
                                                    above one percent of the NAAQS at one                   the ozone nonattainment problem at the                0.75 ppb with respect to the Douglas
                                                    of these receptors (the ‘‘Douglas County                California receptors and determined                   County maintenance receptor in the
                                                    maintenance receptor’’; see Table 1,                    that, unlike the receptors identified in              Denver, Colorado area, and the State’s
                                                    below). The modeling also shows that                    the East and unlike the Douglas County                emissions require further evaluation,
                                                    multiple upwind states would                            maintenance receptor to which                         taking into account both air quality and
                                                    collectively contribute to the projected                Wyoming contributes, only one state—                  cost considerations, to determine what,
                                                    Douglas County maintenance receptor                     Arizona—contributed above the one                     if any, emissions reductions might be
                                                    in Colorado. The EPA found that the                     percent threshold to the California                   necessary to address the State’s
                                                    contribution to ozone concentrations                    receptors and that the total contribution             emission reduction obligation pursuant
                                                    from all states upwind of the Douglas                   from all states linked to the receptors               to 110(a)(2)(D)(i)(I). However, WDEQ in
                                                    County maintenance receptor in                          was negligible. See 81 FR at 15203.                   its SIP submittal neither identified nor
                                                    Colorado is about 9.7 percent.8 Thus,                   Considering this information, along                   included any ozone or ozone precursor
                                                    the collective contribution of emissions                with emissions inventories and                        emission reduction measures that the
                                                    from upwind states represents a large                   emissions projections showing Arizona                 EPA could evaluate to determine
                                                    portion of the ozone concentrations at                  emissions decreasing over time, the EPA               whether the state has fully addressed
                                                    the projected Douglas County                            determined that Arizona had satisfied                 these transport impacts. Accordingly,
                                                    maintenance receptor in Colorado.                       the requirements of section
                                                       As noted, the Agency has historically                                                                      the EPA cannot conclude that
                                                                                                            110(a)(2)(D)(i)(I) with respect to the                Wyoming’s SIP contains sufficient
                                                    found that the one percent threshold is                 2008 ozone NAAQS. Id. Accordingly,
                                                    appropriate for identifying interstate                                                                        provisions to prohibit emissions that
                                                                                                            where the facts and circumstances                     will interfere with maintenance of the
                                                    transport linkages for states collectively              support a different conclusion, the EPA
                                                    contributing to downwind ozone                                                                                2008 ozone NAAQS in the Denver,
                                                                                                            has not directly applied the one percent              Colorado area.
                                                    nonattainment or maintenance problems                   threshold to identify states which may                   WDEQ’s analysis regarding prong 1 is
                                                    because that threshold captures a high                  significantly contribute to                           also incomplete as previously described,
                                                    percentage of the total pollution                       nonattainment or interfere with                       but the EPA’s modeling indicates that
                                                    transport affecting downwind receptors.                 maintenance of the 2008 ozone NAAQS                   Wyoming does not contribute above the
                                                    The EPA believes contribution from an                   in other states.                                      one percent threshold to any
                                                    individual state equal to or above one
                                                                                                               Likewise, the EPA is not determining               nonattainment receptors. As discussed
                                                    percent of the NAAQS could be
                                                                                                            that because Wyoming contributes                      above, while the EPA is not necessarily
                                                    considered significant where the
                                                                                                            above the one percent threshold, it is                determining that one percent of the
                                                    collective contribution of emissions
                                                                                                            necessarily making a significant                      NAAQS is always an appropriate
                                                    from one or more upwind states is
                                                                                                            contribution that warrants further                    threshold for identifying interstate
                                                    responsible for a considerable portion of
                                                                                                            reductions in emissions. As noted                     transport linkages for all states in the
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                                                    the downwind air quality problem
                                                                                                            above, the one percent threshold                      West, this low level of contribution
                                                    regardless of where the receptor is
                                                                                                            identifies a state as ‘‘linked,’’ prompting           suggests that Wyoming does not
                                                    geographically located. In this case,
                                                                                                            further inquiry into whether the                      contribute significantly to
                                                    three states contributing to the Douglas
                                                                                                            contributions are significant and                     nonattainment of the 2008 ozone
                                                    County maintenance receptor, including
                                                                                                            whether there are cost-effective controls             NAAQS in any other state. Thus, the
                                                      8 Please see the spreadsheet titled ‘‘Final CSAPR     that can be employed. That inquiry with               EPA is proposing that the Wyoming SIP
                                                    Update—Ozone Design Values & Contributions,’’ in        regard to Wyoming’s SIP submittal is                  meets the 110(a)(2)(D)(i) prong 1
                                                    the docket for this action.                             provided below.                                       requirement for the 2008 ozone NAAQS.


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                                                    81716                 Federal Register / Vol. 81, No. 223 / Friday, November 18, 2016 / Proposed Rules

                                                      Based on WDEQ’s SIP submittal and                     NO2 NAAQS. WDEQ asserted that                                TABLE 2—HIGHEST MONITORED 2010
                                                    the EPA’s most recent modeling, the                     because the entire country had been                           NO2 NAAQS DESIGN VALUES—
                                                    EPA proposes to approve prong 1 and                     designated unclassifiable/attainment for                      Continued
                                                    disapprove the prong 2 portion of the                   the 2010 NO2 NAAQS, Wyoming
                                                    February 6, 2014, 2008 ozone NAAQS                      sources do not contribute significantly                                                      2013–2015        % of
                                                    infrastructure submittal. The EPA is                    to nonattainment or interfere with                                    State                 design value     NAAQS
                                                                                                                                                                                                           (ppb)        (100 ppb)
                                                    soliciting public comments on this                      maintenance of the NAAQS in other
                                                    proposed action and will consider                       states. The Department’s analysis is                       Idaho .......................              43            43
                                                                                                                                                                       Montana ..................               10 29           29
                                                    public comments received during the                     available in the docket for this action.
                                                                                                              The EPA does not agree with the                          South Dakota ..........                    37            37
                                                    comment period.                                                                                                    Utah .........................             65            65
                                                                                                            Wyoming’s reliance on area
                                                    2008 Pb NAAQS                                           designations for purposes of                                 *Source: https://www.epa.gov/air-trends/air-quality-
                                                                                                                                                                       design-values.
                                                       WDEQ’s analysis of potential                         determining whether the State has met
                                                    interstate transport for the 2008 Pb                    the requirements of section                                  In addition to the monitored levels of
                                                    NAAQS discussed the lack of sources                     110(a)(2)(D)(i)(I) with respect to the                     NO2 in states near Wyoming being well
                                                    with significant Pb emissions near the                  2010 NO2 NAAQS. As noted above, the                        below the NAAQS, Wyoming’s highest
                                                    State’s borders. As noted in our October                EPA has routinely interpreted the                          official design value from 2013–2015
                                                    14, 2011 Infrastructure Guidance Memo,                  obligation to prohibit emissions that                      was also significantly below this
                                                    there is a sharp decrease in Pb                         significantly contribute to                                NAAQS¥49 ppb, compared to the
                                                    concentrations, at least in the coarse                  nonattainment or interfere with                            NAAQS level of 100 ppb.11
                                                    fraction, as the distance from a Pb                     maintenance of the NAAQS in                                  Based on all of these factors, EPA
                                                    source increases. See ‘‘Guidance on                     downwind states to be independent of                       concurs with the State’s conclusion that
                                                    Infrastructure SIP Elements Required                    formal designations because                                Wyoming does not contribute
                                                    Under Sections 110(a)(1) and (2) for the                exceedances can happen in any area.                        significantly to nonattainment or
                                                    2008 Lead (Pb) National Ambient Air                     However, for the reasons explained                         interfere with maintenance of the 2010
                                                    Quality Standards (NAAQS).’’ October                    below, the EPA concurs with the                            NO2 NAAQS in other states. The EPA is
                                                    14, 2011 at 8. For this reason, the EPA                 conclusion that emissions from the state                   therefore proposing to determine that
                                                    found that the requirements of                          do not significantly contribute to                         Wyoming’s SIP includes adequate
                                                    subsection 110(a)(2)(D)(i)(I) (prongs 1                 nonattainment or interfere with                            provisions to prohibit sources or other
                                                    and 2) could be satisfied through a                     maintenance of the 2010 NO2 NAAQS                          emission activities within the State from
                                                    state’s assessment as to whether or not                 in any other state.                                        emitting NO2 in amounts that will
                                                    emissions from Pb sources located in                      Due to the State’s limited technical                     contribute significantly to
                                                    close proximity to their state borders                  analysis, the EPA evaluated NO2                            nonattainment in or interfere with
                                                    have emissions that impact the                          monitoring data from Wyoming and                           maintenance by any other state with
                                                    neighboring state such that they                        surrounding states in reaching its                         respect to the NO2 NAAQS.
                                                    contribute significantly to                             conclusion. The EPA notes that the
                                                    nonattainment or interfere with                         highest monitored NO2 design values in                     IV. Evaluation of Interference With
                                                    maintenance in that state. Id. at 8. In                 each state bordering or near Wyoming                       Measures To Protect Visibility
                                                    that guidance document, the EPA                         are significantly below the NAAQS (see                     State Submissions
                                                    further specified that any source                       Table 2).9 The EPA has determined that
                                                    appeared unlikely to contribute                                                                                       In Wyoming’s 2008 ozone, 2010 SO2,
                                                                                                            this information supports the State’s
                                                    significantly to nonattainment unless it                                                                           2010 NO2 and 2012 PM2.5 NAAQS
                                                                                                            contention that it does not significantly
                                                    was located less than two miles from a                                                                             infrastructure certifications, the
                                                                                                            contribute to nonattainment or interfere
                                                    state border and emitted at least 0.5 tons                                                                         Department pointed to both its Regional
                                                                                                            with maintenance of the NO2 NAAQS.
                                                    per year of Pb. WDEQ’s 110(a)(2)(D)(i)(I)                                                                          Haze SIP and Wyoming Air Quality
                                                                                                            As shown in Table 2, the maximum
                                                    analysis noted that there are no Pb                                                                                Standards and Regulations (WAQSR)
                                                                                                            design values in states bordering
                                                    sources within two miles of the State’s                                                                            Chapter 9, Section 2, ‘‘Visibility,’’ to
                                                                                                            Wyoming are well below the 2010 NO2
                                                    borders. The EPA concurs with the                                                                                  certify that the State meets the visibility
                                                                                                            NAAQS. As the states near Wyoming
                                                    Department’s analysis and conclusion                                                                               requirements of section
                                                                                                            are not only attaining, but also
                                                    that no Wyoming sources have the                                                                                   110(a)(2)(D)(i)(II) (prong 4). As
                                                                                                            maintaining the NAAQS, there are no
                                                    combination of Pb emission levels and                                                                              explained below, this information is
                                                                                                            areas to which Wyoming could
                                                    proximity to nearby nonattainment or                                                                               relevant in determining whether
                                                                                                            significantly contribute to
                                                    maintenance areas to contribute                                                                                    Wyoming’s SIP will achieve the
                                                                                                            nonattainment or interfere with
                                                    significantly to nonattainment in or                                                                               emission reductions that the Western
                                                                                                            maintenance of the 2010 NO2 NAAQS.
                                                    interfere with maintenance by other                                                                                Regional Air Partnership (WRAP) states
                                                    states for this NAAQS. Since Wyoming’s                   TABLE 2—HIGHEST MONITORED 2010                            mutually agreed are necessary to avoid
                                                    SIP is therefore adequate to ensure that                                                                           interstate visibility impacts in Class I
                                                                                                                NO2 NAAQS DESIGN VALUES                                areas. See ‘‘Guidance on Infrastructure
                                                    such impacts do not occur, the EPA is
                                                    proposing to approve WDEQ’s submittal                                                  2013–2015        % of       State Implementation Plan (SIP)
                                                    with regard to the requirements of                                State               design value     NAAQS       Elements under Clean Air Act Sections
                                                                                                                                             (ppb)        (100 ppb)
                                                    section 110(a)(2)(D)(i) prongs 1 and 2 for                                                                         110(a)(1) and (2),’’ September 13, 2013,
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                                                    the 2008 Pb NAAQS.                                      Colorado ..................             72            72   (‘‘2013 Guidance’’) at 34.
                                                                                                                                                                          WDEQ addressed visibility for the
                                                    2010 NO2 NAAQS                                            9 There is not an NO design value presented for          2008 Pb NAAQS by pointing to the lack
                                                                                                                                    2
                                                      Wyoming’s 2010 NO2 transport                          Nebraska, as none is available in EPA’s Air Trends         of significant sources of Pb in Wyoming
                                                    analysis for elements 1 and 2 of section                or AirData Web sites.
                                                                                                              10 The design values for Montana and Utah were
                                                                                                                                                                       near the State’s border. Id. at 33. The
                                                    110(a)(2)(D)(i) describes how all NO2                   derived using EPA’s AirData Web site at https://
                                                    monitors within the State and elsewhere                 www3.epa.gov/airdata/ad_rep_mon.html. These are              11 https://www.epa.gov/air-trends/air-quality-

                                                    in the U.S. showed no violations of the                 not official design values.                                design-values.



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                                                                          Federal Register / Vol. 81, No. 223 / Friday, November 18, 2016 / Proposed Rules                                                    81717

                                                    State did not point to any visibility-                  with protection of visibility caused by                  program provisions and the EPA has
                                                    related state regulations in its 2006                   the pollutant (including precursors) to                  approved the State’s rules, including the
                                                    PM2.5, certification, but generally                     which the new or revised NAAQS                           SO2 reduction milestones, as satisfying
                                                    indicated that they met this                            applies. See 2013 Guidance at 33.                        its regional haze SO2 obligations. 77 FR
                                                    requirement.                                              The 2013 Guidance lays out two ways                    73926 (Dec. 12, 2012). Wyoming’s SIP
                                                                                                            in which a state’s infrastructure SIP                    thus contains measures requiring
                                                    Wyoming’s Regional Haze SIP
                                                                                                            submittal may satisfy prong 4. As                        reductions of SO2 consistent with what
                                                       As stated in the EPA’s 2013 Guidance,                explained above, one way is through a                    the State agreed to achieve under the
                                                    ‘‘[o]ne way in which prong 4 may be                     state’s confirmation in its infrastructure               WRAP process in order to protect
                                                    satisfied for any relevant NAAQS is                     SIP submittal that it has an EPA                         visibility. As a result, the EPA is
                                                    through an air agency’s confirmation in                 approved regional haze SIP in place.                     proposing to approve 110(a)(2)(D)(i)(II)
                                                    its infrastructure SIP submission that it               Alternatively, in the absence of a fully                 prong 4 for the 2010 SO2 NAAQS.
                                                    has an approved regional haze SIP that                  approved regional haze SIP, a state can                     The EPA is also proposing to approve
                                                    fully meets the requirements of 40 CFR                  make a demonstration in its                              Wyoming’s prong 4 SIP submittal for the
                                                    51.308 or 51.309. 40 CFR 51.308 and                     infrastructure SIP submittal that                        2008 Pb NAAQS. The EPA has found
                                                    51.309 specifically require that a state                emissions within its jurisdiction do not                 that significant impacts from Pb
                                                    participating in a regional planning                    interfere with other states’ plans to                    emissions from stationary sources are
                                                    process include all measures needed to                  protect visibility. Such a submittal                     expected to be limited to short distances
                                                    achieve its apportionment of emission                   should point to measures in the state’s                  from the source. The State noted that it
                                                    reduction obligations agreed upon                       SIP that limit visibility-impairing                      does not have any major sources of Pb
                                                    through that process.’’ Id. at 33.                      pollutants and ensure that the resulting                 located near any bordering state.
                                                       On January 12, 2011 and April 19,                    reductions conform to any mutually                       Further, when evaluating the extent to
                                                    2012, Wyoming submitted to the EPA                      agreed emission reductions under the                     which Pb could impact visibility, the
                                                    SIP revisions to address the                            relevant regional haze regional planning                 EPA has found Pb-related visibility
                                                    requirements of the regional haze                       organization (RPO) process.13                            impacts insignificant (e.g., less than 0.10
                                                    program. The EPA approved Wyoming’s                       WDEQ worked through its RPO, the                       percent). See 2013 Guidance, at 33. The
                                                    April 19, 2012 submittal and partially                  WRAP, to develop strategies to address                   EPA proposes to approve prong 4 for the
                                                    approved Wyoming’s January 12, 2011                     regional haze. To help states in                         2008 Pb NAAQS based on Wyoming’s
                                                    submittal in a final action published                   establishing reasonable progress goals                   conclusion that it does not have any
                                                    December 12, 2012. 77 FR 73926. This                    for improving visibility in Class I areas,               significant sources of lead emissions
                                                    included EPA approval of Wyoming’s                      the WRAP modeled future visibility                       near another state’s border and that it,
                                                    BART alternative for SO2, which relied                  conditions based on the mutually agreed                  therefore, does not have emissions of Pb
                                                    on the State’s participation in the                     emissions reductions from each state.                    that would interfere with the
                                                    backstop SO2 trading program under 40                   The WRAP states then relied on this                      requirements of section
                                                    CFR 51.309.12 In a separate action, the                 modeling in setting their respective                     110(a)(2)(D)(i)(II) with respect to
                                                    EPA partially approved and partially                    reasonable progress goals. As a result,                  visibility.
                                                    disapproved the remainder of                            we consider emissions reductions from                       The EPA is proposing to disapprove
                                                    Wyoming’s January 12, 2011 SIP                          measures in Wyoming’s SIP that                           Wyoming’s prong 4 infrastructure SIP
                                                    revision. 79 FR 5032 (Jan. 30, 2014). In                conform with the level of emission                       submittals for the 2006 PM2.5, 2008
                                                    that action, the EPA disapproved the                                                                             ozone, 2010 NO2, and 2012 PM2.5
                                                                                                            reductions the State agreed to include in
                                                    following portions of the submittal:                                                                             NAAQS. The EPA’s disapproval of
                                                                                                            the WRAP modeling to meet the
                                                    Wyoming’s NOX Best Available Retrofit                                                                            Wyoming’s NOX BART determination in
                                                                                                            visibility requirement of CAA section
                                                    Technology (BART) determinations for                                                                             our January 30, 2014 final rulemaking
                                                                                                            110(a)(2)(D)(i)(II).
                                                    five units at three facilities; the State’s               With regard to the 2010 SO2 NAAQS,                     included the specific disapproval of the
                                                    reasonable progress goals; monitoring,                  the EPA proposes to find that the State’s                NOx control measures the State
                                                    recordkeeping and reporting                             implementation of the Western                            submitted for PacifiCorp Dave Johnston
                                                    requirements; portions of the long term                 Backstop Sulfur Dioxide Trading                          Unit 3, PacifiCorp Wyodak Unit 1, and
                                                    strategy, and; the provisions necessary                                                                          Basin Electric Laramie River Units 1, 2
                                                                                                            Program and the agreed upon SO2
                                                    to review reasonably attributable                                                                                and 3. See 79 FR 5038.
                                                                                                            reductions achieved through that
                                                    visibility improvement. Id. at 5038. The                                                                            As noted, Wyoming referenced both
                                                                                                            program sufficient to meet the
                                                    EPA also promulgated a final federal                                                                             its Regional Haze SIP and WAQSR
                                                                                                            requirements of prong 4.14 Under 40
                                                    implementation plan (FIP) to address                                                                             Chapter 9, Section 2 as justification for
                                                                                                            CFR 51.309, certain states, including
                                                    these deficiencies. Id.                                                                                          the approvability of prong 4 for the 2008
                                                                                                            Wyoming, can satisfy their SO2 BART
                                                    EPA’s Assessment                                        requirements by adopting an alternative                  ozone, 2010 NO2 and 2012 PM2.5
                                                      The 2013 Guidance states that section                 program consisting of SO2 emission                       NAAQS. Because the Department did
                                                    110(a)(2)(D)(i)(II)’s prong 4 requirements              milestones and a backstop trading                        not provide an alternative
                                                    can be satisfied by approved SIP                        program. See 40 CFR 51.309. Wyoming                      demonstration that its SIP contains
                                                    provisions that the EPA has found to                    Air Quality Standards and Regulations                    measures to limit NOX emissions in
                                                    adequately address a state’s contribution               (WAQSR) Chapter 14, section 2                            accordance with the emission
                                                    to visibility impairment in other states.               implements the backstop trading                          reductions it agreed to under the
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                                                    The EPA interprets prong 4 to be                                                                                 WRAP,15 the EPA’s disapproval of
                                                    pollutant-specific, such that the
                                                                                                               13 See id. at 34, and also 76 FR 22036 (April 20,     portions of Wyoming’s NOx BART
                                                                                                            2011) containing EPA’s approval of the visibility        determination means that Wyoming’s
                                                    infrastructure SIP submission need only                 requirement of 110(a)(2)(D)(i)(II) based on a
                                                    address the potential for interference                  demonstration by Colorado that did not rely on the
                                                                                                                                                                     SIP does not include measures needed
                                                                                                            Colorado Regional Haze SIP.                              to ensure that its emissions will not
                                                      12 Wyoming’s ‘‘Western Backstop Sulfur Dioxide           14 Specifically, the State is required to reach its

                                                    Trading Program’’ can be found in Wyoming Air           ‘‘emissions milestone’’ for this program by keeping        15 The Visibility section of WAQSR Chapter 9,

                                                    Quality Standards and Regulations (WAQSR)               its SO2 emissions below 141,849 tons/SO2 in 2018         Section 2 does not address NOx emissions
                                                    Chapter 14, Section 2.                                  and each year thereafter.                                reductions.



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                                                    81718                 Federal Register / Vol. 81, No. 223 / Friday, November 18, 2016 / Proposed Rules

                                                    interfere with other states’ plans to                     TABLE 3—LIST OF WYOMING INTER- substantial number of small entities
                                                    protect visibility from the effects of                     STATE TRANSPORT PRONGS THAT under the Regulatory Flexibility Act (5
                                                    NAAQS pollutants impacted by NOx.                          THE EPA IS PROPOSING TO AP- U.S.C. 601 et seq.);
                                                    Specifically, NOx is a precursor of PM2.5                 PROVE                                                   • Does not contain any unfunded
                                                    and ozone, and is also a term which                                                                            mandate or significantly or uniquely
                                                    refers to both NO (nitrogen oxide) and                                     Proposed approval                   affect small governments, as described
                                                    NO2. The EPA is therefore proposing to                                                                         in the Unfunded Mandates Reform Act
                                                                                                            February 6, 2014 submittal—2008 Ozone NAAQS:
                                                    disapprove prong 4 of Wyoming’s                           (D)(i)(I) prong 1.
                                                                                                                                                                   of 1995 (Pub. L. 104–4);
                                                    infrastructure certifications with regard               October 12, 2011 submittal—2008 Pb NAAQS:                 • Does not have Federalism
                                                    to the 2006 PM2.5, 2008 ozone, 2010 NO2                   (D)(i)(I) prongs 1 and 2, (D)(i)(II) prong 4.        implications as specified in Executive
                                                                                                            January 24, 2014 submittal—2010 NO2 NAAQS:             Order 13132 (64 FR 43255, August 10,
                                                    and 2012 PM2.5 NAAQS.                                     (D)(i)(I) prongs 1 and 2.
                                                                                                            March 6, 2015 submittal—2010 SO2 NAAQS:
                                                                                                                                                                   1999);
                                                       If the EPA disapproves an                                                                                      • Is not an economically significant
                                                                                                            (D)(i)(II) prong 4.
                                                    infrastructure SIP submission for prong                                                                        regulatory action based on health or
                                                    4, as we are proposing for the 2006                                                                            safety risks subject to Executive Order
                                                    PM2.5, 2008 ozone, 2010 NO2 and 2012                      TABLE 4—LIST OF WYOMING INTER-                       13045 (62 FR 19885, April 23, 1997);
                                                    PM2.5 NAAQS, a FIP obligation will be                      STATE TRANSPORT PRONGS THAT                            • Is not a significant regulatory action
                                                    created. However, as noted previously,                     THE EPA IS PROPOSING TO DIS-                        subject to Executive Order 13211 (66 FR
                                                    the EPA has promulgated a FIP for                         APPROVE                                              28355, May 22, 2001);
                                                    Wyoming that corrects all regional haze                                                                           • Is not subject to requirements of
                                                                                                                              Proposed disapproval
                                                    SIP deficiencies. 79 FR 5032. Therefore,                                                                       Section 12(d) of the National
                                                    there will be no additional practical                   August 19, 2011 submittal—2006 PM2.5 NAAQS:            Technology Transfer and Advancement
                                                    consequences from the disapproval for                   (D)(i)(II) prong 4.                                    Act of 1995 (15 U.S.C. 272 note) because
                                                                                                            February 6, 2014 submittal—2008 Ozone NAAQS:           application of those requirements would
                                                    WDEQ, the sources within its                            (D)(i)(I) prong 2, (D)(i)(II) prong 4.
                                                    jurisdiction, or the EPA, and the EPA                   January 24, 2014 submittal—2010 NO2 NAAQS:             be inconsistent with the Clean Air Act;
                                                    will not be required to take further                    (D)(i)(II) prong 4.                                    and
                                                    action with respect to these prong 4                    June 24, 2016 submittal—2012 PM2.5 NAAQS:                 • Does not provide the EPA with the
                                                                                                            (D)(i)(II) prong 4.                                    discretionary authority to address, as
                                                    disapprovals, if finalized, because the
                                                    FIP already in place would satisfy the                                                                         appropriate, disproportionate human
                                                                                                            VI. Statutory and Executive Order                      health or environmental effects, using
                                                    requirements with respect to prong 4.                   Reviews
                                                    See 2013 Guidance at 34–35.                                                                                    practicable and legally permissible
                                                    Additionally, since the infrastructure                    Under the CAA, the Administrator is                  methods, under Executive Order 12898
                                                                                                            required to approve a SIP submission                   (59 FR 7629, February 16, 1994).
                                                    SIP submission is not required in
                                                                                                            that complies with the provisions of the                  In addition, the SIP does not apply on
                                                    response to a SIP call under CAA
                                                                                                            Act and applicable federal regulations.                any Indian reservation land or in any
                                                    section 110(k)(5), mandatory sanctions                                                                         other area where the EPA or an Indian
                                                                                                            42 U.S.C. 7410(k); 40 CFR 52.02(a).
                                                    under CAA section 179 would not apply                                                                          tribe has demonstrated that a tribe has
                                                                                                            Thus, in reviewing SIP submissions, the
                                                    because the deficiencies are not with                   EPA’s role is to approve state actions,                jurisdiction. In those areas of Indian
                                                    respect to a submission that is required                provided that they meet the criteria of                country, the proposed rule does not
                                                    under CAA title I part D. Id.                           the Clean Air Act. Accordingly, this                   have tribal implications and will not
                                                    V. Proposed Action                                      proposed action merely proposes                        impose substantial direct costs on tribal
                                                                                                            approval of some state law as meeting                  governments or preempt tribal law as
                                                       The EPA is proposing to approve CAA                  federal requirements and proposes                      specified by Executive Order 13175 (65
                                                    section 110(a)(2)(D)(i)(I) prongs 1, 2 and              disapproval of other state law because it              FR 67249, November 9, 2000).
                                                    4 for the 2008 Pb NAAQS, prong 1 for                    does not meet federal requirements; this               List of Subjects in 40 CFR Part 52
                                                    the 2008 ozone NAAQS, and prong 4 for                   proposed action does not propose
                                                    the 2010 SO2 NAAQS, as shown in                         additional requirements beyond those                     Environmental protection, Air
                                                    Table 3, below. The EPA is also                         imposed by state law. For that reason,                 pollution control, Carbon monoxide,
                                                    proposing to disapprove prong 4 for the                 this proposed action:                                  Incorporation by Reference,
                                                    2006 PM2.5, 2008 ozone, 2010 NO2 and                      • Is not a significant regulatory action             Intergovernmental relations, Lead,
                                                    2012 PM2.5 NAAQS, and prong 2 for the                   subject to review by the Office of                     Nitrogen dioxide, Ozone, Particulate
                                                                                                            Management and Budget under                            matter, Reporting and recordkeeping
                                                    2008 ozone NAAQS, as shown in Table
                                                                                                            Executive Orders 12866 (58 FR 51735,                   requirements, Sulfur oxides, Volatile
                                                    4. The EPA is soliciting public
                                                                                                            October 4, 1993) and 13563 (76 FR 3821,                organic compounds.
                                                    comments on this proposed action and
                                                                                                            January 21, 2011);                                       Authority: 42 U.S.C. 7401 et seq.
                                                    will consider public comments received                    • Does not impose an information
                                                    during the comment period.                              collection burden under the provisions                   Dated: November 9, 2016.
                                                                                                            of the Paperwork Reduction Act (44                     Shaun L. McGrath,
                                                                                                            U.S.C. 3501 et seq.);                                  Regional Administrator, Region 8.
                                                                                                              • Is certified as not having a                       [FR Doc. 2016–27672 Filed 11–17–16; 8:45 am]
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                                                                                                            significant economic impact on a                       BILLING CODE 6560–50–P




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Document Created: 2018-02-14 08:31:54
Document Modified: 2018-02-14 08:31:54
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 December 19, 2016.
ContactAdam Clark, Air Program, U.S. Environmental Protection Agency, Region 8, Mail Code 8P-AR, 1595 Wynkoop Street, Denver, Colorado 80202-1129. (303) 312-7104, [email protected]
FR Citation81 FR 81712 
CFR AssociatedEnvironmental Protection; Air Pollution Control; Carbon Monoxide; Incorporation by Reference; Intergovernmental Relations; Lead; Nitrogen Dioxide; Ozone; Particulate Matter; Reporting and Recordkeeping Requirements; Sulfur Oxides and Volatile Organic Compounds

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